Wednesday, December 9, 2020

Corrupt City Of Burnsville Continues To Harass Nemmers Over Jessica "The Conspiracy Theorist Who Cried Wolf" Hartger Data? You Remember That Jessica Is the Defective Detective, Don't You? Is The Motive For The Harassment Burnsville Officer/Detective Klingfus' Perjured Statement About "Imminent Harm"? Klingfus Wasn't Concerned About 04-11-20 "Imminent Harm" If The Complaint Wasn't Signed Until 10-17-20, Right? Isn't Cody Myers Using 609.26 Depriving Another Of Custodial Or Parental Rights To Bait Defective Detective Jessica Into A Violation Trap?

 

from: Lion News lionnews00@gmail.com
to: Lynn Lembcke Lynn.Lembcke@burnsvillemn.gov,
Elliott Knetsch eknetsch@ck-law.com,
macheal.collins@burnsvillemn.gov,
melanie.lee@burnsvillemn.gov,
tanya.schwartz@burnsvillemn.gov
date: Dec 9, 2020, 11:09 AM
subject: Re: Data Request - Jessica Hartger aka Jessica Cook
mailed-by: gmail.com

Melanie Mesko Lee, City Manager 952-895-4535, Macheal Collins, City Clerk 952-895-4490, Tanya Schwartz, Police Chief 952-895-4593 & Elliott B. Knetsch, Assistant City Attorney 651-234-6233:

Exactly when are you going to stop with your harassment campaign and provide me with the readily available free, electronic public data that I requested? Hmm? Inquiring minds want to know, don't they? For example why is my data being converted from searchable pdf format data to scanned pdf format data? Example: 10/19/2020 E-filed Comp-Warrant Index # 1 Case No. 19AV-CR-20-8547 State of Minnesota vs Jessica Danielle Hartger. Why is your Burnsville Police Department Services Manager Lynn Lembcke misusing public resources by printing out electronic data onto pieces of paper and then rescanning them back into the computer? It is a tactic to harass me isn't it? The harassment is destroying the original searchable data and harassing me with unsearchable scanned data, isn't it? And since I have Lembcke's work-related continuing education, then I have proof that the conduct is malicious, don't I?

And when is that application for the warrant issued for Case No. 19AV-CR-20-8547 State of Minnesota vs Jessica Danielle Hartger going to be hitting my email inbox, huh? Is City of Burnsville Assistant City Attorney Elliott B. Knetsch advising Burnsville Police Department Services Manager Lynn Lembcke to willfully refuse to comply with Minnesota Government Data Practice Act by advising her to not email me that and other readily available free, electronic, public data?

Chapter 13 data request: Please email/file share me the following readily available, free, electronic, public data in its original searchable pdf format from your respective offices pursuant to 13.03 Subd. 3(e) and Gen. Rules Prac. Rule 14:

1. Hourly wage, gross salary, work-related continuing education from date of first hire until today date for Jeff Klingfus, Police Officer/Detective, Officer Medicott, and Tanya Schwartz, Police Chief.
2. Signed Bureau of Criminal Apprehension (BCA) joint powers agreements for eCharging & signed MCAPS4 contract. The BCA contract does say that the City of Burnsville agrees to comply with the Minnesota Government Data Practices Act, doesn't it?
3. Clarification on email search for emails to Hamline University: 1. Have you decided who makes less money or not between Employee Department 8800 - Information Technology DotCom, Judith L Base Rate 33.52 Annual 69,729.66 & Employee Department 8800 - Information Technology "Chris Slania - gross annual wage $108,779.632 – hourly wage $52.2979 per hour – - Hourly rate with benefits $67.38" Data Request - Jessica Hartger aka Jessica Cook Lynn Lembcke Lynn.Lembcke@burnsvillemn.gov To: Lion News lionnews00@gmail.com Mon, Nov 23, 2020 at 4:08 PM 2. Where is the contract for the specialized software used for the Hamline email search?

