Tuesday, January 22, 2019

Corrupt 4th Judicial District Chief Judicial Officer Ivy S. Bernhardson Gets Some Bad News (Demand For Administrative Investigation)? Losay Kimba Files Complaint Over Super-Duper Special Treatment For Frivolous & Malicious Litigant Joseph Noonan? Where Oh Where Are TMC Management Corp. President Joseph Noonan's Rule 603 Power of Authority For 27-CO-18-2185 & 27-CO-18-4876 & 27-CO-18-9528? Noonan Pulled Same Frivolous & Malicious Tactics In Expunged 27-CV-HC-18-2286, Right?


Ivy S. Bernhardson, Chief Judicial Officer              01-17-19
Hennepin Co. Govt. Center
300 South 6th
Minneapolis, MN 55487
(612) 348-2040
4thJudgeBernhardsonChambers@courts.state.mn.us
Chambers Phone: (612) 348-2554
Judicial Clerk: (612) 348-4364

I am demanding an administrative investigation 1 into the special treatment that your so-called officers of the court are giving to TMC Management Corp. President Joseph Noonan (Hereinafter Noonan). Plus, I am demanding that your so-called officers of the court stop mentally abusing me through their willful refusal to fall back onto their training and through their willful refusal to follow your own court rules and your court policies. Furthermore, I have absolutely no trust nor any confidence that you will do you advertised job and do an administrative investigation 2 into my concerns. Not only do I do I not trust you but I do not have any trust or confidence in your so-called courts either. Finally, I’m an going to educate the public on how they shouldn’t have any trust or any confidence 3 in your so-called courts either.

I am so sick and so tired of your so- called officers of the court mentally abusing 4 me by telling me: “You are expected to appear fully prepared” Evidence Noonan illegally withholding Kimba’s deposit that it isn’t even funny. Apparently, that means that I am to be prepared to be mentally abused 5 by your so-called officers of the court. The funny part is while I am actually getting mentally abused by your so-called officers of the courts Noonan is whining, pissing and moaning that he is getting picked on 6 by your so- called officers of the court.

Below are numerous examples of your so-called officers of the court are willfully refusing to enforce Minnesota Court Rules 8,9 – General Rules of Practice - Rule 603 for cases involving Noonan 10 . Do I need to point out the obvious that Noonan is rich & white and Noonan’s victims are poor & black? Or can you figure that out for yourself?

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Examples 1-3 show that your so-called officers of the court willfully refused to fall back onto their training. By willfully refusing to fall back onto their training your so-called officers of the court willfully refused to enforce the rules of court and willfully refused to enforce the court polices. This is evidenced by your so-called officers of the court allowing Noonan to represent his corporation without an attorney or a Power of Authority in examples 1-3.

Example One: Case No. 27-CO-18- 2185 Losay Kimba vs TMC Management Corp 03/13/2018 Statement of Claim and Summons Index # 2 04/24/2018 Request for Continuance Index # 4 06/12/2018 Order for Dismissal Index # 6 (Judicial Officer: Yost, Gerald B. ) 06/12/2018 Fail to Appear at a hearing DISPOSITIONS 06/12/2018 Dismissal without prejudice (Judicial Officer: Yost, Gerald B.)

Example Two: Case No. 27-CO-18- 4876 LOSAY DOMINIC KIMBA vs Evidence Noonan illegally withholding Kimba’s TMC Management Corp. deposit 06/12/2018 Statement of Claim and Summons Index # 1 07/27/2018 Notice to Remove Judicial Officer Index # 5 (Judicial Officer: Brown, Jeffrey C. ) 08/08/2018 Order for Judgment and Judgment Index # 7 (Judicial Officer: Ansel, Jeffrey R. )

Example Three: Case No. 27-CO-18-9528 Losay Dominic Kimba vs Joe Noonan 12/18/2018 Request for Continuance Index # 5 02/13/2019 Conciliation Hearing (8:15 AM) (Judicial Officer Steeves, Eric P.) 12/27/2018 Continued to 02/13/2019 - Other - Noonan, Joe This is also evidenced by your so-called officers of the court allowing Noonan to file numerous legal document into these court cases without an attorney’s signature on the documents or a Power of Authority filed with the court. At no time did a single one of your so-called officers of the court sanction Noonan for his malicious and frivolous filings. In fact, Noonan was rewarded with a dismissal without prejudice instead of default judgment. This special treatment for Noonan just doesn’t happen in my cases. Your so-called officers of

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the court gave Noonan similar special treatment in examples 4-6.

