Tuesday, September 29, 2020

No Sound On APD Sgt Kevin Guenther's Body Camera Video During Voluntary Statement For Gunslinger Eric Cornett? Why Oh Why Wasn't Poor Judd Hoff Given The Body Camera Video From APD Nathaniel Larson #102? (It Supposedly Contains Gunslinger Cornett's Audio/Video Statement, Right?) Why Oh Why Would Douglas Co. Sheriff Troy Wolberson Issue Gunslinger Cornett A Concealed Carry Permit When Gunslinger Cornett Has An Admitted History Of Mental Health Problems? It's Rigged Case No. 21-CR-20-1255, Isn't it?

 

21-CR-20-1255 Filed in District Court State of Minnesota 8/19/2020 State of Minnesota County of Douglas District Court 7th Judicial District Prosecutor File No. Court File No. State of Minnesota, 20-1394 21-CR-20-1255 COMPLAINT Plaintiff, Order of Detention vs. JUDD BRADFORD HOFF DOB: 11/16/1970 658 South Maple Lake Road SE Glenwood, MN 56334 Defendant. The Complainant submits this complaint to the Court and states that there is probable cause to believe Defendant committed the following offense(s): COUNT I Charge: Felony 2nd Degree Assault Minnesota Statute: 609.222.1, with reference to: 609.222.1 Maximum Sentence: 7 Years Imprisonment and/or a $14,000.00 Fine Offense Level: Felony Offense Date (on or about): 08/18/2020 Control #(ICR#): 20010388 Charge Description: On or about August 18, 2020, within Douglas County, Minnesota, the above-named defendant, Judd Bradford Hoff, date of birth: 11/16/1970 (49), did assault another person (to wit: Eric Cornett) with a dangerous weapon, a felony crime. 1

21-CR-20-1255 STATEMENT OF PROBABLE CAUSE Filed in District Court State of Minnesota 8/19/2020 Your complainant, a duly licensed peace officer for the state of Minnesota, asserts the following to establish probable cause to believe that on 8/18/2020, within Douglas County, Minnesota, Judd Bradford Hoff, DOB: 11/16/1970 (49), Defendant herein, violated the law as set forth herein. On August 18, 2020 at 4:07 p.m., Officer Nate Larson responded to a complaint of a confrontation on the east side of the Sheriff’s Office at 216 7th Avenue West, Alexandria, Douglas County, Minnesota regarding a man with a machete and a man with a gun. Before Officer Larson arrived, Task Force Agent Shawn Schmidt had gotten the gun away from the male who was identified as Eric Cornett. Agent Schmidt said the parties were separated. Office Nate Larson went to Agent Schmidt who had detained Cornett, and Officer Larson obtained Cornett’s statement. Cornett said that he been having a rough day, and he noticed a white car with the flag upside down on the top of it. Cornett was upset so he stopped his car, got out told the male, later identified as the Defendant, to turn the flag around. Cornett walked back to the Defendant’s car and took the flag off the roof. Cornett started walking away with the flag, and the Defendant got out of his vehicle and came at Cornett with a machete approximately fifteen to seventeen inches in length. As Cornett walked away from the Defendant, the Defendant continued to walk towards Cornett threatening Cornett with the machete. Cornett has his conceal and carry gun permit, and Cornett pulled out his gun in self-defense in fear of harm by the Defendant coming at him with the machete. Cornett said that he did not want to shoot the Defendant. As the Defendant was coming at Cornett, Cornett told the Defendant to drop the machete as Cornett continued to backup with eyewitnesses observing this event. 2

21-CR-20-1255 SIGNATURES AND APPROVALS Filed in District Court State of Minnesota 8/19/2020 Complainant requests that Defendant, subject to bail or conditions of release, be: (1) arrested or that other lawful steps be taken to obtain Defendant's appearance in court; or (2) detained, if already in custody, pending further proceedings; and that said Defendant otherwise be dealt with according to law. Complainant declares under penalty of perjury that everything stated in this document is true and correct. Minn. Stat. § 358.116; Minn. R. Crim. P. 2.01, subds. 1, 2. Complainant Brian Kakach patrol officer 501 3rd Ave W. Alexandria, MN 56308-1782 Badge: 114 Electronically Signed: 08/19/2020 10:26 AM Douglas County, Minnesota Being authorized to prosecute the offenses charged, I approve this complaint. Prosecuting Attorney Tara J Ulmaniec Assistant Douglas County Attorney 305 - 8th Avenue West Alexandria, MN 56308 (320) 762-3856 3 Electronically Signed: 08/19/2020 09:56 AM 3

