Tuesday, August 31, 2021

Why Oh Why Aren't Freeborn Co. Sheriff Kurt Freitag & Body Cameraless ALPD Detective/School Resource Officer/Freeborn County Commissioner Ted Herman Responding To My 08-23-21 Chapter 13 Data Request? Who Wants To Expose The Illegal Withholding Of Body Camera Video For The 02-03-21 COVID-19 Superspreader Event At Albert Lea City Attorney Kelly Martinez's Office? Hey Did I Forget To Mention That I Spoke To Martinez’s Maskless Legal Assistant Lisa “Typhoid Mary” Williamson? Does IP Address 136.234.33.250 Belong Freitag? Is Or Isn’t Albert Lea City Attorney Kelly Martinez Allowed To Commit Perjury In Freeborn County?

from: Lion News lionnews00@gmail.com
to: Rich Murray rmurray@ci.albertlea.mn.us,
Larry Baker lbaker@ci.albertlea.mn.us,
Robert Rasmussen rrasmussen@ci.albertlea.mn.us,
Reid Olson reolson@ci.albertlea.mn.us,
Mayor mayor@ci.albertlea.mn.us,
Jason Howland jhowland@ci.albertlea.mn.us,
Ian Rigg irigg@ci.albertlea.mn.us,
AL Brooks abrooks@ci.albertlea.mn.us,
JD Carlson jcarlson@ci.albertlea.mn.us,
Kurt Freitag kurt.freitag@co.freeborn.mn.us,
ted.herman@co.freeborn.mn.us
date: Aug 31, 2021, 1:01 PM
subject: Chapter 13 Data Request - Body Camera Training Prior To 02-03-21 COVID-19 Superspreader Event At Albert Lea City Attorney Kelly Martinez's Office Which Involved Lisa Hanson
mailed-by: gmail.com

Kurt Freitag, Sheriff 507.377.5105/ 507.391.0993 & Ted Herman, ALPD Detective/School Resource Officer/Freeborn County Commissioner 507.320.9221:

What is the status of my 08-23-21 Chapter 13 Data Request that I submitted to you at 4:14 PM to your email addresses: ted.herman@co.freeborn.mn.us & kurt.freitag@co.freeborn.mn.us? Hey did you know that according to your buddy City of Albert Lea Director of Public Safety JD Carlson's attorney Kelly Martinez that your WatchGuard body cameras are nothing but junk? Did you know that magically and mysteriously not a single body camera activated for the COVID-19 superspreader event that Albert Lea City Attorney Kelly Martinez held at her office 02-03-21? Of course, ALPD Detective/School Resource Officer/Freeborn County Commissioner Ted Herman’s body camera video can’t actually be called magically and mysteriously missing when his body camera was conspicuously missing from his ALPD uniform, can we?

Terry Dean, Nemmers 320-283-5713
P.S. Does IP address 136.234.33.250 belong to one of you? Amazing how many times that IP address 136.234.33.250 keeps popping up onto my blog at Lion News, isn’t it?
P.S.S. Is or isn’t Albert Lea City Attorney Kelly Martinez allowed to commit perjury in Freeborn County? Hmm? Inquiring minds want to know, don’t they?
P.S.S.S. Are or Aren’t Albert Lea City Attorney Kelly Martinez and/or her maskless legal assistant Lisa “Typhoid Mary” Williamson allowed to file false police reports in Freeborn County? Hmm? Inquiring minds want to know, don’t they?

APPEARANCES Kelly Martinez, Albert Lea City Attorney, appeared via the Zoom platform for and on behalf of Plaintiff. David Walker, Freeborn County Attorney, appeared via the Zoom platform with and on behalf of Respondent Sheriff Kurt Freitag. … MR. WALKER: Yes, Your Honor. And I believe that this affidavit is facially invalid, and that's my point. I think in a lot less than 30 minutes I can demonstrate to the Court that the Court should not proceed with an allegation of contempt against Sheriff Freitag in this case. Because when the Court applies the law to the facts, even if you assume every fact in that affidavit is correct, you should find that there is no purpose for a hearing and that the allegations do not warrant a hearing. And that's the Court's first obligation in a contempt case. Page 1, 4 Transcript Of Proceedings April 1, 2021 1:12 p.m. for Order to Show Cause Hearing for Court File No. 24-CR-21-137 and 24-CR-21-188. State Of Minnesota District Court Criminal Division County Of Freeborn Third Judicial District State of Minnesota, Plaintiff, vs. Melissa Lynn Hanson, Defendant. The above-entitled matter came on for hearing before the Honorable Joseph A. Bueltel, District Court Judge, at the Steele County Courthouse, Owatonna, Minnesota.

https://www.albertleatribune.com/2018/09/board-approves-purchase-of-body-cameras-for-deputies/ Board approves purchase of body cameras for deputies By Sarah Stultz Email the author sarah.stultz@albertleatribune.com Published 10:21 pm Wednesday, September 5, 2018 Freitag said last week the cameras — provided by Watchguard, the same company that provides in-car cameras for the Sheriff’s Office — are expected to be smaller than a bank card and would help prove cases or resolve deputy conduct complaints. … Belshan said the cameras are “a must” to protect against lawsuits that may come in the future.

Vern Rasmussen, Jr. Mayor 507-377-1540 & City Council members:

Why oh why does Albert Lea City Attorney Kelly Martinez keep sending me these faulty pdf files? Why am I being harassed with even more pdf files with the error message For the best experience, open this PDF portfolio in Acrobat X or Adobe Reader X, or later. Get Adobe Reader Now!”? Did you know that “8-20-21 Email Response to 8-9-21 Request.pdf? has this error message, also? Can’t Martinez figure out how to use her own software? Incompetence would explain a couple or errors, right? But, multiple repeated errors means harassment, doesn’t it?
Oh, speaking of Albert Lea City Attorney Kelly Martinez, did you know that I had a little chat with Martinez’s maskless legal assistant Lisa “Typhoid Mary” Williamson? You remember that maskless “Typhoid Mary” Williamson was the one causing all sorts of problems on 02-03-21, don’t you? You know ICR 202100003681 for which there were magically and mysteriously no body camera video or a a single incident report? How can you forget the image of ALPD Detective/School Resource Officer/Freeborn County Commissioner Ted Herman arriving on the scene without his assigned body camera, huh? By the way, are those body cameras still on warranty? Why do I ask? Maybe you want to get them all fixed if they magically and mysteriously don’t activate when you ALPD cops activate their squad lights and sirens, huh?

Terry Dean, Nemmers 320-283-5713
P.S. Doesn’t it defy logical that your 02-03-21 body camera video is magically and mysteriously missing for the false police report filed by someone at Albert Lea City Attorney Kelly Martinez’s office when there is allegedly talk of Lisa Hanson being charged for illegal entry? So when is the rest of my readily available, free, electronic, public data hitting my email inbox?
P.S.S. Is or isn’t Albert Lea City Attorney Kelly Martinez allowed to commit perjury in Freeborn County? Hmm? Inquiring minds want to know, don’t they?
P.S.S.S. Are or Aren’t Albert Lea City Attorney Kelly Martinez and/or her maskless legal assistant Lisa “Typhoid Mary” Williamson allowed to file false police reports in Freeborn County? Hmm? Inquiring minds want to know, don’t they?

MR. WALKER: Your Honor, that argument is irrelevant to what this Court has to decide. It also misstates the law regarding the importance of the affidavit that a person submits before this Court. Prosecutors do not ordinarily in the course of their prosecution submit a signed sworn affidavit alleging certain facts are true before the court. A criminal complaint is an allegation that the prosecutor is authorized to prosecute that case. There is a peace officer who signs to the truth of the content of a criminal complaint. Ms. Martinez personally swore to this Court that every statement in her affidavits were true. Every statement in those affidavits were not true. And it is insufficient for her to now attempt to amend her order a day after the Court granted the relief that she requested. Namely, she requested in that affidavit an order to show cause in which the sheriff was called before this Court to explain why he did not execute the warrant. That affidavit was filed with the Court and Court granted the order to show cause, she then filed with the Court another affidavit. The Court did not grant the motion that she made which was to amend paragraph 11 of the first affidavit. That leaves all of the paragraphs that are still inaccurate statements to this Court still in there. Your Honor, a sworn statement has legal effect when it's filed – Page 14. Transcript Of Proceedings April 1, 2021 1:12 p.m. for Order to Show Cause Hearing for Court File No. 24-CR-21-137 and 24-CR-21-188. State Of Minnesota District Court Criminal Division County Of Freeborn Third Judicial District State of Minnesota, Plaintiff, vs. Melissa Lynn Hanson, Defendant. The above-entitled matter came on for hearing before the Honorable Joseph A. Bueltel, District Court Judge, at the Steele County Courthouse, Owatonna, Minnesota.

https://www.kimt.com/content/news/wherearebodycameras-503887251.html Where Are the Body Cameras? The Freeborn County Sheriff's Department said they would start using the body cameras in early January but have pushed it back a month. Posted: Jan 3, 2019 11:43 PM Posted By: Isabella Basco. "The combination between onboard video and the cars and our watchguard body worn cameras is just going to increase our abilities to get things recorded that otherwise we wouldn't have been able to record them," Freitag said.

Ian Rigg, City of Albert Lea City Manager 507-377-4330 & JD Carlson, City of Albert Lea Director of Public Safety 507-377-5665:

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. Contract for WatchGuard body cameras, proposal submitted by WatchGuard for the 26 body cameras at a cost of approximately $41,000. Or whatever brand and model of body camera that is used by the City of Albert Lea.
2. Repair and maintenance logs for City of Albert Lea squad cars. For current fleet only.
3. Signed documentation that City of Albert Lea police personnel are trained in and certified to use the city issued body cameras.

Terry Dean, Nemmers 320-283-5713
P.S. Is it or isn’t it the objective of the Albert Lea Police Department to destroy or illegally withhold body camera video that incriminates City of Albert Lea personnel? Isn’t that the real reason why body camera video and incident reports are being illegally withheld from me? Hmm? Inquiring minds want to know, don’t they? Body camera videos which contains the statements of Albert Lea City Attorney Kelly Martinez would not only be embarrassing but legally incriminating, right?
P.S.S. Is or isn’t Albert Lea City Attorney Kelly Martinez allowed to commit perjury in Freeborn County? Hmm? Inquiring minds want to know, don’t they?
P.S.S.S. Are or Aren’t Albert Lea City Attorney Kelly Martinez and/or her maskless legal assistant Lisa “Typhoid Mary” Williamson allowed to file false police reports in Freeborn County? Hmm? Inquiring minds want to know, don’t they?

