Monday, December 28, 2015

State Public Defender William Ward: Is There Some Reason Why Your Public Pretender Jessen Alexander Is Illegally Withholding The Readily Available Discovery Data From Matthew Harding In Rigged Case No. 44-CR-14-699? Inquiring Minds Want To Know, Don't They? Will McArthur Suddenly & Mysteriously Acquitted (Case No. 44-CR-12-281)After How Many Years And How Many Scheduled/Canceled Trial Dates? Will Mahnomen Co. Attorney Darlene Rivera Spalla Use The "Sovereign Immunity" Scam In Harding's Case Like She Used In McArthur's Rigged Case?

Updated: February 11, 2016


from:    Lion News lionnews00@gmail.com
to:    "Fontaine, Kip O." kip.fontaine@pubdef.state.mn.us,
"Alexander, Jessen" Jessen.Alexander@pubdef.state.mn.us,
Matt Harding thecirclesmallotf@gmail.com,
Rachel Kowarski rkowarski.rnpd@gmail.com,
william.ward@mnpd.us,
mahedit@arvig.net,
today@whiteearth.com
date:    Mon, Dec 28, 2015 at 11:01 AM
subject:    William Ward william.ward@mnpd.us
mailed-by:    gmail.com


William Ward, State Public Defender 612-279-3512:

Is there some reason why your public pretender Jessen Alexander is illegally withholding the readily available discovery data from his client, Matthew Harding in rigged case number 44-CR-14-699? Inquiring minds want to know, don't they? Alexander is trying to help Mahnomen Co. Attorney Darlene Rivera Spalla (Phone: 218-935-2378) rig Harding's case like he helped Polk County Attorney Greg Widseth & Crookston's City Attorney Charlie Fitzgerald rig the case against Chadwick Childress in Case No. 60-CR-13-2195, isn't he?


By the way, is Mahnomen Co. Attorney Darlene Rivera Spalla going to use the "Sovereign Immunity" scam in Harding's case like she used in William McArthur's case? Hmm? Again, inquiring minds want to know, don't they? Oh, wait, Rivera is making the wild and outrageous claim that "a dog ate the dash cam video," isn't she? She is, isn't she?


Terry Dean, Nemmers (320) 283-5713


"As far as Mr. Nemers goes, I won't send him anything because he is not my client. But, I can send you the discovery and what you do with it is your business. I'd advise distancing yourself from him because his actions did harm one of my other client s case." December 5, 2015 Text Message from Assistant Public Pretender Jessen Alexander to client Matthew Harding. Copy of texts available upon request. Or check out http://lionnews00.blogspot.com/2015/12/state-public-defender-william-ward-is.html for this email that I just sent you.


Effective criminal defense attorneys are proactive: a defense attorney must not hesitate to seek sanctions against a prosecutor whom fails to uphold their Brady obligation. Brady Obligations: Make Sure Your Lawyer Gets ALL of the Evidence! January 27, 2012 By Katie Riggs  http://www.arrestedmn.com/brady-obligations-make-sure-your-lawyer-gets-all-of-the-evidence/


Case No. 44-CR-14-699 State of Minnesota vs Matthew Aaron Harding
12/04/2015 Notice of Hearing Doc ID# 48
12/10/2015 CANCELED Pre-trial  (8:30 AM) (Judicial Officer Yon, Tamara Lynn)
Other
01/05/2016 Contested Omnibus  (2:00 PM) (Judicial Officer Rasmusson, Anne Marie)


Case No. 44-CR-14-696 State of Minnesota vs Paula Geraldine Reyes
11/13/2015 Hearing  (9:00 AM) (Judicial Officer Marben, Kurt J.) Result: Held
01/05/2016 Pre-trial  (9:00 AM) (Judicial Officer Rasmusson, Anne Marie) 01/05/2016 Reset by Court to 01/05/2016


Case No. 44-CR-14-701 State of Minnesota vs Aleemu Malik Adkins
DISPOSITIONS12/12/2014 Disposition (Judicial Officer: Schieferdecker, Eric P.)
1. Felon Convicted Crime of Violence - Firearm Violation (Not applicable - GOC) Dismissed
2. Drugs - 4th Degree - Sale - Schedule 1, 2, 3 but Not Marijuana (Not applicable - GOC) Dismissed


