Redacted Names and Notable

Tag Count
"Bradley Manning [as of 8/22/13 Manning asked to be referred to as Chelsea] email accounts: Google Gmail 1
"Lt. General George J. Flynn 1
'REDACTED Each of the OCAs is either a General Officer or a high ranking civilian employee with the exception of [the General Officer is James Culky (sp.) 4th Cavalry Division Brigade S2 is the Offici 1
.csv file in unallocated space of the Dell .40 that could not be tied to a user profile of dated that contained 5 columns: Unique Number Data the cable was published to the Department of State server; 1
.mil 2
10000 CIDNE [Reitman says 10000; transcriber says 100000] documented findings and reports in the unallocated space of the SD card allegedly obtained at the second search of Debra Van Alstyne Chelsea [ 1
116 charged documents from the Department of State (State Department) (DoS) 1
12 pages of Brady materials from interim damage assessments from November 2010 by the Federal Communications Commission the Federal Trade Commission the U.S. Department of Urban Development the Millen 6
14 hard drives from PFC Manning T-SCIF 7
14 hard drives from PFC Manning T-SCIF Government "Encase forensic images requested by Defense is within Department of Defense (DoD) but it is classified. Some factual showing for materiality total dr 2
17 April 2012 Memorandum for Principal Officials of Headquarters Department of the Army "[i]t was only recently determined that no action had been taken by HQDA pursuant to the 29 July 11 memo from DO 2
2007 Apache Airstrike (Collateral Murder) 24
2008 PowerPoint Presentation (PPT) for corrective training on infosec. How to handle it; if you are a person with access...how it could be dangerous. There are sources looking for info on military. Di 4
2010 the President was informed in his Daily Briefing about the upcoming publication of State Department cables 1
2012 $1 to $2 Millon forecasted contracting opportunity for the FBI in Fairfax VA for "WikiLeaks Software and Hardware" for incumbent contractor ManTech dated November 7 2011 1
22.225.41.22 (.22) Alienware SIPRNet computer Chelsea [formerly Bradley] Manning shared at the T-SCIF workstation with Sergeant Chad Madaras 1
22.225.41.40 (.40) Dell SIPRNet computer Chelsea [formerly Bradley] Manning shared at the T-SCIF workstation with Sergeant Chad Madaras 1
24/7 WikiLeaks Working Group 1
2703(d) Orders 9
3 Star General who ordered that Manning be held in MAX and in POI at Quantico Director Director J-7 Joint Staff" 1
63 agencies and other organizations the Government has claimed to have contacted 5
706 Board 1
72 addresses in the unallocated space of Manning's MacBook Pro that reference to a Thunderbird email cache 2
72.66.112.117 resolved to Verizon Communications and was connected to the account of Bradley Manning's aunt Debra Van Alstyne 1
72.66.112.117 resolved to Verizon Communications and was connected to the account of Chelsea [formerly Bradley] Manning's aunt Debra Van Alstyne 1
84 emails provided to defense by the Government 1
84 Quantico emails that Ashden Fein sent on the evening of 26 August (after the Defense's attachments had already been sent) at 19:50 which reveal that the senior Brig officer who ordered PFC Manning 2
88.80.17.76 resolves to PRQ (PeRiQuito AB) an ISP based in Sweden 2
94 authorized programs for Distributed Common Grounds System - Army (DCGS-A) computer 2
a copy of Collateral Murder as it was released on the WikiLeaks.og website and also what appeared to be the source file in the unallocated spaces of the Alienware .22 computer. The first instance of t 1
a removable 500 GB hard drive from Adrian Lamo's Linux machine mobile laptop 2
A self-portrait Manning took with a camera held in one hand standing in front of a mirror in the basement of his aunt's Debra Van Alstyne's house on 26 January 2010 in the unallocated space of an SD c 2
a) Militarv Organizations/Entities: Army Criminal Investigation Command (CID) Defense Intelligence Agency (DIA) Defense Information Systems Agency (DISA) CENTCOM SOUTHCOM 2
Acceptable Use Police (AUP) 6
Acceptable Use Policy (AUP) for the Alienware .22 and Dell .40 machines 4
According to the 2 December 2011 Defense Request for Article 32 Witnesses and the Article 32 Pretrial Hearing testimony of Special Agent Calder Robertson CCIU SA Robertson extracted the hard drives fr 1
According to the evolving US Government unauthorized access theory. USG alleges Pfc. Manning placed Wget on "two separate systems" 1030(a)(1) 1
According to the Office of the Director of National Intelligence (ODNI) 4.2 Million federal employees contractors and consultants have security clearances for SECRET information 1
Adium contact list in the allocated space of Bradley Manning's MacBook Pro 1
Adium contact list in the allocated space of Chelsea [formerly Bradley] Manning's MacBook Pro 1
admitted that if a soldier wanted to have a CD with music or photos of your family and friends in the T-SCIF they could have 1
Adrian Lamo 13
Adrian Lamo contacted Special Agent Antonio Patrick Edwards Army Computer Crimes Investigation Command (CCIU) 3
Adrian Lamo contacted us and related that he became aware on the Internet of someone that he did not know who was part of the original decryption effort on the Garani video who worked for Department o 3
Adverse administrative or UCMJ actions 8
Afghanistan occurring on or about 4 May 2009...". The Defense requests that the Government identify the exact number and specific records it believes supports this specification for the Defense's revi 2
After oral argument on 21 March 2012 the Court asked the Government to respond inter alia to the following question Is there any favorable material [in the damage assessments the Government has review 1
Air Force Intelligence 1
AIR Special Agent Toni Graham Army Criminal Investigation Command (CID) had produced (ref number 00000184-190) 2
Al-Qaida 2
Al-Qaida in the Arabian Peninsula (AQAP) 1
alleged Adium chat logs in XML format on Bradley Manning's MacBook Pro between "[email protected]" and "[email protected]" who Mark Johnson ManTech International Contractor report 3
alleged Adium chat logs on Manning's Apple MacBook Pro in XML format between "bradass87" and Adrian Lamo 3
alleged AIM chat logs on Adrian Lamo's HP Windows mini laptop or Net book that had a hard drive in it that belonged to Adrian Lamo 2
alleged chat log as published by Wired on 13 July 2010 1
alleged chat log excerpts as published by Wired on 10 June 2010 1
alleged chat logs between Adrian Lamo and bradass87 15
alleged chat logs between Adrian Lamo and Danny Clark provided to Special Agent Antonio Patrick Edwards CCIU by Adrian Lamo 3
alleged May 11 2010 to May 19 2010 email chain between Bradley Manning and Eric Schmiedl: "I was the source of the 12 Jul 07 video of the Apache Weapons team which killed the two journalists and injur 3
Almanza denied one agent the defense requested who was on the prosecution's original witness list dated July 7 2010. The defense requested the "attendance of XXXXXXXXXX in order to provide the Investi 2
Almanza is Facebook friends with John N. Maher Deputy General Counsel for Contracting at the Defense Intelligence Agency 1
also reveal that the senior Brig officer former Security Battalion Commander Col. Robert G. Oltman who ordered PFC Manning to be held in MAX custody and Prevention of Injury at Quantico indefinitely w 1
Although Wget was not apparently officially authorized for the individual user it was authorized for use on the Army Server components of the system As such Wget is a program that is authorized to be 1
and 2/10 Mountain. Identified 181 hard-drives. And out of those serial numbers 13 hard drives that were in the SCIF when the unit was deployed. CID had one other drive. We had not given to Defense bec 1
and Reconnaissance (AF ISR) 1
Any damage assessment by one of the 63 agencies to the Office of the National Counterintelligence Executive (ONCIX) in the Office of the Director of National Intelligence (ODNI) 1
Appellate Exhibit CXXXIX at 9 The Government has indicated albeit cryptically its Wget theory for the information covered by Specification 13 of Charge II 1
Army 15-6 Investigation 1
Army Computer Crime Investigative Unit (CCIU) obtained chats from Mr. Adrian Lamo and collected computer belonging to Mr. Adrian Lamo 3
Army Computer Crimes Investigative Unit (CCIU) 11
Army Counterintelligence Center (ACIC) 1
Army Counterintelligence Center (ACIC) logs 1
Army Criminal Investigation Command (CID) 14
Army Criminal Investigation Command (CID) and the Federal Bureau of Investigation (FBI) obtained a federal warrant to search and did a search of Jason Katz's government work station 2
Army Criminal Investigation Command (CID) investigative files 2
Army Criminal Investigation Command (CID) The primary law enforcement organization within the Department of the Army focused on investigating the accused [Manning] 2
Army Criminal Investigation Command (CID) two (2) investigations US Forces Iraq (USFI) and 1st Armored Division (1st AD) 1
Army Knowledge Online 2
Army Regulation 25-2 dated 24 October 2007 1
Army Regulation 27-26 Rules of Professional Conduct for Lawyers 1
Army Regulation 380-5 dated 29 September 2000 7
Army Regulation 380-5 dated 29 September 2000 Paragraphs 1-21 and 6-1 5
Article 104 aiding the enemy 5
Article 121 Larceny and Wrongful Appropriation 4
Article 13 4
Article 13 Judge rules on recent review of 600 Quantico emails all but 12 material to preparation of defense 1
Article 13 of the Uniform Code of Military Justice states: "No person while being held for trial may be subjected to punishment or penalty other than arrest or confinement upon the charges pending aga 1
Article 134 General article 9
Article 15 [Non-judicial Punishment] 4
Article 3 Judge's Protective Order 1
Article 31 4
Article 37 President Obama declares Pfc. Manning guilty before trial 1
Article 37 Unlawful Command Influence 1
Article 92 Failure to obey order or regulation 7
ARTIFACT - naming of a CD that Special Agent David Shaver Computer Crimes Investigation Command (CCIU) burned. Computer BD-RE Drive (D:) 100527_0357 Organize - Burn to disk. It is unclear on which com 1
As a result of the Government's inconsistent positions on this issue this Court ordered the Government to produce a witness from the Department of State (State Department) (DoS) to appear at the oral 1
Assistant Secretary of the Navy Juan M. Garcia 1
at 15 March 2012 Article 39(a) session Fein: The Encase forensic images of hard drives in TSCIF. Government did identify some drives that have not been turned over because they were used in a classifi 1
at 15 March 2012 Article 39(a) session Government said it would not be invoking MRE 505 for classified discovery. Consider at THAT time Government was suggesting an August 2012 trial calendar and had 1
at 15 March 2012 Article 39(a) session Judge Lind said "This case deal with classified information. There are over three million pages of documentation in this case" 1
At the 18 October 2012 Article 39(a) Session Judge Lind ruled that the Court would take Judicial Notice of the President's 27 July 2010 statement from the Rose Garden and published on the White House 1
At the 18 October 2012 Article 39(a) Session the Government revealed that in the Spring and Summer of 2011 military prosecutors were coordinating with the Department of Justice and the FBI for the rel 1
Attorney General Eric Holder 6
b) Joint Investigations: Federal Bureau of Investigation (FBI) Diplomatic Security Services (DSS) at the Department of State (State Department) (DoS) 2
b.zip placed on linux work computer of Jason Katz on 15 December 2009 and BE22PAX.wmv video file evidence of a cracking program being downloaded and installed on linux work computer of Jason Katz 1
backup.xls 1
bash history evidencing cracking program was trying to decrypt b.zip on the linux work computer of Jason Katz 1
Bates # 00124331 (forensic report indicating that the keyword "lceland" was searched for a total of fourteen times from both of PFC Manning's primary and secondary SIPRNET computers) 1
Ben Rhodes the Deputy National Security Advisor for Strategic Communications 1
between July and August 2010 the Department of State (State Department) (DoS) worked with the Department of Defense (DoD) on the Defense Intelligence Agency's (DIA) Information Review Task Force (IRTF 1
Bill of Particulars 6
Bill of Particulars "How did PFC Manning 'knowingly exceed authorized access on a Secret Internet Protocol Router Network computer in Specification 13 [and 14] of Charge II?'" Government disputed answ 2
Bill of Particulars "How did PFC Manning knowingly give intelligence to the enemy?" Prosecution Answer: Indirectly through the WikiLeaks Web site. 2
Bill of Particulars "If the government is alleging that PFC Manning stole purloined and converted the charged items does each theory of culpability apply equally to every charged item?" 2
Bill of Particulars "In Specification 1 [Charge III] what is the alleged conduct that the Government believes was an attempt to bypass network or information system security mechanisms?" 2
Bill of Particulars "In Specification 10 [Charge II ]the Government alleges "more than five classified records relating to a military operation in Farah Province 2
Bill of Particulars "In Specification 13 the Government alleges "more than seventy-five classified United States Department of State cables...". The Defense requests that the Government identify the e 2
Bill of Particulars "In Specification 2 and 3 [Charge III] how is the Government alleging the software was added to the computers?" Government disputed answering this question. The Judge did ruled tha 2
Bill of Particulars "In Specification 2 and 3 [of Charge III] which computer is the Government alleging the software was added to?" Prosecution: 22.225.41.22...on SIPRNet" 2
Bill of Particulars "In Specification 3 [Charge II] the Government alleges 'more than one classified memorandum produced by a United States Government intelligence agency.... The Defense requests that 2
Bill of Particulars "In Specification 4 [Charge III] how does the Government allege PFC Manning used an information system in a manner other than its intended purpose?" Prosecution Answer: "Downloaded 2
Bill of Particulars "In Specification 5 [Charge II] the Government alleges 'more than twenty classified records from the Combined Information Data Network Exchange Iraq database...'. The Defense reque 2
Bill of Particulars "In Specification 7 [Charge II ] the Government alleges "more than twenty classified records from the Combined Information Data Network Exchange Afghanistan database...". The Defen 2
Bill of Particulars "In Specification 9 [Charge II] the Government alleges "more than three classified records from a United States Southern Command database...". The Defense requests that the Governm 2
Bill of Particulars "In what manner did PFC Manning wrongfully and wantonly cause intelligence to be published on the internet?" 2
Bill of Particulars "What 'intelligence' is the Government alleging PFC Manning gave to the enemy?" 2
Bill of Particulars "What was the "indirect" means allegedly used in order to aid the enemy?" Prosecution Answer: WikiLeaks Web site. 2
Bill of Particulars "What was the “indirect” means allegedly used in order to aid the enemy?" The Government also stated that its theory of indirect means was that PFC Manning gave the charged intelli 1
Bill of Particulars "Who is the alleged enemy?" Prosecution Answer: The Government has further clarified that the "enemy" to whom PFC Manning allegedly indirectly gave intelligence is Al-Qaida Al-Qaid 2
Bill of Particulars [Missed Defense Question] Prosecution Answer: "Accused attempted FTP USER Account Password" 2
Bill of Particulars: "What specific theory of culpability does the Government intend to rely upon? In other words does the Government allege that PFC Manning 'stole' 'purloined' or 'converted'?" Gover 2
Birgitta Jonsdottir 1
Birgitta Jonsdottir Twitter 1
Bradley Manning Email Account 1
Bradley Manning email accounts: Google Gmail 1
Bradley Manning Facebook Account 2
Bradley Manning or Brianna Manning Email: .mil - Google 1
Bradley Manning Twitter Account 1
Bradley Manning was on the 'Shia threat' team according to Captain Steven Lim 2nd Brigade Military Intelligence (MI) Company Commander Brigad 1
Bradley Manning was on the 'Shia threat' team according to Captain Steven Lim 2nd Brigade Military Intelligence (MI) Company Commander Brigade S2 1
Bradley Manning [as of 8/22/13 Manning asked to be referred to as Chelsea] does not have access to classified information in his own case under the Court Protective Order 1