III. OBJECTIVES The Albert Lea Police Department has adopted the use of BWCs to accomplish the following objectives: A. To enhance officer safety. B. To document statements and events during the course of an incident. C. To enhance the officer’s ability to document and review statements and actions for both internal reporting requirements and for courtroom preparation/presentation. D. To preserve audio and visual information of use in current and future investigations. E. To enhance the public trust by preserving factual representations of officer/citizen interactions in the form of audio/video recordings. F. To assist with the defense of civil actions against law enforcement officers and the City of Albert Lea. G. To assist with the training and evaluation of officers.. A.L.P.D. POLICY Number Date 7-154 Effective Date October 17, 2018 Date Revised Subject No. Pages Body-Worn Cameras Distribution Approval All Licensed Personnel. 7-154-BODY-WORN-CAMERA-Final-3.25.19.pdf

SHERIFF FREITAG: This is not anything new that law enforcement has never done in the past. In fact, the Director of Public Safety, J.D. Carlson, I believe is attending this hearing, and I talked to him yesterday. His entire police department does this procedure. We respect the order of the Court. There's no question about that. When we receive an order – when I receive an order from the court, we're going to carry that order out. Sometimes we need to use some discretion. When I talked with Lisa Hanson, she told me that she had not received any court notice with a date and time for her hearing, and she told me that she had not been served. Sometimes mistakes are made. And I asked her, "If we don't arrest you, will you either call the court administrator's office and explain what happened, get a new court date, or show up in the jail and post bail," and she would get a new court date that way. And she told me reluctantly that she would do that. She failed to do that. Ms. Martinez has said, even in her affidavit, which I don't know how she can swear to this, but she said to this date -- and I'm just paraphrasing. I don't have it right in front of me -- that the sheriff has failed to take her into custody and/or order his deputies to arrest her. That is patently false. I've had talks with my chief deputy, one of my patrol sergeants who was on duty on the 17th. We were aware of the gathering at Ms. Hanson's residence that was going to be held on the 19th. We're not going to make a spectacle out of this whole thing. And on the – let's see -- the 19th I ordered a deputy to take a look at her house, see what kind of activity is going on. I've had deputies over at her house to attempt arrest. This is all prior to Ms. Martinez's affidavit where she swears that everything in her affidavit is correct and accurate. That's patently false. Page 29, 30. Transcript Of Proceedings April 1, 2021 1:12 p.m. for Order to Show Cause Hearing for Court File No. 24-CR-21-137 and 24-CR-21-188. State Of Minnesota District Court Criminal Division County Of Freeborn Third Judicial District State of Minnesota, Plaintiff, vs. Melissa Lynn Hanson, Defendant. The above-entitled matter came on for hearing before the Honorable Joseph A. Bueltel, District Court Judge, at the Steele County Courthouse, Owatonna, Minnesota.

https://www.cityofalbertlea.org/october-22-2018/ October 22, 2018 Regular Council Meeting City Council Chambers, City Of Albert Lea Monday, October 22, 2018, 7:00 P.M. PRESENT: Mayor Vern Rasmussen, Jr., Councilors Rich Murray, Larry Baker, Reid Olson, Robert Rasmussen and Al Brooks. Also present were City Manager Chad Adams, Public Works Director Steven Jahnke, City Attorney Kelly Martinez and City Clerk Daphney Maras. ABSENT: Councilor Jason Howland. G. Public Hearing Regarding Purchase of Body Worn Cameras (BWC) by Albert Lea Police Department The Albert Lea Police Department is in the process of developing a body worn camera program and is seeking public input. Body worn cameras will be utilized by uniformed patrol officers and detectives. Policy and procedures are being developed based on Minnesota State Statute §626.8473 and Minnesota State Statute §13.825. A draft policy is available upon request. As required by Minnesota State Statute, the city council must allow for public comment at a regularly scheduled council meeting. This input will be used during program and policy development. The project will include the purchase of 26 body cameras at a cost of approximately $41,000. Body worn cameras have the capability to enhance officer safety, document statements and events between police officers and the community, preserve information for current and future investigations and enhance public trust and transparency. This must be done while respecting the privacy and rights of those we serve and those who serve. Mayor Rasmussen opened the public hearing. He called three times. No one spoke. Public hearing closed.




 More to come ...

Related Links:

Who Wants The Chapter 13 Data For The 02-03-21 COVID-19 Superspreader Event At Albert Lea City Attorney Kelly Martinez's Office Which Involved Lisa Hanson? It Features A Body Cameraless ALPD Detective/School Resource Officer/Freeborn County Commissioner Ted Herman, Doesn't It? Oh And A Maskless ALPD Lt. Jeff Strom, Right? Can You Name All The Unmasked City Of Albert Lea Personnel? Who Filed The False Police Report Via The Panic Alarm? Was It Masked Albert Lea City Attorney Kelly Martinez Or Her Maskless Legal Assistant Lisa Willamson?

Why Oh Why Is City Of Albert Lea City Attorney Kelly Martinez Making Perjured Statements In High-Profile Case No. 24-CR-21-137 State of Minnesota vs Melissa Lynn Hanson? Let's See If Local Law Enforcement Is Launching A Criminal Investigation Into Martinez's Crimes, Shall We? If Hanson Is Going To Be Prosecuted For Alleged COVID Crimes, Then Shouldn't Martinez Be Prosecuted For Committing Criminal Acts During the Prosecution Of Hanson? FYI: You'll Get Extremely Sick And Tired Of Hearing Hanson Rant And Rave About Jurisdiction In Her Cases 24-CR-21-137 and 24-CR-21-188, Won't You? Let's Make An Open Records Request To Clear Lake Chief Of Police Peter Roth & Cerro Gordo County Sheriff Kevin Pals, Okay? UPDATE: Freeborm Attorney Walker Responds With Obvious Lies? FYI: Sheriff Freitag Tried And Failed A Simliar Play Dumb Harassment Scheme, Didn't He?

Monday, August 23, 2021

Who Wants The Chapter 13 Data For The 02-03-21 COVID-19 Superspreader Event At Albert Lea City Attorney Kelly Martinez's Office Which Involved Lisa Hanson? It Features A Body Cameraless ALPD Detective/School Resource Officer/Freeborn County Commissioner Ted Herman, Doesn't It? Oh And A Maskless ALPD Lt. Jeff Strom, Right? Can You Name All The Unmasked City Of Albert Lea Personnel? Who Filed The False Police Report Via The Panic Alarm? Was It Masked Albert Lea City Attorney Kelly Martinez Or Her Maskless Legal Assistant Lisa Willamson?

 
from: Lion News lionnews00@gmail.com
to: Rich Murray rmurray@ci.albertlea.mn.us,
Larry Baker lbaker@ci.albertlea.mn.us,
Robert Rasmussen rrasmussen@ci.albertlea.mn.us,
Reid Olson reolson@ci.albertlea.mn.us,
Mayor mayor@ci.albertlea.mn.us,
Jason Howland jhowland@ci.albertlea.mn.us,
Ian Rigg irigg@ci.albertlea.mn.us,
AL Brooks abrooks@ci.albertlea.mn.us,
JD Carlson jcarlson@ci.albertlea.mn.us,
Kurt Freitag kurt.freitag@co.freeborn.mn.us,
ted.herman@co.freeborn.mn.us
date: Aug 23, 2021, 4:14 PM
subject: Chapter 13 Data Request For Data On 02-03-21 COVID-19 Superspreader Event At Albert Lea City Attorney Kelly Martinez's Office Which Involved Lisa Hanson
mailed-by: gmail.com 

Kurt Freitag, Sheriff 507.377.5105/ 507.391.0993 & Ted Herman, ALPD Detective/School Resource Officer/Freeborn County Commissioner 507.320.9221:

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. Name, gross salary and work-related continuing education for deputy 314KS. See reference Incident # 202100003681.
2. Incident reports, computer-aided dispatch reports for 02-03-21 COVID-19 superspreader event at Albert Lea City Attorney Kelly Martinez's office which involved Lisa Hanson
3. Data on whether Albert Lea City Attorney Kelly Martinez or maskless legal assistant Lisa Williamson filed the false police report on 02-03-21 by pressing the panic alarm on Lisa Hanson on 02-03-21.
4. Incident reports from criminal investigation into Albert Lea City Attorney Kelly Martinez making perjured statements against Freeborn Co. Sheriff Kurt Freitag in Court File No. 24-CR-21-137 State of Minnesota vs. Melissa Lynn Hanson. I request the public portion if the criminal investigation is still active.
5. Incident reports from criminal investigation into Albert Lea City Attorney Kelly Martinez and/or maskless legal assistant Lisa Williamson for filing a false police report on 02-03-21 by pressing the panic alarm on Lisa Hanson on 02-03-21. I request the public portion if the criminal investigation is still active.

Terry Dean, Nemmers 320-283-5713
P.S. Have either of you been contacting the City of Albert Lea elected officials about the criminal activity emanating from Albert Lea City Attorney's Office? Hmm? Inquiring minds want to know, don't they?
P.S. Have either of you in the history of your careers ever had a city or county personnel hit the panic button over service of process?

Application for Order to Show Cause – Affiant, Kelly D. Martinez, for the Plaintiff, being duly sworn states: That she believes Kurt Frietag, Freeborn County Sheriff, violated the Court’s March 10, 2021 Warrant requiring the Sheriff of Freeborn County to apprehend, arrest, and bring Defendant before this Court without unnecessary delay for the following reasons(s): … 10. On March 17, Defendant gave an interview on Unsafe Spaces. Approximately 33 minutes into the interview, Defendant stated she recommended Deputy Wacholz contact Sheriff Frietag because the Sheriff guaranteed she would not be arrested on the warrants and he would not be taking her to jail on this issue. See Unsafe Spaces – Interview Lisa Hanson at https://www.youtube.com/watch?v=PxX1yHOHYdo 11. On March 18, Sheriff Frietag emailed the Court and admitted to knowledge of the Court’s March 10, 2021 Warrant. He asserted Defendant has been a “resident of Albert Lea for decades” and she is a “current business owner”. He further asserted law enforcement has used its discretion where an “upstanding person in the community” has a low level warrant for his or her arrest. 12. To date, Sheriff Frietag has failed to execute and/or order his deputies to execute the Court’s March 10, 2021 Order. 13. Minnesota Statute 588.01, subd. 3, states constructive contempt may arise from, among other things, the following acts or omissions: the willful neglect or violation of duty by a sheriff to perform a judicial service; disobedience of any lawful judgment, order, or process of the court; and unlawful interference with the process or proceedings of a court. … The Sheriff’s conduct casts a negative shadow on the judicial system and implies “business owners” are “upstanding persons in the community” and therefore subject to differential treatment in criminal proceedings. Public confidence in the judiciary is essential to its functioning. That confidence is shattered if the Court permits unlawful disobedience of its Orders and/or interference with the process or proceedings of the Court. Upon this application and all the files and records herein, the State moves the Court to set the matter for an Order to Show Cause as to why Sheriff Kurt Frietag should not be held in contempt. I declare under penalty of perjury everything I have stated in this document is true and correct. Dated: March 24, 2021 /s/ Kelly Martinez Signed in Freeborn County at 9:41 p.m. Kelly D. Martinez, Atty Reg. 0390039 Albert Lea City Attorney 221 East Clark Street Albert Lea, Minnesota 56007 (507) 377-4320 kmartinez@ci.albertlea.mn.us 24-CR-21-137 Filed in District Court State of Minnesota March 29, 2021 State Of Minnesota County Of Freeborn District Court Third Judicial District Criminal Division Court File No. 24-CR-21-137 State of Minnesota, Plaintiff, -vs- Melissa Lynn Hanson (7/14/1964), Defendant. Page 1, 2, 3 . Application For Order To Show Cause For Contempt Of Court. Court Court File No. 24-CR-21-137 State of Minnesota vs. Melissa Lynn Hanson (7/14/1964).

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: Perjury-Court Document Minnesota Statute: 609.48.1(4), with reference to: 609.48.4(2) Maximum Sentence: Five years imprisonment and/or $10,000 fine Offense Level: Felony Offense Date (on or about): 09/28/2020 Control #(ICR#): 20004503 Charge Description: On or about September 28, 2020, within the County of Swift, State of Minnesota, the defendant, Kyle Lee Rose (D.O.B.: 05/10/1990), did make a false material statement not believing it to be true in any writing made according to section 358.116. Statement Of Probable Cause Filed in District Court State of Minnesota 10/30/2020 The Complainant states that the following facts establish probable cause: On September 29, 2020, the defendant, Kyle Lee Rose (D.O.B.: 05/10/1990), filled out an Application for Public Defender while in custody at the Swift County Jail, Swift County, Minnesota. Upon completion, said Application was filed with the court for judicial review. In his application, the defendant answered “No”, under penalty of perjury, that he was not currently working. The defendant also left all spaces blank which asked about specific employment information. At a subsequent bail hearing held on the same day at the Swift County Courthouse, the defendant admitted on the record to the court that he did, in fact, have a job. The court asked, “Why do you check the box that you’re not working on your Application for Public Defender?” The defendant replied, “I assumed I...would not have a job.” Therefore, the defendant was currently employed at the time he filled out his Application for Public Defendant. 76-CR-20-401 Filed in District Court State of Minnesota 10/30/2020 State of Minnesota County of Swift District Court 8th Judicial District Prosecutor File No. Court File No. State of Minnesota, 20CR00208 76-CR-20-401 COMPLAINT Plaintiff, Summons vs. KYLE LEE ROSE DOB: 05/10/1990 238 E Thielke Ave. Appleton, MN 56208 Defendant.

