Friday, June 22, 2018

Poor, Black, Falsely Accused James Campbell and Gloria Coney Send Damning Email To Chief Judicial Officer Ivy S. Bernhardson? James & Gloria Tosses City of Brooklyn Park City Attorneys James J. Thomson, Michael J. Colich, Legal Aid Drew Schaffer & Metropolitan Council's Ann Bloodhart Under The Bus? (27-CR-18-9316, 27-CV-HC-18-2493 & 27-CV-HC-18-2286) HRA Metro's Wes Kooistra Admits To Filing False Police Report? Metro Transit ICR: 18-00-80-04 & 18-00-80-10 Prove Kooistra Only Sorry He Got Caught, Right?


On Jun 21, 2018 12:50 PM, wrote:  ---------- Forwarded message ----------  From: "James Campbell" jamcammy2017@gmail.com
Date: Jun 21, 2018 12:34 PM  Subject: Complaint to Chief Judicial Officer Ivy S. Bernhardson  To: 4thJudgeBernhardsonChambers@courts.state.mn.us, jthomson@kennedy-graven.com, jross@startribune.com, mcolich@colichlaw.com, dpschaffer@mylegalaid.org, alene.tchourumoff@metc.state.mn.us, lona.schreiber@metc.state.mn.us
Cc:  Subject: City of Brooklyn Park City Attorneys holding hostage poor, black, falsely accused James Campbell’s 27-CR-18-9316, 27-CV-HC-18-2493 and 27-CV-HC-18-2286 evidence

Chief Judicial Officer Ivy S. Bernhardson Chambers Phone: (612) 348-2554/ Judicial Clerk: (612) 348-4364:

We have reason to suspect that City of Brooklyn Park City Attorneys James J. Thomson and Michael J. Colich are advising their Brooklyn Park clients Alan Peterson, Building Official, Craig Enevoldsen, Police Chief and Jay Stroebel, City Manager to illegally withhold readily available, free, electronic data that we need for the malicious and frivolous prosecutions in 27-CR-18-9316, 27-CV-HC-18-2493 and 27-CV-HC-18-2286. We have reason to suspect that the motive is to 1. cover-up the frivolous litigation and documented harassment of Joseph Timothy Noonan of BP Equities LLC & TMC Management Corp and 2. to make sure that Poor, Black, Falsely Accused James Campbell is forced to plead guilty or is found guilty at trial for 27-CR-18-9316 without ever receiving all his evidence.

Data illegally withheld:

1. Gloria Coney's report to City of Brooklyn Park Building Inspections Division of a report of grilling using oil and propane at TMC Management Corp. property. Request submitted in Chapter 13 data request.
2. Police reports documents TMC Management Corp. harassment. Request submitted in Chapter 13 data request.
3. Joseph Timothy Noonan's 911 call and the corresponding transcript; transcripts for the body camera, squad video and audio files (1-172 0734.DSS 18-016788 VICTIM.wav; 1-172 0732.DSS 18-016788 Campbell, James.wav & 1-172 0731.DSS 18-016788 Coney, Gloria.wav); police reports in searchable pdf format; Also is there a chunk of the audio magically & mysteriously missing from the beginning of 1-172 0734.DSS 18-016788 VICTIM.wav. We demand all the unedited DSS files.

We also have reason to suspect that Legal Aid attorney Jeffer Ali is attempting to sabotage the malicious eviction case 27-CV-HC-18-2493 filed by frivolous and malicious pro se litigant Joseph Noonan. Ali was making some wild and outrageous claims that we couldn't file for sanctions because Noonan wasn't an attorney. Ali didn't want to state for the record that Pro Se litigants are not required to follow all the rules of court. Nor does Ali of Legal Aid want to assist us in getting our money from Teddy Bear Management LLC. (Court file Number: 27-CV-15-12114 Monetary Amount: $1,070.00 Debtors: Teddy Bear Management LLC.). If we had that money we would have moved to St. Paul a long time. Nor does Ali want to negotiate with the Metropolitan Council to get us our emergency transfer from our current location to St. Paul. We spoke to the management in St. Paul and all that is holding us back is $300.00. We have reason to suspect that both Legal Aid and the Metropolitan Council want us to be subjected to Noon's malicious and frivolous evictions.