Bradley Manning [as of 8/22/13 Manning asked to be referred to as Chelsea] Facebook Account 1
Bradley Manning [as of 8/22/13 Manning asked to be referred to as Chelsea] or Brianna Manning Email: .mil - Google 1
Bradley Manning's Amazon Account 1
Bradley Manning's Apple MacBook Pro 1
Bradley Manning's Dad 1
Bradley Manning's Google Account 2
Bradley Manning's [as of 8/22/13 Manning asked to be referred to as Chelsea] Amazon Account 1
Bradley Manning's [as of 8/22/13 Manning asked to be referred to as Chelsea] Apple MacBook Pro 1
Bradley Manning's [as of 8/22/13 Manning asked to be referred to as Chelsea] Dad 1
Bradley Manning's [as of 8/22/13 Manning asked to be referred to as Chelsea] Google Account 2
Brady 12
Brianna Manning or Gender Identity Disorder 8
Brigade Commander 6
Brigade S2 is the Official Classification Authority for classification review of the unclassified July 12 2007 Baghdad airstrike videos also known as "Collateral Murder" 1
Bureau of Intelligence and Research 1
Bureau of Intelligence and Research at the Department of State (State Department) (DoS) 2
but I am guessing 1
By February 16 2012 the Govemment had provided approximately 78148 pages of unclassified discovery to the Defense and approximately 333194 pages of what the Government considers classified discovery. 1
c) Closely Aligned Organizations: Department of State (State Department) (DoS) Department of Justice (DoJ) Government Agency (Central Intelligence Agency CIA) Office of the Director of National Intell 2
Cached version of the WGET version 1.11.4 download Web page on the NIPRNet computer that included a profile for Bradley Manning [as of 8/22/13 Manning asked to be referred to as Chelsea] 1
Camp Arifjan Kuwait 2
Camp Liberty Iraq 3
Captain Angel Overgaard military prosecutor in US v Pfc. Manning 15
Captain Barclay Keay S2X 2
Captain Barclay Keay testified that he deployed to Iraq with the 2nd Brigade Combat Team (2nd BCT) 10th Mountain Division (10 MTN) in November of 2009 which had already deployed earlier in October 200 2
Captain Brian Moore Defense Forensic Psychiatrist 3
Captain Casey Martin (married name Fulton) Platoon leader and Brigade Assistant S2 Officer 7
Captain Casey Martin (married name Fulton) Platoon leader and Brigade Assistant S2 Officer considered mIRC and Google Earth to be baseline authorized applications 2
Captain Casey Martin (married name Fulton) Platoon leader and Brigade Assistant S2 Officer said main focus was election security in March 2010 before that it was to disrupt enemy operations 1
Captain Casey Martin (married name Fulton) Platoon leader and Brigade Assistant S2 Officer says it was ok if people played pirated versions of movies they purchased from Iraqi nationals on their works 1
Captain Casey Martin (married name Fulton) Platoon leader and Brigade Assistant S2 Officer says main focus was election security in March 2010 before that it was to disrupt enemy operations 1
Captain Casey Martin (married name Fulton) Platoon leader and Brigade Assistant S2 Officer says she had a verbal conversation with Bradley Manning about the Jul 2007 Baghdad Apache airstrike (known la 2
Captain Casey Martin (married name Fulton) Platoon leader and Brigade Assistant S2 Officer says she saw Bradley Manning curled in a ball on the floor with Master Sergeant Paul David Adkins (now Sergea 1
Captain Casey Martin (married name Fulton) Platoon leader and Brigade Assistant S2 Officer says the reason for the ability to burn CD's was to share information with Iraqis. It was part of the mission 2
Captain Casey Martin (married name Fulton) Platoon leader and Brigade Assistant S2 Officer says the the person responsible for DEROG's was 1st Lt. Elizabeth Fields or Master Sergeant Paul David Adkins 1
Captain Casey Martin (married name Fulton) Platoon leader and Brigade Assistant S2 Officer was not in Bradley Manning's chain of command her relationship with Manning was merely counseling 2
Captain Hunter Whyte military prosecutor in US v Pfc. Manning 6
Captain James Morrow military prosecutor in US v Pfc. Manning 16
Captain James Morrow: Your Honor The Government would maintain that PFC Manning had a user name and a password to a SIPRNET computer while deployed. On certain occasions when he accessed that computer 1
Captain John Haberland a spokesman for the Military District of Washington (MDW) 3
Captain Joshua Tooman military defense US v Pfc. Manning 3
Captain Matthew W. Freeburg after Pfc. Manning's alleged assault of Specialist Jihrleah Showman on May 7 2010 Captain Matthew W. Freeburg "removed Pfc. Manning from the T-SCIF and sent him to work in 1
Captain Matthew W. Freeburg became Company Commander of Headquarters and Headquarters Company 2nd Brigade Combat Team 10th Mountain Division in April or May of 2010 towards the end of the 2nd Brigade 1
Captain Matthew W. Freeburg Company Commander of Headquarters and Headquarters Company 2nd Brigade 10 Mountain Division 2
Captain Matthew W. Freeburg was the "property book holder for all the computers within HHC [Headquarters and Headquarters Company] 2BCT [Second Brigade Combat Team 10th Mountain Division]." According 1
Captain Matthew W. Freeburg's sworn statement based on recommendations by [UNIDENTIFIED MENTAL HEALTH PROFESSIONAL(S)] Captain Freeburg "believed it was shocking that something more serious had not be 1
Captain Matthew W. Freeburg's sworn statement Captain Freeburg "went to [AN UNIDENTIFIED MENTAL HEALTH PROFESSIONAL] at Behavioral Health to discuss PFC Manning's condition. [AN UNIDENTIFIED INDIVIDUA 1
Captain Ogletree at Fort Huachuca 3
Captain Paul Bouchard military defense US v Pfc. Manning 12
Captain Steven Lim 2nd Brigade Military Intelligence (MI) Company Commander Brigade S2 11
Captain Steven Lim 2nd Brigade Military Intelligence (MI) Company Commander Brigade S2 counseled [Lt. General Robert L.] Caslen that he only learned about the email that Chelsea [formerly Bradley] Man 2
Captain Steven Lim 2nd Brigade Military Intelligence (MI) Company Commander Brigade S2 gave the analyst link to Net Centric Diplomacy database through email with no password required in January 2010. 3
Captain Steven Lim 2nd Brigade Military Intelligence (MI) Company Commander Brigade S2 replaced Major Cliff Clausen who could not explain to the commander in the way the commander needed in January 20 2
Captain Steven Lim 2nd Brigade Military Intelligence (MI) Company Commander Brigade S2 says US Forces Iraq partnered with Iraq 2nd Brigade was authorized to release that information to Iraqi defense f 2
Captain Thomas Cherepko 9
Captain Thomas Cherepko received a letter of admonishment from Lt. General Robert L. Caslen for "failure to ensure brigade was properly certified" In March of 2011 2
Captain Thomas Cherepko says that the DAIG (Department of the Army Inspector General) did not perform an inspection until late in deployment 2
Captain Thomas Cherepko secured some network logs which are official communications between computers for Special Agent Calder Robertson CCIU 4
Captain Thomas Cherepko tasked one of his solders with doing the forensic imaging either Sergeant Joseph Benthal or Private Dodley Cherepko could not remember which 2
Captain William Hocter Quantico Brig Forensic Psychiatrist 5
Captain William Hocter Quantico Brig Forensic Psychiatrist recommended on 27 August 2010 that I be taken off of POI watch and that my confinement classification be changed from MAX to Medium Custody I 4
Catherine Brown 1
Catherine Brown Assistant Secretary for the Bureau of Intelligence & Research (INR) 1
CD collected from in Bradley Manning's Containerized Housing Unit (CHU) that had been marked SECRET 1
CD collected from in Bradley Manning's [as of 8/22/13 Manning asked to be referred to as Chelsea] Containerized Housing Unit (CHU) that had been marked SECRET 1
CD was found in Bradley Manning's [as of 8/22/13 Manning asked to be referred to as Chelsea] Containerized Housing Unit (CHU) that had been marked SECRET 1
CENTAUR logs also known as NetFlow logs for the period 1 October 2009 to end of May 2010 collected from the Office of the Director of National Intelligence (ODNI) for the IP addresses 22.225.41.22 and 1
CENTCOM 13
CENTCOM Server 1
CENTCOM Server Farah Investigation Folder created in May 2010 "video" folder BE22PAX.zip created in May 2009 Three (3) videos that Shaver said he found in the CENTCOM Farah investigation folder. [Defe 1
CENTCOM server logs 1
CENTCOM server logs. CENTCOM server logs do not record external IP address. They track date time and file(s) requested. CENTCOM logs evidence only one PowerPoint file "Farah.brief.final.version1" was 1
Center for Constitutional Rights (CCR) extraordinary writ filed in this case with the Court of Appeals 1
Central Intelligence Agency (CIA) (Government Agency) 19
Central Intelligence Agency (CIA) (Government Agency) forensic results or investigative files 1
Central Intelligence Agency (CIA) (Government Agency) Red Cell Special Memorandum "Afghanistan: Sustaining West European Support for the NATO-led Mission--Why Counting on Apathy Might Not Be Enough" 2
Central Intelligence Agency (CIA) (Government Agency) The accused [Manning] is charged with compromising Government Agency's (Central Intelligence Agency CIA) documents and the Government intends to u 2
Central Intelligence Agency (CIA) Wikileaks Task Force (WTF) damage assessment 9
Central Intelligence Agency (CIA) Wikileaks Task Force (WTF) damage assessment (Second Damage Assessment) 1
Central Intelligence Agency (CIA) World Intelligence Review (WIRe) Logs 3
Central Intelligence Agency (Government Agency) Red Cell Memoranda 3
CHAIN OF COMMAND Col. David M. Miller Commander of the Second Brigade Combat Team (2BCT) 10th Mountain Division (10 MTN) was the most senior officer Pfc. Manning's chain of command within the 2nd Brig 1
Chairman of the Joint Chiefs of Staff formerly Admiral Mike McMullen 1
Chairman of the Joint Chiefs of Staff Gen. Martin Dempsey 1
Chairman of the Joint Chiefs of Staff Gen. Martin Dempsey who like the President declared Pfc. Manning guilty before trial 1
Chat Logs 1
Chet Uber 3
Chet Uber sent an email to Special Agent Antonio Patrick Edwards Army Computer Crimes Investigation Command (CCIU) and said he was aware of Adrian Lamo was in contact with an Army intelligence analyst 3
Chief of Staff to the President formerly Rahm Emmanual 1
Chief Warrant Officer 2 Joshua Ehresman Brigade S2 Section 2
Chief Warrant Officer Two (CW2) Joshua Ehresman Brigade S2 Section 6
Chuck Hagel Co-Chair President's Intelligence Advisory Board 5
CIDNE (Combined Information Data Network Exchange) Afghanistan 20
CIDNE (Combined Information Data Network Exchange) Iraq 17
Citation United States v. Thomas Drake precluding harm on the merits 2
Classification and Assignment Board ("C&A Board") 2
Classification and Assignment Board ("C&A Board") which apparently met on a weekly basis to discuss PFC Manning's confinement conditions failed to properly document its recommendations on the requ 1
Classification determinations alone do not satisfy the mens rea requirement of 18 USC 793(e) 1
CLASSIFICATION REVIEW of the ten completed classification reviews provided six were four pages or less in length Of the remaining four classification reviews three were more than 12 pages in length an 1
Classification spillage that the Government alleges occurred in March 2012 with the defense's original motions The Government said that the Defense had committed a spillage by inference namely that on 2
classified Microsoft PowerPoint Presentation on the original 5 July 2010 charge sheet is alleged to have been obtained on SIPRNet which only contains information classified up to SECRET 1
Clause 1 of Article 134 offenses involve disorders and neglects to the prejudice of good order and discipline in the armed forces 4
Clause 2 of Article 134 offenses involve conduct of a nature to bring discredit upon the armed forces 4
Clause 3 offenses involve noncapital crimes or offenses which violate Federal law including law made applicable through the Federal Assimilative Crimes Act see subsection (4) below. If any conduct of 3
Closed Session with "relevant Government agencies" 1
Closed session with "relevant Government agencies" and Special Agent David Shaver 1
Coast Guard Intelligence 1
Col. Carl R. Coffman Jr. Commander of Joint Base Myer and the Special Court Martial Convening Authority 3
Col. Carl R. Coffman Jr. Commander of Joint Base Myer and the Special Court Martial Convening Authority denied the defense's request to conduct oral depositions of nine essential witnesses including f 1
Col. David M. Miller Commander of the Second Brigade Combat Team (2BCT) 10th Mountain Division (10 MTN) 5
Col. David M. Miller Commander of the Second Brigade Combat Team (2BCT) 10th Mountain Division (10 MTN) said in a sworn statement for the Secretary of the Army's 15-6 investigation into unathorized di 1
Col. David M. Miller Commander of the Second Brigade Combat Team 10th Mountain Division also said Master Sergeant Paul David Adkins (now Sergeant First Class due to administrative action) "the NCOIC [ 1
Col. David M. Miller sworn statement then Commander of the 10th Mountain Division's Second Brigade Captain Matthew W. Freeburg also relieved [ A YET UNIDENTIFIED CAPTAIN ] as the company commander for 2
Col. David M. Miller's sworn statement "the officer in charge of PFC Manning" in the S2 Section of the 2nd Brigade 10th Mountain Division Maj. Cliff Clausen the Brigade S2 "was not up to the standard 2
Col. Denise R. Lind is military judge for US v Pfc. Manning 5
Col. Robert G. Oltman former former Security Battalion Commander 4
Col. Robert G. Oltman former former Security Battalion Commander who said "I will not have anything happen to Manning on my watch... So nothing is going to change... He won't be able to hurt himself a 3
Col. Stephen R. Henley asked Lt. Col. Paul Almanza if he was available to be Investigating Officer at US v Pfc. Manning Article 32 2
Colonel Carl R. Coffman Jr. Commander of Joint Base Myer and the Special Court Martial Convening Authority 1
Colonel Daniel J. Choike Quantico Base Commander 3
Colonel Ricky Malone Quantico Brig Forensic Psychiatrist 4
Command Judge Advocate at Quantico who was present in the January 13 2011 secret high level meeting about PFC Manning's confinement status 1
Commanding General of Multinational Force Iraq Raymond Odierno said the State Department collaborated with the the U.S. military and even assumed its mission training of Iraqi Security Forces 1
Common Law of War 1
Company Commander Drewer (sp.) 2
Company Commander Drewer (sp.) who Sergeant (former Specialist) Daniel Padgett testified that he did not talk to concerning the alleged December 2009 incident with Pfc. Manning 2
Computer Fraud and Abuse Act (CFAA) 2
Computer in Bradley Manning's aunt Debra Van Alstyne's house powered on while he was in Iraq unnamed two (2) Army Computer Crimes Investigati 1
Computer in Bradley Manning's [as of 8/22/13 Manning asked to be referred to as Chelsea] aunt Debra Van Alstyne's house powered on while he was in Iraq unnamed two (2) Army Computer Crimes Investigati 1
Cooley a soldier who worked on the night-shift with Sergeant (former Specialist) Daniel Padgett and Pfc. Manning under Captain Barclay Keay the first three weeks of Captain Barclay Keay 's deployment 3
Coombs: Number two...every one of the Government's witnesses was granted. In their request they listed just the names and no basis yet you granted all the witnesses they requested. Defense had 19 page 2
Coombs: Under R.C.M. 902(a) the defense asks that you recuse yourself. R.C.M. 902(a)...just the mere existence of bias' as follows: Number one...your position as a prosecutor for the DOJ a 'career pro 1
Court Reporter 1
Court Reporter Cory Brother (sp.) 1
Court Security Officer 2
Court's denial of the Defense Motion to Dismiss Specifcations 13 and 14 of Charge II based on In this case 1
CW2 Denise Barnes (Former Quantico Base Commander) and one unknown individual whose name was redacted refused to change the decision to require PFC Manning to surrender his clothing and wear a smock a 1
CW2 Denise Barnes decided to require PFC Manning to wear a suicide prevention article of clothing called a "smock" at night 1
CW2 Denise Barnes Former Quantico Brig Commander 4
CW2 Hondo Hack Brigade Fire Section 6
CW2 Joshua Ehresman Brigade S2 Section 1
CW4 James Averhart Former Quantico Brig Commander 10
CW4 James Averhart former Quantico Brig Commander stopped me and said "I am the commander" and that "no one could tell him what to do" He also said that he was for all practical purposes "God" 1