Terry Dean, Nemmers 320-283-5713
P.S. Isn't it true that Burnsville Officer/Detective Jeff Klingfus perjured himself when he made this false statement in the probable cause statement for Case No. 19AV-CR-20-8547 State of Minnesota vs Jessica Danielle Hartger: "The defendant’s arrest is necessary to prevent imminent harm to C.A.M."? Imminent would mean that the complaint and the application for the warrant should have been made on or about 04-11-20 and not 10-17-20, correct?
P.S.S. Since you went to all that trouble to clarify who issued the 10/19/2020 Driver's Record Index # 2 then why oh why don't you clarify who signed their name to the application for the warrant? Was it Assistant Burnsville City Attorney Elliott B. Knetsch or Assistant Dakota County Attorney Cory B. Monnens? Wouldn't it be suborning perjury since Knetsch and/or Monnens knew or should have known that "The defendant’s arrest is necessary to prevent imminent harm to C.A.M."? is a perjured statement?
P.S.S.S. Wouldn't the fastest way for eight (8) time fugtive Jessica Danielle Hartger aka Jessica Danielle Cook to get the warrant quashed is to file a criminal complaint against City of Burnsville personnel for using perjured statements to harass her? Hmm? Inquiring minds really want to know, don't they?
P.S.S.S.S. Isn't it true that Cody Austim Meyers is engaging in 609.26 Depriving another of custodial or parental rights by denying Jessica phone time with her son and thereby baiting Jessica aka provoking aka inciting Jessica into contacting Cody? Hmm? Inquiring minds really, really want to know, don't they?

Case No. 19HA-CR-19-2768 State of Minnesota vs Jessica Danielle Hartger 10/23/2019 Criminal Domestic Abuse No Contact Order DANCO Pretrial Index # 13 (Judicial Officer: Abrams,Jerome B. , )

Case No. 19AV-CR-20-8547 State of Minnesota vs Jessica Danielle Hartger OTHER EVENTS AND HEARINGS 10/19/2020 E-filed Comp-Warrant Index # 1 10/19/2020 Driver's Record Index # 2 10/19/2020 Warrant Issued Index # 3

ANTI-HARASSMENT The City of Burnsville is committed to providing a work environment where all individuals are treated with respect and dignity. The City of Burnsville will not tolerate violence, discrimination, sexual harassment and other offensive behaviors by or toward any employee or member of the public. Employee Handbook 2020.pdf
Collaboration: because we value people and perspectives, we prohibit: • Unprofessional conduct toward others • Theft or destruction of City property or the property of a fellow employee

a) Peace officers shall not knowingly exceed their authority in the enforcement of the law. b) Peace officers shall not knowingly disobey the law or rules of criminal procedure in such areas as interrogation, arrest, detention, searches, seizures, use of informants, and preservation of evidence, except where permitted in the performance of duty under proper authority. ... d) Peace officers, whether on or off duty, shall not knowingly commit any criminal offense under any laws of the United States or any state or local jurisdiction. PROFESSIONAL CONDUCT OF PEACE OFFICERS MODEL POLICY MN STAT 626.8457 https://dps.mn.gov/entity/post/model-policies-learning-objectives/Documents/Professional-Conduct-of-Peace-Officers-Model-Policy.pdf

1104.1.1 STANDARDS OF CONDUCT FOR PEACE OFFICERS The Burnsville Police Department adopts the Professional Conduct of Peace Officers model policy established and published by the Minnesota Board of Peace Officer Standards and Training Board (POST) (Minn. Stat. § 626.8457). This model policy applies to all peace officers of this department. See attachment: MN POST Professional Conduct of Peace Officers Model Policy.pdf The provisions of this policy are in addition to collective bargaining agreements or any other applicable law (see generally Minn. R. 6700.1500). The Department shall report annually to POST any data regarding the investigation and disposition of cases involving alleged misconduct of officers (Minn. Stat. § 626.8457, Subd. 3). Policy 1104 Burnsville Police Department MN Policy Manual Standards of Conduct RELEASE_20201103_T143206_Burnsville_Police_Policy_Manual.pdf