We also have reason to suspect that Metropolitan Council's Ann Bloodhart, General Counsel (651.602.1105) is also advising their clients to illegally withhold data from us. We also believe Bloodhart advising their clients to deny us a emergency housing in St. Paul because we have clear precise and unquestionable evidence is shielding Teddy Bear Management LLC and TMC Management Corp. Metro Transit Police willfully refuse to give us the police report of us filing a criminal complaint against Terry Smith and Wes Kooistra, Met Council regional administrator for filing a false police report against us - ICR: 18-00-80-04 & 18-00-80-10. Motive to retaliate against us for proving that the Metropolitan Council is covering up the misconduct of Teddy Bear Management LLC & TMC Management Corp. We have reason to suspect that the Metropolitan Council, the City of Brooklyn and Legal Aid want to teach Poor, Black, Falsely Accused James Campbell and Gloria Coney that they are required to follow contracts, court rules and laws but Teddy Bear Management LLC and TMC Management Corp are not required contracts, court rules and laws.

Signed

Poor, Black, Falsely Accused James Campbell and Gloria Coney

Case No. 27-CV-HC-18-2493 BP Equities LLC vs James Campbell, Gloria Coney  06/13/2018 Complaint-Civil Index # 1
06/13/2018 Power of Authority in Unlawful Detainer Index # 2
Case No. 27-CV-HC-18-2286 BP Equities LLC vs James Campbell, Gloria Coney
05/31/2018 Complaint-Civil Index # 1
05/31/2018 Eviction Summons Index # 2
Case No. 27-CR-18-9316 State of Minnesota vs JAMES HOWARD CAMPBELL
04/12/2018 E-filed Comp-Summons Index # 1
05/15/2018 Demand or Request for Discovery Index # 8
06/29/2018 Pre-trial (1:00 PM) (Judicial Officer Dickstein, Mel I.

https://www.kennedy-graven.com/Attorneys/James-J-Thomson.shtml  James J. Thomson Shareholder and former president of Kennedy & Graven, Chartered Location: Minneapolis, Minnesota Phone: (612) 337-9209 Fax: (612) 337-9310 Email: jthomson@kennedy-graven.com Land Use Litigation Local Government Law ... Jim currently is the city attorney for the cities of Brooklyn Park, Oakdale, and Shakopee. He is also a defense attorney for the League of Minnesota Cities Insurance Trust

http://www.colichlaw.com/index.php/attorneys/item/85-michael-j-colich  Michael J. Colich Michael Colich has practiced criminal law for over 30 years, spending his first seven years in practice as a Hennepin County Prosecutor.  Phone: 612.333.7007 Fax: 612.333.0492 10 South Fifth Street #420 Lumber Exchange Building Minneapolis, MN 55402

http://www.brooklynpark.org/directory/alan-peterson/ Alan Peterson Building Official Phone: 763-493-8081 Departments: Community Development, Building Inspections Alan.Peterson@brooklynpark.org
http://www.brooklynpark.org/directory/craig-enevoldsen/ Craig Enevoldsen Police Chief Phone: 763-493-8308 Department: Police   http://www.brooklynpark.org/directory/jay-stroebel/ Jay Stroebel City Manager Phone: 763-493-8002 Department: Administration jay.stroebel@brooklynpark.orgcraig.enevoldsen@brooklynpark.org

https://www.revisor.mn.gov/court_rules/rule.php?type=pr&subtype=cond&id=8.4 MINNESOTA COURT RULES PROFESSIONAL RULES Minnesota Rules of Professional Conduct  Rule 8.4 Misconduct It is professional misconduct for a lawyer to: (a) violate or attempt to violate the Rules of Professional Conduct, knowingly assist or induce another to do so, or do so through the acts of another; (b) commit a criminal act that reflects adversely on the lawyer's honesty, trustworthiness, or fitness as a lawyer in other respects; (c) engage in conduct involving dishonesty, fraud, deceit, or misrepresentation; (d) engage in conduct that is prejudicial to the administration of justice; (g) harass a person on the basis of sex, race, age, creed, religion, color, national origin, disability, sexual orientation, status with regard to public assistance, ethnicity, or marital status in connection with a lawyer's professional activities;