Example Four: 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
06/05/2018 Affidavit of Not Found Index # 3
06/05/2018 Affidavit of Mailing Index # 4
06/05/2018 Affidavit of Plaintiff Index # 5
06/13/2018 Eviction Hearing (1:15 PM) (Judicial Officer Labine, Mark A.)

Example Five: Represented Evidence Noonan illegally withholding Kimba’s deposit by Joseph Noonan. 5. Notice to Quit not attached to complaint. By the Court: Ivy S. Bernhardson 6/13/18. Dated: 6/13/18 Sarah Lindahl- Pfieffer, Court Administrator. Eviction Action – Findings of Fact, Conclusions of Law, Order and Judgment (Minn. Stat. § 504B.345. Court File Number: Case No. 27-CV-HC-18-2286. BP Equities LLC vs. James Campbell, Gloria Comey.

Example Six: Case No. 27-CV-HC-18-2493 BP Equities LLC vs James Campbell, Gloria Coney 06/13/2018 06/13/2018 Complaint-Civil Index # 1
06/13/2018 Power of Authority in Unlawful Detainer Index # 2

This time your so-called officers of the court allowed Noonan to initiate frivolous 11 and malicious 12 civil actions against poor, black James Campbell and Golria Coney without an attorney or without a Power of Authority. In those examples 4-6 your so-called officers of the courts tried to prevent the poor, black James Campbell and Gloria Coney from introducing evidence 13 of Noonan’s harassment and illegal eviction. But, your so-called officers of the court reward Noonan by not sanctioning him. This all become very clear when you compare and contrast your so-called officers of the court’s action when they deal with rich, white TMC Management Corporation President Joseph Noonan to their treatment of poor, black Losay Kimba, James Comey and Gloria Comey.

I can see why TMC Management Corporation President Joseph Noonan has no problem illegally withholding security deposits from his tenants. Noonan knows that the Fourth Judicial District’s so-called officers of the court will aid and abet in the theft by gaslighing aka mentally abusing Noonan’s court opponents. I have reason to suspect that my valid complaint will be ignored in order to protect rich, white TMC Management Corp. President Joseph Noonan. Finally, I will go out of my way to educate the public of your special justice for rich, white TMC

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Management Corp. President Joseph Noonan.

______________________________________________________
Losay Kimba
6281 Louisiana N. Apt 104
Crystal, MN 55428

P.S. I can provide documentation that I am receiving medical attention for mental abuse.

CC: Tom Lyden KMSP-TV, 11358 Viking Drive, Eden Prairie, MN 55344
Jenna Ross, Star Tribune Building, 650 3rd Ave S, Suite 1300, Minneapolis, MN 55488
Sarah Lindahl-Pfieffer, 12-C Government Center 300 S. Sixth St. Minneapolis, MN 55487
John H. Fuller, 2025 Centre Pointe Blvd., Suite 180 Mendota Heights, MN 55120
Susan M. Humiston, 1500 Landmark Towers 345 St. Peter Street St. Paul, MN 55102-1218

1. What this means is that he searched the vehicles at that residence when he knew he did not have prior judicial authorization and mislead everyone by representing that he got Judge Quam's authority to search the vehicles. Maybe Detective Serafin will have another explanation for what happened, and I'll leave it up to you to decide what happened in this case. I do not think Detective Serafin has appeared in my courtroom before, and I have nothing against him personally, but it's important that things like this do not happen in the future. The parties knew I was prepared to suppress the evidence (drugs) found in the car and the case eventually settled. Thank you for your attention to this matter. Sincerely, Fred Karasov, Judge of District Court. March 29, 2018 letter to Eden Prairie Chief Evidence Noonan illegally withholding Kimba’s deposit of Police James DeMann. RE: State v. Timothy Holmes (27-CR-17-23450) & Detective Travis Serafin https://www.edenprairie.org/Home/ShowDocument?id=13985

2. 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

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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. ... 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. Fourth Judicial District Chief Judicial Officer Ivy S. Bernhardson’s June 22, 2018 emailed letter to Mr. James Campbell.