https://www.co.dakota.mn.us/LawJustice/Warrants/Search/Pages/default.aspx Dakota County Warrant Search Back to Search Results | Print | Report a Tip Person Name: Cook, Jessica Danielle Age: 28 Dob: 1/15/1992 Sex: F Race: W Height: 507 Weight: 135 Hair: BRO Eyes: BLU City: Unknown State: [Click to View larger photo or to print photo.] [Click to View larger photo or to print photo.] Aliases Name Hartger, Jessica Danielle Warrant 1 Warrant #: 19AVCR2085471 Date Issued: 10/19/2020 Charge Level: MS - Misdemeanor Charge: Domestic Abuse No Contact Order - Violate No Contact Order - Misdemeanor Statute Number: 629.75.2(b) Court Number: 19AVCR2085471 Court Name: District Bail Information: Body-Only Bail Amount: 0 Warrant 2 Warrant #: 19AVCR2085691 Date Issued: 10/20/2020 Charge Level: MS - Misdemeanor Charge: Contempt of Court - Willful Disobedience to Court Mandate - MS Statute Number: 588.20.2(4) Court Number: 19AVCR2085691 Court Name: District Bail Information: Body-Only Bail Amount: 0 Warrant 3 Warrant #: 19AVCR2085701 Date Issued: 10/20/2020 Charge Level: MS - Misdemeanor Charge: Domestic Abuse No Contact Order - Violate No Contact Order - Misdemeanor Statute Number: 629.75.2(b) Court Number: 19AVCR2085701 Court Name: District Bail Information: Body-Only Bail Amount: 0 Warrant 4 Warrant #: 19AVCR2085721 Date Issued: 10/20/2020 Charge Level: MS - Misdemeanor Charge: Harassment; Violation of Restraining Order-Penalties - MS Statute Number: 609.748.6(a) Court Number: 19AVCR2085721 Court Name: District Bail Information: Body-Only Bail Amount: 0 Warrant 5 Warrant #: 19AVCR2085711 Date Issued: 10/20/2020 Charge Level: MS - Misdemeanor Charge: Domestic Abuse No Contact Order - Violate No Contact Order - Misdemeanor Statute Number: 629.75.2(b) Court Number: 19AVCR2085711 Court Name: District Bail Information: Body-Only Bail Amount: 0 Warrant 6 Warrant #: 19AVCR2085731 Date Issued: 10/20/2020 Charge Level: MS - Misdemeanor Charge: Harassment; Violation of Restraining Order-Penalties - MS Statute Number: 609.748.6(a) Court Number: 19AVCR2085731 Court Name: District Bail Information: Body-Only Bail Amount: 0 Warrant 7 Warrant #: 19AVCR2085751 Date Issued: 10/20/2020 Charge Level: MS - Misdemeanor Charge: Contempt of Court - Willful Disobedience to Court Mandate - MS Statute Number: 588.20.2(4) Court Number: 19AVCR2085751 Court Name: District Bail Information: Body-Only Bail Amount: 0 Warrant 8 Warrant #: 19AVCR2085741 Date Issued: 10/20/2020 Charge Level: MS - Misdemeanor Charge: Domestic Abuse No Contact Order - Violate No Contact Order - Misdemeanor Statute Number: 629.75.2(b) Court Number: 19AVCR2085741 Court Name: District Bail Information: Body-Only Bail Amount: 0 Enforcement Agencies: Wanted individuals should not be arrested based solely on the information contained on this website; Please confirm each warrant via the prescribed NCIC process when you have contact with the subject of a warrant. Public: If you have information pertaining to any of these individuals, call the Dakota County Sheriff's Office at 651-438-TIPS.

https://www.revisor.mn.gov/statutes/cite/609.26 609.26 DEPRIVING ANOTHER OF CUSTODIAL OR PARENTAL RIGHTS. § Subdivision 1.Prohibited acts. Whoever intentionally does any of the following acts may be charged with a felony and, upon conviction, may be sentenced as provided in subdivision 6: (1) conceals a minor child from the child's parent where the action manifests an intent substantially to deprive that parent of parental rights or conceals a minor child from another person having the right to parenting time or custody where the action manifests an intent to substantially deprive that person of rights to parenting time or custody;