Subd. 8. Sanctions. If a party fails to comply with a discovery rule or order, the court may, on notice and motion, order the party to permit the discovery, grant a continuance, or enter any order it deems just in the circumstances. Any person who willfully disobeys a court's discovery order may be held in contempt. MINNESOTA COURT RULES CRIMINAL PROCEDURE Rule 9. Discovery in Felony, Gross Misdemeanor, and Misdemeanor Cases Rule 9.03 Regulation of Discovery

11.02 Representations to Court By presenting to the court (whether by signing, filing, submitting, or later advocating) a pleading, written motion, or other document, an attorney or self-represented litigant is certifying that to the best of the person's knowledge, information, and belief, formed after an inquiry reasonable under the circumstances: (a) it is not being presented for any improper purpose, such as to harass or to cause unnecessary delay or needless increase in the cost of litigation; MINNESOTA COURT RULES CIVIL PROCEDURE Rule 11. Signing of Pleadings, Motions, and Other Documents; Representations to Court; Sanctions 

The Commissioner cannot opine on the proper application of the ethical rules governing the conduct of attorneys; that is strictly within the purview of the Courts. For further guidance, the Commissioner refers the County to the comments to Rule 4.2, in particular Comment 4. However, notwithstanding the attorney conduct concerns, the County’s obligation under the Data Practices Act to comply immediately or in ten business day with a data subject’s request is clear. (The Commissioner has also previously opined that the existence of litigation between a data requester and an entity does not relieve the entity of its data practices responsibilities. See Advisory Opinions 96-038 and 97-005.) As the Commissioner noted in Advisory Opinion 03-030: ... Opinion: Based on the facts and information provided, the Commissioner’s opinion on the issue is as follows: Carver County did not respond appropriately to a March 14, 2018, data request from a data subject because it did not provide access to the data within ten business days, pursuant to Minnesota Statutes, section 13.04. Signed: Matthew Massman Commissioner Dated: April 21, 2018. Advisory Opinion 18-005 May 21, 2018; Carver County May 22, 2018.

THE COURT: All right. So I’ll find that Mr. Campbell qualifies to receive the production of the Rule 2 9.05 subd. And you should –- you should if you have not already make a written request to the prosecutor for those documents and the prosecutor will produce them to you.
THE DEFENDANT: Thank you. ...
MS. GROSSMAN: Your Honor, it will take a little bit of time. There is electronic video that does take time to --
THE COURT: All right.
THE DEFENDANT: Five minutes?
MS. GROSSMAN: -- produce.
THE DEFENDANT: Five minutes?
MS. GROSSMAN: We have a lot of people requesting discovery so -- 
THE COURT: All right. This isn’t the time. We’ll give you a couple of weeks.
MS. GROSSMAN: Thank you, Your Honor. And I’ll make sure that it gets –- all of the police reports as well as the electronic discovery gets mailed to Mr. Campbell.  Transcript of Proceedings File No. 27-CR-18-9316 The above-entitled matter came before the Honorable Mel Dickstein, Judge of District Court at the Hennepin County 12 Courthouse – Brookdale, Minneapolis, Minnesota, on May 14, 2018 13 at 9:45 a.m.

# 26806 Dana Llewelyn came to apt 203 had camera in face (James). Needed to move car in legal parking spot #5 or it would be towed. Locksmith said he wasn’t going to do it - its illegal. Shilo told them to go back to apt or she would call the police and say they were harassing her. Supplemental for Brooklyn Park Police Department Case Number: 2018-00026806


FOURTH JUDICIAL DISTRICT COURT

IVY S. BERNHARDSON
CHIEF JUDGE
HENNEPIN COUNTY GOVERNMENT CENTER
MINNEAPOLIS. MINNESOTA 55487-0422
(612) 348-2554
ivy.bernhardson@courts.state.mn.us

June 22, 2018

Mr. James Campbell
6281 Louisiana Avenue N., #203
Brooklyn Park, MN 55428
Email: jamcammy2017@gmail.com

Dear Mr. Campbell

My chambers received your e-mail correspondence dated June 20, 2018. I have reviewed your e-mail and understand your complaints are:

· Allege that the City of Brooklyn Park is withholding data you believe you are entitled to for Court File No. 27-CR-18-9316;
· Concern over Legal Aid attorney Mr. Ali’s role in Housing Court matter; Court File No. 27-CV-HC-18-2493; and
· Allege that the Metropolitan Council is withholding data you believe you are entitled to regarding Court File No. 27-CV-15-12114.