March 29, 2018 Chief James DeMann Eden Prairie Police Department 8080 Mitchell Road Eden Prairie, MN 55344 RE: State v. Timothy Holmes (27-CR-17-23450) & Detective Travis Serafin Dear Chief DeMann, I would like to bring to your attention a matter of concern to me involving one of your detectives that occurred at a suppression hearing involving a serious case, Timothy Holmes. Mr. Holmes was charged with Third Degree Murder and First Degree Drug Sale after providing drugs to someone who died of an overdose. The investigator assigned to this case was Travis Serafin. During the course of the investigation, he applied for a search warrant to search Mr. Holmes and his residence. That search warrant (Exhibit C) was signed by Judge Jay Quam. As you can see, Detective Serafin never requested to search the vehicles at that residence, and the authorization to search the vehicles was specifically crossed out by Detective Serafin. Detective Serafin apparently realized that he forgot to include the vehicles in the first search warrant so he prepared another search warrant (Exhibit B) which was identical to Exhibit C in every respect except that he also requested to search any vehicles associated with the residence (he requested to search for other things that are not relevant here). What he did then, from everything I can tell from reviewing the two search warrants and listening to his direct and cross-examination, was take the signed search authorization from Judge Quam and then simply added that page to the new search warrant request without bringing it to Judge Quam for review or signing. As you can see from the two search warrants, the search warrant affidavit form signed by Judge Quam is identical in every way, including the judge's signature, Detective Serafin's signature and the date. You can also see that the search warrant authorization pages of the two search warrants are also identical, including the fact that the authorization to search the motor vehicles was still crossed out (crossed out by Detective Serafin) which is further evidence that hesimply made a copy of the first search warrant authorization and affidavit pages and included them in the second search warrant which was never presented to Judge Quam. 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.

Vern Rasmussen, Jr. Mayor 507-377-1540 & City Council members:

Why oh why is Albert Lea City Attorney Kelly Martinez repeatedly harassing me by sending me the exact same data that she has repeatedly sent previously? How many more times is Martinez going to send me the corrupted file "6-11-21 response to code.pdf"? I really am tired of reading the error message "For the best experience, open this PDF portfolio in Acrobat X or Adobe Reader X, or later.", aren't I? Seriously wasn't once enough? And how many copies of "CLE Invoices.pdf" is Martinez going to send me, huh? I figured out her work-related continuing education with the first batch, right? So instead of all those repeats when is Martinez going to send me the salaries, history of sustained complaints, and work-related continuing education for Martinez's maskless Lisa Williamson? Or the same data for body cameraless ALPD Detective/School Resource Officer/Freeborn County Commissioner Ted Herman? Or masklessLPD Lt. Jeff Strom? Or Jason Taylor, Detective Sy Vanthavong, Ben Mortenseon?

I mean how am I going to do that poster for 02-03-21 COVID-19 superspreader event at Albert Lea City Attorney Kelly Martinez's office that involved Lisa Hanson when I don't have that data, huh? So when is that illegally withheld data showing up huh?

Terry Dean, Nemmers 320-283-5713
P.S. Why oh why did Ted Herman, ALPD Detective/School Resource Officer/Freeborn County Commissioner show up to the 02-03-21 COVID-19 superspreader event without his City of Albert Lea Body Camera firmly attached to his uniform? The Body Camera is part of Herman's uniform, isn't it? Would it be unacceptable for him to show up without his sidearm? Speaking of magically and mysteriously missing body camera video where are the video from 326 Body Worn Camera 326JT Jason Taylor, 102 Body Worn Camera 102JS Lt. Jeff Strom, 209 Body Worn Camera 209SV Detective Sy Vanthavong, 211 Body Worn Camera 211BM Ben Mortenseon?
P.S.S. Why oh why was Martinez's maskless legal assistant Lisa Williamson trying to provoke and incite Lisa Hanson to violence by not accepting service of process on from Hanson 02-03-21?
P.S.S.S. Is it or isn't City of Albert Lea Lt Jeff Strom's job to accept service of process for Albert Lea City Attorney Kelly Martinez?
P.S.S.S.S. Do your police need a refresher course on when to activate their Body Cameras or do your personnel need a refresher course on willful refusal to comply with the Minnesota Government Data Practices Act?

Lisa Hanson: Did we really require all of this?
Albert Lea Detective/School Resource Officer/Freeborn County Commissioner Ted Herman: Well, no. We didn’t.
Lisa Hanson: Well, what’s going on then?
Albert Lea Detective/School Resource Officer/Freeborn County Commissioner Ted Herman: No. No.
Lisa Hanson: There’s five squad cars here.
Albert Lea Detective/School Resource Officer/Freeborn County Commissioner Ted Herman: No.
Lisa Hanson: And then there’s like five or six or you inside.
Albert Lea Detective/School Resource Officer/Freeborn County Commissioner Ted Herman: I don’t I don’t I don’t know. Somebody accidently hit the panic alarm or what. As far as I know.
Lisa Hanson: Did somebody hit the panic alarm?
Albert Lea Detective/School Resource Officer/Freeborn County Commissioner Ted Herman: Could have been. You know, I don’t know.
Lisa Hanson: Yeah.
Albert Lea Detective/School Resource Officer/Freeborn County Commissioner Ted Herman: So.
Lisa Hanson: Wow we sure did raise a lot of ruckus here.
Albert Lea Detective/School Resource Officer/Freeborn County Commissioner Ted Herman: (Laughs) 19:12-19:33/21:04 https://rumble.com/vkcqjf-unredacted-video-lisa-hanson-interaction-with-albert-lea-city-attorney-staf.html Unredacted Video: Lisa Hanson Interaction with Albert Lea City Attorney Staff January 2021 MinnesotaBlackRobeRegiment Published July 26, 2021 21 Views 1 rumble Rumble — In January Lisa Hanson had an interaction with Albert Lea City Attorney Office staff and this is the unredacted and commentary free video: To see the commentary of this incident you can watch on YouTube at: Minnesota Black Robe Regiment "Unlawful Entrance? Lisa Hanson Tells Us What Really Happened at Albert lea City Hall January 2021"

Albert Lea Lt. Jeff Strom: You just have to abide by the policies when you’re in here, so.
Lisa Hanson: It’s interesting how I have to abide by policy. But Lisa Williamson didn’t have her mask on when she was sitting in the City Attorney’s office …
Albert Lea Lt. Jeff Strom: I didn’t have mine either when I just came in here. 17:53-17:59/21:04 https://rumble.com/vkcqjf-unredacted-video-lisa-hanson-interaction-with-albert-lea-city-attorney-staf.html Unredacted Video: Lisa Hanson Interaction with Albert Lea City Attorney Staff January 2021 MinnesotaBlackRobeRegiment Published July 26, 2021 21 Views 1 rumble Rumble — In January Lisa Hanson had an interaction with Albert Lea City Attorney Office staff and this is the unredacted and commentary free video: To see the commentary of this incident you can watch on YouTube at: Minnesota Black Robe Regiment "Unlawful Entrance? Lisa Hanson Tells Us What Really Happened at Albert lea City Hall January 2021"

Ian Rigg, City of Albert Lea City Manager 507-377-4330 & JD Carlson, City of Albert Lea Director of Public Safety 507-377-5665:

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. Job descriptions for Albert Lea City Attorney Kelly Martinez maskless legal assistant Lisa Williamson.
2. 02-03-21 duty roster for Albert Lea Police.
3. Job description for all job titles at Albert Lea police department.
4. 2021 COVID-19 restrictions and 2021 signed acknowledgment of COVID-19 policies.
5. Decipher the following technical terminology, abbreviations, or acronyms: 102JS, 326JT, 102JS, 209SV, 211BM, 210 no bwc, 326 bwc, 102 BWC, 209bwc, 211 BWC,
6. The current Albert Lea Police department 10 codes.
7. Data from ALPD Detective/School Resource Officer/Freeborn County Commissioner Ted Herman's Body Camera video that proves that Herman recorded his name, employee number and the current date and time at the beginning and the end of the shift or other period of use for 02-03-21.
8. When is the previously requested data for Martinez's maskless legal assistant Lisa Williamson, body cameraless ALPD Detective/School Resource Officer/Freeborn County Commissioner Ted Herman? Or masklessLPD Lt. Jeff Strom? Or Jason Taylor, Detective Sy Vanthavong, Ben Mortenseon showing up i my email inbox, huh?? Inquiring minds want to know, don't they?

Terry Dean, Nemmers 320-283-5713
P.S. Since Ted Herman, ALPD Detective/School Resource Officer/Freeborn County Commissioner failed to show up to the 02-03-21 COVID-19 superspreader event at Albert Lea City Attorney Kelly Martinez's office how come he couldn't fall back onto his expensive and time-consuming work-related continuing education to write a report? Or did Hermen willfully refuse
If you do not understand some of the data (technical terminology, abbreviations, or acronyms), please tell the person who provided the data to you. We will give you an explanation if you ask.
https://mn.gov/admin/assets/Model%20Access%20Pol%20Public%202019_tcm36-309298.docx

319.1.1 STANDARDS OF CONDUCT FOR PEACE OFFICERS The Albert Lea Department of Public Safety 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 Peace officers shall truthfully, completely, and impartially report, testify and present evidence, including exculpatory evidence, in all matters of an official nature. Policy 319 Albert Lea Department of Public Safety Police Department Policy Manual.
When using a portable recorder, the assigned member shall record his/her name, employee number and the current date and time at the beginning and the end of the shift or other period of use, regardless of whether any activity was recorded. This procedure is not required when the recording device and related software captures the user’s unique identification and the date and time of each recording. Policy 423 Albert Lea Department of Public Safety Police Department Policy Manual

CALL FOR SERVICE Incident # 202100003681
Agency ALPD Albert Lew PD Incident # 202100003681 Case#
TimeChanged Dispatcher Agency UnitID Status Officer1
2/3/2021 15:43:39 D3NG ALPD 102JS W Disp 00009399
2/3/2021 15:43:42 D3NG ALPD 326JT W Disp 00015833
2/3/2021 15:43:45 D3NG ALPD 314KS W Disp 00025158
2/3/2021 15:43:48 D3NG ALPD 102JS 2 Enroute 00009399
2/3/2021 15:43:49 D3NG ALPD 326JT 2 Enroute 00015833
2/3/2021 15:43:51 D3NG ALPD 314KS 2 Enroute 00025158
2/3/2021 15:44:40 d9st ALPD 209SV W Disp 00016342
2/3/2021 15:44:42 d9st ALPD 209SV 3 Scene 00016342
2/3/2021 15:45:12 d9st ALPD 210TH W Disp 00011928
2/3/2021 15:45:16 d9st ALPD 210TH 3 Scene 00011928
2/3/2021 15:49:01 D3NG ALPD 211BM W Disp 00006917
2/3/2021 15:50:40 D3NG ALPD 211BM 1 Avail 00006917
2/3/2021 15:52:14 D3NG ALPD 209SV 1 Avail 00016342
2/3/2021 15:53:00 d9st ALPD 326JT 1 Avail 00015833
2/3/2021 15:53:02 d9st ALPD 314KS 1 Avail 00025158
2/3/2021 15:53:15 d5lr ALPD 102JS 1 Avail 00009399
2/3/2021 15:53:15 d5lr ALPD 210TH 1 Avail 00011928
Blotter:
city attorney office alarm
210 no bwc
all 10-2
326 bwc
102 BWC
209bwc
211 BWC