State of Minnesota County of Dakota District Court 1 st Judicial District Prosecutor File No. 20CR01570 Court File No. Complaint Warrant State of Minnesota, Plaintiff vs. Jessica Danielle Hartger DOB: 01/15/1992 6564 165 th St N Hugo, MN 55038 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: Harassment; Restraining Order – Violate Restraining Order Minnesota Statute: 609.48.6(a), with reference to: 609.748.6(b) Maximum sentence: 90 days jail, a $1,000 fine, or both Offense Level: Misdemeanor Offense Date (on or about): 04/11/2020 (Control #(ICR#): 20002139 Charge Description: That on or about 4/11/2020, in Dakota County, Minnesota, Minnesota, the defendant, Jessica Danielle Hartger, DOB: 1/15/2019 (28), knowing of the existence of a harassment restraining order did violate said restraining order. Count II Charge: Domestic Abuse No Contact Order – Violate No Contact Order – Misdemeanor Minnesota Statute: 329.75.2(b), with reference to 329.75.2(b) Maximum Sentence: 90 days jail and/or $1,000 fine, or both. Offense Level: Misdemeanor Offense Date (on or about): 04/11/2020 Control #(ICR#): 20002139 Charge Description: That on or about 4/11/2020, in Dakota County, Minnesota, the defendant, Jessica Danielle Hartger, DOB: 1/15/1992 (28), did know of the existence of a domestic abuse no contact order issued against the person and violated the order. Page 1 Statement of Probable Cause Your complainant is an officer with the Burnsville Police Department. In that capacity, I have reveiwed the police reports of Officer Medicott and believe the following facts to be true. On April 11, 2020, at approximately 10:04 a.m., Officer Medicott was dispatched to Best Western located at 14201 Nicollett Avenue South, in the City of Burnsville, Dakota County, Minnesota, on a report of a violation of a Domestic Abuse No Contact Order (“DANCO”).Upon Arrival, Officer Medicott spoke with C.A.M., DOB: 0513/1992, who explained that he has an active Harassment Restraining Order (“HRO”) and DANCO against the mother of his child, identified as JESSICA DANIELLE HARTGER, DOB: 01/15/1992, the defendant herein. C.A.M. advised that he was receiving phone calls from the defendant while he working at the hotel, along with video messages. C.A.M. stated that the defendant was demanding to know where their child was and to speak with their child. C.A.M. stated that the defendant was demanding to know where their child was and to speak with their child. C.A.M. has permanent sole physical of the parties’ 5-year0old son and the court has found that the defendant is a serious flight risk with the child if awarded unsupervised parenting time. While Officer Medicott was speaking with C.A.M., he received a phone call from the defendant. Officer Medicott answered the phone and spoke with the defendant, who demanded to know where her child was and did the officers know his location. When Officer Medicott informed the defendant that he would not divulge that information, she became very upset accusing the officers of conspiring to kidnap her child and violating her civil rights. C.A.M. provided officers with screen shots and videos from his phone from the defendant. On August 29, 2019, an Order Granting Harassment Restraining Order After Hearing was issued in Dakota County Court File No. 19AV-CV-19-2297 which prohibits the defendant from contacting C.A.M. or harassing him. The HRO is valid for a period of two years. Attempts to locate the defendant were unsuccessful. The defendant’s arrest is necessary to prevent imminent harm to C.A.M. Page 2 SIGNATURES AND APPROVAL Complainant request that Defendant, subject to bail or conditions of release, be: (1) arrested or that 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 Jeff Klingfus Police Officer/Detective 100 Civic Center Parkway Burnsville, MN 55337-3867 Badge: 108 Electronically signed: 10/17/2020 01:23 PM Dakota County, Minnesota Being authorized to prosecute the offense charges, I approved this complaint. Prosecuting Attorney Elliot B. Knetsch 860 Blue Gentian RoadSuite #290 Eagan, MN 55121 (651) 452-5000 Page 3


19HA-CR-19-2758 State of Minnesota County of Dakota District Court First Judicial District State of Minnesota, Plaintiff v. Jessica Danielle Hartger, Defendant Application and warrant for obtaining defendant’s appearance for violation of conditions of release pursuant to rule 6.03, subd, 1 Court File No. 19HA-CR-19-2768 Application for Warrant The following facts constitute PROBABLE CAUSE to believe that the above-named defendant has violated conditions of release: On or about October 15, 2019, Defendant was charged by formal complaint in Dakota County District Court with one count of felony Harassment (Pattern of Stalking Conduct). On October 23, 2019, the Honorable Jerome Abrams ordered that Defendant post $10,000 as bail with several conditions. After conditional release violations the Honorable Robert Awsumb imposed the following condition” “No social media, no internet, no electronic, written or direct communication with court staff, witnesses, county employees, or victims in pending criminal or civil matters involving defendant, with the sole exception that filing be e-filed into court file 19 AV-FA-15-2677 relating directly to that case. Defendant is prohibited from emailing or otherwise contacting court staff directly in that case. Defendant mat use Family Wise for parenting time scheduling in accordance with prior court orders. May communicate to the court and its employees through her attorney only on this case.” On October 26, 2020, law enforcement was provided 12 emails that Defendant sent to the Honorable Ann Offerman’s law clerk.1 Judge Offermann is presiding over Defendant’s custody case in court file 19AV-FA-15-2677. These emails were all sent on October 26, 2020, between 9:03a.m. and 11:13 a.m. All of these emails are in direct violation of Defendant’s conditions of release. Defendant currently has seven misdemeanor warrants pending based on complaints that were filed for previous HRO/DANCO violations. The State is requesting that a warrant issue so that Defendant’s conditional release violation can be addressed at the same time she is taken into custody on these misdemeanor warrants. THEREFORE, I request, that pursuant to Rule 6.03, subd. 1, Minnesota Rules of Criminal Procedure, a Warrant of Arrest be issued for the above named defendant so that the defendant may be arrested to obtain the defendant’s appearance, and that the defendant otherwise be dealt with according to the law. Dated October 27, 2020 James C. Backstrom By: / s/ Cory B. Monnens Cory B. Monnens Assistant County Attorney Attorney Registration #039625 Dakota County Judicial Center 1560 Highway 55 Hastings, MN 55033 _________________ 1 These emails have been disclosed to the defense and can be provided to the court upon request.