Case No. 44-CR-12-281 State of Minnesota vs WILLIAM ROSS MCARTHUR
11/25/2015 Disposition (Judicial Officer: Remick, Jeffrey Scott)
1. Criminal Sexual Cond-1st Degree-Penet or Contact with Person Under 13-Actor >36m oldr Acquitted
2. Criminal Sexual Conduct-1st Degree-Penet or Contact Under 13-Victim Under 16-Signif Relationship Acquitted
3. Criminal Sex Conduct-1st Degree-Penet orContact Under 13-Vic U 16-Sig Rel-Multiple Acts Over Time Acquitted
04/13/2012 Complaint Warrant (Judicial Officer: Kraker, Michael J. )
06/12/2012 CANCELED Jury Trial  (9:00 AM) (Judicial Officer Marben, Kurt J.) Other
08/13/2013 CANCELED Jury Trial  (8:00 AM) (Judicial Officer Remick, Jeffrey Scott) Other
06/08/2015 CANCELED Court Trial  (9:00 AM) (Judicial Officer Remick, Jeffrey Scott) Other
09/14/2015 CANCELED Court Trial  (9:00 AM) (Judicial Officer Remick, Jeffrey Scott) Other 09/14/2015 Reset by Court to 09/14/2015
09/21/2015 Discovery Disclosure Doc ID# 20
09/28/2015 Court Trial  (9:00 AM) (Judicial Officer Remick, Jeffrey Scott) 09/28/2015, 09/29/2015, 09/30/2015 09/23/2015 Reset by Court to 09/28/2015 Result: Held
10/27/2015 Court Trial  (1:00 PM) (Judicial Officer Remick, Jeffrey Scott) 10/16/2015 Reset by Court to 10/27/2015 Result: Held
12/08/2015 Findings of Fact, Conclusions of Law and Order Doc ID# 46 (Judicial Officer: Remick, Jeffrey Scott )
12/08/2015 Redacted Order or Judgment Doc ID# 48 (Judicial Officer: Remick, Jeffrey Scott )
12/09/2015 Notice of Filing of Order Doc ID# 47


446.2 DEPUTY RESPONSIBILITIES Deputies should test the MVR system operation in accordance with manufacturer specifications and consistent with training at the start of each shift. Testing includes:
(a) Remote audio transmitter is functional and has an adequate power source.
(b) Connected to the recording equipment.
(c) The transmitter can remotely activate the system.
(d) The view of all cameras shall be free of obstruction.
(e) All camera lenses shall be operational.
(f) Camera facing intended direction.
(g) Recording mechanism capturing both audio and video information.
(h) System plays back both audio and video tracks.
System documentation is accomplished by the deputy recording his/her name, serial, badge or PIN number and the current date and time at the start and again at the end of each shift. If the system is malfunctioning, the deputy shall take the vehicle out of service unless a supervisor requests the vehicle remain in service. Mobile Video Recorder Procedure Policy 446 Koochiching County Sheriff's Office Policy Manual pages 213-214.


Lion News: Polk Co.'s Widseth And Crookston's Fitzgerald Illegally Coerce Childress To Plead Guilty? https://www.youtube.com/watch?v=jypGJEOXOUU


Lion News: Polk Co.'s Widseth & Crookston's Fitzgerald Illegally Coerce Childress To Plead Guilty? 2 https://www.youtube.com/watch?v=57FmvitmNgE


Lion News: Public Pretenders Alexander & Fontaine Aid & Abet Prosecutors In Childress Injustice? https://www.youtube.com/watch?v=0RGh0XtHm0M