CALL FOR Service 07/26/2021
Agency ALPD Albert Lew PD Incident # 202100003681 Case#
 CALL FOR SERVICE
Activity ALARM Alarm, Burlary Or Robber Priority 2 ASAP Common Place City Hall
LOCATION COMPLAINANT
City Albert Lea Type
Loc 221 Clark St E ADDRESS
Apt# Co FBC Freeborn County
Route Beat Fire EMS Zone City State MN
D2 SD$ F900 ALMC Zip 56007 Tel
Dspchr D3NG Grove, Natasha Rept 2/3021 15:43 Shift 21500 2259
By D3NG Grove, Natasha How Disp N No Report
FINAL DISPOSITION/ACTIVITIES
Disp N No Report
Activity ALARM
Reports Arrests
_____________________
PERSON
_____________________
Suffix Name Type
Sex Race DOB Age
Address Telephone
Address Telephone
City State Zip
Cloth
Street/Dir
Operator’s License License State
Other
_____________________
VEHICLE
_____________________
Suffix Plate State Make/Model
Year Color Occupants Exp Date
Description
Street/Dir
Other
VIN
_____________________
Transport
_____________________
Unit Miles Start End
Start End Tot
Patient Type
Reason Care
Blotter:
city attorney office alarm
210 no bwc
all 10-2
326 bwc
102 BWC
209bwc
211 BWC
Log
Date/Time Officer ID Log Entry
Page 1
CALL FOR SERVICE
Agency ALPD Albert Lew PD Incident # 202100003681 Case#
2/3/2021 15:46:40 d9st **Terhune, Sara 210 advising 10-2
2/3/2021 15:48:51 D3NG Grove, Natasha 10-2
2/3/2021 15:49:11 D3NG Grove, Natasha 211 advising 10-2
2/3/2021 15:50:40 D3NG Grove, Natasha Removed Officer – 00006917
2/3/2021 15:50:56 d5lr Rippentrop, Lisa 10-2
2/3/2021 15:52:14 D3NG Grove, Natasha Removed Officer – 00016342
2/3/2021 15:53:00 d9st **Terhune, Sara Removed Officer – 00015833
2/3/2021 15:53:02 d9st **Terhune, Sara Removed Officer – 00025158
2/3/2021 15:53:15 d5lr Rippentrop, Lisa Incident Closed
TimeChanged Dispatcher Agency UnitID Status Officer1
2/3/2021 15:43:39 D3NG ALPD 102JS W Disp 00009399
2/3/2021 15:43:42 D3NG ALPD 326JT W Disp 00015833
2/3/2021 15:43:45 D3NG ALPD 314KS W Disp 00025158
2/3/2021 15:43:48 D3NG ALPD 102JS 2 Enroute 00009399
2/3/2021 15:43:49 D3NG ALPD 326JT 2 Enroute 00015833
2/3/2021 15:43:51 D3NG ALPD 314KS 2 Enroute 00025158
2/3/2021 15:44:40 d9st ALPD 209SV W Disp 00016342
2/3/2021 15:44:42 d9st ALPD 209SV 3 Scene 00016342
2/3/2021 15:45:12 d9st ALPD 210TH W Disp 00011928
2/3/2021 15:45:16 d9st ALPD 210TH 3 Scene 00011928
2/3/2021 15:49:01 D3NG ALPD 211BM W Disp 00006917
2/3/2021 15:50:40 D3NG ALPD 211BM 1 Avail 00006917
2/3/2021 15:52:14 D3NG ALPD 209SV 1 Avail 00016342
2/3/2021 15:53:00 d9st ALPD 326JT 1 Avail 00015833
2/3/2021 15:53:02 d9st ALPD 314KS 1 Avail 00025158
2/3/2021 15:53:15 d5lr ALPD 102JS 1 Avail 00009399
2/3/2021 15:53:15 d5lr ALPD 210TH 1 Avail 00011928










More to come ...

Related Links:

Why Oh Why Is City Of Albert Lea City Attorney Kelly Martinez Making Perjured Statements In High-Profile Case No. 24-CR-21-137 State of Minnesota vs Melissa Lynn Hanson? Let's See If Local Law Enforcement Is Launching A Criminal Investigation Into Martinez's Crimes, Shall We? If Hanson Is Going To Be Prosecuted For Alleged COVID Crimes, Then Shouldn't Martinez Be Prosecuted For Committing Criminal Acts During the Prosecution Of Hanson? FYI: You'll Get Extremely Sick And Tired Of Hearing Hanson Rant And Rave About Jurisdiction In Her Cases 24-CR-21-137 and 24-CR-21-188, Won't You? Let's Make An Open Records Request To Clear Lake Chief Of Police Peter Roth & Cerro Gordo County Sheriff Kevin Pals, Okay? UPDATE: Freeborm Attorney Walker Responds With Obvious Lies? FYI: Sheriff Freitag Tried And Failed A Simliar Play Dumb Harassment Scheme, Didn't He?

Tuesday, August 17, 2021

Who Wants To Toss A Monkey Wrench Into Case No. 13-CR-19-1031 State Of Minnesota Vs Carmen Marie Burth? North Branch Chief Of Police Daniel Meyer, Assistant Chisago County Attorney Kathryn Jean Kelly And Chisago County Attorney Janet Reiter Are Trying Burth's Case In The Court Of Public Opinion, Aren't They? Animal Humane Society's Pistol Packing Humane Agent Keith Streff And Anoka Equine Veterinary Services Dr. Zach Loppnow Are Aiding & Abetting In The Conspiracy, Aren't They? You Want To See How Nonprofits Conspire With LEO To Steal Your Horses?

 

from: Lion News lionnews00@gmail.com
to: cmhood@flaherty-hood.com,
giancla@aol.com
date: Aug 17, 2021, 12:32 PM
subject: Chapter 13 Data Request For Carmen Burth Data Also Payments And Confidentiality Agreements For Sunrise Equine - Anoka Equine Veterinary Services - Minnesota Hooved Animal Rescue Foundation
mailed-by: gmail.com

Christopher Hood, North Branch City Attorney, Flaherty & Hood 651-225-8840:

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. Signed appointment pursuant to the Prevention of Cruelty to Animals Chapter 343.01 of Animal Humane Agent/Investigator Amanda Oquist or any other personnel from the MN nonprofit Animal Humane Society for the purpose of investigating or otherwise assisting lawfully empowered officials in the prosecution of persons charged with cruelty to animals. Please included confidentially agreements if that is not incorporated in the appointment. Since it is a matter of the public that AHS Humane Agent Keith Sreff lied under oath in the high-profile animal cruelty case Case No. 02-CR-12-197 State of Minnesota vs Lowell George Friday do you or don’t you require all interactions with a suspect in a animal cruelty case be either audio or video recorded? Does it or doesn’t it bother you that there is no objective evidence that a consent to search was obtained either in writing or by audio or video when AHS Humane Agent Wade Hanson was investigating Case No. 58-CR-17-782 State of Minnesota vs Joseph Claus Sweep?
2. Complaints filed against Animal Humane Agent/Investigator Amanda Oquist or any other personnel from the MN nonprofit Animal Humane Society for harassment, falsifying reports, impersonating a peace officer, wearing a firearm during investigations. You are aware that it is a matter of the public record that AHS Humane Agent Keith Sreff was impersonating a peace officer in the high-profile animal cruelty case Case No. 83-CR-18-513 State of Minnesota vs Michael Charles Johnson, aren’t you? Does the City of North Branch prohibit Animal Humane Agent/Investigator Amanda Oquist or any other personnel from the MN nonprofit Animal Humane Society from wearing uniforms, patches, badges, and sidearms that indicate an intent to mislead another into believing that the impersonator is actually an officer?
3. Bills submitted by Sunrise Equine, Anoka Equine Veterinary Services and any other provider of Veterinary Services for the investigations into Carmen Burth for Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth DOB: 01-07-61. Do you or don’t you require your veterinarians during animal cruelty cases to do objective blood tests to substantiate their subject findings ascertained in their Henneke Body Condition Scoring System for Horses? Do you or don’t you require your veterinarians to produce those lab results that indicate an altered metabolism before removing horses?
4. Bills submitted by Drew Fitzpatrick, executive director of the Minnesota Hooved Animal Rescue Foundation for services rendered in the investigations into Carmen Burth for Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth DOB: 01-07-61. Are you of aren’t you aware that Fitzpatrick has willfully refused to provide me with her non-profit’s Form 990 in violation of IRS’ Required Disclosures ? Do you or don’t think it creates an appearance of impropriety and a conflict of interest for Fitzpatrick to falsely misrepresent her seized horse “co-ownership agreements” as “adoptions”?
5. Signed confidentiality agreements with Drew Fitzpatrick, the veterinarians at Sunrise Equine, the v at Anoka Equine Veterinary Services and any other provider of veterinary services for the investigations into Carmen Burth for Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth DOB: 01-07-61. Signed authorization allowing Oquist, Streff, Fitzpatrick, Dr. Zach Loppnow, a veterinarian at Anoka Equine Veterinary Services release confidential criminal investigative data for Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth DOB: 01-07-61 to the local media outlets or post to their business websites and social media sites for the express purpose of personal promotion and fund raising.
6. City of North Branch 13.055 Subd. 2. Disclosure Of Breach In Security; Notification And Investigation Report Required notice submitted to Carmen Burth in regard to the illegal release of her confidential 13.82 Subd. 7. Criminal investigative data. The data from the resulting investigation of the data breach. And any correspondence from Burth’s attorney Mark Gabriel Giancola objecting to City of North Branch Chief of Police Daniel Meyer, Assistant Chisago County Attorney Kathryn Jean Kelly and Chisago County Attorney Janet Reiter trying Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth DOB: 01-07-61 in the court of public opinion.