19AV-CR-20-8547 Summon-Complaint For 19AV-CR-20-8547:


State of Minnesota County of Dakota District Court 1st Judicial District Prosecutor File No. 20CR01570 Court File No.  Complaint Warrant  State of Minnesota, Plaintiff vs. Jessica Danielle Hartger DOB: 01/15/1992 6564 165th St N Hugo, MN 55038 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: Harassment; Restraining Order – Violate Restraining Order Minnesota Statute: 609.48.6(a), with reference to: 609.748.6(b) Maximum sentence: 90 days jail, a $1,000 fine, or both Offense Level: Misdemeanor Offense Date (on or about): 04/11/2020 (Control #(ICR#): 20002139 Charge Description: That on or about 4/11/2020, in Dakota County, Minnesota, Minnesota, the defendant, Jessica Danielle Hartger, DOB: 1/15/2019 (28), knowing of the existence of a harassment restraining order did violate said restraining order. 

Count II Charge: Domestic Abuse No Contact Order – Violate No Contact Order – Misdemeanor Minnesota Statute: 329.75.2(b), with reference to 329.75.2(b) Maximum Sentence: 90 days jail and/or $1,000 fine, or both. Offense Level: Misdemeanor Offense Date (on or about): 04/11/2020 Control #(ICR#): 20002139 Charge Description: That on or about 4/11/2020, in Dakota County, Minnesota, the defendant, Jessica Danielle Hartger, DOB: 1/15/1992 (28), did know of the existence of a domestic abuse no contact order issued against the person and violated the order.

Page 1

Statement of Probable Cause Your complainant is an officer with the Burnsville Police Department. In that capacity, I have reveiwed the police reports of Officer Medicott and believe the following facts to be true.

On April 11, 2020, at approximately 10:04 a.m., Officer Medicott was dispatched to Best Western located at 14201 Nicollett Avenue South, in the City of Burnsville, Dakota County, Minnesota, on a report of a violation of a Domestic Abuse No Contact Order (“DANCO”).

Upon Arrival, Officer Medicott spoke with C.A.M., DOB: 0513/1992, who explained that he has an active Harassment Restraining Order (“HRO”) and DANCO against the mother of his child, identified as JESSICA DANIELLE HARTGER, DOB: 01/15/1992, the defendant herein.

C.A.M. advised that he was receiving phone calls from the defendant while he working at the hotel, along with video messages. C.A.M. stated that the defendant was demanding to know where their child was and to speak with their child. C.A.M. stated that the defendant was demanding to know where their child was and to speak with their child. C.A.M. has permanent sole physical of the parties’ 5-year0old son and the court has found that the defendant is a serious flight risk with the child if awarded unsupervised parenting time.

While Officer Medicott was speaking with C.A.M., he received a phone call from the defendant. Officer Medicott answered the phone and spoke with the defendant, who demanded to know where her child was and did the officers know his location. When Officer Medicott informed the defendant that he would not divulge that information, she became very upset accusing the officers of conspiring to kidnap her child and violating her civil rights.

C.A.M. provided officers with screen shots and videos from his phone from the defendant.