Will Paula Reyes (Case No. 44-CR-14-696) & Matthew Harding (Case No. 44-CR-14-699) Get The Same Ineffective Assistance Of Counsel That Public Pretender Jessen Alexander Gave Chad Childress In Case No. 60-CR-13-2195? Al Rogalla, Pennington County Attorney Doesn't Want To Email Nemmers A Copy Of Special Prosecutor Richard Mollin's Appointment Of Special Assistant County Attorney For Case No. 57-CR-15-363 State of Minnesota vs Sally Ann Mumm? Rogalla Doesn't Want Proof That Clearwater Attorney Mollins Is Conspiring With Corrupt Clearwater Co. Sheriff Darin Halverson To Illegally Withhold Free Electronic Data From Nemmers? If Special Prosecutor Richard Mollin Is Conspiring To Illegally Withhold Public Data, Then How Can He Be Trusted To Prosecute Case No. 57-CR-15-363 State of Minnesota vs Sally Ann Mumm? Benton Co. Attorney Philip Miller To Report Rogalla?  http://lionnews00.blogspot.com/2015/07/will-paula-reyes-case-no-44-cr-14-696.html


White Earth Nation Police & Mahnomen Co. Attorney Darlene Rivera Spalla Makes The Wild & Outrageous Claim Of "Sovereign Immunity" In Attempt To Illegally Withhold Criminal Investigative Data In Case No. 44-CR-12-281 State Of Minnesota VS William Ross McArthur? Is That How WEPD & Rivera Are Illegally Withholding Evidence From Paula Reyes (No. 44-CR-14-696) & Matthew Harding (Case No. 44-CR-14-699)? Or Did WEPD K-9 Hagar Eat The Evidence/Homework? Inquiring Minds Want To Know, Don't They? Lexie Jean Clarke Says Charges Against McArthur Are False?  http://lionnews00.blogspot.com/2015/09/white-earth-nation-police-mahnomen-co.html


Danger! Childress Illegally Coerced Into Pleading Guilty? Polk County Attorney Greg Widseth & Crookston's City Attorney Charlie Fitzgerald Conspire With Public Pretenders Jessen Alexander & Joel Arnason To Illegally Withhold Chadwick's Evidence In Case No. 60-CR-13-2195 State of Minnesota vs Chadwick Kevin Childress? Crookston Has A History Of Illegally Withholding Public Information, Don't They? http://lionnews00.blogspot.com/2014/09/danger-childress-illegally-coerced-into.html
 

More Bad News For Judicial Candidates Polk Co. Attorney Greg Widseth & Public Pretender Corey Harbott? Complaint Filed With State Public Defender John Stuart In Case No. 60-CR-13-2195 For Chad Childress? Managing Attorney Kip O. Fontaine Caught Turning A Blind Eye To Misconduct? http://lionnews00.blogspot.com/2014/03/more-bad-news-for-judicial-candidates.html
 

Polk Co. Attorney Greg Widseth (Judge Candidate) & Crookston City Attorney Stephanie Harbott Win Criminal Cases By Illegally Withholding Evidence (Chad Childress Case No. 60-CR-13-2195?)? Public Defender's Office Aiding & Abetting In Due Process Violations? Public Pretender Corey Harbott (Judge Candidate & Husband Of City Attorney Harbott) Doesn't Want To Report Wife For Misconduct? http://lionnews00.blogspot.com/2014/02/polk-co-attorney-greg-widseth-judge.html

http://lprb.mncourts.gov/complaints/Pages/default.aspx
Instructions for Filing a Complaint

http://lprb.mncourts.gov/complaints/LawyerComplaintDocs/Complaint%20Form%20-%20English.pdf
 

File contents belong to the client and must be turned over to the client upon request
http://lprb.mncourts.gov/articles/Articles/Is%20A%20Client%20Entitled%20To%20The%20Lawyer's%20Notes.pdf
http://lprb.mncourts.gov/articles/Articles/Report%20.%20Lawyers%20Professional%20Responsibility%20Board%20%28Trust%20Accounts%20and%20Attorneys'%20Books%20and%20Records%29.pdf
http://lprb.mncourts.gov/Pages/Appendix%201%20to%20MRPC.pdf
http://lprb.mncourts.gov/articles/Articles/Opinion%2013-%20Copying%20Costs%20%28Lawyers%20Professional%20Responsibility%20Board%20Opinion%20No.%2013%29.pdf
http://lprb.mncourts.gov/rules/RLPR/Rules%20on%20Lawyers%20Professional%20Responsibility.pdf
 