3. A judge shall act at all times in a manner that promotes public confidence in the independence, integrity, and impartiality of the judiciary, and shall avoid impropriety and the appearance of impropriety. Rule 1.2 Promoting Confidence in the Judiciary. Professional Rules – Code of Judicial Conduct – Canon 1 – A judge shall uphold and promote the independence, integrity, and impartiality of the judiciary, and shall avoid impropriety and the appearance of impropriety. https://www.revisor.mn.gov/court_rules/pr/subtype/judi/id/1/#1.2

4. The various types of gaslighting have in common two defining features. The first is an attempt to impair or destroy an individual's confidence in his or her psychic abilities. After this first aim has been achieved, the second aim is to attain control over the feelings, thoughts, and behaviors of the victim. By making another person feel fearful, guilty, or ashamed, the manipulator is in a position to gain control over the other individual's affects, thoughts, and behaviors by substituting his own beliefs. This is the basic mechanism of gaslighting whether used in everyday life, in psychotherapy situations, or in the thought-reform and mind-control manipulations of cult leaders. Some advertising and many social interactions in which one person Evidence Noonan illegally withholding Kimba’s deposit attempts to gain control over another are based on this principle.” Gaslighting, The Double Whammy, Interrogation and Other Covert Control in Psychotherapy & Analysis, Theo L. Dorpat (Maryland: 2004), Page 7.

5. 7. They know confusion weakens people. Gaslighters know that people like having a sense of stability and normalcy. Their goal is to uproot this and make you constantly question everything. And humans' natural tendency is to look to the person or entity that will help you feel more stable—and that happens to be the gaslighter. 11 Warning Signs of Gaslighting – Gaslighting is a manipulation tactic used to gain power. And it works too well. Posted Jan 22, 2017 Stephanie A. Sarkis Ph.D. https://www.psychologytoday.com/us/blog/here-there-and- everywhere/201701/11-warning-signs-gaslighting

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6. To whom it concerns: We are requesting a continuance in the above referenced hearing due to unavailability. The enclosed check for $70 fee is attached. When rescheduling this matter for a new date it would be appreciated to be scheduled on a second Tuesday or Wednesday of the month at 8:15 a.m. Per Millissa Rising, we are requesting this matter not be assigned to Referee Chapman due to past unfair treatment. Regards TMC Management Corp. Joseph Noonan, President. December 18, 2018 Hand Delivered. RE: Cse # 27-CO-18- 9528 Hearing Date: December 27, 2018, Time: 8:15 a.m.

7. The Honorable Ivy Bernhardson, chief judge of the Fourth Judicial District (Hennepin County), offered the following statement about the new administrator: “Sarah is well prepared to take on the many challenges we have in the Fourth Judicial District, the largest trial court in the State. She is deeply committed to public service and our mission, and she exemplifies our core values of integrity, innovation, diversity, fostering positive relationships with justice stakeholders and optimizing resources. I look forward to working with her, our judges and court staff to achieve our vision of providing an accessible, fair, courteous, efficient and innovative system of justice.” New Judicial District Administrator Appointed in Hennepin County For Immediate Release http://www.mncourts.gov/mncourtsgov/media/fourth_district/documents/News/Release-New-Court-Administrator-Appointed-10-19-17.pdf

8. NOTE: A corporation or LLC must be represented by an attorney in District Court, which includes having an attorney sign court papers on behalf of the client corporation or LLC. EXCEPT: For cases limited to the Hennepin County "Housing Court," MN Gen. Rule of Practice 603 may allow a principal (or agent) of the corporation or LLC to sign court papers or appear in court on behalf of the business entity. You should get legal advice if you have questions about this issue in your case. http://www.mncourts.gov/Help-Topics/Representing-Yourself-in-Court.aspx