On August 29, 2019, an Order Granting Harassment Restraining Order After Hearing was issued in Dakota County Court File No. 19AV-CV-19-2297 which prohibits the defendant from contacting C.A.M. or harassing him. The HRO is valid for a period of two years.

Attempts to locate the defendant were unsuccessful. The defendant’s arrest is necessary to prevent imminent harm to C.A.M.

Page 2

SIGNATURES AND APPROVAL Complainant request that Defendant, subject to bail or conditions of release, be: (1) arrested or that 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 Jeff Klingfus Police Officer/Detective 100 Civic Center Parkway Burnsville, MN 55337-3867 Badge: 108 Electronically signed: 10/17/2020 01:23 PM Dakota County, Minnesota

Being authorized to prosecute the offense charges, I approved this complaint. Prosecuting Attorney Elliot B. Knetsch 860 Blue Gentian Road Suite #290 Eagan, MN 55121 (651) 452-5000

Page 3

[x] 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 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. [x] Execute in MN Only [x] This warrant may be executed at any time of the day or night and on Sundays or legal holidays.

Page 4

19HA-CR-19-2768 Application For Warrant:

19HA-CR-19-2768 State of Minnesota County of Dakota District Court First Judicial District  State of Minnesota, Plaintiff v. Jessica Danielle Hartger, Defendant  Application and warrant for obtaining defendant’s appearance for violation of conditions of release pursuant to rule 6.03, subd, 1 Court File No. 19HA-CR-19-2768

Application for Warrant

The following facts constitute PROBABLE CAUSE to believe that the above-named defendant has violated conditions of release:

On or about October 15, 2019, Defendant was charged by formal complaint in Dakota County District Court with one count of felony Harassment (Pattern of Stalking Conduct). On October 23, 2019, the Honorable Jerome Abrams ordered that Defendant post $10,000 as bail with several conditions. After conditional release violations the Honorable Robert Awsumb imposed the following condition” “No social media, no internet, no electronic, written or direct communication with court staff, witnesses, county employees, or  victims in pending criminal or civil matters involving defendant, with the sole exception that filing be e-filed into court file 19 AV-FA-15-2677 relating directly to that case. Defendant is prohibited from emailing or otherwise contacting court staff directly in that case. Defendant mat use Family Wise for parenting time scheduling in accordance with prior court orders. May communicate to the court and its employees through her attorney only on this case.”

On October 26, 2020, law enforcement was provided 12 emails that Defendant sent to the

Page 1

Honorable Ann Offerman’s law clerk.1 Judge Offermann is presiding over Defendant’s custody case in court file 19AV-FA-15-2677. These emails were all sent on October 26, 2020, between 9:03a.m. and 11:13 a.m. All of these emails are in direct violation of Defendant’s conditions of release.

Defendant currently has seven misdemeanor warrants pending based on complaints that were filed for previous HRO/DANCO violations. The State is requesting that a warrant issue so that Defendant’s conditional release violation can be addressed at the same time she is taken into custody on these misdemeanor warrants.

THEREFORE, I request, that pursuant to Rule 6.03, subd. 1, Minnesota Rules of Criminal Procedure, a Warrant of Arrest be issued for the above named defendant so that the defendant may be arrested to obtain the defendant’s appearance, and that the defendant otherwise be dealt with according to the law. Dated October 27, 2020

James C. Backstrom
By: / s/ Cory B. Monnens
Cory B. Monnens
Assistant County Attorney
Attorney Registration #039625
Dakota County Judicial Center
1560 Highway 55
Hastings, MN 55033
_________________
1 These emails have been disclosed to the defense and can be provided to the court upon request.

Page 2


from: Lynn Lembcke Lynn.Lembcke@burnsvillemn.gov
to: Lion News lionnews00@gmail.com
date: Dec 11, 2020, 11:37 AM
subject: RE: Data Request - Jessica Hartger aka Jessica Cook
mailed-by: burnsvillemn.gov
signed-by: burnsvillemn.gov
security: Standard encryption (TLS) Learn more
: Important mainly because you often read messages with this label

Hi Mr. Nemmers:
 
This is to advise that I’m working on your request.
 
Lynn
 
BPD Logo Color Transparent-Master
 
Lynn Lembcke| Services Manager
Burnsville Police Department
100 Civic Center Parkway | Burnsville, MN | 55337
952-895-4630 (office) | 952-895-4640 (fax) | www.burnsvillemn.gov

More to come ...