CW5 Abel Galaviz 1
CW5 Abel Galaviz's investigation of the conditions of PFC's Manning's confinement he found that the failure to immediately take PFC Manning off of Suicide Risk status upon the psychiatrist's recommend 1
CYBERCOM 4
DA 5248-R 1
Daniel Meltzer President's Intelligence Advisory Board 5
Danny Clark 3
Darrell Edward Issa U.S. Representative for California's 49th congressional district Chair of the House Committee on Oversight and Government Reform 4
David Appleton former Director of the Office of Counterintelligence and Consular Support 1
David Boren Co-Chair President's Intelligence Advisory Board 3
David Coombs lead civilian defense counsel to Major Ashden Fein lead military prosecutor The Grand Jury investigation started in December of 2010 At that time the Defense requested access to the inves 1
David Coombs lead civilian defense US v Pfc. Manning 16
David Coombs lead civilian defense US v Pfc. Manning "The Government has overcharged to strong-arm a plea from my client" 1
David Coombs lead civilian defense US v Pfc. Manning "We have had a breakdown from Major Clausen S2 all the way down to the most junior officer" 1
DCGS-A (Distributed Common Ground Systems) 4
DD Form 457 3
Debra Van Alstyne Bradley Manning's aunt 1
Debra Van Alstyne Chelsea [formerly Bradley] Manning's aunt 7
Defense discovery requests included FOIA for 2007 Apache Airstrike (Collateral Murder) 1
Defense discusses the Chain of Custody and Control for discovery as it relates to an Interagency investigation 1
Defense Information Systems Agency (DISA) 5
Defense Intelligence Agency (DIA) 18
Defense Intelligence Agency (DIA) An intelligence agency within the Department of Defense (DOD) which operated the Information Review Task Force (IRTF) a DOD (Department of Defense) directed organizat 1
Defense Intelligence Agency (DIA) Final Security Violation Investigation Report 2
Defense Intelligence Agency (DIA) Information Review Task Force (IRTF) damage assessment 8
Defense motioned to close portions of the pretrial for an unnamed reason Coombs: "Defense has argued harm would come to client if certain details were made public" 1
Defense questions for ex parte motions 1
Defense requested that the Government provide among other things the classification determinations by the Original Classification Authorities (OCA) as well as the OCAs' damage assessments. This inform 1
Defense Secretary Robert Gates wrote a letter to Senator Carl Levin Chair of the Armed Services Committee citing findings by the Defense Intelligence Agency's (DIA) Information Review Task Force (IRTF 1
Department of Agriculture 1
Department of Defense (DoD) 5
Department of Defense (DoD) Damage Assessment of Compromised Information 2
Department of Energy's Office of Intelligence and Counterintelligence 1
Department of Homeland Security (DHS) 6
Department of Homeland Security (DHS) damage assessment 2
Department of Homeland Security Office of Intelligence and Analysis 1
Department of Homeland Security Office of Intelligence and Analysis (DHS/I&A) 1
Department of Housing and Urban Development 2
Department of Justice (DoJ) 16
Department of Justice (DoJ) The Government collaborated with the federal prosecutors within the DOJ (Department of Justice) during the accused's [Manning] investigation 1
Department of State (State Department) (DoS and the Diplomatic Security Service (DSS) partnered with the Department of Defense (DoD) and the Federal Bureau of Investigation (FBI) in an joint criminal 1
Department of State (State Department) (DoS) 27
Department of State (State Department) (DoS) 24/7 WikiLeaks Working Group 6
Department of State (State Department) (DoS) briefing of House and Senate on December 2 2010 5
Department of State (State Department) (DoS) briefing of House Permanent Select Committee on Intelligence (HPSC/I) on December 7 and 9 2010 6
Department of State (State Department) (DoS) briefings to Congress 5
Department of State (State Department) (DoS) Cables (cablegate) 20
Department of State (State Department) (DoS) Chiefs of Mission Review 7
Department of State (State Department) (DoS) Circle Log Files 3
Department of State (State Department) (DoS) damage assessment 13
Department of State (State Department) (DoS) did not embark on an effort update its damage assessment after the entire diplomatic database was released in unredacted form in September of 2011 2
Department of State (State Department) (DoS) Executive Secretariat Ambassador Stephen D. Mull 1
Department of State (State Department) (DoS) Firewall Logs 3
Department of State (State Department) (DoS) Firewall Logs for the IP addresses 22.225.41.22 and 22.225.41.40 associated with the Dell .40 and Alienware .22 machines respectively. Show amount of conne 1
Department of State (State Department) (DoS) forensic results 1
Department of State (State Department) (DoS) in Iraq 1
Department of State (State Department) (DoS) investigative file 2
Department of State (State Department) (DoS) Operations Center 1
Department of State (State Department) (DoS) The accused [Manning] is charged with compromising the DOS's documents and the Government intends to use additional information from the Department during 2
Department of State (State Department) (DoS) Web Server Logs 1
Department of State (State Department) (DoS) Web Server Logs for the IP addresses 22.225.41.22 and 22.225.41.40 associated with the Dell .40 and Alienware .22 machines respectively. Shows amount of co 1
Department of State (State Department) (DoS) WikiLeaks Mitigation Team 7
Department of State (State Department) (DoS) WikiLeaks Mitigation Team The list of meeting dates/times [of the WikiLeaks Mitigation Team and the Department of State (State Department) (DoS) is inconsi 1
Department of State (State Department) (DoS) WikiLeaks Persons at Risk Working Group 3
Department of the Army Inspector General (DAIG) 2
Department of the Treasury Office of Intelligence and Analysis 1
Despite a bill of particulars request covering the Government's theories underlying the 18 USC Section 641 specifications the Government refused to articulate its theory of how PFC Manning stole or kn 1
Despite Captain Hocter forensic psychiatrist for the Quantico brig and COL Malone's forensic psychiatrist for the Quantico brig consistent recommendations I remained on POI watch and in MAX custody 2
DIACAP (Department of Defense Information Assurance Certification and Accreditation Process) 2
Diplomatic Securify Service (DSS). The primary law enforcement organization within the Department of State (State Department) (DoS) focused on investigating matters related to the DOS 2
Diplomatic Security (DSS) Agent who interviewed Chelsea [formerly Bradley] Manning's aunt Debra Van Alstyne 2
Diplomatic Security Service (DSS) The Government has turned over limited files from joint investigation with DSS. The discovery provided deals only with the item charged in Specification 14 of Charge 1
Diplomatic Security Services (DSS) at the Department of State (State Department) (DoS) 13
Disc utility log for Manning's MacBook Pro that had entries between February 27 2010 and March 9 2010 2
DOD Directive 5200.1 1
DOD Directive 5210.50 1
DOD Instruction 5240.4 1
DOJ (Department of Justice) The Government collaborated with the federal prosecutors within the DOJ during the accused's investigation 2
Drug Enforcement Administration Office of National Security Intelligence (ONSI) 1
DS Channel (for messages between the Assistant Secretary and/or Deputy Assistant Secretaries of Diplomatic Security other authorized DS personnel and the responsible DS officer concerning criminal and 1
DS-controlled (DSX CHANNEL-- for messages between the Assistant Secretary and/or Deputy Assistant Secretaries of Diplomatic Security other authorized DS personnel and the responsible DS officer concer 1
Duty Brig Supervisor ("DBS") 2
Dynadot 1
Element no. 1 of an Article 92 (1) offense for a violation of AR 380-5 There was in effect a certain lawful general order or regulation in the following terms: Paragraphs 1-21 and 6-1 Army Regulation 4
Element no. 2 of an Article 92 (1) offense for a violation of AR 380-5 (2) The accused had a duty to obey this regulation and 4
Element no. 3 of an Article 92 (1) offense for a violation of AR 380-5 (3) That on divers occasions between on or about [varying date ranges] at or near Contingency Operating Station Hammer Iraq the a 4
Element of Clause 1 of Specification 1 of Charge II charges Under Article 134 (1) The accused at or near Contingency Operating Station Hammer Iraq between on or about 1 November 2009 and on or about 2 4
Element of Clause 2 of Specification 1 of Charge II charges Under Article 134 (2) Under the circumstances the conduct of the accused was to the prejudice of good order and discipline in the armed forc 3
Elements no. 1 of charges under 18 USC 793(e) violations charged in Specifications 2 3 5 7 9 10 11 and 15 of Charge II (1) The accused at or near Contingency Operating Station Hammer Iraq between on o 4
Elements no. 2 of charges under 18 USC 793(e) violations charged in Specifications 2 3 5 7 9 10 11 and 15 of Charge II (2) The information was relating to the national defense to wit: [the named infor 4
Elements no. 3 of charges under 18 USC 793(e) violations charged in Specifications 2 3 5 7 9 10 11 and 15 of Charge II (3) The accused knew or had reason to believe that the information could be used 6
Elements no. 4 of charges under 18 USC 793(e) violations charged in Specifications 2 3 5 7 9 10 11 and 15 of Charge II (4) The accused willfully communicated delivered or transmitted or caused to be c 4
Elements no. 5 of charges under 18 USC 793(e) violations charged in Specifications 2 3 5 7 9 10 11 and 15 of Charge II (5) Under the circumstances the conduct of the accused was to the prejudice of go 4
Ellen Laipson President's Intelligence Advisory Board 5
Email correspondence between then-CPT Fein and the Brig officials demonstrates that the Government was not at all concerned with seeing PFC Manning's confinement conditions reconsidered but was instea 1
email for Brianna Manning" 2
Email that Bradley Manning sent to Master Sergeant Paul David Adkins (now Sergeant 1st Class due to administrative action) with a photo of hi 2
Email that Bradley Manning [as of 8/22/13 Manning asked to be referred to as Chelsea] sent to Master Sergeant Paul David Adkins (now Sergeant 1st Class due to administrative action) with a photo of hi 2
Encase forensic image of each computer from the T-SCIF or seized by the Government 12
Enemy: Entity specified in Bates Number 00410660 through 00410664 1
Environmental Protection Agency (EPA) 1
Eric Schmiedl 3
Eric Stein the transcriber of the WikiLeaks Mitigation Team at the Department of State (State Department) (DoS) 1
Every court interpreting Article 104(2) must prove general criminal intent to give intelligence to or communicate with the enemy indeed no prosecution under this Article has ever been maintained witho 1
EXDIS (For messages needing exclusive distribution to officers with essential need to know. Use this caption only for highly sensitive traffic between the White House the Secretary Deputy or Under Sec 1
Executive Office of Management and Budget (OMB) 2
Farah.zip [Defense mentions this on cross-examination in relation to three videos but it is unclear] 1
Federal Bureau of Investigation (FBI) 23
Federal Bureau of Investigation (FBI) Diplomatic Security Services (DSS) at the Department of State Department of State (State Department) (DoS) Department of Justice (DoJ) Government Agency Office of 1
Federal Bureau of Investigation (FBI) forensic results 1
Federal Bureau of Investigation (FBI) impact statement 6
Federal Bureau of Investigation (FBI) investigative file 8
Federal Bureau of Investigation (FBI) participated in a joint investigation of the accused and even though the Government has ready access to this material 1
Federal Bureau of Investigation (FBI)The primary law enforcement organization within the DoJ (Department of Justice) focused on investigating matters related to the accused [Manning] 2
Federal Communications Commission (FCC) 2
Federal Rule 16 3
Federal Trade Commission (FTC) 3
Files linked to the fraudulent station in the database [Unclear from Reitman or the transcriber's notes what this refers where it was found or what it refers to] 1
files.zip 1
First instance of WGet in March 2010 that Special Agent David Shaver Computer Crimes Investigation Command (CCIU) asserts seemed to be to access the Gitmo detainee assessments. [Transcriber notes the 1
First Lieutenant Elizabeth Fields Special Security Representative (SSR) for the T-SCIF S2 Section 2nd Brigade Combat Team (2 BCT) 10th Mountain Division (10 MTN Div.) 4
Five unnamed people who Special Agent Toni Graham Army CID interviewed faced to face (one of them was Captain Casey Martin (married name Fulton) Platoon leader and Brigade Assistant S2 Officer concern 2
Flight Into Hypermasculinity 3
FOIA Requests Regarding Video in Specification 2 of Charqe II (Collateral Murder) (12 JUL 07 CZ ENGAGEMENT ZONE 30 GC Anyone.avi) 1
For any captioned or otherwise particularly sensitive documents (as explained below to include NODIS [The use of the NODIS caption identifies messages of the highest sensitivity between the President 1
For over a year the Government justified its need for excludable delay to the Convening Authority in part due to the requirement to obtain these Original Classification Authority (OCA) classification 1
Forensic evidence unequivocally established that PFC Manning did not use Wget to obtain the information in Specification 14 of Charge lI 2
forensic imaging of the WikiLeaks website by CCIU 2
FORSCOM 2
Fort Huachuca 5
Four Quantico Guards 4
Four T-SCIF computers that the Government represented would be produced on 18 May 2012 On 16 April the Government stated it was confident that the 4 computer hard drives could be provided by 18 May 20 1
Full investigative files by U.S. Army Criminal Investigation Command (CID) Defense Intelligence Agency (DIA) Defense Information Systems Agency (DISA) CENTCOM SOUTHCOM related to PFC Manning 2
Further a congressional aid who spoke to Reuters and who was also "familiar with the late 2010 briefings" by the State Department said "We were told (the impact of WikiLeaks revelations) was embarrass 2
Games 12
Garani Air Strike Video 13
General Court Martial Convening Authority (GCMCA) 2
General James Jones the President's former National Security Advisor 1
George W. [last name sounds like "Street" Reitman notes the name as George W. Shriek (sp.)] WHO IS THIS? FBI? provided with alleged chat logs between Adrian Lamo and bradass87 on two thumb drives BY W 2
George W. [last name sounds like "Street"] WHO IS THIS? FBI? provided with alleged chat logs between Adrian Lamo and bradass87 on two thumb drives BY WHOM? 1
GEOTRANS an application program which allows a user to easily convert geographic coordinates among a wide variety of coordinate systems map projections and datums 1
Given the fact the OCA determinations are merely probative on the element of the 18 USC 793(e) offense the Defense should be entitled to examine the basis for the OCA determinations as to why the info 1
Google 1
Google Earth 2
Google search records for a Bradley Manning user profile [as of 8/22/13 Manning asked to be referred to as Chelsea] on a NIPRNet computer that included a profile for Bradley Manning 1
Government also presented chats alleging Nathaniel Frank who the Government alleges is Julian Assange offered assistance to Manning in cracking a logon password to allow him to search anonymously on a 1
Government argues that the authorization for installing mIRC and the like [the examples of unauthorized programs installed on computer] came from the Chain of Command and not technical restrictions [n 1
Government cannot assert that this case is overly complex or that it raises novel issues while simultaneously turning a blind eye to the fact that a substantial portion of that complexity and novelty 1
Government Ex Parte RCM 701(g)(2) Motion for a Department of Homeland Security (DHS) document. The motion and its enclosures are being submitted via NIPR in a separate email. Attached to this email is 1
Government MRE 505(g)(2) Motion for Central Intelligence Agency (CIA) (Government Agency) Information. The motion and its enclosures are being submitted via SIPR and hand delivery on Monday 1
Government MRE 505(g)(2) Motion for DOS Information. The motion and its enclosures are being submitted via NIPR in this email. Two of the enclosures are being submitted via NIPR in a separate email 1