Terry Dean, Nemmers 320-283-5713
P.S. Does it or doesn’t it bother you that the nonprofit Animal Humane Society had a judgment of $1,498,375 entered against it for failing to keep the terms and conditions of a contract with veterinarian Shirley Kittleson in the high-profile Case No. 46-CV-19-1224 Goldmount Veterinary Center, P.A. vs Watonwan County, Animal Humane Society?

https://www.revisor.mn.gov/statutes/cite/609.4751 609.4751 Impersonating A Peace Officer. § Subdivision 1. Misdemeanor. Whoever falsely impersonates a peace officer with intent to mislead another into believing that the impersonator is actually an officer is guilty of a misdemeanor. Subd. 2. Gross misdemeanor. Whoever violates subdivision 1 while committing any of the following acts is guilty of a gross misdemeanor: (1) gaining access to a public building or government facility that is not open to the public; (2) without legal authority, directing or ordering another person to act or refrain from acting; (3) violating section 169.64, subdivision 2, 3, or 4, or the siren provisions of section 169.68; or (4) operating a motor vehicle marked: (i) with the word or words "police," "patrolman," "sheriff," "deputy," "trooper," "state patrol," "conservation officer," "agent," or "marshal"; or (ii) with any lettering, marking, or insignia, or colorable imitation thereof, including, but not limited to, stars, badges, or shields identifying the vehicle as a law enforcement vehicle, and which a reasonable person would believe is a law enforcement vehicle governed under section 169.98, subdivision 1.

http://www.ci.north-branch.mn.us/staff_directory_detail_T11_R63.php Last Name : Hood First Name : Christopher Profession : City Attorney, Flaherty & Hood Email Id: cmhood@flaherty-hood.com Phone Number : (651) 225-8840

A Veterinarian from Sunrise Equine was present to conduct a herd evaluation and Body Condition Scores (BCS) ranging from present to conduct a herd evaluation 1-9 were assigned to each horse as each was checked. 13-CR-19-1031 Filed in District Court State of Minnesota 8/13/2021 8:56 AM State's Memorandum Of Law In Opposition To Defendant’s Motion To Dismiss For Void For Vagueness, Lack Of Probable Cause, And For A Franks Hearing Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth DOB: 01-07-61

Attached is a press release. Use it as you see fit. Don Henneke, Ph.D. Director, Equine Science 254-968-9679 (Mis)Use Of The Bcs In Alleged Neglect Over the past decade, the Body Condition Scoring System for Horses (BCS) has become, in many if not most cases, the sole reason for seizure for neglect or abuse. The problem with this is that the BCS was not designed to reflect the health or well-being of the horse. The BCS provides an estimate of stored body fat. Period. … The BCS is designed as a ranking system. It was never designed to be exact and it cannot be exact because of differences in breeds, size, age and conformation between horses. It is a guideline. If the average lay horse owner gets within 1 body condition score, plus or minus, of the horses actual condition, they are doing a good job. Seizing a horse based solely on an untrained person’s estimated BCS is a very questionable practice. I find it very disturbing that humane societies and local authorities have utilized the BCS in such a manner. … 2. A BCS of less than 3 is not cause for automatic seizure. The animals in question must exhibit altered metabolism confirmed by blood analysis or other physical signs consistent with malnutrition before they can be seized for inadequate body condition. If it is determined that the horse needs immediate attention, a veterinarian of the owner’s choosing should provide those supporting procedures. These procedures may be done with supervision by the legal authorities. … 4. If at all possible, the alleged neglected horses should remain at the owner’s farm. Removing any horse from its familiar environment, drastically changing its diet, and exposing it to a new set of handlers will usually result in stress and a further loss of body condition. In the vast majority of cases, if the intent is truly the best care of the horse, that care can best be administered in familiar surroundings. If the legal authorities require, care can be conducted under their official guidance. Hennecke001.pdf

343.01 Purposes; Powers; County Organization. Subdivision 1. Formation authorized. A state federation of county and district societies for the prevention of cruelty to animals may be created as a corporation under chapter 317A for the purpose provided in section 343.06. The federation may appoint representatives in any county where no active county or district society exists for the purpose of receiving and accounting for funds from any source, and may also appoint agents at large to carry out the work of the federation throughout the state. The federation and all county and district societies may appoint agents for the purpose of investigating or otherwise assisting lawfully empowered officials in the prosecution of persons charged with cruelty to animals. Appointed agents must have training and experience in activities relating to prevention of cruelty to animals or enforcement of laws relating to cruelty to animals. The federation may make bylaws as are necessary to implement its authority under this chapter and under chapter 317A. https://www.revisor.mn.gov/statutes/cite/343.01

“It’s hard to see the condition these horses came in,” said Dr. Zach Loppnow, a veterinarian at Anoka Equine Veterinary Services. “The horses came to us malnourished, evident that they didn’t receive proper care that would be expected of a normal owner.
” Reporter A: So Keith she told me that you guys came out there once and no one said anything as what steps they needed to take to make the horses better. And the second time you came out you seized the horses. So what would you say in response to that?
Animal Humane Society Humane Agent Keith Streff: That’s false. 6:02-6:18/9:40.
Reporter B: Was she given warning that her horses could be taken away if she didn’t follow the steps gave her?
Animal Humane Society Humane Agent Keith Streff: Absolutely. Any more questions? Thanks for you guys coming out. 8:55-9:13/9:40. WATCH LIVE: Officials address North Branch horse cruelty case KSTP-TV was Live
Police, Animal Humane Society investigate report of horse neglect in North Branch Updated: November 18, 2019 05:23 PM
https://kstp.com/news/horse-neglect-north-branch-animal-humane-society-investigates-/5556453/

https://twitter.com/Animal_HumaneMN/status/1196590718300622848 Animal Humane Society @Animal_HumaneMN Animal Humane Society has removed 11 horses from a North Branch residence. Criminal charges have been filed against owner Carmen Burth. Learn more: http://ahs.mn/NorthBranchHorses . Image Image Image 6:47 PM · Nov 18, 2019·Twitter Web App 17 Likes

11 horses seized in North Branch, criminal charges pending Eleven horses were removed from a rural property in North Branch on Friday, November 15, 2019. The owner, Carmen Burth, has been charged with a misdemeanor violation for animal cruelty. Investigations into the case began in early September by Animal Humane Society and the North Branch Police Department. The horses that were removed from the property have body scores between 2 and 3.5 (a score of 5 is optimal). They were also suffering from poor dental care, poor hoof care, and poor sanitation. The horses are now stable and are receiving care at partner veterinary clinics before being relocated to a hooved animal rescue.
The case is ongoing and more information will be available as it develops. November 18, 2019
https://www.animalhumanesociety.org/news/11-horses-seized-north-branch

https://www.facebook.com/animalhumanesociety/posts/10158523240974714 Animal Humane SocietyNovember 18, 2019 · Over the weekend, Animal Humane Society removed 11 horses from a North Branch residence. The animals were malnourished, living in unsanitary conditions, and suffering from poor hoof and dental care. Criminal charges have been filed against owner Carmen Burth. The North Branch Police Department assisted AHS Humane Agents in drafting a search warrant, which was executed Friday. Minnesota Hooved Animal Rescue Foundation (MHARF) was recruited to transport and stage the horses at Anoka Equine Veterinary Services and the U of M Equine Center. The horses will remain under North Branch PD and AHS custody at our cost while they are receiving medical care and the veterinarian completes forensic exams. Once the horses are stabilized and forensic exams are complete, the information will be turned over to the county prosecutor for criminal review and the horses will be released to MHARF. This case is ongoing, and we will provide more details as they become available. Thank you.

"It's the social media that's the big difference in the almost 30 years I've been doing this," said Drew Fitzpatrick, executive director of the Minnesota Hooved Animal Rescue Foundation, which takes in many of the horses seized in the state. ... Meanwhile, she added, "I can't say 'boo.' I've got to remain quiet. I can't refute any of their claims." ... Fitzpatrick said she's gotten two death threats in the last six months, along with other threats of bodily harm. Social media battles complicate seizure of Minnesota horses After horses seized, owner pushes back on social media; investigators must keep mum By John Reinan Star Tribune January 19, 2021 — 10:29pm
https://www.startribune.com/social-media-battles-complicate-seizure-of-minnesota-horses/600012438/

Q And who is Drew Fitzpatrick?
A She owns and operates the Minnesota Ho – Down Rescue Foundation.
A She was present on the August 31st, search warrant
and then again in November; is that right?
A That's correct.
O What was the purpose of her presence?
A We utilized Drew as a contractor to help us load, transport over to the University of Minnesota. She has the equipment and the facilities necessary to do that. And we also utilized her for placement of horses subsequent to the disposition hearing, if there is one.
Q You’ve used her in the past then for seizure of horses?
A I have used her for many, many years.
Q Did Mr. Friday question her presence on the property?
A Yes.
Q What was the nature of that conversation?
A It is my understanding that Mr. Friday does not get along with Ms. Fitzpatrick.
Q Tell me what the conversation was rather than your impression?
A He did not agree with her assessment or her handling the horses and the objective of the role that she plays in the equine industry and assumes that, she is - - has a vendetta against him. Page 103. State Of Minnesota, Plaintiff VS. Lowell George Friday, Defendant Case No. 02-CR-12-197 Contested Omnibus Hearing July 6, 2012 Transcript. Honorable Sean C. Gibbs, Presiding. A: Animal Humane Society Humane Agent Keith Streff Q: Jennifer Nodes, attorney for the City of East Bethel. Redirect Examination

Date Minnesota Name: Hooved Animal Rescure Foundation Adoption Contract I ________________ acknowledge receipt of the animal described below: Name DOB Color Breed Sex Height Adoption fee for the sum total of: PHOTOS Adopter agree to adopt said __________ based on the terms listed below: Although I understand this animal has been inspected and evaluated, I recognize that the Minnesota Hooved Animal Rescue Foundation (MHARF) makes no guarantees regarding previous ownership, condition or health and that MHARF can only give such information as it has received. I agree to be personally responsible for the humane care of this animal including future vaccinations, deworming, proper nutrition, and hoof care, as listed in the attached MHARF Adoption Guidelines. I understand that all medical and other costs incurred after the adoption date are my sole responsibility as adopter. I understand that as an agent of MHARF may inspect the animal at any time. I understand that MHARF may elect to reassert ownership at any time if the conditions of the Adoption Guideline Guidelines are not met. ___________ (please initial here). I understand that under no circumstances can an animal adopted from MHARF be used for breeding purposes. ___________ (please initial here). I understand that this contract established co-ownership of the animal between myself and MHARF. I will at no time attempt to sell or re-home this animal. If at any time I can no longer care for this animal or chose not to own this animal, I will return said animal with prior notification to MHARF and relinquish any rights of ownership ___________ (please initial here) Adopter Signature Phone Address Email Date MHARF Agent MHARF Agent Signature Date

Page 5 – Public Inspection Rules StayExempt.irs.gov: Required Disclosures Course
Clarence: So, what documents do I have to share?
Leagle: In return for being tax exempt and receiving tax deductible contributions, Congress
requires Section 501(c)(3) organizations to disclose information about their organization to the
public. You’re required to share the following documents with the public when requested:
• Annual returns for three years after the due date. This includes returns like your Form
990, 990-EZ, 990-PF, and any Forms 990-T filed after August 17, 2006, including your extensions.
• All Form 990 schedules (except portions of Schedule B), attachments and supporting documents.
• Your application for exemption and all supporting documents, like Form 1023, if you filed
it on or after July 15, 1987.
• And the determination letter from the IRS that shows your organization has tax-exempt
status.
https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures
https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf
Page 6 – Timely Response to Requests StayExempt.irs.gov: Required Disclosures Course
Clarence: So, how quickly do I need to make the documents available?
Leagle: Normally, it’s the day you’re asked for them.
https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures
https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf

