Tuesday, April 24, 2018

Will Nemmers' Personnel Complaint Toss A Monkey Wrench Into The Malicious Prosecution Of Poor, Black, Falsely Accused James Campbell? Malicious & Retaliatory Prosecution In 27-CR-18-9316, Right? Hey City of Brooklyn Park IP Address 199.244.223.2 Is Lurking & Skulking Again, Isn't it?

from: Lion News lionnews00@gmail.com
to: beth.toal@brooklynpark.org,
jross@startribune.com,
Tom Lyden tom.lyden@foxtv.com,
jamcammy2017@gmail.com,
jeffrey.lunde@brooklynpark.org,
rich.gates@brooklynpark.org,
lisa.jacobson@brooklynpark.org,
bob.mata@brooklynpark.org,
mark.mata@brooklynpark.org,
terry.parks@brooklynpark.org,
susan.pha@brooklynpark.org
date: Tue, Apr 24, 2018 at 10:47 AM
subject: Personnel Complaint VS Brooklyn Park Personnel
mailed-by: gmail.com


Beth Toal, Brooklyn Park Human Resources Manager Phone: 763-493-8012:
This is my formal written complaint against City of Brooklyn Park's City Manager/MGDPA Responsible Authority Jay Stroebel, City of Brooklyn Park's City Clerk/MGDPA Compliance Official Devin Montero, City of Brooklyn Park's Police Chief Craig Enevoldsen, and City of Brooklyn Park's Police Department Support Services Manager Lorelei Meyer for their willful refusal to provide me with the readily available, free, electronic, public data for my Chapter 13 data request that I submitted on Monday, October 30, 2017 at 7:29 PM. See attached. I have reason to suspect that the attached documents provide clear, precise and unquestionable proof of misuse of public resources, harassment, and criminal misconduct. If I do not receive my requested, readily-available, free, electronic, public data by 5:00PM on Thursday, April 25, 2018, then I will be more than happy to submit this signed personnel complaint and my evidence to local law enforcement as I have done in other jurisdictions.


Chapter 13 data request - Please email/file share me the following readily available, free, electronic, public data in its original searchable pdf format pursuant to 13.03 Subd 3(e):


1. Name and contact information for City of Brooklyn Park personnel who is assigned to Internet Provide Address: 75.146.36.62. https://www.revisor.mn.gov/statutes/?id=13.43


Terry Dean, Nemmers (320) 283-5713


Why Do Minneapolis Mayor Jacob Frey & Hennepin Co. Sheriff Rich Stanek Hate Poor, Black, Falsely Accused James Campbell? And Why Do Hennepin Co. Deputy Administrator Jennifer DeCubellis & Mark S. Thompson Hate Poor, Black, Falsely Accused James Campbell? Hmm? Inquiring Minds Want To Know, Don't They? Why Is Hennepin Co. Sheriff Rich Stanek (IP Address: 207.225.131.10) Lurking & Skulking On Lion News? http://lionnews00.blogspot.com/2018/03/why-do-minneapolis-mayor-jacob-frey.html


James Campbell's Sting On Corrupt Brooklyn Park Police Chief Craig Enevoldsen & City Manager Jay Stroebel? Campbell Victim Of Social Security Award Letter Scam & Theft Of Checks? Enevoldsen & Stroebel Exposed Trying To Cover Up Federal Crimes? City's Attorneys Kennedy & Gravon Have Well-Documented History Of Advising Clients To Engage In Criminal Misconduct, Don't They? Stroebel & Enevoldsen "Lawyer-Up" After Trying/Failing To Provoke An Incident With Nemmers? Corrupt City Of Brooklyn Park Caught Lurking & Skulking With IP Address 75.146.36.62 ? http://lionnews00.blogspot.com/2017/11/james-campbells-sting-on-corrupt.html