Government Notice to the Court for Government MRE 505(g)(2) Motion for Department of State (State Department) (DoS) and Central Intelligence Agency (CIA) (Government Agency) Information which includes 1
Government Notice to the Court for Office of the Director of National Intelligence (ODNI) Information 1
Government placed PFC Manning in administrative hold with escorts on 27 May 2010 and placed PFC Manning in pretrial confinement on 29 May 2010 1
Government responded to all of the Defense request of a Bill of Particular except three items 1
Government Supplemental Filing for MRE 505(g)(2) Filing for FBI Investigative File. The supplement is attached. The classified enclosures are being submitted ex parte via SIPR and hand delivery on Mon 1
Government wanted to delay the trial until 18 May 2012 to decide whether to assert a privilege with respect to any classified information 1
Government was advise that it must provide a Bill of Particulars. Government did with the exception of three. 1
Government's interest in securing a conviction and making an example out of PFC Manning has clouded the prosecutors' professional judgment This is apt to happen in high-profile cases It is no coincide 2
Government's lack of diligence in this case independent of the discovery issues. Among them: The Government has repeatedly requested additional time to complete simple tasks and to respond to straight 1
Grand Jury Testimony or Files 11
graymailing 1
Grid Extractor a binary executable capable of extracting MGRS grids from multiple free text documents and importing them into a Microsoft Excel spreadsheet 1
Guantanamo Detainee Profiles (GTMO files) 15
Guantanamo Detainee Profiles (GTMO files) are marked SECRET 1
Gunnery Sergeant Blenis at Quantico 1
H.R. 553 The Reducing Over-Classification Act President Barack Obama 7 October 2010 1
Headquarters Battalion Commander "the first accuser" and convening authority 1
Headquarters Department of the Army (HQDA) 6
Headquarters Department of the Army (HQDA) 17 April 2012 memo 5
House Committee on Oversight and Government Reform 4
House Permanent Select Committee on Intelligence (HPSC/I) 1
How many links in the chain of "indirectly" could render the soldier subject to the death penalty? 1
Howard Schmidt a former Tiversa adviser is cybersecurity coordinator and special assistant to U.S. President Barack Obama 1
Human Health Services (HHS) 1
I asked the Brig Operations Officer MSG (Marines Security Guard) Papakie what I needed to do in order to be downgraded from Maximum Custody and POI Status MSG (Marines Security Guard) Papakie Brig Ope 1
I walked towards the front of my cell with my hands covering my genitals The guard told me to stand a parade rest which required me to stand with my hands behind my back and my legs spaced shoulder wi 1
I was approached by GYSGT (Gunnery Sergeant) Blenis He asked me what I had done wrong I told him that I did not know what he was talking about He said that I would be stripped naked at night due to so 1
Iceland 1
Images of the raw structure of files in the Farah investigation folder on the CENTCOM servers related found from a specific path to that folder found in the index.dat on the Alienware .22. Shaver said 1
Immigration and Customs Enforcement (ICE) 2
In addition to going toward a key element of three separate offenses the Defense maintains that the absence of damage is relevant for the impeachment of Government witnesses who claim that the leaks c 2
In an email to Master Sergeant (now Sergeant 1st class due to an administrative action) Adkins Pfc. Manning wrote: "This is my problem. I've had signs of it for a very long time. I've been trying very 1
In mid-June 2012 the Government notified the Defense that it had "discovered" an Federal Bureau of Investigation (FBI) impact statement 1
In Re Application of the USA For an Order Pursuant to 18 USC § 2703(d) for Twitter 1
In the allocated space on the Alienware .22 computer Wget was found to be added on 4 May 2010 but Special Agent David Shaver Computer Crimes Investigation Command (CCIU) testified that he found an ear 1
In the allocated spaces on the Alienware .22 computer under Bradley Manning's [as of 8/22/13 Manning asked to be referred to as Chelsea] user profile 1
In the unallocated spaces of the Alienware .22 "thousands" of complete cables ranging in classification and "many" incomplete ones 1
In total from the commencement of PFC Manning's pretrial confinement until PFC Manning's arraignment on 23 February 2012 there were 323 days in which no apparent Government activity has occurred 1
incident at Fort Drum in May 2009 between Specialist Jihrleah Showman and Bradley Manning 3
Incident with Pfc. Manning curled in the fetal position on the floor the night Pfc. Manning allegedly struck Specialist Jihrleah Showman 2
Incident with Sergeant (former Specialist) Daniel Padgett December 2009 9
Incident with Specialist Jihrleah Showman May 7 2010 6
Incident with the Master Sergeant Paul David Adkins (now Sergeant 1st Class due to administrative action) and a projector in December 2009 or January 2010 2
Information Review Task Force (IRTF) 15
INR provides support to the Bureau of Consular Affairs and participates in drafting the U.S. Intelligence Communities' assessments and analyses including the President's Daily Briefing 1
Intelink 3
Intelink Log Files 4
Intelink Logs Forensic Report (Classified Attachment) 3
Intelink logs from October 2009 to May 2010 1
Intelink search queries associated with the IP address 22.225.41.22 between 9 January 2010 and 21 April 2010 1
Intelink search queries associated with the IP address 22.225.41.40 between 1 December 2009 and 08 March 2010. Special Agent David Shaver Computer Crimes Investigation Command (CCIU) asserts these con 1
Intelink search queries eight (8) searches for information related to "retention of interrogation video". These were associated with the IP address 22.225.41.40 between 28 November 09 and 17 January 2 1
Intelligence Community (IC) 2
Interagency Committee Review 5
Iraq War Diary 1
It was determined that for search warrants and special warrants needed from a Federal judge. Special Agent Mark Mander Army Computer Crime Investigative Unit (CCIU) mentions Google and Twitter conus l 2
It was the government's decision to conduct this Article 32 investigation at Fort Meade 1
Jacob Appelbaum 1
Jacob Appelbaum Google 1
Jacob Appelbaum Sonic 1
Jacob Appelbaum Twitter 1
Jacob Lew former Director of the Executive Office of Management and Budget (OMB) 2
Jacob Lew former Director of the Executive Office of Management and Budget (OMB) 28 November 2010 "WikiLeaks Mishandling of Classified Information" 1
James Clapper Director of the Office of National Intelligence (ODNI) 2
James Culky 4th Cavalry Division Brigade S2 is the Official Classification Authority for classification review of the unclassified July 12 2007 Baghdad airstrike videos also known as "Collateral Murde 5
Jason Allen Milliman a field software engineer contractor's civilian boss 2
Jason Allen Milliman was a field software engineer contractor at F.O.B. Hammer Iraq. His jobs was to keep the DCGS-A up and running 7
Jason Allen Milliman was the only one in the T-SCIF with administrator privileges 2
Jason Katz 4
Joint Readiness Training Center (JRTC) 5
Joint Regional Correctional Facility Fort Leavenworth Kansas 1
JTF-GTMO 2
Juan Mendez UN Special Rapporteur on Torture 4
Judge Lind acknowledges that the order proposing that the Court Security Officer is [not signed]. [I have in my notes that this individual is "EB". I also have in my notes that the defense mentions th 1
Judge Lind cited the following case law in her ruling. Rule 401. Scope of probative evidence in military commissions Rule 403. Exclusion of probative evidence on grounds of prejudice confusion or wast 1
Judge Lind: This case deals with classified info. There are over three million pages of documentation in this case. Has the classified information been disclosed to Defense? 1
Judith Miscik President's Intelligence Advisory Board 5
Julian Assange 11
JWICS Joint Worldwide Intelligence Communications System) 1
Kay Gotoh took over for Marguerite Coffey former State Department director of the Office of Management Policy Right Sizing and Innovation who also acted as the supervisor of the WikiLeaks Mitigation T 1
Kevin Poulsen 1
Kim Zetter 1
Lance who dealt mostly with HQ 2
Lee Hamilton President's Intelligence Advisory Board 5
Leon Panetta former director of the Central Intelligence Agency (CIA) current Secretary of Defense at the Department of Defense 3
Lester Lyles President's Intelligence Advisory Board 5
Linux work computer seized from Jason Katz at Brookhaven National Labs at the Department of Energy 1
List of 2703d orders under seal for Docket No. 10GJ379 1
Lt. Col. Brian Kerns Executive Officer (XO) 2nd Brigade Combat Team 10th Mountain Division 2
Lt. Col. Brian Kerns Executive Officer (XO) 2nd Brigade Combat Team 10th Mountain Division was Major Cliff Clausen's direct supervisor 1
Lt. Col. Cameron Leiker Headquarters Battalion Commander 1
Lt. Col. Dawn Hilton Commander Joint Regional Correctional Facility at Fort Leavenworth 5
Lt. Col. Eric Fleming Headquarters Command Battalion 2
Lt. Col. Mark Holzer was Lt. Col. Paul Almanza Article 32 Investigating Officer legal advisor 1
Lt. Col. Paul Almanza Article 32 Investigating Officer 22
Lt. Col. Paul Almanza Investigating Officer at the Article 32 Pretrial Hearing ruled on damage assessment and closely aligned organizations: Central Intelligence Agency (CIA) The "evidence is not reas 1
Lt. Col. Paul Almanza Investigating Officer at the Article 32 Pretrial Hearing ruled: Quantico Video: The "evidence is not relevant to the form of the charges the truth of the charges or information a 2
Lt. Col. Paul Almanza's unnamed supervisor at the DoJ with whom he spoke to about the case Coombs: Discussed this information with anyone [referring to pretrial hearing]? IO:...supervisor 1
Lt. Gaff (sp.) 2
Lt. General George J. Flynn 3 Star General who ordered that Manning be held in MAX and in POI at Quantico Director Director J-7 Joint Staff 2
Lt. General Robert E. Schmidle Deputy Commander US CYBERCOM 6
Lt. General Robert L. Caslen 6
Lt. Hughs at Fort Meade MD guarding the proceedings of US v Pfc. Manning 1
Major Ashden Fein lead military prosecutor in US v Pfc. Manning 15
Major Ashden Fein lead military prosecutor in US v Pfc. Manning "Pfc. Manning knew that the enemies of the United States were using the Internet and that they could access WikiLeaks" 1
Major Ashden Fein lead military prosecutor in US v Pfc. Manning "Pfc. Manning used WikiLeaks' 'most wanted list' as a guiding light" 1
Major Ashden Fein lead military prosecutor in US v Pfc. Manning: "By searching for WikiLeaks Manning found info on how transmitting classified information to WikiLeaks could do harm. Known terrorist e 1
Major Ashden Fein lead military prosecutor in US v Pfc. Manning: "On 22 May 2010 1
Major Ashden Fein's letter to the General Counsel of the Office of the National Counter Intelligence Executive (ONCIX) 2
Major Cliff Clausen Brigade S2 12
Major Cliff Clausen sworn statement Major Clausen does not recall talking to the former YET UNIDENTIFIED CAPTAIN ] and company commander of HHC/2BCT 10 MTN Div. about PFC Manning's behavioral health i 1
Major Cliff Clausen was the Brigade S2 2nd Brigade Combat Team 10th Mountain Division until January 2010 and provided a sworn statement for the Secretary of the Army's 15-6 investigation into the alle 1
Major Cliff Clausen who Captain Steven Lim 2nd Brigade Military Intelligence (MI) Company Commander Brigade S2 replaced when Major Cliff Clausen was removed because according to Captain Steven Lim 2nd 3
Major Gen. Michael S. Linnington Commander of Joint Task Force - National Capital Region the General Court Martial Convening Authority 2
Major Matthew Kemkes former military defense counsel for Pfc. Manning asserted at the Article 32 Pretrial hearing that SA Graham's Army CID 29 May 2010 affidavit was a "major piece of documentation" a 1
Major Matthew Kemkes military defense US v Pfc. Manning 12
Major Thomas Hurley military defense US v Pfc. Manning 3
Manning's brigade and division 2nd Brigade Combat Team 10th Mountain Division partnered with two Iraqi Security Divisions 1
ManTech International 4
Manual for Military Commissions (MMC) 1
March 14 at 7:35pm Government says we notified civilian counsel that we dropped a CD with 12 Pages of discovery that refers to impeachment information that questions credibility of witness] on Adrian 1
March 2010 did you know about an equal employment complaint that according to Captain Steven Lim 2nd Brigade Military Intelligence (MI) Company Commander Brigade S2 involved intense threats 2
Marguerite Coffey former Department of State (State Department) (DoS) director of the Office of Management Policy Right Sizing and Innovation who also acted as the supervisor of the WikiLeaks Mitigati 1
Marguerite Coffey former State Department director of the Office of Management Policy Right Sizing and Innovation who also acted as the supervisor of the WikiLeaks Mitigation Team 1
Marine Corps Intelligence 1
Marine Security Guard Papakie at Quantico Brig Operations Officer 1
Mark Johnson ManTech International Contractor reports to Special Agent David Shaver Army Computer Crimes Investigative Unit (CCIU) 2
Mark Rasch 1
Master Sergeant Brian Paki (sp.) 1
Master Sergeant Paul David Adkins (now Sergeant 1st Class due to administrative action) 17
Master Sergeant Paul David Adkins (now Sergeant 1st Class due to administrative action) wrote three memoranda Memorandum One: "Pfc. Manning's instability heightened in 2009." Psychiatric care one to t 1
McGrath is also the Department of State's primary liaison to the National Counterterrorism Center where Russel Travers was Deputy Director in charge of the NCTC's "authoritative database supporting th 1
Military Commissions Act 1
Military Judges Bench Book 1
Millennium Challenge Corporation 2
mIRC 10
Model Specification 1
Mona Sutphen President's Intelligence Advisory Board 5
Motion for the Investigating Officer Lt. Col. Paul Almanza to Recuse himself 1
Movies 10
MP Bradley at the Security Officers desk during the Article 32 Pretrial Hearings of US v Pfc. Manning 1
Mr. Betts US Cyber Command Chief Classification Officer made a classification determination for "the alleged chat logs" and the information contained therein 7
Music 11
National Archives 4
National Counterterrorism Center 1
National Counterterrorism Center (NCTC) 1
National Geospatial-Intelligence Agency 1
National Reconnaissance Office 1
National Security Agency (NSA) 2
National Security Council 2
National Security Council Insider Threat Task Force 1
National Security Staff (NSS) Steering committee 1
Neil MacBride U.S. Attorney for the Eastern District of Virginia 3
Net Centric Diplomacy Database 17
New York Times 1
NIPRNet computer from the Supply Room at FOB Hammer Iraq 2
NIPRNet computer that included a profile for Bradley Manning [as of 8/22/13 Manning asked to be referred to as Chelsea] 1
NODIS (The use of the NODIS caption identifies messages of the highest sensitivity between the President the Secretary of State and chief of mission. You must not distribute NODIS messages to anyone o 1
Non Disclosure Agreement 9
Note that this determination about unsworn statements of Official Classification Authority (OCAs) by the Investigating Officer Lt. Col. Paul Almanza formed one of four bases for the Defense's Motion f 1
OCA CLASSIFICATION REVIEW Additionally on 17 November 2011 the Government provided the Defense with the four-page GTMO classification review completed on 4 November 2011. Finally the Defense was provi 1
OCA CLASSIFICATION REVIEW Beginning on 24 October 2011 the long-awaited OCA classification reviews began to trickle in. The Government provided the Defense with the Defense Information Systems Agency 1
OCA CLASSIFICATION REVIEW The Government also provided a 28-page Central Intelligence Agency (CIA) (Government Agency) classification review to the Defense on 4 November 2011 Central Intelligence Agen 1
OCA CLASSIFICATION REVIEW The Government provided a few more classification reviews to the Defense on 8 November 2011. This round of disclosure included a three-page CENTCOM PowerPoint classification 1
OCA CLASSIFICATION REVIEW The Government provided the three-page Apache Video classification review which was completed on 26 August 2010 to the Defense on 4 November 2011. The Defense received no exp 1
OCA testimony went to the heart of one of the elements of the charged offenses 1
Offense 26 of the Military Commissions Act 2