A. They threatened to take the most important thing in my life. And you have three - - three officers coming in and even an officer that’s armed just like them. Very - - very unexpected. It just - - just just extremely intimidating and I’m ashamed to say it cause if I would have known today - - if I would have known then what I know today it wouldn’t have been the same. They couldn’t have bullied and intimidated me if I would have know today - - or known then what I know today; how bad it is.
Q. I am going to come back to that. When you say “armed like them”, who do you mean?
A. Mr. Streff was - - looked just like he did today. Just like a peace officer with his - - equipped just like a - - like any other deputy. But it’s - -
Q. And how about - - how about Deputy Slater and Sargant Gulden?
A. The same. They were - -
Q. Did they have a side arm with them?
A. Yeah, Yeah, they all did.
Q. And a badge - - badge on?
A. Yeah.
Q. They were in uniform?
A. Yes, they were.
Q. You said you felt intimidated. Why?
A. They came on right from the beginning bullying and badgering and I didn’t - - I didn’t - - I haven’t hid the fact from anyone that I have some bad feet. But they - - I didn’t try to to hide it on the tapes. I didn’t try to cover up from anybody. I didn’t lie to them. I didn’t - - they could have asked me if - - why I killed Adolf Hitler and I’d a said I had to. I didn’t know if I was foot or horseback that day. I didn’t
have a clue with the threatening and badgering and it was on and on like that. And it was the speaking, the gestures, everything that they did. I love my ponies. And when they threatened like that, you’ll hear someplace in there where I say that it’s the most important thing next to my family. Well, it’s the third most important thing to me. There’s God, there’s my family and there’s my ponies. And when I told - - when I told Mr. Slater in that tape that I would feel better of he shot me, I wasn’t lying. That was very true. They don’t have a clue, You can have all the experts in the world, but if you want to see a horse in pain, that grey horse that they show for their Rowdy, that grey stud that they show for their poster child, with all the nasty pictures they have, you don’t have a clue what pain is until you’ve seen a bad farrier trim them. Partial Transcript Of Proceedings April l9, 2019. Court File No. 83-CR-18-513 State of Minnesota vs. Michael Charles Johnson. Attachment No. 14. Affidavit Of Joseph A. Gangi Court File No. 46-CV-19-1224. Goldmount Veterinary Center, P.A. vs Watonwan County, Animal Humane Society. Direct Examination Of Michael Johnson By Mr. Kuettner. A: Michael Johnson Q: James Kuettner

https://www.revisor.mn.gov/statutes/cite/13.055 13.055 Disclosure Of Breach In Security; Notification And Investigation Report Required. Subd. 2. Notice to individuals; investigation report. (a) A government entity that collects, creates, receives, maintains, or disseminates private or confidential data on individuals must disclose any breach of the security of the data following discovery or notification of the breach. Written notification must be made to any individual who is the subject of the data and whose private or confidential data was, or is reasonably believed to have been, acquired by an unauthorized person and must inform the individual that a report will be prepared under paragraph (b), how the individual may obtain access to the report, and that the individual may request delivery of the report by mail or e-mail. The disclosure must be made in the most expedient time possible and without unreasonable delay, consistent with (1) the legitimate needs of a law enforcement agency as provided in subdivision 3; or (2) any measures necessary to determine the scope of the breach and restore the reasonable security of the data.

A Again, I'm not sure. I'd have to - - I know from working with the City of East Bethel that it was assumed that I was their agent and worked in that capacity, and at one point I asked them to officially documentation and send it.
Q But that was sometime after August 29th?
A It could be. I'd have to look at it. A: Animal Humane Society Humane Agent Keith Streff Q: Robert Richman, attorney for defendant Lowell Friday. Page 51. Page 51. State Of Minnesota, Plaintiff VS. Lowell George Friday, Defendant Case No. 02-CR-12-197 Contested Omnibus Hearing July 6, 2012 Transcript. Honorable Sean C. Gibbs, Presiding.
Q So given that you didn't have a search warrant what authorized you to even step on that property?
A we discussed the situation with Mr. Friday. Mr. Friday and I have a rather cordial relationship and
I explained to him exactly what the policy, procedure was that we were following, and the purpose for our visit, and that we wanted to establish the facts and circumstances regarding the health and welfare of his horses and he voluntarily allowed us to do that. Page 19. Direction Examination A: Animal Humane Society Humane Agent Keith Streff Q: Jennifer Nodes, attorney for the City of East Bethel.

Mr. Karpan: I do have one request. Um, I've not asked for this before, I'm not sure how to handle it, but the Department of Natural Resources as they've done in the past has seen fit to do a press release, and officer Osborne has answered questions for the newspaper. My client – all the facts of the case are in the Echo Press, on the radio and in sporting magazines. Not only are there quotes in there that aren't - - I mean I know the State has a right to release incident data I think it's called.
Under Chapter 13.82, investigative data is not to be released. Well, there are pictures allegedly of my client's fish all over the Echo Press. Everybody in town is talking about it. I don't know if I'll have to make a change of venue motion eventually. I'll have to see how this plays out in a few months.
But under 13.82, there's no way the DNR is supposed to be releasing pictures of evidence to the newspaper. It prejudices my client. It prejudices all of us. It makes it impossible to get a fair trail. So I'm asking the Court to order the Department of Natural Resources to not discuss this case any further until it's done.
The Court: Mr. Hochsprung?
Mr. Hochsprung: Your Honor, I did not authorize the Department of Natural Resources to disclose anything to the paper. Um, I can talk with Mr. Osborne or whoever about that, but I don't have any information about that. State of Minnesota vs. Ronald Wayne Johnson Rule 5/ Rule 8 Hearing. Court File No. 21-CR- 13-51. February 11, 2013.

Q. Did you ever go back to your boss, Kathy Mock, and explain that your statement in this e-mail was based on an assumption?
A. I don’t recall having that conversation, no.
Q. And you went - - Animal Humane Society went one step further in that Animal Humane Society sued Mike Johnson on the basis of this agreement that you assumed existed, right?
A. That’s what it appears to be, yes. A = Animal Humane Society Humane Agent Keith Streff Q = Direct by Cory Genelin, attorney for Plaintiff Goldmount Veterinary Center, P.A. Goldmount v. Watonwan Co, AHS, et a1. Page 167. Declaration Of Katherine B. Freitag In Support Of The Animal Humane Society’s Motion For A New Trial Or In The Alternative Remittitur Filed in District Court State of Minnesota 7/29/2021 4:30 PM

Order For Judgment It Is Hereby Ordered: 1) Judgment shall be entered in favor of Goldmount Veterinary Center, P.A. against Animal Humane Society in the amount of $1,498,375, plus costs and disbursements allowed by law. Findings Of Fact, Conclusion Of Law, And Order For Judgment Darci J. Bentz Judge of District Court July 9, 2021 3:38 PM.

I contacted the Pine County Sheriffs Dept. for a deputy assist on my way to the property. I met with Pine Deputy CARL HAWKINSON and we then met with donkey ownerJOSEPH SWEEP who informed us that his wife has died today, which was an awkward situation. However SWEEP was agreeable to allow us to see the donkeys. He also admitted that the feet were long and stated that he has been thinking about shooting a couple of them because they were old. I told him that he wouldn't have to do that and that I have people that would take them in and care for them. SWEEP stated that he used to have Farrier STEVE slKKlNK do the hoofs, but that he would no longer answer his calls and never came back. He also told us that he has been trying to get rid of them for the past couple years now and if I had someone to take them he would be fine with it. ANIMAL HUMANE SOCIETY INVESTIGATION REPORT Golden Valley ICN: 2O17-06-19-01. Pine ICR# 17133824 Alleged Violator(s): Address: Joseph Sweep DOB 3/11/52 46381 Dove Rd Hinckley, MN 55037 Pine County lnvestigator: Hanson /Deputy Carl Hawkinson Date of Complaint: 6/19/17 for Case No. 58-CR-17-782 State of Minnesota vs Joseph Claus Sweep.

from: Chris Hood cmhood@flaherty-hood.com
to: Lion News lionnews00@gmail.com,
"giancla@aol.com" giancla@aol.com
date: Aug 17, 2021, 1:08 PM
subject: RE: Chapter 13 Data Request For Carmen Burth Data Also Payments And Confidentiality Agreements For Sunrise Equine - Anoka Equine Veterinary Services - Minnesota Hooved Animal Rescue Foundation
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: Important mainly because it was sent directly to you.

TO WHOM IT MAY CONERN:
 
If you want to make a request for data from the City of North Branch, you cannot make it to me. Data requests must be submitted to the City of North Branch to the City’s designated responsible authority pursuant to the City’s adopted data practices policy.
 
Thank you.
 
Chris
 
Christopher M. Hood
FLAHERTY & HOOD, P.A.
525 Park Street, Suite 470
Saint Paul, Minnesota 55103
Phone: (651) 225-8840
Toll Free: 1-877-846-4662
Fax: (651) 225-9088
Web: www.flaherty-hood.com
 
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NOTE: The information contained in this email is confidential and intended only for use by the individual(s) or entity named herein. If the reader of this message is not the intended recipient, or the employee or agent responsible to deliver to the intended recipient, you are hereby notified that any dissemination, distribution or copying of this communication is strictly prohibited. If you have received this communication in error, please immediately notify us by replying to this email and destroying the original email and any attachments thereto.


from: Lion News lionnews00@gmail.com
to: Chris Hood cmhood@flaherty-hood.com,
Dan Meyer danm@ci.north-branch.mn.us,
Renae Fry renaef@ci.north-branch.mn.us
cc: "giancla@aol.com" giancla@aol.com
date: Aug 17, 2021, 2:41 PM
subject: Re: Chapter 13 Data Request For Carmen Burth Data Also Payments And Confidentiality Agreements For Sunrise Equine - Anoka Equine Veterinary Services - Minnesota Hooved Animal Rescue Foundation
mailed-by: gmail.com

Christopher Hood, North Branch City Attorney, Flaherty & Hood 651-225-8840:

Thank you for the quick response. Are you are aren't you advising Dan Meyer, Police Chief 651-277-5237 & Fry Renae, City Administrator 651-277-5229 to harass me with fraudulent bills that neither Meyer nor Fry will justify pursuant to 13.03 Subd. 3.(d)? Did you know that Meyer is so much a guilty coward that he won't even return my phone calls? Is that how a responsible authority is supposed to act? Since Meyer was caught illegally withholding evidence from Luke Koslowski in Case No. 13-CR-19-987 State of Minnesota vs Luke Eugene Koslowski it does explain but not justify Meyer's actions, right?

Terry Dean, Nemmers 320-283-5713

https://www.revisor.mn.gov/statutes/cite/13.03 Subd. 3. Request for access to data. (a) Upon request to a responsible authority or designee, (d) The responsible authority, upon the request of any person, shall provide sufficient documentation to explain and justify the fee being charged.

Dan Meyer, Police Chief 651-277-5237 & Fry Renae, City Administrator 651-277-5229:

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. Signed appointment pursuant to the Prevention of Cruelty to Animals Chapter 343.01 of Animal Humane Agent/Investigator Amanda Oquist or any other personnel from the MN nonprofit Animal Humane Society for the purpose of investigating or otherwise assisting lawfully empowered officials in the prosecution of persons charged with cruelty to animals. Please included confidentially agreements if that is not incorporated in the appointment. Since it is a matter of the public that AHS Humane Agent Keith Sreff lied under oath in the high-profile animal cruelty case Case No. 02-CR-12-197 State of Minnesota vs Lowell George Friday do you or don’t you require all interactions with a suspect in a animal cruelty case be either audio or video recorded? Does it or doesn’t it bother you that there is no objective evidence that a consent to search was obtained either in writing or by audio or video when AHS Humane Agent Wade Hanson was investigating Case No. 58-CR-17-782 State of Minnesota vs Joseph Claus Sweep?
2. Complaints filed against Animal Humane Agent/Investigator Amanda Oquist or any other personnel from the MN nonprofit Animal Humane Society for harassment, falsifying reports, impersonating a peace officer, wearing a firearm during investigations. You are aware that it is a matter of the public record that AHS Humane Agent Keith Sreff was impersonating a peace officer in the high-profile animal cruelty case Case No. 83-CR-18-513 State of Minnesota vs Michael Charles Johnson, aren’t you? Does the City of North Branch prohibit Animal Humane Agent/Investigator Amanda Oquist or any other personnel from the MN nonprofit Animal Humane Society from wearing uniforms, patches, badges, and sidearms that indicate an intent to mislead another into believing that the impersonator is actually an officer?
3. Bills submitted by Sunrise Equine, Anoka Equine Veterinary Services and any other provider of Veterinary Services for the investigations into Carmen Burth for Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth DOB: 01-07-61. Do you or don’t you require your veterinarians during animal cruelty cases to do objective blood tests to substantiate their subject findings ascertained in their Henneke Body Condition Scoring System for Horses? Do you or don’t you require your veterinarians to produce those lab results that indicate an altered metabolism before removing horses?
4. Bills submitted by Drew Fitzpatrick, executive director of the Minnesota Hooved Animal Rescue Foundation for services rendered in the investigations into Carmen Burth for Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth DOB: 01-07-61. Are you of aren’t you aware that Fitzpatrick has willfully refused to provide me with her non-profit’s Form 990 in violation of IRS’ Required Disclosures ? Do you or don’t think it creates an appearance of impropriety and a conflict of interest for Fitzpatrick to falsely misrepresent her seized horse “co-ownership agreements” as “adoptions”?
5. Signed confidentiality agreements with Drew Fitzpatrick, the veterinarians at Sunrise Equine, the v at Anoka Equine Veterinary Services and any other provider of veterinary services for the investigations into Carmen Burth for Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth DOB: 01-07-61. Signed authorization allowing Oquist, Streff, Fitzpatrick, Dr. Zach Loppnow, a veterinarian at Anoka Equine Veterinary Services release confidential criminal investigative data for Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth DOB: 01-07-61 to the local media outlets or post to their business websites and social media sites for the express purpose of personal promotion and fund raising.
6. City of North Branch 13.055 Subd. 2. Disclosure Of Breach In Security; Notification And Investigation Report Required notice submitted to Carmen Burth in regard to the illegal release of her confidential 13.82 Subd. 7. Criminal investigative data. The data from the resulting investigation of the data breach. And any correspondence from Burth’s attorney Mark Gabriel Giancola objecting to City of North Branch Chief of Police Daniel Meyer, Assistant Chisago County Attorney Kathryn Jean Kelly and Chisago County Attorney Janet Reiter trying Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth DOB: 01-07-61 in the court of public opinion.