2 attachments: BPCmpltEvidence.pdf, BroklynPark_Personnel_Complaint.pdf

2. Used a certified letter to imply that poor, black, falsely accused James Campbell can't be trusted but the harassers at the City of Brooklyn Park can. Ex. Snail-mailing via certified mail a CD-R80 data disk containing some but not all of poor, black, falsely accused James Howard Campbell's readily available, free, electronic data.
3. Willfully refusing to include the original DSS audio file on snail-mailed CD-R80 data disk. Instead, the harassers substituted a converted wav. file that poor, black, falsely accused James Howard Campbell did not request. (Note: DSS 0.104 MB vs..WAV 10.1MB) The original DSS file of Audio File- 17-043430 Levine, Frank 127 1112.wav 42MB/43,041KB could have been easily emailed or file shared to poor, black, falsely accused James Campbell's email account via jamcammy2017@gmail.com. Gmail attachment size is limited to 25MB.
4. Willfully refused to email / file transfer 17-043430 Attachments.pdf Size: 484KB and 17-043430 Case Report.pdf Size: 26KB to poor, black, falsely accused James Campbell's email account via jamcammy2017@gmail.com. Gmail attachment size is limited to 25MB. 
5. Forced poor, black, falsely accused James Campbell to pay for paper copies of ICR: 2017- 00043430 which consisted of six (6) pages versus the electronic data which only consisted of three (3) pages. On 04-03-18 poor, black, falsely accused James Campbell was subjected to what I have reason to suspect is another provocation that resulted in Campbell’s false arrest and malicious imprisonment by the City of Brooklyn Park personnel.

Charge Details Full Name: Campbell, James .Howard Booking Number: 2018008040; Date of Birth: 2/12/1959; Sheriff's Custody: Released From Custody On . 4/5/2018 . 15:36; Housing Location: Blank; Received Date/Time: 4/3/2018.. 16:28; Arrested By: Bklyn Pk PD; Case/Count: 1/1; Description of Charge: Assault (Note: 609.221 Felony Assault In The Second Degree – According to paper jail documents received via Chapter 13 data request even though requested all documents in electronic format); Charged By: Bklyn Pk PD; Reason for Arrest: Probable Cause; Severity of Charge: Prob Cause; State of Charge: 36 Hours Expired; Bail Information: $0 NBR/JAIL; Court Appearance Date/Time: Blank; Court Appearance Location: Blank.

I reached the reasonable conclusion that poor, black, falsely accused James Campbell was subjected to a provocation, a false arrest and a malicious imprisonment based in part on the fact that after thirty- six hours in the Hennepin County jail that poor, black, falsely accused James Campbell was not charged with second degree felony assault. However, after submitting a Chapter 13 informed consent form to both the Hennepin County Sheriff’s Dept and the City of Brooklyn Park poor, black, falsely accused James Campbell was maliciously charged with a couple of malicious, measly misdemeanors. Note: both informed content forms contain similar language which described the arrest as “false” and the imprisonment as “malicious.”

State of Minnesota vs James Howard Campbell, Case No. 27-CR-18-9316
04/12/2018 E-filed Comp-Summons Index # 1 04/12/2018 Summons Index # 2
05/14/2018 Arraignment (9:30 AM) (Judicial Officer Dickstein, Mel I.)

I have reason to suspect that the malicious, measly misdemeanor charges are in retaliation for daring to accurately describe his experiences on 04-03-18 with City of Brooklyn park personnel. On Wednesday, April 11, 2018 at 3:32 PM City of Brooklyn Park Deputy Chief Mark Bruley sent poor, black, falsely accused James Campbell, what I was describe as, a “Go to hell!” email. The “Go to hell!” email stated that poor, black, falsely accused James Campbell could only get his data through an attorney. Obviously, Bruley knew that poor, black, falsely accused James Campbell was going to be
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maliciously prosecuted by the City of Brooklyn Park’s City attorney Michael J. Colich. However, instead of being kind, courteous and helpful and forwarding poor, black, falsely accused James Campbell’s signed, legal demand for his evidence to City of Brooklyn Park’s City attorney Michael J. Colich for processing, Bruley opted for the passive/aggressive “Go to hell!” email.