Related links:

The Defective Detective Jessica "The Conspiracy Theorist Who Cried Wolf" Hartger Targets The Wrong Woman For Harassment? Defective Detective Hartger Almost Earns Another Criminal Harassment Complaint? Oh And All Eight (8) Dakota County Warrants Are All Still Active, Aren't They? Nemmers' Intervention Is Still Keeping Defective Detective Hartger Out Of Jail, Isn't It? UPDATE: Defective Detective Jessica Continues With Her Smear Campaign On Nemmers & Her Abused Husband? Did I Forget To Update You On The 11-05-20 Conspiracy Theory Free Zoom Hearing For 19HA-CR-19-2768?

How About We Request The Burnsville Data For The Warrant (19AV-CR-20-8547, Right?) For Jessica "The Conspiracy Theorist Who Cried Wolf" Hartger? Maybe Burnsville Personnel Can Explain How Fugitive Hartger Has Managed To Avoid Arrest For Eight (8) Active Warrants? We All Know The Real Reason Is The Intervention Of Nemmers, Don't We? We Do, Don't We?

How Is It Possible That Jessica "The Conspiracy Theorist Who Cried Wolf" Hartger Has Been Able To Avoid Arrest (Again, Right?) From 10-19-20 Until Today's Date? It's Because Of Nemmers' Intervention (Again, Right?), Isn't it? Let's Ask Hamline University For Some Of Hartger's Fugitve Data, Shall We? Bonus Round: Why Oh Why Does Ken Hartger's Estranged Wife Jessica Want To Sabotage Ken's Case No. 27-CR-20-4801? Did I Forget To Mention That Lakeville Police Have A Well-Documented History Of Stalking Fugitive Jessica Well Outside Their Jurisdiction? Let's Ask For The Zoom Meeting ID Number & Password For The 11-05-20 3:00 PM Remote Hearing For Case No. 19HA-CR-19-2768, Shall We?

Can You Guess Whose Big Stupid Mouth Earned Her Eight (8) Active Warrants For Her Arrest? Did You Guess Jessica "The Conspiracy Theorist Who Cried Wolf" Hartger? Maybe Jessica Shouldn't Have Spent All Her Time Running Smear Campaigns On Nemmers? Maybe Jessica Will Finally Get Help For Her Paranoia? Paranoia Induced By Daily Marijuana Use - Illicit Adderall Drug Use & Crazy Conspiracy Theories, Right? Bonus Round: Would You Like To See The Washington County Computer-Aided Dispatch Report & Incident Report (Redacted & Unredacted) For The Last Round Of Warrants For Jessica "The Conspiracy Theorist Who Cried Wolf" Hartger?

Whatever Happened To Nemmers' Data Request For The False Police Report Filed By Corrupt Dakota Co. Judicial Officer Ann Offerman Vs Jessica Hartger AKA Jessica Cook DOB: 01/15/1992? Will Hartger File A Counter-Criminal Complaint? Why The Continued Harassment Over Public Data For Corrupt Dakota County Judicial Officer Ann Offerman's False Police Report Against Jessica Hartger AKA Jessica Cook?

Hey Should We Debunk The Trumped Up Charges And The Rigged Case Against Jessica Hartger AKA Jessica Cook? It's Rigged Case Case No. 19HA-CR-19-2768, Isn't It? Watch For The Mystery Woman Who Magically & Mysteriously Stays At The Door, Okay? And Make Sure You See That Corrupt Lakeville Police Chief Jeff Long's Officers Make No Attempt To Verify Jessica's Alibi, Okay?

What Happens When The Person Who Claims To Want Help Can't Work The Plan But Can Only Run Her Big Stupid Mouth? The "Know-It-All-Know-Nothing" Gets Another Warrant Issued, Right? Did You Guess Jessica Hartger AKA Jessica Cook For Rigged Case No. 19HA-CR-19-2768?

Ken Hartger's Complaint To Judicial Officer Robben? City Of Eden Prairie’s & Prosecutor’s Willful Refusal To Comply With Mn Statute 13.82 & Dept. of Administration’s Advisory Opinion 18-005 In Regard To Subject Data AKA Criminal Investigative Data AKA Discovery For Case No. 27-CR-20-4801 State of Minnesota vs Kenneth John Hartger? How About We Ask Robben To Put His Crooked Officers Of The Court Under Oath In Regard To The Fraudulent $321.93 Bill? Hey Did You Know That Chief Judicial Officer Toddrick Barnette's Staff Member Charles Rooney Acknowledged Receipt Of Hartgers' Complaint?