Office of Counterintelligence and Consular Support in the Bureau of Intelligence and Research at the Department of State (State Department) (DoS) 2
Office of Naval Intelligence 1
Office of the Director of National Intelligence (ODNI) 17
Office of the Director of National Intelligence (ODNI) CENTAUR Logs (NetFlow Logs) 3
Office of the Director of National Intelligence (ODNI) Classification Review 1
Office of the Director of National Intelligence (ODNI) Keyword Search Logs 2
Office of the Director of National Intelligence (ODNI) The Government intends to use information from this Department during its case-in-chief 2
Office of the National Counterintelligence Executive (ONCIX) 18
Office of the National Counterintelligence Executive (ONCIX) damage assessment 7
Office of the National Counterintelligence Executive (ONCIX) The Court found in its ruling that ONCIX was a closely aligned agency 2
On 10 December 2010 Capt. Hocter forensic psychiatrist for the Quantico brig recommended that I remain under POI watch for one week the following week he once again recommended to CW4 James Averhart t 1
on 13 September 2012 the Government responded 66 days after request saying "The Quantico video [Referenced in Bates Number 00042936] does not exists 1
on 15 March 2012 Article 39(a) Session Judge Lind recited a synopsis of the RCM 802 conference: When the Government spoke about Brady search the Government said they had not found any Brady material e 1
On 16 April 2012 then-CPT Fein sent an email to Mr. Coombs explaining that of the 14 hard drives referenced in the Defense's 21 September 2011 Discovery Request and the Court's 23 March 2012 ruling on 2
On 16 January 2012 the Defense filed another Request for Oral Deposition naming two additional Original Classification Authority (OCAs) 1
On 16 November 2011 the Govemment notified the Defense and the Article 32 Investigating Officer (IO) that the Special Court-Martial Convening Authority (SPCMA) had ordered the restart of the Article 3 1
On 18 January 2011 over the recommendation of Capt. Hocter forensic psychiatrist for the Quantico brig and the defense psychiatrist Capt. Brian Moore former Quantico Brig Commander CW4 Averhart placed 1
On 2 December 2011 the Defense submitted its witness list to the Article 32 Investigating Officer naming the seven Original Classification Authority OCAs' as witnesses and explaining in detail the rel 2
On 20 May 2009 [ NOTE DATE. SAME TIME video" folder BE22PAX.zip created] a large number of files were downloaded and compressed into a .zip file. These included .jpg images of presentations and docume 1
on 22 March 2012 statement to the Court the Government stated "the United States is concurrently working with other Federal Organizations which we have a good faith basis to believe may possess damage 1
On 23 March 2012 the Court granted the Defense Motion to Compel Discovery in part with regard to the 14 hard drives from the Tactical Sensitive Compartmented Information Facility (T-SCIF) and the Tact 2
On 24 May 2012 MAJ Fein wrote to the General Counsel at Office of the National Counterintelligence Executive (ONCIX) 1
On 29 July 2011 the Government sent out a memo to Headquarters Department of the Army requesting it to task Principal Officials to search for and preserve any discoverable information 1
On 8 June 2012 the Government provided Defense with oral notification of the existence of the DHS damage assessment 1
on April 19 2011 a day before Bradley Manning's unexpected transfer to Fort Leavenworth defense reported finding out about a January 13 2011 secret high-level meeting and suspected their knowledge of 1
On April 24 2012 the Government produced the Department of State damage assessment for in camera review 1
On August 6 2010 one of these mental health professionals determined that PFC Manning was no longer a suicide risk 1
On December 10 2010 Capt. Hocter forensic psychiatrist for the Quantico brig recommended that I remain under POI watch for one week the following week he once again recommended to CW4 James Averhart t 1
On January 13 2011 secret meeting involving high-level Quantico officials where it was ordered that PFC Manning would remain in maximum custody and under prevention of injury watch indefinitely 2
on January 19 2011 Defense had filed the original Article 138 request one day after Manning was placed under "suicide risk" which resulted in his remaining in his cell for 24 hours a day and being str 2
on June 10 2010 the hard drives arrived in DC from Iraq via Kuwait 1
On June 11 2010 the State Department admitted publicly that the Diplomatic Security Service was conducting a damage assessment 1
on March 2 2011 PFC Bradley Manning then confined under Maximum custody and Prevention of Injury Watch (POI) at Quantico where he had been since July 29 2010 was told that his Article 138 request to b 1
On May 31 2012 the Government provided notice to the Court and the Defense that ONCIX had a draft damage assessment Along with the Government's notice it provided a copy of its 24 May 2012 letter to O 1
on November 21 1
on November 22 2011 defense also filed the following request for the production of evidence of the Quantico video of Manning being stripped and interrogated 2
Open Source Center Logs 1
Original Classification Authority (OCA) 12
Other unspecified log files that Special Agent David Shaver Computer Crimes Investigation Command (CCIU) said hundreds of thousands of other files being downloaded at the same time 1
P.J. Crowley former spokesperson for the Department of State (State Department) (DoS) 1
Package of Bradley Manning's personal belongings from Camp Arifjan sent to his aunt Debra Van Alstyne 1
Package of Bradley Manning's [as of 8/22/13 Manning asked to be referred to as Chelsea] personal belongings from Camp Arifjan sent to his aunt Debra Van Alstyne 1
partment of State (State Department) (DoS) briefing of House and Senate on December 2 2010 1
Patricia Williams 1
Patrick Kennedy Undersecretary for Management at the Department of State 12
Patrick Kennedy Undersecretary for Management at the Department of State briefed Congress in late November and early December of 2010 about WikiLeaks 1
Patrick Kennedy Undersecretary for Management at the Department of State testimony before Senate Committee on Homeland Security and Governmental Affairs in March of 2011 1
Paul Kaminski President's Intelligence Advisory Board 5
PFC Manning had full authority to access the government computer(s) at issue and at no time did he obtain or alter information that he was not entitled to obtain or alter 1
PFC Manning's cellular telephone 2
PFC Manning's RCM 707 speedy trial rights have been violated 1
Pfc. Manning allegedly signed seven Non Disclosure Agreements (NDAs) 1
Philip Zelikow President's Intelligence Advisory Board 4
PJ Crowley former spokesperson for the Department of State (State Department) (DoS) 1
Plea and Forum 6
Portion of the Excel spreadsheet display of the CENTAUR log data for the Alienware .22 or Dell .40 machines connections to the CENTCOM CIDNE database in Tampa FL 1
Portion of the Excel spreadsheet display of the CENTAUR log data for the Alienware .22 or Dell .40 machines connections to the SOUTHCOM GTMO server 1
Portion of the Excel spreadsheet displayed in Court of the CENTAUR log data for the Alienware .22 or Dell .40 machines connections to the Department of State (State Department) (DoS) NetCentric databa 1
President Barack Obama 3
President Barack Obama 21 January 2009 FOIA and Transparency and Open Government memoranda 1
President Barack Obama 29 December 2009 Executive Order 13526 1
President Barack Obama 8 December 2009 Open Government Directive (OGD) 1
President Barack Obama Reducing Over-Classification Act on 7 October 2010 1
President Barack Obama statements about CIDNE (Combined Information Data Network Exchange) Afghanistan 1
President Obama issued Executive Order (EO) 13587 "Structural Reforms to Improve the Security of Classified Networks and the Responsible Sharing and Safeguarding of Classified Information" on 7 Octobe 1
President's Chief of Staff formerly William Daley 1
President's Chief of Staff Jacob Lew 1
President's Daily Brief (PDB) 1
President's Intelligence Advisory Board 4
President's National Security Advisor Thomas E. Donilon 1
President's National Security Council's Interagency Process (IAP) 1
Primary lead for WikiLeaks investigation was Camp Liberty Army Criminal Investigation Command (CID) and the Department of State (State Department) (DoS). Then the Federal Bureau of Investigation (FBI) 2
Prosecution's notice to the Court of the computer forensics regarding the programs and the music and the videos that was not authorized on the Government computer 1
Protective Order 4
Quantico base commander 1
Quantico Brig Commander Chief Warrant Officer Denise Barnes 1
Quantico Brig Commander Chief Warrant Officer Denise Barnes used my sarcastic comment as justification to increase the restrictions imposed upon me under the guise of being concerned that I was a suic 1
Quantico Brig Incident Report on 13 March 2011 1
Quantico Duty Brig Supervisor on 13 March 2011 1
Quantico suicide prevention blanket 3
Quantico suicide prevention mattress 3
Quantico suicide prevention smock 3
Quantico Video Referenced in Bates Number 00042936 1
Ray Mabus Secretary of the Navy 4
Raymond G. McGrath director of the Office of Counterintelligence and Consular Support in the Bureau of Intelligence and Research at the Department of State (State Department) (DoS) 4
Raymond Odierno Commanding General of Multinational Force Iraq 1
Rear Admiral David B. Woods Commander Joint Task Force Guantanamo (JTF GTMO) 7
Rear Admiral Kevin Donegan Director of Operations USCENTCOM conducted classification reviews of two PowerPoint (PPT) presentations relate to Farah Province Afghanistan and Specification 10 of Charge I 6
REDACTED 4 August 2010 the Convening Authority ***Redacted*** ***Redacted*** appointed Lt. Col. Paul Almanza Article 32 Investigating Officer as the new Investigating Officer The Convening Authority u 1
REDACTED 4 Witnesses requested by Defense for the Motion to Dismiss all Charges and Specifications with Prejudice for Lack of a Speedy Trial 1
REDACTED Article 32 Investigating Officer Lt. Col. Paul Almanza determined that the testimony of six of the seven Original Classification Authority (OCAs) was "relevant" but that the significance of t 1
REDACTED As the Govemment acknowledges two of the requested OCAs Robert E. Schmidle Deputy Commander US CYBERCOM and Mr. Betts Chief Classification Officer US CYBERCOM were stationed at Fort Meade Mar 3
REDACTED As was explained by REDACTED the forensic psychiatrist for the Quantico Brig the "[s]uicide precautions and POI [imposed upon PFC Manning while he was at the Brig] were excessive and were mak 1
REDACTED Central Intelligence Agency: Any report completed by the Wikileaks Task Force (WTF) and any report generated by the WTF under the direction of LEON PANETTA DIRECTOR OF THE CIA 1
REDACTED Col. Robert G. Oltman former former Security Battalion Commander was obviously simply relying an order from ***Redacted*** the ***Redacted******Redacted******Redacted*** at Quantico 1
REDACTED Commander's WHAT IS THIS? needs 1
REDACTED Computer assigned IP address XXXXXXXXXX WHAT IS THIS? IS THIS PETER BIGELOW'S PERSONAL LAPTOP? (Special Agent Alfred Williamson CCIU ) 2
REDACTED Defense Computer Forensic Expert 2
REDACTED Department of Defense: The damage assessment completed by the IRTF and any report generated by the IRTF under the guidance and direction of RONALD L. BURGESS FORMER DIRECTOR OF THE DEFENSE IN 1
REDACTED Each of the OCAs is either a General Officer or a high ranking civilian employee with the exception of [the General Officer is James Culky (sp.) 4th Cavalry Division Brigade S2 is the Officia 1
REDACTED evidence cited by Defense which seems to argue that the conduct alleged in all Specs 4 5 6 7 occurred on the same day Additionally the disclosures of the Combined Information Data Network Exc 1
REDACTED evidence cited though the Government alleges different date ranges for Farah records and Garani video Specification 10 and 11 these two disclosures in reality the classified records and the v 2
REDACTED FBI case file number XXXXXXXXXX [WHAT IS THIS NUMBER?] any other collateral investigations by the [Federal Bureau of Investigation] FBI related to this case at least two weeks prior to the st 2
REDACTED Finally and most egregiously Col. Robert G. Oltman former former Security Battalion Commander and senior rater of the ***Redacted*** indicated at a 13 January 2011 meeting that there would be 1
REDACTED In December 2010 XXXXXXXXXX and XXXXXXXXXXX announced that there was an ongoing joint investigation by the Department of Defense (DOD) Department of State (State Department) (DoS) Department 1
REDACTED In the 19 January 2011 discovery request the Defense requested that the Government preserve the Quantico confinement facility video tape of MANNING'S INTERROGATION BY FOUR GUARDS. This video 2
REDACTED individual who Sergeant (former Specialist) Daniel Padgett said in a sworn affidavit should have been counseling Pfc. Manning 2
REDACTED Lt. Col. Paul Almanza Investigating Officer at the Article 32 Pretrial Hearing ruled on damage assessment and closely aligned organizations: Department of Justice: The "evidence is not reason 1
REDACTED Lt. Col. Paul Almanza Investigating Officer at the Article 32 Pretrial Hearing ruled on damage assessment and closely aligned organizations: Department of State (State Department) (DoS): The 1
REDACTED Lt. Col. Paul Almanza Investigating Officer at the Article 32 Pretrial Hearing ruled on damage assessment and closely aligned organizations: The "evidence is not relevant to the form of the c 1
REDACTED Lt. Col. Paul Almanza Investigating Officer at the Article 32 Pretrial Hearing ruled: EnCase Forensic Imases: The "evidence is relevant as it could help establish that it was common for soldi 1
REDACTED On 14 March 2011 almost two weeks after the suspense date set forth in the Convening Authority's 3 February 2011 order to resume conducting the RCM 706 board *** ***Redacted*** ***Redacted*** 1
REDACTED On 15 April 2011 the day before the extended suspense date for the completion of the RCM 706 Board's evaluation ***Redacted*** on behalf of the Board requested yet another delay in the suspen 1
Redacted person with whom Sergeant (former Specialist) Daniel Padgett worked on the night-shift with in addition to then Pfc. Manning 1
REDACTED PFC Manning filed numerous complaints about his pretrial confinement and requests to have his confinement conditions reconsidered - a complaint with the ***Redacted******Redacted*** A DD Form 1
REDACTED The ***Redacted*** ***Redacted******Redacted*** approved of the Duty Brig Supervisor's Maximum (MAX) custody determination and also decided that PFC Manning should be placed under special han 1
REDACTED The Defense requested a copy of the video of PFC Manning being ordered to surrender his clothing at the direction of CW4 JAMES AVERHART FORMER QUANTICO BRIG COMMANDER and the subsequent inter 1
REDACTED The Defense requested a copy of the video of PFC Manning being ordered to surrender his clothing at the direction of CWO4 JAMES AVERHART FORMER QUANTICO BRIG COMMANDER and the subsequent inte 1
REDACTED The Department of Defense (DOD) reached out for assistance from the Department of State (State Department) Federal Bureau of Investigation (FBI) Defense Intelligence Agency (DIA) Office of th 1
REDACTED The Department of State (State Department) (DoS) formed a task force of over 120 individuals to review each released diplomatic cable. The task force conducted a damage assessment of the leak 1
REDACTED The DOJ has conducted a very public investigation of WikiLeaks as referenced by XXXXXXXXXX The Defense requested any grand jury testimony and any information relating to any 18 USC 2703(d) or 1
REDACTED The Government acknowledges that the FBI in this case participated in a joint investigation of the accused. It also acknowledses that the DOJ is closely aligned in that XXXXX (long redaction) 1
REDACTED The Government produced the Quantico video of PFC Manning being ordered to surrender his clothing but not the video of the subsequent interrogation by CW4 James Averhart Quantico Brig Command 2
REDACTED The Government produced the Quantico video of PFC Manning being ordered to surrender his clothing but not the video of the subsequent interrogation by CWO4 James Averhart Quantico Brig Comman 1
REDACTED Three civilian Original Classification Authority (OCAs) one of them is Mr. Betts US CYBERCOM Chief Classification Officer classification determination for "the alleged chat logs" Ambassador P 1