21-CR-20-1255 FINDING OF PROBABLE CAUSE Filed in District Court State of Minnesota 8/19/2020 From the above sworn facts, and any supporting affidavits or supplemental sworn testimony, I, the Issuing Officer, have determined that probable cause exists to support, subject to bail or conditions of release where applicable, Defendant’s arrest or other lawful steps be taken to obtain Defendant’s appearance in court, or Defendant’s detention, if already in custody, pending further proceedings. Defendant is therefore charged with the above-stated offense(s). SUMMONS THEREFORE YOU, THE DEFENDANT, ARE SUMMONED to appear on ________ ___, _____ at _____ AM/PM before the above-named court at 305 8th Ave W, Alexandria, MN 56308 to answer this complaint. IF YOU FAIL TO APPEAR in response to this SUMMONS, a WARRANT FOR YOUR ARREST shall be issued. WARRANT To the Sheriff of the above-named county; or other person authorized to execute this warrant: I order, in the name of the State of Minnesota, that the Defendant be apprehended and arrested without delay and brought promptly before the court (if in session), and if not, before a Judge or Judicial Officer of such court without unnecessary delay, and in any event not later than 36 hours after the arrest or as soon as such Judge or Judicial Officer is available to be dealt with according to law. Execute in MN Only Execute Nationwide Execute in Border States X ORDER OF DETENTION Since the Defendant is already in custody, I order, subject to bail or conditions of release, that the Defendant continue to be detained pending further proceedings. Bail: $ Conditions of Release: This complaint, duly subscribed and sworn to or signed under penalty of perjury, is issued by the undersigned Judicial Officer as of the following date: August 19, 2020. Judicial Officer Michelle Lee Clark Electronically Signed: 08/19/2020 10:52 AM Sworn testimony has been given before the Judicial Officer by the following witnesses: COUNTY OF DOUGLAS STATE OF MINNESOTA State of Minnesota LAW ENFORCEMENT OFFICER RETURN OF SERVICE Plaintiff I hereby Certify and Return that I have served a copy of this Order of Detention upon the Defendant herein named. vs. Signature of Authorized Service Agent: Judd Bradford Hoff Defendant 4


21-CR-20-1255 DEFENDANT FACT SHEET Name: Judd Bradford Hoff DOB: 11/16/1970 Address: 658 South Maple Lake Road SE Glenwood, MN 56334 Filed in District Court State of Minnesota 8/19/2020 Alias Names/DOB: SID: MN01407217 Height: Weight: Eye Color: Hair Color: Gender: MALE Race: Fingerprints Required per Statute: Yes Fingerprint match to Criminal History Record: Yes Driver's License #: A671072431914 (MN) Case Scheduling Information: FYI: Assistant Douglas County Attorney Tara J. Ulmaniec is the prosecutor assigned to this case. Thank you! - JoAnna Alcohol Concentration: 5


21-CR-20-1255 Filed in District Court State of Minnesota 8/19/2020 STATUTE AND OFFENSE GRID Cnt Nbr Statute Type Offense Date(s) Statute Nbrs and Descriptions Offense Level MOC GOC Controlling Agencies Case Numbers 1 Charge 8/18/2020 609.222.1 Assault-2nd Degree-Dangerous Weapon Felony A2333 N MN0210100 20010388 Penalty 8/18/2020 609.222.1 Assault-2nd Degree-Dangerous Weapon Felony A2333 N MN0210100 20010388 6

Is the case rigged against Judd Hoff? Would body camera video that magically and mysteriously doesn't have sound make you think that the case against Judd Hoff is rigged? Why oh why couldn't Alexandria Police Sgt. Kevin Guenther fall back onto his expensive and time-consuming work-related continuing education to make sure the sound was recording on his expensive Axon body camera when he took a preliminary audio/video recorded statement from gunslinger Eric Cornett?

Context: Officers conducting all criminal investigations will, whenever possible, record oral victim and witness statements in lieu of written statements. Statement evidence obtained during an initial investigation can be very powerful evidence in determining the course of an investigation; ultimately impacting charging decisions and convictions. Policy 325 Preliminary Investigation/Required Reports Duluth Police Department Policy Manual. https://duluthmn.gov/media/10065/release_20200702_t085045_duluth_pd_policy_manual-1.pdf


 All sort of body cameras and personal audio records, right? Yet, poor Judd didn't receive an audio/video recorded statement of gunslinger Eric Cornett, did he? He didn't, did he? Psst APD Nathaniel Larson #102 says that he has an audio/video recorded statement of gunslinger Eric Cornett, doesn't he? He does, doesn't he? Yet, magically and mysteriously poor Judd didn't receive an audio/video recorded statement of gunslinger Eric Cornett from APD Nathaniel Larson #102, did he? He didn't, did he? That's even more evidence that case against poor Judd is rigged, isn't it? It is, isn't it?


Hey did you know that gunslinger Eric Cornett admitted on his Facebook account way back in 2017 to having suicidal thoughts and being hospitalized for those suicidal thoughts? How is it possible that Douglas County Sheriff Troy Wolberson missed that on Cornett's concealed carry permit application? Why oh why would Troy issue this gunslinger guy a carry permit?

Back in the hospital?

Admits to being an adult child?
Admits to being jealous easily?
Manages to make people hate him?

More to come ...

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