You have a well thought out theory that sounds perfectly plausible. JMO.
O’Keefe’s arrival at the Albert Residence at 12:20 a.m., between 12:21 a.m.and 12:24 a.m., Apple Health recorded O’Keefe taking 80 steps (i.e., travelingapproximately 200 feet or 60 meters) and climbing the equivalent of threefloors with his location data pinging at or near the Albert residence. (Affidavit of Richard Green at ¶¶18-19, Exhibit USF-09.) The onlyreasonable interpretation of O’Keefe’s Apple Health Data, which shows anelevation gain of three floors at or near the Albert Residence, is that hemade it inside the Albert’s three-floor residence. (See Affidavit of Alan J.Jackson at ¶12, 34 Fairview Zillow Listing.) Thus, location data fromO’Keefe’s cell phone directly contradicts Brian Albert’s assertion to policethat O’Keefe never entered his home or arrived at the party on January 29,
As explained in the attached Affidavit of Richard Green, the Cellebrite analysis ofJennifer McCabe’s cell phone recovered various contacts and communications, which weredeleted by Ms. McCabe on January 29, 2022. (Ibid.) For example, on January 29, 2022, at 12:53p.m., just hours after O’Keefe was found dead in Brian Albert’s front lawn, Jennifer McCabedeleted a screenshot of Brian Albert’s contact information, which was saved in her phone as“uncle brian a.” (Affidavit of Richard Green at ¶14, Exhibit USF-07.) Jennifer McCabe alsodeleted the phone call she made to Brian Albert at that same number on January 29, 2022, at 6:23a.m. (See Affidavit of Richard Green at ¶12, Exhibit USF-04.)20. Ms. McCabe’s attempts to sanitize her phone of any contacts with Brian Albert on themorning in question are not the only instances of witnesses associated with this caseattemptingto prevent Brian Albert’s number from being turned over to the defense and/or from appearing inofficial law enforcement records. For example, on October 25, 2022, the Commonwealthproduced to the defense a copy of the initial Canton Police Department Incident Report with apurported creation date of January 29, 2022, at 0824 hours. (Affidavit of Alan J. Jackson at ¶17,Exhibit P.) Apparently unbeknownst to the individual that altered that report, a hard copy of thatvery same report dated “January 29, 2022, at 0824 hours” had already been provided to counselfor Ms. Read at her Arraignment seven months prior on February 2, 2022. (S..
I cannot claim my thoughts are in any way original...Thanks though..
There's more.. much more..