9. Minnesota Court Rules – General Rules of Practice - Rule 603. Parties: An unlawful detainer action shall be brought in the name of the owner of the property or other person entitled to possession of the premises. No agent shall sue in the agent's own name. Any agent suing for a principal shall attach a copy of the Power of Authority to the complaint at the time of filing. No person other than a principal or a duly licensed lawyer shall be allowed to appear in Housing Court unless the Power of Authority is attached to the complaint at the time of filing, and no person other than a duly licensed lawyer shall be allowed to appear unless the Power of Authority is so attached to the complaint. An agent or lay advocate may appear without a written Power of Authority if the party being so represented is an individual and is also present at the hearing. https://www.revisor.mn.gov/court_rules/gp/id/603/

10. Minnesota Business Name: BP Equities, LLC, Business Type: Limited Liability Company (Domestic), MN Statute: 322C, File Number: 3007629-2, Home Jurisdiction: Minnesota, Filing Date: 09/15/2008, Status: Active / In Good Standing, Renewal Due Date: 12/31/2019, Manager: Joseph Noonan 5300 Glenwood Ave Suite 300 Minneapolis, MN 55422 USA https://mblsportal.sos.state.mn.us/Business/SearchDetails?filingGuid=085e8d84-92d4-e011-a886-001ec94ffe7f

11. 549.211 Sanctions in civil actions. Subd. 2. Effect of acknowledgment. By presenting to the court, whether by signing, filing, submitting, or later advocating, a pleading, written motion, or other paper, an attorney or unrepresented party is certifying that to the best of the person's knowledge, information, and belief, formed after an inquiry reasonable under the circumstances: (1) it is not being presented for any improper purpose, such as to harass

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or to cause unnecessary delay or needless increase in the cost of litigation; https://www.revisor.mn.gov/statutes/cite/549.211

12. Rights and Duties of Self - Represented Parties Minn. Stat. §549.211 Purpose: To help you understand what your rights are if you choose to represent yourself. 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.] 5. I http://www.mncourts.gov/mncourtsgov/media/CourtForms/OTH101.pdf?ext=.pdf

13. THE COURT: And you want to play the audio during the hearing?
MS. CONEY: Yes, Your Honor.
THE COURT: Okay. I don't know if we can do that or not. Do you have equipment that would allow us to play the audio?
MS. CONEY: Well, they usually have something in the court, but I don't have anything personally. But I wanted to give this to you so that they can also play it too. If this is evidence that Shyloe Linde, which is what we were talking about, Shyloe Linde told us, that if we don't go back to our apartment, she was going to call the police and tell them that we were harassing her. Transcript of Hearing. June 27, 2018 at 1:32 p.m. Case No. 27-CV- HC-18-2493 BP Equities, LLC, Plaintiff, vs. James Campbell, Gloria Coney, Defendants. Judicial Officer: Mark A. Labine.

14. MS. CONEY: I want sanctions against him for this frivolous that he's been doing. This frivolous lawsuit that he has been having before the court. You know, in the last court he called the judge a stupid bitch. Who knows what he'll say to you today.
THE COURT: So you want me to order sanctions?
MS. CONEY: I do want sanctions. Transcript of Hearing. June 27, Evidence Noonan illegally withholding Kimba’s deposit 2018 at 1:32 p.m. Case No. 27-CV-HC-18-2493 BP Equities, LLC, Plaintiff, vs. James Campbell, Gloria Coney,

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Defendants. Judicial Officer: Mark A. Labine.

15. MS. CONEY: Yes, I have several. But most important, Your Honor, I want sanctions to be filed on Joe Noonan for his frivolous -- taking the time of this court. Also, he has lied on these -- bringing us to court. He doesn't have the correct information. He just told you, he doesn't know what we pay in rent.
THE COURT: All right. That's not really a pretrial issue. That's something you can ask for at the end, but I have to hear the case first. Transcript of Hearing. June 27, 2018 at 1:32 p.m. Case No. 27-CV-HC-18-2493 BP Equities, LLC, Plaintiff, vs. James Campbell, Gloria Coney, Defendants. Judicial Officer: Mark A. Labine.

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More to come . . .

Related links:

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 ?