Please be advised that in my role as chief judge I cannot take any action with respect to your concerns. As chief judge, I have no authority to investigate allegations of alleged criminal activity or allegations of unethical behavior or professional misconduct by lawyers. The chief judge also has no appellate authority over the decisions and orders of my colleagues, my fellow district court judges.

You take issue with the handling of discovery in Court File No. 27-CR-18-9316. As the defendant you have the right to counsel in the matter, and you may apply for the services of a public defender at Brookdale or you may seek legal assistance elsewhere. The Rules of Criminal Procedure provide a clear path for how discovery in a criminal case should proceed. Under the Code of Judicial Conduct, Judges cannot provide legal advice to parties.

Allegations of unethical conduct by lawyers may be made to the Minnesota Lawyers Professional Responsibility Board. Allegations of criminal conduct should be reported to law enforcement.

Very truly yours,
Ivy S. Bernhardson
Chief Judge
4th Judicial District


Admission, right? Sorry for getting caught filing a false police report against Poor, Black, Falsely Accused James Campbell & Gloria Coney, right?


June 21, 2018

James Campbell
Gloria Coney
6281 Louisiana Ave #203
Brooklyn Park, MN 55428

1. Metro Transit Police Interaction - You visited the Council's downtown Saint Paul office on Friday, June 15, 2018 and requested to see Terri Smith. There was a misunderstanding and you were approached by a Metro Transit police officer. This was not the intent and we sincerely apologize for the miscommunication that led to this occurrence.

With Respect,

Wes Kooistra, Metropolitan Council Regional Adminisrator
CC: Terri Smith Director, Metro HRA

https://www.revisor.mn.gov/statutes/cite/609.505 609.505 FALSELY REPORTING CRIME. § Subdivision 1.False reporting. Whoever informs a law enforcement officer that a crime has been committed or otherwise provides information to an on-duty peace officer, knowing that the person is a peace officer, regarding the conduct of others, knowing that it is false and intending that the officer shall act in reliance upon it, is guilty of a misdemeanor. A person who is convicted a second or subsequent time under this section is guilty of a gross misdemeanor.

Metro Transit ICR: 18-00-80-04 & 18-00-80-10

Metro Transit ICR: 18-00-80-04 & 18-00-80-10 prove Kooistra only sorry he got caught, right? That's right, isn't it?


from: Lion News lionnews00@gmail.com
to: dpschaffer@mylegalaid.org,
Kelly.Puspoki@gtcuw.org,
jamcammy2017@gmail.com,
lgrundman@mylegalaid.org,
jaili@mylegalaid.org
date: Sat, Jun 23, 2018 at 4:42 PM
subject: Legal Aid Still Sabotaging Poor, Black, Falsely Accused James Campbell's Malicious Eviction Case No. 27-CV-HC-18-2286?
mailed-by: gmail.com


Drew P. Schaffer Executive Director Mid-Minnesota Legal Aid 612.746.3702:

1. Why haven't you provided Poor, Black, Falsely Accused James Campbell with the final results of your grievance investigation into the misconduct of your staff attorney Luke Grundman?
2. Why would you offer your grievance procedure in a possible complaint against your Jeffers Ali to Poor, Black, Falsely Accused James Campbell when you haven't even furnished the final results of your grievance investigation into the misconduct of your staff attorney Luke Grundman? When will Poor, Black, Falsely Accused James Campbell be provided with the final results of your grievance investigation into the misconduct of your staff attorney Luke Grundman? Five (5) minutes from never?
3. Why would your attorney Ali make the wild and outrageous claims to Poor, Black, Falsely Accused James Campbell and to Gloria Coney during an audio recorded conversation that they couldn't file for sanctions against their TMC Management landlord Joseph T. Noonan when he filed a frivolous and malicious eviction lawsuit against them? The frivolous and malicious 27-CV-HC-18-2286 was not only dismissed but it was also expunged, wasn't it? Why would you and Ali willfully refuse to file legitimate sanctions against Noonan, huh?
4. Why wouldn't you assist Poor, Black, Falsely Accused James Campbell and Gloria Coney in recovering the money owed to them by Teddy Bear Management LLC? (Court file Number: 27-CV-15-12114 Monetary Amount: $1,070.00 Debtors: Teddy Bear Management LLC.)
5. Why wouldn't you assist Poor, Black, Falsely Accused James Campbell and Gloria Coney in obtaining emergency housing in St Paul from HRA Metro? Is it because Ali wanted to negotiate with Noonan for Poor, Black, Falsely Accused James Campbell and Gloria Coney to stay with their tormentor, Joseph T. Noonan? Why would you want Poor, Black, Falsely Accused James Campbell and to Gloria Coney to be put into harm's way, hmm? Inquiring minds want to know don't they?
6. How much is Joseph T. Noonan paying you to sabotage Poor, Black, Falsely Accused James Campbell's and Gloria Coney's malicious eviction Case No. 27-CV-HC-18-2286? Hmm? Inquiring minds really want to know don't they?
7. Please email me your organization's most current Form 990. You are required by law to provide me with the data, aren't you? https://www.irs.gov/charities-non-profits/charitable-organizations/public-inspection-and-disclosure-of-form-990-t


