A seven-page certified Idaho Department of Correction daily transaction summary for offender 0163214, Bryan Christopher Kohberger, covering one year beginning with a zero balance and ending at $177.03. The statement prints total deposits of $10,812.13 and expenses of $10,635.10. It lists deposits from named third parties and Ada County, recurring commissary purchases, medical payables, kiosk transfers, administrative fees, phone credits, and postage. It identifies institution IM, living/housing unit J, cell 55, tier 2, and bed A. Certification stamps overlap portions of several rows, and voucher prefixes are blacked out; obscured cells are not reconstructed.
A handwritten-and-typed four-page motion in case CV01-26-15094 identifying Bryan C. Kohberger as petitioner-appellant. Kohberger requests appointed counsel, stating that he is incarcerated at Idaho Maximum Security Institution, lacks legal skill, required help completing the pleadings, is indigent, and has no listed bank accounts, securities, real estate, or other security. He signs and certifies the filing under penalty of perjury on July 22, 2026. A certificate of mailing lists the Latah County Prosecuting Attorney, William Thompson, and Ashley Jennings. The clerk's stamp shows filing on July 27, 2026.
A second four-page appointment-of-counsel motion in case CV01-26-15094, this one captioned State of Idaho v. Bryan C. Kohberger and marked Defendant. It repeats the request for appointed counsel and sworn claims of indigency, lack of assets and legal training, and need for help completing pleadings. The pages are marked “IDOC Data Sensitivity Classification - L3 Restricted.” Kohberger signs on July 22, 2026; the clerk's stamp shows filing at 8:25 a.m. on July 27. The certificate of mailing again lists the Latah County Prosecuting Attorney, William Thompson, and Ashley Jennings.
An eight-page handwritten petition in civil case CV01-26-15094 seeking withdrawal of Bryan Kohberger's guilty plea. It references criminal case CR01-24-31665, a July 23, 2025 sentence, four capital-murder counts and felony burglary, and life without parole plus ten years. The petition alleges ineffective assistance, an unknowing or involuntary plea, unkept promises, threats by counsel, failure to disclose or review claimed exculpatory material, and misrepresentations concerning death row and prison conditions. A supporting affidavit expands those allegations. Kohberger requests in-forma-pauperis status and appointed counsel. These are a petitioner's disputed allegations; the PDF contains no response, evidentiary ruling, or decision. Page 8 is a scanned legal-mail envelope.
The Moscow Police Department annual report for 2023, containing agency activity, staffing, programs, calls, enforcement data, and other published metrics for the year. It provides institutional context; aggregate statistics do not establish facts about an individual incident.
A five-page motion and sworn financial affidavit filed in Ada County civil case CV01-26-15094 by Bryan C. Kohberger, seeking permission to proceed on partial payment of court fees in his post-conviction-relief action. The form states that he cannot pay all costs immediately, acknowledges an initial fee based on 20% of the greater of average deposits or average balance and continuing monthly payments, lists no outside income or ordinary assets, identifies an inmate trust account as the only listed fund, and reports no regular monthly expenses. The filing includes a perjury certification signed July 22, 2026 and a clerk stamp dated July 27. It is a party filing and financial representation, not a court determination of indigency or an order granting relief.
A verified connected-Drive PDF titled “Motion & Affidavit in Support for Appointment of Counsel 07-27-2026 13.01.5 95229790 E9AEB5CB-6D59-4070-AC8C-EB1A59001984.pdf,” filed under Court Docs › Post Conviction Relief . The authorized folder context identifies it as part of court filings and related litigation records organized by jurisdiction or proceeding. This record preserves the original source link, filename, folder placement, media type, byte size, and Drive dates. Content-level facts are not inferred from the filename alone; exact quotations, image interpretation, named participants, event dates, exhibit identifiers, and conclusions require review of the linked original.
A verified connected-Drive PDF titled “Motion & Affidavit in Support for Appointment of Counsel 07-27-2026 13.01.5 95229837 AC4C1038-AA5B-41D1-B2D2-03CCA7E448C6.pdf,” filed under Court Docs › Post Conviction Relief . The authorized folder context identifies it as part of court filings and related litigation records organized by jurisdiction or proceeding. This record preserves the original source link, filename, folder placement, media type, byte size, and Drive dates. Content-level facts are not inferred from the filename alone; exact quotations, image interpretation, named participants, event dates, exhibit identifiers, and conclusions require review of the linked original.