Terry Dean, Nemmers 320-283-5713
P.S. Does it or doesn’t it bother you that the nonprofit Animal Humane Society had a judgment of $1,498,375 entered against it for failing to keep the terms and conditions of a contract with veterinarian Shirley Kittleson in the high-profile Case No. 46-CV-19-1224 Goldmount Veterinary Center, P.A. vs Watonwan County, Animal Humane Society?

https://www.revisor.mn.gov/statutes/cite/609.4751 609.4751 Impersonating A Peace Officer. § Subdivision 1. Misdemeanor. Whoever falsely impersonates a peace officer with intent to mislead another into believing that the impersonator is actually an officer is guilty of a misdemeanor. Subd. 2. Gross misdemeanor. Whoever violates subdivision 1 while committing any of the following acts is guilty of a gross misdemeanor: (1) gaining access to a public building or government facility that is not open to the public; (2) without legal authority, directing or ordering another person to act or refrain from acting; (3) violating section 169.64, subdivision 2, 3, or 4, or the siren provisions of section 169.68; or (4) operating a motor vehicle marked: (i) with the word or words "police," "patrolman," "sheriff," "deputy," "trooper," "state patrol," "conservation officer," "agent," or "marshal"; or (ii) with any lettering, marking, or insignia, or colorable imitation thereof, including, but not limited to, stars, badges, or shields identifying the vehicle as a law enforcement vehicle, and which a reasonable person would believe is a law enforcement vehicle governed under section 169.98, subdivision 1.

http://www.ci.north-branch.mn.us/staff_directory_detail_T11_R63.php Last Name : Hood First Name : Christopher Profession : City Attorney, Flaherty & Hood Email Id: cmhood@flaherty-hood.com Phone Number : (651) 225-8840

A Veterinarian from Sunrise Equine was present to conduct a herd evaluation and Body Condition Scores (BCS) ranging from present to conduct a herd evaluation 1-9 were assigned to each horse as each was checked. 13-CR-19-1031 Filed in District Court State of Minnesota 8/13/2021 8:56 AM State's Memorandum Of Law In Opposition To Defendant’s Motion To Dismiss For Void For Vagueness, Lack Of Probable Cause, And For A Franks Hearing Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth DOB: 01-07-61

Attached is a press release. Use it as you see fit. Don Henneke, Ph.D. Director, Equine Science 254-968-9679 (Mis)Use Of The Bcs In Alleged Neglect Over the past decade, the Body Condition Scoring System for Horses (BCS) has become, in many if not most cases, the sole reason for seizure for neglect or abuse. The problem with this is that the BCS was not designed to reflect the health or well-being of the horse. The BCS provides an estimate of stored body fat. Period. … The BCS is designed as a ranking system. It was never designed to be exact and it cannot be exact because of differences in breeds, size, age and conformation between horses. It is a guideline. If the average lay horse owner gets within 1 body condition score, plus or minus, of the horses actual condition, they are doing a good job. Seizing a horse based solely on an untrained person’s estimated BCS is a very questionable practice. I find it very disturbing that humane societies and local authorities have utilized the BCS in such a manner. … 2. A BCS of less than 3 is not cause for automatic seizure. The animals in question must exhibit altered metabolism confirmed by blood analysis or other physical signs consistent with malnutrition before they can be seized for inadequate body condition. If it is determined that the horse needs immediate attention, a veterinarian of the owner’s choosing should provide those supporting procedures. These procedures may be done with supervision by the legal authorities. … 4. If at all possible, the alleged neglected horses should remain at the owner’s farm. Removing any horse from its familiar environment, drastically changing its diet, and exposing it to a new set of handlers will usually result in stress and a further loss of body condition. In the vast majority of cases, if the intent is truly the best care of the horse, that care can best be administered in familiar surroundings. If the legal authorities require, care can be conducted under their official guidance. Hennecke001.pdf

343.01 Purposes; Powers; County Organization. Subdivision 1. Formation authorized. A state federation of county and district societies for the prevention of cruelty to animals may be created as a corporation under chapter 317A for the purpose provided in section 343.06. The federation may appoint representatives in any county where no active county or district society exists for the purpose of receiving and accounting for funds from any source, and may also appoint agents at large to carry out the work of the federation throughout the state. The federation and all county and district societies may appoint agents for the purpose of investigating or otherwise assisting lawfully empowered officials in the prosecution of persons charged with cruelty to animals. Appointed agents must have training and experience in activities relating to prevention of cruelty to animals or enforcement of laws relating to cruelty to animals. The federation may make bylaws as are necessary to implement its authority under this chapter and under chapter 317A. https://www.revisor.mn.gov/statutes/cite/343.01

“It’s hard to see the condition these horses came in,” said Dr. Zach Loppnow, a veterinarian at Anoka Equine Veterinary Services. “The horses came to us malnourished, evident that they didn’t receive proper care that would be expected of a normal owner.
” Reporter A: So Keith she told me that you guys came out there once and no one said anything as what steps they needed to take to make the horses better. And the second time you came out you seized the horses. So what would you say in response to that?
Animal Humane Society Humane Agent Keith Streff: That’s false. 6:02-6:18/9:40.
Reporter B: Was she given warning that her horses could be taken away if she didn’t follow the steps gave her?
Animal Humane Society Humane Agent Keith Streff: Absolutely. Any more questions? Thanks for you guys coming out. 8:55-9:13/9:40. WATCH LIVE: Officials address North Branch horse cruelty case KSTP-TV was Live
Police, Animal Humane Society investigate report of horse neglect in North Branch Updated: November 18, 2019 05:23 PM
https://kstp.com/news/horse-neglect-north-branch-animal-humane-society-investigates-/5556453/

https://twitter.com/Animal_HumaneMN/status/1196590718300622848 Animal Humane Society @Animal_HumaneMN Animal Humane Society has removed 11 horses from a North Branch residence. Criminal charges have been filed against owner Carmen Burth. Learn more: http://ahs.mn/NorthBranchHorses . Image Image Image 6:47 PM · Nov 18, 2019·Twitter Web App 17 Likes

11 horses seized in North Branch, criminal charges pending Eleven horses were removed from a rural property in North Branch on Friday, November 15, 2019. The owner, Carmen Burth, has been charged with a misdemeanor violation for animal cruelty. Investigations into the case began in early September by Animal Humane Society and the North Branch Police Department. The horses that were removed from the property have body scores between 2 and 3.5 (a score of 5 is optimal). They were also suffering from poor dental care, poor hoof care, and poor sanitation. The horses are now stable and are receiving care at partner veterinary clinics before being relocated to a hooved animal rescue.
The case is ongoing and more information will be available as it develops. November 18, 2019
https://www.animalhumanesociety.org/news/11-horses-seized-north-branch

https://www.facebook.com/animalhumanesociety/posts/10158523240974714 Animal Humane SocietyNovember 18, 2019 · Over the weekend, Animal Humane Society removed 11 horses from a North Branch residence. The animals were malnourished, living in unsanitary conditions, and suffering from poor hoof and dental care. Criminal charges have been filed against owner Carmen Burth. The North Branch Police Department assisted AHS Humane Agents in drafting a search warrant, which was executed Friday. Minnesota Hooved Animal Rescue Foundation (MHARF) was recruited to transport and stage the horses at Anoka Equine Veterinary Services and the U of M Equine Center. The horses will remain under North Branch PD and AHS custody at our cost while they are receiving medical care and the veterinarian completes forensic exams. Once the horses are stabilized and forensic exams are complete, the information will be turned over to the county prosecutor for criminal review and the horses will be released to MHARF. This case is ongoing, and we will provide more details as they become available. Thank you.

"It's the social media that's the big difference in the almost 30 years I've been doing this," said Drew Fitzpatrick, executive director of the Minnesota Hooved Animal Rescue Foundation, which takes in many of the horses seized in the state. ... Meanwhile, she added, "I can't say 'boo.' I've got to remain quiet. I can't refute any of their claims." ... Fitzpatrick said she's gotten two death threats in the last six months, along with other threats of bodily harm. Social media battles complicate seizure of Minnesota horses After horses seized, owner pushes back on social media; investigators must keep mum By John Reinan Star Tribune January 19, 2021 — 10:29pm
https://www.startribune.com/social-media-battles-complicate-seizure-of-minnesota-horses/600012438/

Q And who is Drew Fitzpatrick?
A She owns and operates the Minnesota Ho – Down Rescue Foundation.
A She was present on the August 31st, search warrant
and then again in November; is that right?
A That's correct.
O What was the purpose of her presence?
A We utilized Drew as a contractor to help us load, transport over to the University of Minnesota. She has the equipment and the facilities necessary to do that. And we also utilized her for placement of horses subsequent to the disposition hearing, if there is one.
Q You’ve used her in the past then for seizure of horses?
A I have used her for many, many years.
Q Did Mr. Friday question her presence on the property?
A Yes.
Q What was the nature of that conversation?
A It is my understanding that Mr. Friday does not get along with Ms. Fitzpatrick.
Q Tell me what the conversation was rather than your impression?
A He did not agree with her assessment or her handling the horses and the objective of the role that she plays in the equine industry and assumes that, she is - - has a vendetta against him. Page 103. State Of Minnesota, Plaintiff VS. Lowell George Friday, Defendant Case No. 02-CR-12-197 Contested Omnibus Hearing July 6, 2012 Transcript. Honorable Sean C. Gibbs, Presiding. A: Animal Humane Society Humane Agent Keith Streff Q: Jennifer Nodes, attorney for the City of East Bethel. Redirect Examination

Date Minnesota Name: Hooved Animal Rescure Foundation Adoption Contract I ________________ acknowledge receipt of the animal described below: Name DOB Color Breed Sex Height Adoption fee for the sum total of: PHOTOS Adopter agree to adopt said __________ based on the terms listed below: Although I understand this animal has been inspected and evaluated, I recognize that the Minnesota Hooved Animal Rescue Foundation (MHARF) makes no guarantees regarding previous ownership, condition or health and that MHARF can only give such information as it has received. I agree to be personally responsible for the humane care of this animal including future vaccinations, deworming, proper nutrition, and hoof care, as listed in the attached MHARF Adoption Guidelines. I understand that this contract established co-ownership of the animal between myself and MHARF. I will at no time attempt to sell or re-home this animal. If at any time I can no longer care for this animal or chose not to own this animal, I will return said animal with prior notification to MHARF and relinquish any rights of ownership ___________ (please initial here) Adopter Signature Phone Address Email Date MHARF Agent MHARF Agent Signature Date