REDACTED Three Original Classification Authority (OCAs) the Government refused to provide the contact info for are Ambassador Patrick Kennedy Undersecretary for Management at the Department of State R 1
REDACTED Two individuals (2) who Sergeant (former Specialist) Daniel Padgett said in his sworn affidavit gave permission to handle disciplinary actions for PFC Manning 2
REDACTED Unknown Army CCIU Agent No. 7 on 2 December 2011 Defense Request for Article 32 Witnesses XXXXXXXXXX [WHO IS THIS?] is one of the agents that worked extensively on this case for CCIU to inclu 1
REDACTED Unknown Diplomatic Security Services (DSS) at the Department of State (State Department) (DoS) Agent No. 8 on 2 December 2011 Defense Request for Article 32 Witnesses XXXXXXXXXX [ WHO IS THIS 1
REDACTED With the exception of James Culky 4th Cavalry Division Brigade S2 is the Official Classification Authority for classification review of the unclassified July 12 2007 Baghdad airstrike videos 1
relating to the national defense 3
Rena Bitter director of the Operations Center (S/ES-O) at the Department of State (State Department) (DoS) 1
Representative of the United States of American to the United Nations Susan Rice 1
Reykjavik 13 8
Richard Danzig President's Intelligence Advisory Board 5
Rita Hauser President's Intelligence Advisory Board 5
Robert Gates Former Secretary of Defense 8
Robert Gibbs White House Press Secretary 1
Robert Rowland 6
Roel Campos President's Intelligence Advisory Board 5
Rogers Channel (Use ROGER CHANNEL for communications between the Assistant Secretary for Intelligence and Research (INR) and the chief of mission See US Department of State (State Department) (DoS) Fo 1
Ronald L. Burgess former director of the Defense Intelligence Agency 1
Rop Gonggrijp 1
Rop Gonggrijp Twitter 1
Russell Travers National Security Staff Senior Advisor for Information Access and Security 7
Sadler (sp.) 1
SD card allegedly obtained during the second search of Debra Van Alstyne Pfc. Manning's aunt home after having allegedly been shipped from Iraq in October 2010 1
SD card collected from Pfc. Manning's Debra Van Alstyne home apparently sent from Iraq 2
Secretary of Energy Steven Chu 1
Secretary of Homeland Security Janet Napolitano 1
Secretary of State Hillary Clinton 5
Secretary of State Hillary Clinton attended the Organization for Security and Cooperation in Europe (OSCE) which was the main focus the 24/7 WikiLeaks Working Group namely staying ahead of the news cy 2
Secretary of the Army John McHugh 3
Secretary of the Army's 15-6 investigation 5
Section 3 "type files" 1
Senator Carl Levin Chair of the Senate Armed Services Committee 1
Sergeant (former Specialist) Daniel Padgett 12
Sergeant (former Specialist) Daniel Padgett testified that he was never Pfc. Manning's direct supervisor although he was Pfc. Manning's supervisor on the night-shift and that he was not in Pfc. Mannin 8
Sergeant Chad Madaras 4
Sergeant Chad Madaras and Bradley Manning were opposite shifts until late in deployment when they switched and Manning worked the day and Madaras at night. They both worked on the "Shia Threat" They s 3
Sergeant Chad Madaras met Bradley Manning at Fort Drum in 2008 3
Sergeant Chad Madaras recounts how Warrant Officer One (WO1) Kyle Balonek and Master Sergeant Paul David Adkins (now Sergeant 1st Class due to administrative action) called Bradley Manning's name tryi 3
Sergeant Chad Madaras thought mIRC was mission critical 3
Sergeant Chad Madaras was with Bradley Manning at Joint Readiness Training Center (JRTC) 3
Sergeant First Class Brian Madrid Platoon Sergeant Fort Huachuca 3
SF312 2
SGT (former Specialist) Lorena Cooley 1
SGT (former Specialist) Sheri Walsh 1
SID/CCF [Security Investigations Division/ Central Clearance Facility] 1
Since 2 March 2011 I have been stripped of all my clothing at night I have been told that the PCF Commander Chief Warrant Officer Denise Barnes intends on continuing this practice indefinitely 1
So the Government is saying that there are 250000 pages in its possession custody and control that relate to the accused Wikileaks and/or the damage occasioned by the leaks that it has not produced to 1
Something the defense describes as a Farah file in the unallocated space but it is not mentioned by either Reitman or transcriber at any other time. Nor is it clear on which computer (either the Dell 1
Sonic 1
SOUTHCOM 12
Spear fishing 2
Special Agent Aims Army Computer Crimes Investigation Command (CCIU) acting Operations Officer and Special Agent Mark Mander's supervisor 2
Special Agent Alfred Williamson CCIU 2
Special Agent Antonio Patrick Edwards Army Computer Crimes Investigation Command (CCIU) 5
Special Agent Antonio Patrick Edwards Army Computer Crimes Investigation Command (CCIU) testified that Adrian Lamo was a confidential informant for the Army Criminal Investigation Command (CID) beginn 1
Special Agent Antonio Patrick Edwards Army Computer Crimes Investigation Command (CCIU) testified that his first contact with Adrian Lamo was on 25 May 2010 when Uber connected Edwards to Lamo" Edward 3
Special Agent Antonio Patrick Edwards CCIU testified that Adrian Lamo was a confidential informant for the Army Criminal Investigation Command beginning in the "latter part of July 2010" until August 3
Special Agent Antonio Patrick Edwards CCIU testified that he attempted to interview Danny Clark between 18 and 23 June 2010 but that he did not interview Clark because Clark invoked his right to couns 2
Special Agent Antonio Patrick Edwards CCIU testified that he had knowledge that Danny Clark communicated with Adrian Lamo because Adrian Lamo provided Edwards with the chat log between Lamo and Clark 3
Special Agent Calder Robertson CCIU 2
Special Agent Calder Robertson CCIU collected hard drives another unnamed special agent did everything else 2
Special Agent Calder Robertson CCIU extracted the hard drives from the two SIPR and one NIPR computers collected from the SCIF the personal laptop of Staff Sergeant Peter Bigelow Supply Room and the p 2
Special Agent David Shaver Computer Crimes Investigation Command (CCIU) 10
Special Agent David Shaver Computer Crimes Investigation Command (CCIU) found 4 complete Gitmo detainee assessments zero files were found in the unallocated space despite Special Agent David Shaver's 1
Special Agent David Shaver Computer Crimes Investigation Command (CCIU) in sworn testimony that the Microsoft PowerPoint file "Farah.brief.final.version1" alleged to have been downloaded by the Alienw 1
Special Agent David Shaver's Computer Crimes Investigation Command (CCIU) testified that CENTCOM logs evidence only one PowerPoint file "Farah.brief.final.version1" was downloaded by the Alienware .22 2
Special Agent Johnson Army Computer Crimes Investigation Command (CCIU) who did analysis of media from Iraq 2
Special Agent King Army Computer Crimes Investigation Command (CCIU) acting Operations Officer who did search authorization interviews and administrative tasks 2
Special Agent Mark Mander Army Computer Crime Investigative Unit (CCIU) case agent 3
Special Agent Mark Mander Army Computer Crime Investigative Unit (CCIU) says Adrian Lamo's initial information started the investigation 3
Special Agent Mark Mander Army Computer Crime Investigative Unit (CCIU) says he doesn't believe Army Computer Crimes Investigation Command (CCIU) directed Jason Katz. That was FBI 3
Special Agent Mark Mander Army Computer Crime Investigative Unit (CCIU) says there was a great deal of concern about a foreign intelligence service. They were looking for information to prosecute 2
Special Agent Mark Mander Computer Crimes Investigation Command (CCIU) testified that Lamo started to cooperate with Army Criminal Investigation Command (CID) "probably at the end of May 2010" 1
Special Agent Schaller Army Computer Crimes Investigation Command (CCIU) who did analysis of media from Iraq 2
Special Agent Toni Graham Army CID 102nd Military Police detachment 4
Special Agent Toni Graham Army CID 5/29/10 affidavit 4
Special Agent Toni Graham Army CID 5/29/10 affidavit stated Manning had been penetrating .mil and .gov accounts for over a year (Manning was only deployed since November 2009) but was based on informa 3
Special Agent Toni Graham Army CID discussed the confidential informant who provided them with information noting that he was in direct contact with the FBI 3
Special Agent Toni Graham Army CID primary duties were to protect collect and preserve digital device evidence 2
Special Agent Toni Graham Army CID said the information that Collateral Murder was classified (it wasn't) had come by way of the confidential informant 3
Special Agent Toni Graham Army CID signed 5/29/10 affidavit that stated Manning had released T-SCIF information and cables onto the Internet. She admitted that much of her affidavit was based on infor 3
Special Agent Toni Graham Army CID testified that she'd received authorization to seize and search the devices via her commander as well as with consent from Staff Sergeant Peter Bigelow and also thro 3
Special Agent Toni Graham Army CID was serving on a battalion in Baghdad on 27 May 2010 when she received instructions from her headquarters based on information from an unnamed confidential informant 3
Special Agent Toni Graham Army CID was the first lead agent on the case 2
Special Agent Troy Bettencourt Army Criminal Investigation Command (CID) 2
Special Agent Troy Bettencourt Army Criminal Investigation Command (CID) says on "20th of August the entire document 250000 US State Department un-redacted cables were published on the Internet" 2
Special Agent Troy Bettencourt Army Criminal Investigation Command (CID) testified that he interviewed 10 people including Bradley Manning's Chain of Command and contractors 2
Special Agent Troy Bettencourt Army Criminal Investigation Command (CID) testified that Pfc. Manning was not tied to a known terrorist group 2
Special Agent Troy Bettencourt Army Criminal Investigation Command (CID) that concerning the "value of information" Wikileaks has dissension within their ranks: "Mr. Assange. ...said folks he demanded 2
Special Agent Troy Bettencourt Army Criminal Investigation Command (CID) was on the investigation's intrusion team 2
Special Agent Wilbur Army Computer Crimes Investigation Command (CCIU) who analyze the path to Garani 2
Special Court Martial Convening Authority (SCMCA) 2
Specialist David Sadtler 2
SPECIALIST DAVID SADTLER sworn statement contains an account of Manning translating a document published by Iraqi detainees about public corruption which lead to their arrest and how Manning was very 1
Specialist Eric Baker 62nd Military Police Detachment Army Criminal Investigation Command (CID) Manning's roomate at FOB Hammer Containerized Housing Unit (CHU) 2
Specialist Eric Baker 62nd Military Police Detachment Army Criminal Investigation Command (CID) Manning's roomate at FOB Hammer Containerized Housing Unit (CHU)admitted that if a soldier wanted to hav 1
Specialist Jihrleah Showman 12
Specialist Jihrleah Showman deployed to Iraq with Bradley Manning when they left Fort Drum NY on 11 Oct 2009 2
Specialist Jihrleah Showman said that Bradley Manning received two separate TDY's [Temporary Duty Assignment] classified under SECRET at Fort Drum and Washington DC 2
Specialist Jihrleah Showman said that Bradley Manning was a Shia analyst. Showman said that any information traffic that came in was disseminated to the Shia analysts who mined the data for informatio 2
Specialist Jihrleah Showman testified about a May 7 2010 incident between 8:00 p.m. and 10:00 p.m. around shift change in the conference room of the T-SCIF where she said she saw Bradley Manning curle 3
Specialist Jihrleah Showman testified about another alleged incident with Bradley Manning and a Lieutenant where the Lieutenant asked Bradley Manning to freeze and Manning was unresponsive. Showman te 2
Specialist Jihrleah Showman testified that Bradley Manning left the Brigade T-SCIF the morning of May 9 2010 after Bradley Manning allegedly assaulted Showman on May 7 2010. Showman says that Bradley 2
Specialist Jihrleah Showman testified that Master Sergeant Paul David Adkins (now Sergeant 1st Class due to administrative action) did not exercise control over the soldiers in the S2 section Speciali 2
Specialist Jihrleah Showman testified that Master Sergeant Paul David Adkins (now Sergeant 1st Class due to administrative action) was the NCOIC [Non Commissioned Officer in Charge] and so it was his 2
Specialist Jihrleah Showman testified that she barely saw Major Clausen in the S2 section and that he stayed mostly in his office 2
Specialist Jihrleah Showman testified that she believes that soldier and leaders have a responsibility to report matters of concern security and DEROGs. Showman testified that in order to DEROG someon 2
Specialist Jihrleah Showman testified that she confronted Manning when he first came to the unit that because she said he wasn't completing tasks. Showman testified that Manning told her that the reas 2
Specialist Jihrleah Showman testified that she was the acting Security Manager in the T-SCIF and that First Lieutenant Elizabeth Fields was the Security Manager before her 2
Specialist Jihrleah Showman testified that when she saw Maning's[as of 8/22/13 Manning asked to be referred to as Chelsea with the feminine pronoun she] name on the deployment list she was furious. Wh 2
Specialist Jihrleah Showman was playing Jul 2007 Baghdad Apache airstrike (known later as Collateral Murder) on her workstation before April 2010 when it was published by WikiLeaks 5
Specialist Jihrleah Showman worked with Bradley Manning in the 2nd Brigade T-SCIF at FOB Hammer Iraq which functioned as a fusion cell. Showman was in the same unit and Bradley Manning's team leader s 2
SPECIFICATION 1 (II): In that Private First Class Bradley E. Manning U.S. Army did at or near Contingency Operating Station Hammer Iraq between on or about 1 November 2009 and on or about 27 May 2010 3
SPECIFICATION 1 (III): In that Private First Class Bradley E. Manning US Army did at or near Contingency Operating Station Hammer Iraq between on or about 1 November 2009 and on or about 8 March 2010 1
SPECIFICATION 10 (II): In that Private First Class Bradley E. Manning US Army did at or near Contingency Operating Station Hammer Iraq between on or about 11 April 2010 and on or about 27 May 2010 hav 12
SPECIFICATION 11 (II): In that Private First Class Bradley E. Manning US Army did at or near Contingency Operating Station Hammer Iraq between on or about 1 November 2009 and on or about 8 January 201 10
Specification 11 of Charge II on the 1 March 2011 charge sheet does not identify the file "BE22PAX.zip" containing a video named "BE22 PAX.wmv" as classified 1
SPECIFICATION 12 (II): In that Private First Class Bradley E. Manning US Army did at or near Contingency Operating Station Hammer Iraq between on or about 28 March 2010 and on or about 4 May 2010 stea 6
SPECIFICATION 13 (II): In that Private First Class Bradley E. Manning US Army did at or near Contingency Operating Station Hammer Iraq between on or about 28 March 2010 and on or about 27 May 2010 hav 13
SPECIFICATION 14 (II): In that Private First Class Bradley E. Manning US Army did at or near Contingency Operating Station Hammer Iraq between on or about 15 February 2010 and on or about 18 February 12
SPECIFICATION 15 (II): In that Private First Class Bradley E. Manning US Army did at or near Contingency Operating Station Hammer Iraq between on or about 15 February 2010 and on or about 15 March 201 10
SPECIFICATION 16 (II): In that Private First Class Bradley E. Manning US Army did at or near Contingency Operating Station Hammer Iraq between on or about 11 May 2010 and on or about 27 May 2010 steal 4
SPECIFICATION 2 (II): In that Private First Class Bradley E. Manning U.S. Army did at or near Contingency Operating Station Hammer Iraq between on or about 15 February 2010 and on or about 5 April 201 10
SPECIFICATION 2 (III): In that Private First Class Bradley E. Manning US Army did at or near Contingency Operating Station Hammer Iraq between on or about 11 February 2010 and on or about 3 April 2010 4
SPECIFICATION 3 (II): In that Private First Class Bradley E. Manning U.S. Army did at or near Contingency Operating Station Hammer Iraq between on or about 22 March 2010 and on or about 26 March 2010 10
SPECIFICATION 3 (III): In that Private First Class Bradley E. Manning US Army did at or near Contingency Operating Station Hammer Iraq on or about 4 May 2010 violate a lawful general regulation to wit 4