Terry Dean, Nemmers (320) 283-5713


We also have reason to suspect that Legal Aid attorney Jeffer Ali is attempting to sabotage the malicious eviction case 27-CV-HC-18-2493 filed by frivolous and malicious pro se litigant Joseph Noonan. Ali was making some wild and outrageous claims that we couldn't file for sanctions because Noonan wasn't an attorney. Ali didn't want to state for the record that Pro Se litigants are not required to follow all the rules of court. Nor does Ali of Legal Aid want to assist us in getting our money from Teddy Bear Management LLC. (Court file Number: 27-CV-15-12114 Monetary Amount: $1,070.00 Debtors: Teddy Bear Management LLC.). If we had that money we would have moved to St. Paul a long time. Nor does Ali want to negotiate with the Metropolitan Council to get us our emergency transfer from our current location to St. Paul. We spoke to the management in St. Paul and all that is holding us back is $300.00. We have reason to suspect that both Legal Aid and the Metropolitan Council want us to be subjected to Noon's malicious and frivolous evictions From: "James Campbell" jamcammy2017@gmail.com Date: Jun 21, 2018 12:34 PM Subject: Complaint to Chief Judicial Officer Ivy S. Bernhardson To: 4thJudgeBernhardsonChambers@courts.state.mn.us, jthomson@kennedy-graven.com, jross@startribune.com, mcolich@colichlaw.com, dpschaffer@mylegalaid.org, alene.tchourumoff@metc.state.mn.us, lona.schreiber@metc.state.mn.us


4. You cannot file a lawsuit for the wrong reasons. For example, you cannot file a lawsuit to harass another person, cause delay or needlessly increase the cost of litigation, or commit a fraud upon the court. If you file your lawsuit for the wrong reason, you may have to pay attorneys fees and court costs to the other party. [Rule 11 of the Minn. Rules of Civil Procedure and Minn. Stat. §549.211.] Rights and Duties of Self-Represented Parties vs. Minn. Stat. §549.211

http://www.mncourts.gov/mncourtsgov/media/CourtForms/OTH101.pdf?ext=.pdf

June 20, 2018 James Campbell Gloria Coney 6281 Louisiana Avenue North Apartment #203 Brooklyn Park, MN 55428 I agreed to meet with you this morning in preparation for defending you in the eviction action for which you have a court data this coming Monday, June 25, 2018. … As such I interpreted your actions as meaning that you no longer want me to serve as your attorney with regard to your housing matters. In any event, I consider my services terminated, and I will not be in court on Monday to represent you. Good luck to you. Very truly yours. Jeffers Ali, Attorney


Dear Mr. Campbell: We just spoke on the phone. You ended the call when I confirmed that Legal Aid is not representing you [1] on Monday, June 25 th , in an eviction case filed against you, or [2] in a motion for sanctions on your behalf against your landlord, Joseph Noonan. ... I understand that you are dissatisfied with Legal Aid’s handling of your case and this situation. Here is a link to our grievance policy: http://www.mylegalaid.org/grievance-procedure/. Please let me know if you have any questions about this. Drew P. Schaffer Executive Director Mid-Minnesota Legal Aid 430 First Avenue North, Suite 300 Minneapolis, MN 55401 612.746.3702 dschaffer@mylegalaid.org www.mylegalaid.org From: "Schaffer, Drew" dschaffer@mylegalaid.org Date: Jun 22, 2018 3:28 PM Subject: Confirmation of Termination of Representation To: "James Campbell" jamcammy2017@gmail.com


http://mylegalaid.org/news/article/2014-statement-0f-priorities-and-objectives MDLC also receives funds from the United Way of Minneapolis, the Fund for the Legal Aid Society, the Legal Services Advisory Committee, the Lawyers Trust Account Board, several smaller grants and individual donations.