The first WSU production installment begins with WSU Police incident 22-W4386 and materials concerning assistance to Moscow Police after Bryan Kohberger’s arrest. It documents warrant preparation and service for apartment G201 at Steptoe Village and an office in Wilson-Short Hall, scene security, personnel involved, property/evidence handling, related reports, later administrative processing, and supporting communications. The extraction also contains BOLO, vehicle, public-records, FERPA/redaction, and follow-up material; individual pages must be consulted before attributing a statement or evidence item to a particular author.
The second installment compiles WSU-received communications and records surrounding the Idaho Four investigation. It opens with January 3, 2023 Moscow releases concerning Kohberger’s extradition, the Idaho court process, and the nondissemination order, then continues with agency correspondence, WSU scheduling and patrol information, Steptoe-related records, public-records handling, and investigative support material. Public releases, internal emails, schedules, and law-enforcement records are different evidence types and are indexed as such rather than treated as one continuous narrative.
The third installment centers on interagency and WSU correspondence. It includes the November 28, 2022 law-enforcement-sensitive vehicle BOLO forwarded by Moscow Police; later messages about Kohberger’s WSU criminal-justice fellowship interview materials; and May 2023 requests for extra patrols around graduate-student housing during renewed media attention and the then-scheduled preliminary hearing. It also contains additional WSU, Pullman Police, Moscow Police, public-information, and administrative records.
The fourth installment compiles WSU safety concerns, institutional communications, media-related correspondence, public-records handling, and investigative support. Visible examples include a parent’s November 22, 2022 questions about campus safety and academic options, a January 2023 message circulating a Kohberger internship-related video, and a January 2024 request concerning memorial coins for WSU Police staff who worked the Idaho Four response. The large production also references parking, LPR, warrant, and administrative records; each thread must be read with its own date and sender context.
The fifth installment continues WSU safety and investigative-coordination records. It includes WSU’s response to community safety concerns, discussion of increased patrols and critical-incident coordination, correspondence about providing campus video to Moscow Police, prosecutor and Washington Attorney General communications concerning WSU records warrants, and other investigative or administrative follow-up extending beyond the immediate arrest period.
The sixth installment contains arrest announcements, agency-response records, warrant and evidence references, vehicle-identification communications, staff messages, and related WSU materials. It opens with the December 30, 2022 Moscow Police arrest release and includes later WSU discussion of how officers located a possible suspect vehicle near Kohberger’s residence. One January 5 message says the public affidavit’s vehicle-discovery timeline was not entirely correct and gives an alternate internal chronology: the BOLO email on November 28, a plate query early November 29, and an observation at the apartment complex shortly afterward. That statement is preserved as the author’s account and should be compared with dispatch, database, and sworn-record timestamps.
The seventh installment is warrant-focused. It includes Whitman County templates and completed application language for searching Kohberger’s Steptoe Village apartment and WSU office, descriptions of the premises, probable-cause material supplied by Idaho investigators, categories of property sought, supporting declarations, and related warrant/inventory records. Because the extraction can flatten checkboxes, signature blocks, exhibits, and inventories, the signed original pages—not this text layer—control the scope actually authorized and the items recorded as seized.
The eighth and largest text installment compiles media requests, interview invitations, press releases, campus-safety communications, public-records correspondence, parking/LPR references, warrant-related material, and institutional messaging. Examples include a December 27, 2022 podcast invitation to WSU Police leadership, January 3 Moscow releases on extradition and nondissemination, and WSU communications describing increased patrols, safe-ride and escort resources, academic flexibility, and employee/student support after the homicides and arrest. Repetition and forwarded chains are substantial; each item’s sender, date, attachment, and status should be verified in the original.
Source file “7.27.26 Motion & Affidavit in Support for Appointment of Counsel as Appellant.pdf” from POST-CONVICTION RELIEF 7.27.26. This entry preserves its original Drive link and collection placement. Contents have not been reviewed; titles and folder labels are source descriptions, not independent findings.
Source file “7.27.26 Motion & Affidavit in Support for Appointment of Counsel as Defendant.pdf” from POST-CONVICTION RELIEF 7.27.26. This entry preserves its original Drive link and collection placement. Contents have not been reviewed; titles and folder labels are source descriptions, not independent findings.