SPECIFICATION 4 (II): In that Private First Class Bradley E. Manning U.S. Army did at or near Contingency Operating Station Hammer Iraq between on or about 31 December 2009 and on or about 5 January 2 6
SPECIFICATION 4 (III): In that Private First Class Bradley E. Manning US Army did at or near Contingency Operating Station Hammer Iraq between on or about 11 May 2010 and on or about 27 May 2010 viola 3
SPECIFICATION 5 (II): In that Private First Class Bradley E. Manning U.S. Army did at or near Contingency Operating Station Hammer Iraq between on or about 31 December 2009 and on or about 9 February 10
SPECIFICATION 6 (II): In that Private First Class Bradley E. Manning U.S . Army did at or near Contingency Operating Station Hammer Iraq between on or about 31 December 2009 and on or about 8 January 5
SPECIFICATION 7 (II): In that Private First Class Bradley E. Manning U.S. Army did at or near Contingency Operating Station Hammer Iraq between on or about 31 December 2009 and on or about 9 February 9
SPECIFICATION 8 (II): In that Private First Class Bradley E. Manning U.S. Army did at or near Contingency Operating Station Hammer Iraq on or about 8 March 2010 steal purloin or knowingly convert to h 7
SPECIFICATION 9 (II): In that Private First Class Bradley E. Manning U.S. Army did at or near Contingency Operating Station Hammer Iraq between on or about 8 March 2010 and on or about 27 May 2010 hav 9
SPEEDY TRIAL 845 days of pretrial confinement dwarfs the periods of pretrial confinement in any reported military case 1
SPEEDY TRIAL At the 23 February 2012 Arraignment Coombs (Defense) stated that defense would object to a trial schedule after June 2012 and that the Government suggested August 3 2012. Coombs states th 1
Speedy Trial Barker v. Wingo Prejudice should be assessed in the light of the interests of defendants which the speedy trial right was designed to protect. (i) to prevent oppressive pretrial incarcera 1
SPEEDY TRIAL Defense has found no reported military case involving a period of delay even close to the 845 delay in this case 1
SPEEDY TRIAL Even just one or two of those periods was improperly excluded (and the Defense maintains that all challenged periods were improperly excluded) 1
SPEEDY TRIAL RCM 707(a) sets forth a 120-day speedy trial clock The constitutional right to speedy trial is a fundamental right of a military accused protected by both the Sixth Amendment and Article 1
Speedy Trial Taken together the 43 days from 30 May 2010 to 11 July 2010 the 8 days from 16 December 2011 to 23 December 2011 and the 52 days from 3 January 2012 to 23 February 2012 add up to 103 days 1
SSH file log in the home folder of Bradley Manning's MacBook Pro 2
Staff Sergeant Peter Bigelow Supply Room 6
Supplement to the Case Management Order that it requires 45-60 days to coordinate and determine if the Government will claim privilege over these items under RCM 505 1
Surveillance 1
Sworn Statement Master Sergeant Brian Paki (sp.) was turned over by the Government in response to the Defense Motion to Compel Discovery No. 1 March 2012 1
T-SCIF had no Standard Operating Procedures and was not accredited 2
Terrorist Screening Center (TSC) 2
Terrorist Watch-list No-Fly List Selectee List Terrorist Screening Database (TSDB) used by the Transportation Security Administration 1
That the decision to place me on Suicide Risk on 18 January 2011 was improper (CW4 James Averhart Former Quantico Brig Commander) 2
The 5/29/10 affidavit also specifically mentioned an article in the Stars and Stripes military publication called "A Wiki for a World of Secrets" 3
The Army Criminal Investigative Command (CID) requested that the evidence be preserved in September 2010 the Defense also filed a preservation request in September 2011. The Defense has recently learn 2
The Bureau of Diplomatic Security Service at the State Department handled the forensic analysis of the hard drives which arrived in D.C. from Iraq on June 10 2010 in order to determine and verify that 1
The Convening Authority had long been a mere rubber stamp for the Government's many delay requests 1
The Court Ordered the Government to immediately cause an inspection of the 14 hard drives for the presence of Wget mIRC Google Earth movies games music and any other specifically requested program fro 2
The Court ruled on 23 March 2010 that a complete search of the hard-drives was not material to the preparation of the defense for the charged specifications. However the Court directed the Government 1
the current Deputy Assistant Secretary of State for the Bureau of Intelligence and Research at Department of State (State Department) (DoS) 1
the current Deputy Assistant Secretary of State for the Bureau of Intelligence and Research at Department of State (State Department) (DoS) became aware that Office of the National Counter Intelligenc 1
The Defense again specifically requested any investigative summaries damage assessments or Original Classification Authority (OCA) determinations conducted by the United States Army (US Army Criminal 1
The Defense filed a motion to compel with respect to the 1294 emails that the Government did not disclose. At that point the Government "voluntarily" turned over approximately 600 more emails that wer 1
The Defense had barely received basic discovery (it wasn't until 27 July 2011 that the Defense started to receive the bulk of the unclassified CID file and it was not until 4 November of 2011 the mont 1
The Defense had requested that these witnesses be present at the Article 32 requested from both the SPCMCA and GCMCA to depose the relevant OCA witnesses and requested contact information for the rele 1
The Defense is amenable to having the Government perform a meaningful search of the computers for the requested information 1
The Defense requested that the Government disclose items seized by the DOJ and other agencies pursuant to 18 USC 2703(d) 1
The Defense requests all forensic results and investigative reports by any of the cooperating agencies in this investigation (Department of State (State Department) (DoS) Federal Bureau of Investigati 1
The Defense should be permitted to argue that by virtue of his expertise and training PFC Manning knew which documents and information could be used to the injury of the United States or to the advant 2
The Defense submits that an expansive reading of "indirectly" as applied in this case renders Article 104 unconstitutionally vague in violation of the Due Process Clause of the Fifth Amendment. If Art 1
The Defense submits that the damage assessments confirm that PFC Manning did not have "reason to believe" that the information could cause damage to the United States or be used to the advantage of a 2
The Defense submits that the Government's expansive interpretation of Article 104 renders it substantially over broad in violation of the First Amendment 1
The Defense submitted its first discovery request on 29 October 2010 1
The Defense's motion did not contain any classified information A separate attachment to the Defense's motion did not contain any classified information However the Government maintained that by readi 1
The Govemment asked the Investigating Officer Lt. Col. Paul Almanza to find each OCA "not reasonably available for the Article 32 given his position as..." 1
The Government acknowledged that its argument was made at the behest of the State Department 1
The Government acknowledges that the FBI and DSS participated in a joint investigation of this case. It also acknowledges that the DOS DOJ Government Agency (Central Intelligence Agency CIA) and ODNI 1
The Government also seeks to preclude the Defense from raising or eliciting any discussion reference or argument related to actual harm from pretrial motions related to the merits portion of trial. Th 1
The Government argues that if such documents are determined to be in the possession custody or control of military authorities for the purposes of R.C.M.701(a)(2) that it specifically objects to produ 1
The Government believed the date it received approval from the FBI to turn over the impact statement was on 18 May 2012. Instead of immediately alerting the Court and the Defense the Government buried 1
The Government believes that the classification level of the documents themselves is conclusive (or virtually conclusive) of whether the information could cause damage 1
The Government believes that the classification level of the documents themselves is conclusive or virtually conclusive of whether the information could cause damage notwithstanding information may ha 2
The Government casually mentions that it "discovered that the FBI conducted an impact statement 1
The Government explained that since there were some wholly irrelevant aspects to the grand jury testimony those portions of the grand jury testimony would not be provided. 1
The Government failed to notify the Court on that date of the FBI impact statement. The Government also failed to notify the Court of the FBI impact statement on 20 April 2012 when it represented what 1
The Government finally responded in writing to the Defense's six discovery requests on 12 April 2011 nearly six months after the first discovery request. This written response was plainly inadequate m 1
The Government had a similar "over the top" response when the Defense offered a redacted copy of the Grand Jury testimony into evidence The Government complained that the Defense was waiving protected 1
The Government has also represented to the Court that it recently "discovered that the FBI conducted an impact statement outside of the FBI law enforcement file for which the prosecution intends to fi 1
The Government has further clarified that the "enemy" to whom PFC Manning allegedly indirectly gave intelligence is Al-Qaida Al-Qaida in the Arabian Peninsula and an entity specified in Bates Number 0 1
The Government has imposed arbitrary limitations upon the Defense's access to the Department of State damage assessment. In particular the Defense must give the Government at least four duty days' not 1
The Government has provided the Defense with 458 files totaling 6905 pages from the Federal Bureau of Investigation (FBI) which [quoting the Government] "at a minimum" contains Brady material 1
The Government has submitted heavily redacted Federal Bureau of Investigation (FBI) files to the Defense 1
The Government indicated that he had searched for files within the Department of Agriculture 1
The Government is simply wrong in its theory that the use of an unauthorized program to download the information converts what would otherwise be authorized access to that information into "unauthoriz 1
The Government maintained that it was "unaware" of the existence of any forensic results or investigative files relevant to the case maintained by Department of State (State Department) (DoS) Federal 1
The Government periodically sent the Defense purported discovery on compact discs. The discovery provided by the Government was Bates numbered using a software program that provided for consecutive nu 1
The Government produce all evidence intended for use in the prosecution case-in-chief at trial obtained from Defense Intelligence Agency (DIA) Defense Information Systems Agency (DISA) CENTCOM SOUTHCO 2
The Government resisted performing simple computer searches that it has a good faith basis to believe will yield favorable evidence for the accused 1
The Government responded 'PFC Manning knowingly gave intelligence to the enemy by transmitting certain intelligence specified in a separate classified document to the enemy through the WikiLeaks websi 3
The Government seemed to suggest that it would produce all relevant information from the grand jury testimony The Government explained that since there were some wholly irrelevant aspects to the grand 1
The Government sent out a memo on 29 July 2011 to HQDA requesting it to task Principal Officials to search for and preserve any discoverable information. To put the 29 July 2011 date into perspective 1
The Government stated in oral argument that it would present evidence in addition to the AUP. Appellate Exhibit CXXXIX 1
The Government then cites miscellaneous other reasons why the Court should not allow the Defense to reference the damage assessments under M.R.E. 403 the statements are inadmissible hearsay the docume 1
The Government went to great pains to ensure that the unsworn statements of the OCAs were considered by the Investigating Officer 1
The Government would have us believe that while it knew that ONCIX was compiling a damage assessment starting in October 2010 it blindly relied on an oral assertion from some person at ONCIX in Februa 1
The Government's argument seems to be that it will suffer great prejudice for the following reason if the Defense references the fact that the leaks did not cause damage the Government would be forced 1
The Government's Article 104 charge that PFC Manning indirectly gave intelligence information to the enemy by publishing it on the internet with the knowledge that it could be accessed by the enemy fa 1
The Government's particulars in response to Specification 1 of Charge II was that PFC Manning wrongfully and wantonly cause intelligence to be published on the Internet "by leaking thousands of docume 1
The intent of the interim order was to ensure no information was published outside of court that included information from discovery via protective order information subject to privilege under MRE 505 1
The Investigating Officer Lt. Col. Paul Almanza "bending over backwards" to ensure that he could consider such statements despite being proffered in an inadmissible form the Defense should have an opp 1
The letter to ODNI (Office of the Director of National Intelligence) from the Assistant General Counsel of the Federal Trade Commission regarding the "documents that were compromised in the Department 1
The majority of the investigation plan was based on Adrian Lamo of Manning and other documents obtained from Bradley Manning's personnel file 3
The most glaring example of an abuse of discretion in excluding a period from the R.C.M. 707 speedy trial clock occurred on 4 January 2012 when Lt. Col. Paul Almanza Investigating Officer Article 32 P 1
the needless delay in consideration of the Article 13 motion was as always has been the case occasioned by the Government's lack of due diligence 1
The position of Lt. Paul Almanza Investigating Officer of denying the defense's evidence request is even more indefensible if one considers that representatives of the various government agencies that 1
The reason for this unnatural breakdown of these transactions is obvious the division serves no purpose other than to pile on the charges against PFC Manning in order to increase the likelihood of a s 1
THE SPECIFICATION (I): In that Private First Class Bradley E. Manning U.S. Army did at or near Contingency Operating Station Hammer Iraq between on or about 1 November 2009 and on or about 27 May 2010 5
The term "knowingly" means that the accused had to intend to give the intelligence to the enemy not that the accused knew that by giving it to a third party it might eventually end up in the hands of 1
this case is one of the largest and most complex cases in United States military history 1
This is supported by the fact that the Investigating Officer Lt. Col. Paul Almanza was completely "wishy-washy" on whether the OCAs would be required to testify. First he determined two days before th 1
Thomas Smith a counter intelligence agent 2
Thomas Wheeler President's Intelligence Advisory Board 5
three (3) military intelligence investigations 1
Timothy D. Webster 1
Tiversa Inc. a Federal Bureau of Investigation (FBI) contractor 1
to the injury of the United States or to the advantage of any foreign nation 3
Tommy Vietor the National Security Council spokesman 1
Tosy Gimmage (sp.) a mentor who with Jason Allen Milliman field software engineer contractor at F.O.B. Hammer were the only only person assigned to the DCGS-A (Distributed Common Ground Systems) 2
Touhey Requests 2
Transportation Security Administration (TSA) 1
Treasury Secretary Timothy Geithner 1
Trial Publicity Order 2
two (2) .csv files each with 100 cables in then in Windows Temp in the allocated space on the Alienware .22 1
Two unknown redacted individuals who witnessed subsequent reiteration of this order by two unknown individuals whose names were redacted 1
U.N. High Commissioner for Human Rights Navi Pillay call for an investigation into allegations of abuse and murder of Iraqis that followed the publication of the Iraq war logs 1
U.S. Army Computer Crimes Investigation Command (CCIU) 2