Lie By Omission Law and Legal Definition A lie of omission is an intentional failure to tell the truth in a situation requiring disclosure. An example could be a seller's failure to note a known defect on a real estate disclosure form. https://definitions.uslegal.com/l/lie-by-omission/


In the event that the complaint is not resolved within three (3) business days of the conference with the Executive Director, the Executive Director shall, if requested to do so by the complaining party, arrange an opportunity for the complaining party to submit a complaint to the President of the Board of Directors. The complaint to the Board President must be in writing and must be received by the Executive Director or by the President of the Board within ten (10) business days of the final meeting or discussion with the Executive Director seeking an informal resolution of the issue. If requested, office staff shall transcribe a statement dictated by the complaining party. http://www.mylegalaid.org/grievance-procedure/


June 21, 2018 James Campbell Gloria Coney 6281 Louisiana Ave #203 Brooklyn Park, MN 55428 1. Metro Transit Police Interaction - You visited the Council's downtown Saint Paul office on Friday, June 15, 2018 and requested to see Terri Smith. There was a misunderstanding and you were approached by a Metro Transit police officer. This was not the intent and we sincerely apologize for the miscommunication that led to this occurrence. ... With Respect, Wes Kooistra, Metropolitan Council Regional Administrator CC: Terri Smith Director, Metro HRA


ttps://www.revisor.mn.gov/statutes/cite/609.505 609.505 FALSELY REPORTING CRIME. § Subdivision 1.False reporting. Whoever informs a law enforcement officer that a crime has been committed or otherwise provides information to an on-duty peace officer, knowing that the person is a peace officer, regarding the conduct of others, knowing that it is false and intending that the officer shall act in reliance upon it, is guilty of a misdemeanor. A person who is convicted a second or subsequent time under this section is guilty of a gross misdemeanor.
 

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More to come. . . .

Related links:

Loony & Corrupt Brooklyn Park Police Chief Craig Enevoldsen Electronically Transmits ICR 2018-00025859 Report On May 29, 2018 & ICR 2018-00026806 Report On June 1, 2018 To Poor, Black Falsely Accused James Campbell But Willfully Refuses To Electronically Transmit ICR 2017-00043430/2018-00043430 Body Camera Data? Oh And BPD Enevoldsen Wants To Charge Court Determined Indigent Poor, Black, Falsely Accused James Campbell To Pay $25.00? Did I Forget To Mention BPD Enevoldsen Wants Poor, Black, Falsely Accused James Campbell To Come Fetch Data?

5-14-18 27-CR-18-9316 Transcript Shows Hennepin Judical Officer Dickstein Conspiring With City Of Brooklyn Park City Attorney Amanda Grossman To Illegally Withhold Evidence From Poor, Black, Falsely Accused James Campbell? Transcript Denied Until "Poor, Black, Falsely Accused" Removed From Supplemental Affidavit For Proceeding In Forma Pauperis? Hennepin Court Electronically Transfers Data To Poor, Black, Fasely Accused James Campbell But Not City Of Brooklyn Park? Nemmers Turns Dickstein Into The Judicial Selection Committee? Brooklyn Park City Council Member Rich Gates Willfully Refuses To Investigate Criminal Misconduct?

Poor, Black Falsely Accused James Campbell Tosses Monkey Wrench Into 27-CR-18-9316 Malicious Prosecution By Filing Counter Criminal Complaint Against False Accuser Joseph Timothy Noonan Property Manager of TMC Management Corporation? Poor, Black Falsely Accused James Campbel Uses Hennepin Co. Chief Judicial Officer Ivy S. Bernhardson's 5-10-18 "Go To Hell!" Letter As Evidence?

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?

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 ?