On April 23, 2018 City of Brooklyn Park’s City attorney Michael J. Colich returned my phone call. In the phone conversation Colich made some wild and outrageous claims that he was not in possession of poor, black, falsely accused James Campbell’s signed, legal demand for his evidence. Plus, Colich was making some wild and outrageous claims that he would be charging poor, black, falsely accused James Campbell $20.00 for his readily available, free, electronic data. A simple transfer of data doesn’t cost $20.00. Maliciously and intentionally converting electronic data to paper documents does.

Actual Cost: There are certain things that can be included when government calculates actual cost for the purpose of charging for making copies of a data request. Things That Can Be Included: Cost of media (paper, CD ROMs, DVDs, etc.); Mailing costs; Employee time to prepare copies Note: Employee time must be calculated based on the wages/salary (may include benefits) of the lowest-paid entity employee who could complete the task (Advisory Opinion 04-056) https://mn.gov/admin/data-practices/data/rules/copy-costs/actual-cost/

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.” What is “searchable PDF format?” Searchable PDF format allows users to search easily for words or phrases within a document. You achieve this by saving documents you’ve created in Microsoft Word, Excel, etc. as PDFs (see QRG: Creating a Searchable PDF Document). eCourtMN University skills, tools, and knowledge on our way to a paperless court. Fast Facts: eFiling a Searchable PDF Document Under Rule 14 http://www.mncourts.gov/mncourtsgov/media/scao_library/documents/eFile%20Support/Fast-Facts-eFiling-a-Searchable-PDF-Document-Under-Rule-14.pdf

PDF A file format that provides an electronic image of text that looks like a printed document, which can be viewed, printed, and electronically transmitted. Scanned PDF A file created by scanning a paper original and saving it in the “.pdf” file format. Glossary eFile and eServe (eFS) Terms and Definitions. Glossary. eCourtMN University skills, tools, and knowledge on our way to a paperless court. http://www.mncourts.gov/mncourtsgov/media/scao_library/documents/eFile%20Support/Glossary-eFS-Terms-and-Definitions-Public.pdf

I can’t speak for poor, black, falsely accused James Campbell. However, I have reason to suspect that poor, black, falsely accused James Campbell and I are of the same mind on this issue. I also have reason to suspect that poor, black, falsely accused James Campbell might, just might, be filing similar complaints.
 _________________________________________________ 
Terry Dean, Nemmers
20179 County Road 28
Glenwood, MN 56334 (320) 283-5713

P.S. Did I forget to mention that poor, black, falsely accused James Campbell and I have all sorts of incriminating audio recordings to back up our well-reasoned allegations?
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More to come . . .

Related links:

Why Do Minneapolis Mayor Jacob Frey & Hennepin Co. Sheriff Rich Stanek Hate Poor, Black, Falsely Accused James Campbell? And Why Do Hennepin Co. Deputy Administrator Jennifer DeCubellis & Mark S. Thompson Hate Poor, Black, Falsely Accused James Campbell? Hmm? Inquiring Minds Want To Know, Don't They? Why Is Hennepin Co. Sheriff Rich Stanek (IP Address: 207.225.131.10) Lurking & Skulking On Lion News?

James Campbell's Sting On Corrupt Brooklyn Park Police Chief Craig Enevoldsen & City Manager Jay Stroebel? Campbell Victim Of Social Security Award Letter Scam & Theft Of Checks? Enevoldsen & Stroebel Exposed Trying To Cover Up Federal Crimes? City's Attorneys Kennedy & Gravon Have Well-Documented History Of Advising Clients To Engage In Criminal Misconduct, Don't They? Stroebel & Enevoldsen "Lawyer-Up" After Trying/Failing To Provoke An Incident With Nemmers? Corrupt City Of Brooklyn Park Caught Lurking & Skulking With IP Address 75.146.36.62 ?