http://www.mncourts.gov/About-The-Courts/NewsAndAnnouncements/ItemDetail.aspx?id=1220
One of the key elements of the eCourtMN initiative is the establishment of eFiling and eService – giving case participants the ability to submit documents to the court and serve documents on opposing parties electronically, through an online portal. This allows court customers to file documents without traveling to the courthouse or paying for postage or courier costs, allows filers to submit documents immediately and outside of courthouse business hours, and allows court documents to be sent to filers electronically.


To summarize, all documents electronically generated by attorneys/parties or support staff (e.g., notices, complaints, motions, memoranda, etc.) should be submitted in text-searchable PDF format. Certain submissions to the Court do not need to be e-filed in text-searchable format. For example, if a party was attaching a paper document to a motion as an exhibit and needed to electronically scan that document, and that attachment should be e-filed without being “text- searchable.” Other documents that would not carry an expectation of being e-filed in text- searchable PDF format include: hand-written documents, photographs, and portions of documents that contain charts, graphics, signatures, or handwritten items (such as fill in the blank spaces on pre-printed forms. Guide to E-Filing with “Searchable” Portable Document Format (PDFs) in Minnesota District Courts http://www.mncourts.gov/Documents/0/Public/Court_Information_Office/eCourtMN/Guide_to_E-Filing_with_Searchable_PDFs_v2.pdf


Filing a Searchable PDF Document Under Rule 14 v2 Page 1 skills, tools, and knowledge on our way to a paperless court Fast Facts: eFiling a Searchable  PDF Document Under Rule 14 What’s new with Rule 14? Rule 14 of the General Rules of Practice governs eFiling and  eService. Previously, this Rule allowed documents to be eFiled in  several different formats. As of September 13, 2013, however,  documents are required to “be submitted in searchable PDF format  only.” http://www.mncourts.gov/mncourtsgov/media/scao_library/documents/eFile%20Support/Fast-Facts-eFiling-a-Searchable-PDF-Document-Under-Rule-14.pdf


http://www.mncourts.gov/File-a-Case/File-in-A-District-Trial-Court/eFSRollout.aspx
http://www.mncourts.gov/mncourtsgov/media/CIOMediaLibrary/DocumentLibrary/eFS-Voluntary-Designation.pdf
eFile/eServe Rollout 2015
Understanding the eFile/eServe Status column
Mahnomen
Ninth Judicial District
Voluntary as of Oct 26, 2015



from:    Rachel Kowarski
to:    lionnews00@gmail.com
date:    Mon, Dec 28, 2015 at 11:01 AM
subject:    Re: William Ward william.ward@mnpd.us
mailed-by:    gmail.com
signed-by:    gmail.com
:    Important mainly because it was sent directly to you.

Hi, I am no longer working for the Regional Native Public Defense.  If you need legal assistance please call 218-766-6372.  Thank you.
--
Rachel Kowarski
Regional Native Public Defense Corporation
218-766-6372 (cell)
218-983-3285 (ext. 1388)


Updated: February 11, 2016

from:    Lion News lionnews00@gmail.com
to:    mahedit@arvig.net,
today@whiteearth.com,
"Fontaine, Kip O." kip.fontaine@pubdef.state.mn.us,
"Alexander, Jessen" Jessen.Alexander@pubdef.state.mn.us,
Rachel Kowarski rkowarski.rnpd@gmail.com,
Matt Harding thecirclesmallotf@gmail.com,
william.ward@mnpd.us
date:    Thu, Feb 11, 2016 at 12:00 PM
subject:    Where is Matthew Harding's property .. .aka case files for (44-CR-14-699)?
mailed-by:    gmail.com


William Ward, State Public Defender 612-279-3512:

Is there some reason why your public pretender Jessen Alexander is still illegally withholding the readily available discovery data from his client, Matthew Harding in rigged case number 44-CR-14-699? Inquiring minds still want to know, don't they? Alexander is still trying to help Mahnomen Co. Attorney Darlene Rivera Spalla (Phone: 218-935-2378) rig Harding's case like he helped Polk County Attorney Greg Widseth & Crookston's City Attorney Charlie Fitzgerald rig the case against Chadwick Childress in Case No. 60-CR-13-2195, isn't he?