Page 5 – Public Inspection Rules StayExempt.irs.gov: Required Disclosures Course

Clarence: So, what documents do I have to share?Leagle: In return for being tax exempt and receiving tax deductible contributions, Congress requires Section 501(c)(3) organizations to disclose information about their organization to the public. You’re required to share the following documents with the public when requested:
• Annual returns for three years after the due date. This includes returns like your Form 990, 990-EZ, 990-PF, and any Forms 990-T filed after August 17, 2006, including your extensions.
• All Form 990 schedules (except portions of Schedule B), attachments and supporting documents.
• Your application for exemption and all supporting documents, like Form 1023, if you filed it on or after July 15, 1987.
• And the determination letter from the IRS that shows your organization has tax-exempt status.
https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures
https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf
Page 6 – Timely Response to Requests StayExempt.irs.gov: Required Disclosures Course
Clarence: So, how quickly do I need to make the documents available?
Leagle: Normally, it’s the day you’re asked for them.
https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures
https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf

A. They threatened to take the most important thing in my life. And you have three - - three officers coming in and even an officer that’s armed just like them. Very - - very unexpected. It just - - just just extremely intimidating and I’m ashamed to say it cause if I would have known today - - if I would have known then what I know today it wouldn’t have been the same. They couldn’t have bullied and intimidated me if I would have know today - - or known then what I know today; how bad it is.
Q. I am going to come back to that. When you say “armed like them”, who do you mean?
A. Mr. Streff was - - looked just like he did today. Just like a peace officer with his - - equipped just like a - - like any other deputy. But it’s - -
Q. And how about - - how about Deputy Slater and Sargant Gulden?
A. The same. They were - -
Q. Did they have a side arm with them?
A. Yeah, Yeah, they all did.
Q. And a badge - - badge on?
A. Yeah.
Q. They were in uniform?
A. Yes, they were.
Q. You said you felt intimidated. Why?
A. They came on right from the beginning bullying and badgering and I didn’t - - I didn’t - - I haven’t hid the fact from anyone that I have some bad feet. But they - - I didn’t try to to hide it on the tapes. I didn’t try to cover up from anybody. I didn’t lie to them. I didn’t - - they could have asked me if - - why I killed Adolf Hitler and I’d a said I had to. I didn’t know if I was foot or horseback that day. I didn’t have a clue with the threatening and badgering and it was on and on like that. And it was the speaking, the gestures, everything that they did. I love my ponies. And when they threatened like that, you’ll hear someplace in there where I say that it’s the most important thing next to my family. Well, it’s the third most important thing to me. There’s God, there’s my family and there’s my ponies. And when I told - - when I told Mr. Slater in that tape that I would feel better of he shot me, I wasn’t lying. That was very true. They don’t have a clue, You can have all the experts in the world, but if you want to see a horse in pain, that grey horse that they show for their Rowdy, that grey stud that they show for their poster child, with all the nasty pictures they have, you don’t have a clue what pain is until you’ve seen a bad farrier trim them. Partial Transcript Of Proceedings April l9, 2019. Court File No. 83-CR-18-513 State of Minnesota vs. Michael Charles Johnson. Attachment No. 14. Affidavit Of Joseph A. Gangi Court File No. 46-CV-19-1224. Goldmount Veterinary Center, P.A. vs Watonwan County, Animal Humane Society. Direct Examination Of Michael Johnson By Mr. Kuettner. A: Michael Johnson Q: James Kuettner

https://www.revisor.mn.gov/statutes/cite/13.055 13.055 Disclosure Of Breach In Security; Notification And Investigation Report Required. Subd. 2. Notice to individuals; investigation report. (a) A government entity that collects, creates, receives, maintains, or disseminates private or confidential data on individuals must disclose any breach of the security of the data following discovery or notification of the breach. Written notification must be made to any individual who is the subject of the data and whose private or confidential data was, or is reasonably believed to have been, acquired by an unauthorized person and must inform the individual that a report will be prepared under paragraph (b), how the individual may obtain access to the report, and that the individual may request delivery of the report by mail or e-mail. The disclosure must be made in the most expedient time possible and without unreasonable delay, consistent with (1) the legitimate needs of a law enforcement agency as provided in subdivision 3; or (2) any measures necessary to determine the scope of the breach and restore the reasonable security of the data.

A Again, I'm not sure. I'd have to - - I know from working with the City of East Bethel that it was assumed that I was their agent and worked in that capacity, and at one point I asked them to officially documentation and send it.
Q But that was sometime after August 29th?
A It could be. I'd have to look at it. A: Animal Humane Society Humane Agent Keith Streff Q: Robert Richman, attorney for defendant Lowell Friday. Page 51. Page 51. State Of Minnesota, Plaintiff VS. Lowell George Friday, Defendant Case No. 02-CR-12-197 Contested Omnibus Hearing July 6, 2012 Transcript. Honorable Sean C. Gibbs, Presiding.

Q So given that you didn't have a search warrant what authorized you to even step on that property?
A we discussed the situation with Mr. Friday. Mr. Friday and I have a rather cordial relationship and
I explained to him exactly what the policy, procedure was that we were following, and the purpose for our visit, and that we wanted to establish the facts and circumstances regarding the health and welfare of his horses and he voluntarily allowed us to do that. Page 19. Direction Examination A: Animal Humane Society Humane Agent Keith Streff Q: Jennifer Nodes, attorney for the City of East Bethel.

Mr. Karpan: I do have one request. Um, I've not asked for this before, I'm not sure how to handle it, but the Department of Natural Resources as they've done in the past has seen fit to do a press release, and officer Osborne has answered questions for the newspaper. My client – all the facts of the case are in the Echo Press, on the radio and in sporting magazines. Not only are there quotes in there that aren't - - I mean I know the State has a right to release incident data I think it's called.
Under Chapter 13.82, investigative data is not to be released. Well, there are pictures allegedly of my client's fish all over the Echo Press. Everybody in town is talking about it. I don't know if I'll have to make a change of venue motion eventually. I'll have to see how this plays out in a few months.
But under 13.82, there's no way the DNR is supposed to be releasing pictures of evidence to the newspaper. It prejudices my client. It prejudices all of us. It makes it impossible to get a fair trail. So I'm asking the Court to order the Department of Natural Resources to not discuss this case any further until it's done.
The Court: Mr. Hochsprung?
Mr. Hochsprung: Your Honor, I did not authorize the Department of Natural Resources to disclose anything to the paper. Um, I can talk with Mr. Osborne or whoever about that, but I don't have any information about that. State of Minnesota vs. Ronald Wayne Johnson Rule 5/ Rule 8 Hearing. Court File No. 21-CR- 13-51. February 11, 2013.

Q. Did you ever go back to your boss, Kathy Mock, and explain that your statement in this e-mail was based on an assumption?
A. I don’t recall having that conversation, no.
Q. And you went - - Animal Humane Society went one step further in that Animal Humane Society sued Mike Johnson on the basis of this agreement that you assumed existed, right?
A. That’s what it appears to be, yes. A = Animal Humane Society Humane Agent Keith Streff Q = Direct by Cory Genelin, attorney for Plaintiff Goldmount Veterinary Center, P.A. Goldmount v. Watonwan Co, AHS, et a1. Page 167. Declaration Of Katherine B. Freitag In Support Of The Animal Humane Society’s Motion For A New Trial Or In The Alternative Remittitur Filed in District Court State of Minnesota 7/29/2021 4:30 PM 

Order For Judgment It Is Hereby Ordered: 1) Judgment shall be entered in favor of Goldmount Veterinary Center, P.A. against Animal Humane Society in the amount of $1,498,375, plus costs and disbursements allowed by law. Findings Of Fact, Conclusion Of Law, And Order For Judgment Darci J. Bentz Judge of District Court July 9, 2021 3:38 PM.

I contacted the Pine County Sheriffs Dept. for a deputy assist on my way to the property. I met with Pine Deputy CARL HAWKINSON and we then met with donkey ownerJOSEPH SWEEP who informed us that his wife has died today, which was an awkward situation. However SWEEP was agreeable to allow us to see the donkeys. He also admitted that the feet were long and stated that he has been thinking about shooting a couple of them because they were old. I told him that he wouldn't have to do that and that I have people that would take them in and care for them. SWEEP stated that he used to have Farrier STEVE slKKlNK do the hoofs, but that he would no longer answer his calls and never came back. He also told us that he has been trying to get rid of them for the past couple years now and if I had someone to take them he would be fine with it. ANIMAL HUMANE SOCIETY INVESTIGATION REPORT Golden Valley ICN: 2O17-06-19-01. Pine ICR# 17133824 Alleged Violator(s): Address: Joseph Sweep DOB 3/11/52 46381 Dove Rd Hinckley, MN 55037 Pine County lnvestigator: Hanson /Deputy Carl Hawkinson Date of Complaint: 6/19/17 for Case No. 58-CR-17-782 State of Minnesota vs Joseph Claus Sweep.

More to come ...

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Transcripts For Case No 46-CV-19-1224 Goldmount Veterinary Center PA Vs Watonwan Co Animal Humane Society Not On The Register Of Actions But Hidden In Affidavit In Support Of The AHS’s Motion For A New Trial Or In The Alternative Remittitur? You Want To Read The Transcripts For The Testimony Of Pistol Packing AHS Humane Agent Keith Streff, Don't You? Did Anyone Ask Streff On The Witness Stand Why He Wasn't Trying To Impersonate A Peace Officer During The Trial? FYI: Did You Know That Streff Was Forced To Wear "Street Clothes" As A Result Of Nemmers' Complaint?

Let's Ask Joseph A. Gangi, Attorney for Michael Johnson, If Johnson Plans On Reporting Pistol Packing AHS Agent Keith Streff To LEO For Impersonating A Peace Officer, Shall We? Armed Minnesota Animal Humane Society Humane Agent Keith Streff Wearing A Pistol In Case No 83-CR-18-513 State Of Minnesota Vs Michael Charles Johnson? A Monkey Wrench For Case No. 46-CV-19-1224 Goldmount Vs Watonwan Co And AHS?

Let's Ask Martin County Sheriff Markquart If Armed Minnesota Animal Humane Society Humane Agent Keith Streff Will Be Allowed To Impersonate A Peace Officer In His Jurisdiction, Shall We? Hey How About We Ask Watonwan County Sheriff Bergeman Why The Pistol Packing Streff Was Allowed To Impersonate A Peace Officer In His Jurisdiction? Will Streff Get Permission To Influence the Jury With His Pistol In The June 28, 2021 Through July 2, 2021 Trial for Court File 46-CV-19-1224 Goldmount Veterinary Center, P.A. Vs Watonwan County, Animal Humane Society?

Armed Minnesota Animal Humane Society Humane Agent Keith Streff Wearing A Firearm In Case No. 83-CR-18-513 State Of Minnesota Vs Michael Charles Johnson? Will AHS Agent Streff Show Up Armed At June 28‐June 30th, 2021 & July 1– July 2, 2021 Jury Trial for Court File 46-CV-19-1224 Goldmount Veterinary Center, P.A. Vs Watonwan County, Animal Humane Society? Has Streff Ever Been Accused Of Impersonating An Officer? Let's Ask AHS Attorney Freitag, Okay? Should We Tell The St. James Plaindealer & The Martin County Star Editors About Watonwan Co. Attorney Lindee's Illegal Withholding Of Public Data? Lindee Knows That The Chapter 13 Data Will Toss A Monkey Wrench Into 46-CV-19-1224, Doesn't He