Under the Government's interpretation no criminal intent is required disclosure of information with the mere knowledge that the information disclosed might be accessible to the enemy is punishable und 1
UNIDENTIFIED BRIGADE S6 1
UNIDENTIFIED CAPTAIN former company commander of Headquarters and Headquarters Company (HHC) 2nd Brigade Combat Team (2BCT) 10th Mountain Division (10 MTN Div.) who was replaced by Captain Matthew W. 3
UNIDENTIFIED CAPTAIN IN THE S2 SECTION Witness No. 21 of the 2nd Brigade Combat Team 10th Mountain Division 1
UNIDENTIFIED FEMALE SERGEANT OR SPECIALIST 2ND BRIGADE COMBAT TEAM 10th MOUNTAIN DIVISION 1
UNIDENTIFIED FIRST SERGEANT of Headquarters and Headquarters Company 2nd Brigade Combat Team 10th Mountain Division who became 1SG (First Sergeant) in March 2010 3
UNIDENTIFIED FIRST SERGEANT of Headquarters and Headquarters Company 2nd Brigade Combat Team 10th Mountain Division who became 1SG (First Sergeant) in March 2010 until October 2011 1
UNIDENTIFIED FIRST SERGEANT of Headquarters and Headquarters Company 2nd Brigade Combat Team 10th Mountain Division who became 1SG (First Sergeant) in March 2010 who Chief Warrant Officer 2 Joshua Ehr 2
UNIDENTIFIED FIRST SERGEANT of Headquarters and Headquarters Company 2nd Brigade Combat Team 10th Mountain Division who became 1SG (First Sergeant) in March 2010 who Chief Warrant Officer Two (CW2) Jo 1
UNIDENTIFIED INDIVDUAL Captain Freeburg "sent PFC Manning to an for an evaluation." 1
UNIDENTIFIED INDIVIDUAL just assumed the position under the approval of the S-2 EITHER MAJOR CLIFF CLAUSEN OR CAPTAIN STEVEN LIM 1
UNIDENTIFIED INDIVIDUAL who 1st LIEUTENANT ELIZABETH FIELDS she will testify told her "it was an NCO problem and to stay out of it" when she tried to get Pfc Manning help 1
UNIDENTIFIED INDIVIDUAL who 1st LIEUTENANT ELIZABETH FIELDS thought was a terrible leader because the problems within the unit were constantly being ignored 1
UNIDENTIFIED INDIVIDUAL who had a conversation with MAJOR CLIFF CLAUSEN about leaving PFC Manning on rear detachment 1
UNIDENTIFIED INDIVIDUAL who LT COL BRIAN KERNS XO did not believe was not a strong leader [probably Major Cliff Clausen] 1
UNIDENTIFIED INDIVIDUAL who LT COL BRIAN KERNS XO said command was too generous with and that removing him from his position earlier would have been advantageous 1
UNIDENTIFIED INDIVIDUAL who Major Cliff Clausen could not provide with accurate or timely estimates or intelligence 1
UNIDENTIFIED INDIVIDUAL who objected to any changes and would not allow anyone to address the issues surrounding PFC Manning when there was a change in leadership in the S2 section and all of the offi 1
UNIDENTIFIED INDIVIDUAL who ordered him to take a complete look at INFOSEC across the brigade 1
UNIDENTIFIED INDIVIDUAL who put out information that Warrant Officers and Noncommissioned Officers were to defer all management responsibilities to to defer all management responsibilities to Master S 1
UNIDENTIFIED INDIVIDUAL who told 1st LIEUTENANT ELIZABETH FIELDS said concerning Pfc. Manning "We need the personnel" 1
UNIDENTIFIED INDIVIDUAL who told MAJOR CLIFF CLAUSEN about an outburst by PFC Manning before the deployment 1
UNIDENTIFIED INDIVIDUAL who toldChief Warrant Officer Two (CW2) Joshua Ehresman that PFC Manning would deploy due to manpower issues 1
UNIDENTIFIED INDIVIDUAL who was in charge of all enlisted responsibilities 1
UNIDENTIFIED INDIVIDUALS (2) that told CHIEF WARRANT OFFICER FOUR (CW4) he was not responsible for any personnel who worked in the S2 and who CHIEF WARRANT OFFICER FOUR (CW4) went back to for clarific 1
UNIDENTIFIED INDIVIDUALS (2) who an UNIDENTIFIED CAPTAIN IN THE S2 SECTION Witness No. 21 vented to about about how nothing was being done to address PFC Manning's mental and emotional issues 1
UNIDENTIFIED INDIVIDUALS (2) who did not inform UNIDENTIFIED KEY LEADER OF THE 2ND BRIGADE COMBAT TEAM 10TH MOUNTAIN DIVISION (Art 32 Defense Witness No. 15) gave guidance on who would deploy CMS? Dep 1
UNIDENTIFIED INDIVIDUALS (2) who LT COL BRIAN KERNS XO thought were weak leaders (probably Master Sergeant now Sergeant First Class Adkins and Major Cliff Clausen) 1
UNIDENTIFIED INDIVIDUALS (2) who told UNIDENTIFIED CAPTAIN IN THE S2 SECTION Witness No. 21 to stay in his lane when he tried to address his concerns about Pfc. Manning 1
UNIDENTIFIED INDIVIDUALS (3) who Chief Warrant Officer Two (CW2) Joshua Ehresman spoke to about his concerns after the outburst in December 2009 by PFC Manning 1
UNIDENTIFIED INDIVIDUALS (3) who Chief Warrant Officer Two (CW2) Joshua Ehresman told that PFC Manning should not deploy 1
UNIDENTIFIED INDIVIDUALS (3) who told an UNIDENTIFIED CAPTAIN IN THE S2 SECTION Witness No. 21 to back off when UNIDENTIFIED CAPTAIN IN THE S2 SECTION Witness No. 21 engaged Soldiers on issues as a le 1
UNIDENTIFIED INDIVIDUAL] who told [Captain Freeburg] that PFC Manning's troubles were deeper than the Army could fix and that [Pfc. Manning] should be separated." 1
UNIDENTIFIED KEY LEADER OF THE 2ND BRIGADE COMBAT TEAM 10TH MOUNTAIN DIVISION (Art 32 Defense Witness No. 15) gave guidance on who would deploy CMS? Deputy Commander? 1
UNIDENTIFIED KEY LEADER OF THE 2ND BRIGADE COMBAT TEAM 10TH MOUNTAIN DIVISION (Art 32 Defense Witness No. 15) provided a sworn statement for the Secretary of the Army's 15-6 investigation into the all 1
UNIDENTIFIED MALE who was the one that worked the security of the T-SCIF and 1ST LIEUTENANT ELIZABETH FIELDS dealt with security clearances this UNIDENTIFIED INDIVIDUAL did not receive any training to 1
UNIDENTIFIED MENTAL HEALTH PROFESSIONAL at Behavioral Health that Captain Matthew W. Freeburg went to to discuss PFC Manning's condition 1
UNIDENTIFIED PRE DEPLOYMENT MENTAL HEALTH WHO RECOMMENDED THAT MANNING NOT DEPLOY 1
UNIDENTIFIED SGM 1
UNIDENTIFIED SMG S6 S2 and IO personnel who formed a working group to review Brigade InfoSec 1
United States Army Counterintelligence Center Cyber Counterintelligence Assessments Branch Department of Defence Intelligence Analysis Program Wikileaks.org - An Online Reference to Foreign Intelligen 6
United States Army Counterintelligence Center Cyber Counterintelligence Assessments Branch Department of Defense Intelligence Analysis Program's "WikiLeaks.org - An Online Reference to Foreign Intelli 1
United States Forces - Iraq Microsoft Outlook Share Point Exchange Server global address list (GAL) 7
United States Marshals (US Marshals) 2
unnamed "mentors" who performed maintenance on the DCGS-A (Distributed Common Ground Systems) 2
Unnamed agent(s) from US Army CID that took Captain Barclay Keay's sworn statement 2
unnamed agents four (4) as well as Diplomatic Security Service (DSS) Department of State (State Department) (DoS) interviewed Brady Manning's Aunt Debra Van Alstyne 2
Unnamed Army CID Agents who accompanied Special Agent Troy Bettencourt on all but one of his interviews of more than 10 unnamed individuals 2
unnamed Army Criminal Investigation Commande (CID) agent who said to Captain Thomas Cherepko when he was concerned about his ability to create forensically sound images "that it was OK because the dev 2
Unnamed Behavioral Specialist Bradley Manning was taken to after 20 Dec 2009 incident with Sergeant (former Specialist) Daniel Padgett 2
unnamed civilians seven (7) who Agent Mark Mander Army Computer Crime Investigative Unit (CCIU) says testified were discovered doing "wrong doing" and are being investigated by the Federal Bureau of I 2
unnamed commander of Special Agent Toni Graham Army CID who granted her authorization to seize devices 2
unnamed Commander responsible for DEROG's in the T-SCIF at FOB Hammer Iraq 2
unnamed commanders at Ft. Belvoir 2
unnamed Company Commander at Fort Drum NY that was not notified about the early May 2009 incident with Specialist Jihrleah Showman and Bradley Manning 2
unnamed confidential informant 6
unnamed congressional official who was briefed by the State Department told Reuters "the administration felt compelled to say publicly that the revelations had seriously damaged American interests in 1
Unnamed ex co-workers contacted by Army CCIU lead investigation as forensics became available 2
Unnamed First Sergeant who Sergeant (former Specialist) Daniel Padgett testified that he did not talk to concerning the alleged December 2009 incident with Pfc. Manning. Specialist Jihrleah Showman te 5
Unnamed Forensic Examiner referred to bySpecial Agent David Shaver Computer Crimes Investigation Command (CCIU) 1
Unnamed Government Computer Forensic Experts 1
Unnamed group of soldiers who Captain Casey Martin [married name is Fulton] spoke to in April 2010 about Collateral Murder 1
Unnamed individual Adrian Lamo talked to then told two unnamed people (one of the people he told the individual had worked with and the other was a friend - both told law enforcement - one was in the 3
unnamed individual at Department of State (State Department) (DoS) said Intelink after initial Army Computer Crimes Investigation Command (CCIU) attempt to get log files 2
unnamed individual on Special Agent Toni Graham Army CID team with Thomas Smith a counter intelligence agent 2
unnamed individual who Adrian Lamo contacted Army Computer Crimes Investigation Command (CCIU) about and said was chatting with someone else 3
Unnamed individual who collected Bradley Manning's personal at Camp Arifjan in Kuwait 2
Unnamed individual who defense asked for the complete contact information for the individual that completed the Classification Review for the item charged in Specification 15 of Charge II. The Defense 1
Unnamed individual who reported to David Coombs he was interviewed five or six times 2
unnamed individual(s) who made "eventually" aware that unnamed soldiers were putting unauthorized software on their computers 2
Unnamed individuals Captain Steven Lim spoke to in casual conversation about the incident on 20 Dec 2009 with Sergeant (former Specialist) Daniel Padgett 2
Unnamed individuals in Bradley Manning's Chain of Command 2
Unnamed individuals in the Forensic Unit of Army Computer Crimes Investigative Unit (CCIU) 1
unnamed individuals in the hacker community that Special Agent Antonio Patrick Edwards CCIU testified Adrian Lamo "knew were involved" 3
Unnamed individuals interviewed who were military contractors 2
Unnamed individuals that Captain Barclay Keay asked why soldiers were listening to music and watching movies in the T-SCIF 2
Unnamed instructors at Fort Huachuca including one whose computer Sergeant First Class Brian Madrid's used to view one of three YouTube videos that the same unnamed soldiers had informed him that Brad 3
Unnamed investigating authorities who collected other electronic media other than the hard drives and transferred them sealed to Special Agent Calder Robertson CCIU 2
unnamed Lieutenant that Specialist Jihrleah Showman testified Bradley Manning was unresponsive to when the Lieutenant asked Bradley Manning was asked to freeze 2
Unnamed members of Bradley Manning's unit at Fort Huachuca from April to August 2008 3
unnamed military magistrate that authorized search warrant to search Bradley Manning's personals after he was placed in confinement 2
unnamed military magistrate who granted Special Agent Toni Graham Army CID a search warrant 2
unnamed military officers who would request intelligence products to give to the Brigade Commander 2
Unnamed officer exercising general court-martial jurisdiction over CW4 James Averhart 1
unnamed Original Classification Authority (OCA) defense learned about after 2 December 2012 1
unnamed Original Classification Authority (OCA) [probably Ambassador Patrick Kennedy Undersecretary for Management at the Department of State (State Department) (DoS) because defense later filed a Tou 1
Unnamed people on Special Agent Calder Robertson CCIU team who instructed Captain Thomas Cherepko on how to obtain server logs from the network and shared drive as well as email logs and how to conduc 4
unnamed person at headquarters who called Special Agent Toni Graham Army CID 2
unnamed person whom Master Sergeant Paul David Adkins (now Sergeant 1st Class due to administrative action) reported an incident where Specialist Jihrleah Showman counseled Bradley Manning about compl 2
unnamed Quantico watch supervisor on the nightshift of 13 March 2011 1
unnamed redacted forensic psychiatrist at Quantico Brig that said "You know Sir I am concerned because if you are going to do that maybe you want to call it something else because it is not based upon 2
unnamed S2 at the T-SCIF at FOB Hammer Iraq 2
unnamed S2 that Master Sergeant Paul David Adkins (now Sergeant 1st Class due to administrative action) informed about the early May 2009 incident with Specialist Jihrleah Showman and Bradley Manning 2
Unnamed Signal Intelligence Analysts 2
unnamed soldier and unnamed three (3) or four (4) officers who were watching Jul 2007 Baghdad Apache airstrike video known in the T-SCIF with Specialist Jihrleah Showman before it was leaked and publi 3
unnamed soldiers in the Supply Room at FOB Hammer Iraq 2
Unnamed soldiers in the T-SCIF who bought pirated movies from Iraqis and play on their D6 machines 2
unnamed soldiers in the T-SCIF who Jason Allen Milliman a field software engineer contractor saw had programs installed on their DCGS-A (Distributed Common Ground Systems) 2
Unnamed soldiers in the T-SCIF who would pull music from the shared drive and put it on their D6 Computers 3
Unnamed soldiers who Captain Barclay Keay testified he saw listening to music of watching movies in the T-SCIF at FOB Hammer 2
unnamed soldiers who saw Bradley Manning running around at night and joked about it 2
unnamed soldiers who would play games on their D6 Computers 2
unnamed Special Agent Army Computer Crimes Investigation Command (CCIU) who did analysis of media from Iraq with Special Agent Schaller Army Computer Crimes Investigation Command (CCIU) and Special Ag 2
unnamed Specialist who replaced Specialist Jihrleah Showman as NCOIC of the night-shift at the T-SCIF at FOB Hammer Iraq 2
Unnamed supervisors whom Captain Thomas Cherepko notified about unauthorized music and games on the shared SIPRNet T-Drive 2
unnamed Supply Room clerk at FOB Hammer Iraq 2
Unnamed two (2) Army Computer Crime Investigative Unit (CCIU) agents sent to CENTCOM second week of June in Florida where they obtained log files related to investigation of the Garani airstrike video 2
unnamed two (2) NCO [Non Commissioned Officers] escorted Manning into custody 2
US Army Intelligence (G-2) 1
US complicity in torture and public corruption in Iraq 1
Vice Admiral Robert S. Harward Deputy Commander US Central Command CENTCOM the Original Classification Authority for the classification determination and impact on national security for the CIDNE Afgh 5
Vice President Joseph Biden 1
Video of Manning Quantico Interrogation and Stripping on January 18 6
Warning Banner 1
Warrant Officer One (WO1) Kyle Balonek 5
We still haven't heard yet of ODNI [Office of the Director of National Intelligence] has a damage assessment 1
Wget 13
where Coombs identified Culky (sp.) as a civilian] ' 2
Whether the accused in fact knew or had a reason to believe the charged information could be used to the injury of the United States or to the advantage of any foreign nation is not determined by the 1
While the Government may prefer that those who come under the aim of its prosecutorial crosshairs go quietly into the night the United States Constitution permits a defendant to do otherwise a) Mainta 1
While the OCAs' determinations were at one point in history "worthy of great deference" such is not necessarily the case anymore. The United States has acknowledged that it has a problem with over-cla 1
who was on the prosecution's original witness list dated July 7 1
Why is the Government arbitrarily drawing the line at the grand jury testimony? Why is the grand jury testimony not in the Government's possession custody and control when the other FBI files are? 1
WikiLeaks 3
Wikileaks and/or the damage occasioned by the alleged leaks 1
WikiLeaks Mitigation Team at the Department of State (State Department) (DoS) 1
WikiLeaks Most Wanted List 3
WikiLeaks.org Twitter Account 4
WikiLeaks.org Web Archive 2
Williams 1
Wired.com 1
would "in large part be hearsay evidence about what other agents have done on the case and what witnesses have told these other case agents" 1
yada.tar.bz2.nc made on January 30 2010 at 10:22 p.m in the allocated space of an SD card allegedly obtained at the second search of Debra Van Alstyne Bradley Manning's aunt home after having allegedl 1
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