Is Mahnomen Co. Attorney Darlene Rivera Spalla going to use the "Sovereign Immunity" scam in Harding's case like she used in William McArthur's case or isn't she?? Hmm? Again, inquiring minds want to know, don't they? Oh, wait, Rivera is still making the wild and outrageous claim that "a dog ate the dash cam video," isn't she? She is, isn't she?


Hey, this is the second time you've coerced Paula Reyes into pleading guilty in Case No. 44-CR-14-696, isn't it? It is, isn't it? Why would Paul plead guilty when Jessen is proving that the search and the stop were illegal, huh? By the way, where is all the dispatch traffic and the Computer Assisted Dispatch reports for the stop, huh? That electronic evidence would prove the amount of time spent at the illegal stop, right? That's right, isn't it? I'm sure you're still upset that I helped get an acquittal in Case No. 44-CR-12-281 State of Minnesota vs WILLIAM ROSS MCARTHUR, aren't I? Then I'm really sure you're even more upset that I helped John Lom get his felony case no. 36-CR-15-575 dismissed, aren't I? I am, aren't I? Are you going to put Matt's DVDs in the mail today? Inquiring minds want to know, don't they?


Terry Dean, Nemmers (320) 283-5713


"As far as Mr. Nemers goes, I won't send him anything because he is not my client. But, I can send you the discovery and what you do with it is your business. I'd advise distancing yourself from him because his actions did harm one of my other client s case." December 5, 2015 Text Message from Assistant Public Pretender Jessen Alexander to client Matthew Harding. Copy of texts available upon request. Or check out http://lionnews00.blogspot.com/2015/12/state-public-defender-william-ward-is.html for this email that I just sent you.


This interaction was not filmed or recorded which violates police policy. Therefore, the length of time Defendant identification, Allen was detained is unclear. Ten minutes or more after getting Defendant’s was joined by Osowski and asked for permission to search the vehicle. When consent was not given, Allen told the parties that his canine would sniff the vehicle. Over fifteen minutes passed since the initial stop. vehicle. Allen’s canine did at least Ms. Reyes and Defendant were ordered out of the two passes of the vehicle. The canine never alerted or indicated drugs were present in the vehicle. BRIEF IN SUPPORT OF MOTION TO SUPPRESS AND DISMISS Court File # 44-CR-14-699  State of Minnesota vs. Matthew Aaron Harding. page 2.


Under the first prong of the Askerooth State has not shown that continuing to provided his identification that writing is tied seizure for a test, the minimum of 20 minutes after Defendant to that original legitimate purpose of the stop. Allen testified a speeding ticket does not normally take as long as Defendant was detained. Allen continued the detention for reasons other than the original purpose of the stop and therefore, for the stop to be legal, Allen needed reasonable and articulable suspicion of illegal activity at each step to continue the detention. page 4


Is Corrupt Itasca Co Sheriff Vic "Good Ol' Boy #2" Williams Sad That John Richard Lom Had His Felony Drive By Shooting Case Dismissed (Case No. 36-CR-15-575)? If Case No. 36-CR-15-575 Is Really Dismissed, Then Why Does It Still Say "Open" & "Pending Disposition," Huh? To Continue To Smear Lom's Good Name, Right? Sounds Just Like Case No. 43-CR-14-715 - Dismissed - State Of Minnesota VS Heather Swantek, Doesn't It? Just More Proof That There Is No Justice In The Corrupt Courts Of Minnesota? Koochiching Co. Sheriff Perryn Hedlund & Co. Attorney Jeff Naglosky Illegally Send Nemmers Confidential Investigative Data For Lom's Active Case 36-CR-15-575, But Still Illegally Withholding Public Data For Leach's Closed Cases - Case No. 36-CR-09-736 & Case No. 36-K0-97-000555? Leach Assaulted Lom's Wife, Belita At Northome Municipal Liquor Store (Case No. 36-CR-15-570), Didn't He? http://lionnews00.blogspot.com/2016/01/is-corrupt-itasca-co-sheriff-vic-good.html
 