Dare To Compare How Many Times Jessica Hartger Has Been Arrested Since Nemmers' Intervention As Opposed To The Incompetent Bungler Michael "The Hack" Volpe's Intervention? Hartger Has Been Arrested Zero Times In Rigged Case No. 19HA-CR-19-2768 By Dakota County's Corrupt LEO Since Nemmers' Intervention, Hasn't She?

Dakota Co. Creates An Intelligence Report On Jessica Hartger For Daring To Send Some Emails To Corrupt Dakota Co. Judicial Officer Offerman? Intelligence Report Admits That Hartger Did Absolutely Nothing Wrong, Doesn't It?


Evidence Shows That Corrupt Dakota Co. Judicial Officer Offerman Conspired With Dakota Co. Assist. Co. Attorney Monnens & Apple Valley Det. Becker & Corrupt Dakota Co. Judicial Officer Knutson To File False Police Report & Subsequent Phony Arrest Warrant For Jessica Hartger? Eden Prairie Responsible Authority/City Clerk Kathleen Porta Refuses To Explain/Justify In Signed Document Fraudulent Retaliatory Bill Of $321.93 For Hartger Data? It Looks Like There Is A Huge Cover-Up For Eden Prairie Police Personnel Exacting Street Justice & Payback On Jessica Hartger For Dakota County Judicial Officers David Knutson & Ann Offerman, Right? Kenneth's & Jessica's Informed Consent Submissions Toss Monkey Wrenches Into Cover-Up?

Update: Eden Prairie Police Greg Weber Lurking & Skulking On Lion News For 3 Minutes 37 Seconds On 06-19-20 With IP Address 156.142.95.179? Weber Gawking At Pic About Eden Prairie Police Personnel Exacting Street Justice & Payback On Jessica Hartger For Dakota County Judicial Officers David Knutson & Ann Offerman? Oh Dakota Co. Deputy Scheffknecht Says Offerman Filed False Police Report Against Jessica Hartger, Didn't He? So Evidence Of EPPD Street Justice & Payback On Hartger, Right? 3 Minutes Long Enough To File Share Damning Data To Nemmers On 06-19-20, Right? Corrupt Chief Weber Attempts "Payback" & "Street Justice" On Nemmers With Retaliatory Fraudulent Bill?

Eden Prairie Police Personnel Exacting Street Justice & Payback On Jessica Hartger For Dakota County Judicial Officers David Knutson & Ann Offerman? Why Oh Why Didn't EPPD Confirm The Warrant Before They Broke Out Hartger's Car Window? To Teach Hartger A Street Justice Lesson, Right?

Incompetent Bungler Michael "The Hack" Volpe's Latest Victim Jessica Danielle Cook AKA Jessica Danielle Hartger Lands In The Dakota County Jail? Did Nemmers' FOIA Requests To Kent Co. Sheriff Michelle LaJoye-Young & Kent Co. Prosecuting Attorney Christopher R. Becker Expedite Extradition?

Incompetent Bungler Michael "The Hack" Volpe Succeeds In Getting His Latest Victim Jessica Danielle Cook AKA Jessica Danielle Hartger Arrested? You Remember "The Hack" Volpe From His Sabotaging Of The High-Profile Sandra Grazzini-Rucki Case, Don't You? Oh And Don't Forget "The Hack" Volpe Helped To Sabotage All Of Dede Evavold's Cases Also, Didn't He? Run Away - Do Not Walk Away - Run Away From Hack Volpe And His Fellow Fanatic Karen Possessky, Okay?

Incompetent Bungler Michael "The Hack" Volpe Succeeds In Getting A Warrant Issued For His Latest Victim Jessica Danielle Cook AKA Jessica Hartger? You Remember "The Hack" Volpe From His Sabotaging Of The High-Profile Sandra Grazzini-Rucki Case, Don't You? Oh And Don't Forget "The Hack" Volpe Helped To Sabotage All Of Dede Evavold's Cases Also, Didn't He? Hack Volpe's Fellow Fanatic Karen Possessky Speaks?

Lion News: Nemmers Exposes Michael “Hack” Volpe’s & Sandra Grazzini-Rucki’s Smear Campaign?