State Public Defender William Ward: Is There Some Reason Why Your Public Pretender Jessen Alexander Is Illegally Withholding The Readily Available Discovery Data From Matthew Harding In Rigged Case No. 44-CR-14-699? Inquiring Minds Want To Know, Don't They? Will McArthur Suddenly & Mysteriously Acquitted (Case No. 44-CR-12-281)After How Many Years And How Many Scheduled/Canceled Trial Dates? Will Mahnomen Co. Attorney Darlene Rivera Spalla Use The "Sovereign Immunity" Scam In Harding's Case Like She Used In McArthur's Rigged Case? http://lionnews00.blogspot.com/2015/12/state-public-defender-william-ward-is.html

_____________________________________________________________
Danger: Public pretenders refuse to give clients their files and evidence?

from:    Lion News lionnews00@gmail.com
to:    mahedit@arvig.net,
today@whiteearth.com,
william.ward@mnpd.us,
"Fontaine, Kip O." kip.fontaine@pubdef.state.mn.us,
"Alexander, Jessen" Jessen.Alexander@pubdef.state.mn.us,
Matt Harding thecirclesmallotf@gmail.com
date:    Thu, Feb 11, 2016 at 5:45 PM
subject:    Matt Harding's attorney public pretender Jessen Alexander willfully refuses give Matt his court files/evidence?
mailed-by:    gmail.com


Gary W. Padrta, Public Relations Specialist/Editor 218-983-4640 ext. 5903 & Sue G Kraft, Managing Editor The Mahnomen Pioneer 218-935-5296:

How can Matt Harding make any informed decisions in his case when his own attorney willfully refuses to give Matt his files for the case? Must be why his mother, Paul Reyes, was coerced to plead guilty not only once but twice in her rigged case (44-CR-14-696), huh?  Now you can see why they don't allow video cameras in the crime scenes that they call courtrooms in Mahnomen county, can't you? You can, can't you?


Terry Dean, Nemmers (320) 283-5713


---------- Forwarded message ----------
From: "Matt Harding" thecirclesmallotf@gmail.com
Date: Feb 11, 2016 4:08 PM
Subject: My case files and property regarding my case also including all and any evidence against me
To: kip.fontaine@pubdef.state.mn.us
Cc:
On December 5, 2015 I sent a couple of texts directing my attorney Jessen Alexander to place all my court documents and evidence for Case No. 44-CR-14-699 onto DVD(s) and mail them to me. I have not received my property/case files. My files are my property, aren't they? How can I make any informed decisions about my case without my property/case files? I found this by doing a little research: "File contents belong to the client and must be turned over to the client upon request."
I want my files placed onto a DVD or DVD(s) and given to me immediately. Mail them to the address in my case files. If you willfully refuse to comply with your client's request, then put all of your objections into writing. Email me your signed objections so I can discuss it with State Public Defender William Wardwilliam.ward@mnpd.us 612-279-3512 and Chief Judge Paul T. Benshoof. If I do not receive my DVDs or your signed objections by February 29, 2016, then I will contact Ward and Benshoof.
Your client,
Matthew Harding


State Public Defender William Ward: Is There Some Reason Why Your Public Pretender Jessen Alexander Is Illegally Withholding The Readily Available Discovery Data From Matthew Harding In Rigged Case No. 44-CR-14-699? Inquiring Minds Want To Know, Don't They? Will McArthur Suddenly & Mysteriously Acquitted (Case No. 44-CR-12-281)After How Many Years And How Many Scheduled/Canceled Trial Dates? Will Mahnomen Co. Attorney Darlene Rivera Spalla Use The "Sovereign Immunity" Scam In Harding's Case Like She Used In McArthur's Rigged Case? http://lionnews00.blogspot.com/2015/12/state-public-defender-william-ward-is.html


More to come. . . .

Related links: see above