Friday, November 19, 2021

Whose Ready For Another Monkey Wrench To Be Tossed Into The Rigged Case 08-CR-21-272 State Of Minnesota Vs Candi Jolene Lemarr? MN Board of Veterinary Medicine Executive Director Julia H. Wilson, DVM Continues To Treat Nemmers Like A Retarded Child?

from: MED, VET (HLB) <vet.med@state.mn.us>
to: Lion News <lionnews00@gmail.com>
date: Nov 18, 2021, 4:14 PM
subject: RE: Chapter 13 Data Request For Data On Complaint Process At The MN Board of Veterinary Medicine
mailed-by: state.mn.us
signed-by: state.mn.us
security: Standard encryption (TLS) Learn more
: Important mainly because you often read messages with this label.

Dear Mr. Nemmers,
 
Thank you for clarifying your data request. I am working on compiling the requested data for you.
 
Your patience is appreciated.
 
Sincerely,
 
Julia H. Wilson, DVM
Diplomate, American College of Veterinary Internal Medicine
Executive Director, Minnesota Board of Veterinary Medicine
New address beginning September 1, 2021:
335 Randolph Ave Suite 215
St. Paul, MN 55102
Phone: 651 201-2844
Fax: 651 201-2842
Website: http://www.vetmed.state.mn.us
E-mail: julia.wilson@state.mn.us

Our mission is to promote, preserve, and protect the health, safety and welfare of the public and animals through the effective control and regulation of the practice of veterinary medicine.
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This e-mail and any files transmitted with it are intended only for the person or entity to which it is addressed and may contain confidential and/or privileged material. Any review, retransmission, dissemination or other use of, or taking of any action in reliance upon, this information by persons or entities other than the intended recipient is prohibited. If you received this in error, please contact the sender and delete the material from any computer.

____________________________________________________________________

from: Lion News lionnews00@gmail.com
to: "MED, VET (HLB)" vet.med@state.mn.us,
michelle.vaughn@state.mn.us,
steven.shadwick@state.mn.us,
mahlon.bauman@state.mn.us,
christopher.powers@state.mn.us,
mary.j.olson@state.mn.us,
jody.grote@state.mn.us,
julie.dahlke@state.mn.us,
shadyoakvetclinic@gmail.com
date: Nov 19, 2021, 9:56 AM
subject: Re: Chapter 13 Data Request For Data On Complaint Process At The MN Board of Veterinary Medicine
mailed-by: gmail.com

Michelle Vaughn, DVM President, MN Board of Veterinary Medicine (651) 201-2844/(952) 938-1926:

When exactly is your Minnesota Board of Veterinary Medicine Executive Director Julia H. Wilson, DVM going to stop treating me like a retarded child? Why wasn't your MN Board of Veterinary Medicine Personnel policy and procedure manual attached to the last email sent by Wilson? Is efficient time management a foreign concept to Wilson? Is the MN Board of Veterinary Medicine Personnel policy and procedure manual "accessible for convenient use" or not? Are the names and contact information for investigators for the MN Board of Veterinary Medicine complaint process "accessible for convenient use" or not? Does Wilson know the answer to these questions? Does Wilson even know if your investigators have established policies and procedures?

When is Wislon going to stop insulting my intelligence and stop wasting my valuable time? Is Wilson competent enough to have an intelligent conversation about animal abuse or not? Is Wilson competent enough to discern the difference between subjective palpation of a horse and objective blood analysis of a horse? So when is my readily available, free, electronic public data hitting my email inbox? Five (5) minutes from never?

Terry Dean, Nemmers 320-283-5713
P.S. Did Wilson only respond because she was lurking and skulking on my blog, Lion News?
P.S.S. You aren't upset that I sent my communications with your state agency to the New Ulm Journal, are you?

https://www.revisor.mn.gov/statutes/cite/13.03 13.03 ACCESS TO GOVERNMENT DATA. § Subdivision 1.Public data. All government data collected, created, received, maintained or disseminated by a government entity shall be public unless classified by statute, or temporary classification pursuant to section 13.06, or federal law, as nonpublic or protected nonpublic, or with respect to data on individuals, as private or confidential. The responsible authority in every government entity shall keep records containing government data in such an arrangement and condition as to make them easily accessible for convenient use. Photographic, photostatic, microphotographic, or microfilmed records shall be considered as accessible for convenient use regardless of the size of such records.

http://www.vspn.org/Library/Misc/VSPN_M02371.htm
Veterinary Medical Terminology
Courtesy of Nanette Walker Smith, RVT, CVT and Elizabeth Warren, RVT
All veterinary hospitals should have a good veterinary medical dictionary accessible at all times. We recommend Saunders Comprehensive Veterinary Dictionary, second ed. by Blood and Saunders. Basic word structure: Most medical terms can be deciphered by breaking them down to their roots: Prefix – word beginning, may completely change the meaning of the word Combining vowel – links root words to root words or suffixes (usually “o”) Root word – foundation of the word, may change to a combining form to link words Suffix – word ending, refers back to the root The most common word structures seen in veterinary practice are listed in the charts below:
Suffix Meaning Example Literal Translation Actual Definition
-able, -ible, -ble The power to be Palpable The power to feel Able to feel something
-esthesia Denoting sensation Anesthesia Without sensation Without sensation
Terminology frequently used to designate body parts of organs:
Body part/organ Medical terminology
Muscle Myo
Combining Forms:
Root Meaning Example Definition of Example
nomalo- Denoting irregularity Anomaly An irregular finding
Somato- Denoting the body Somatic Pertaining to the body
Sphygma- Denoting a pulse Sphygmomanometer Instrument for measuring arterial blood pressure
Veno- Denoting a vein Venipuncture Surgical puncture a vein

Dr. Nancy Peterson, DVM, of the New Ulm Regional Veterinary Center testified she was contacted by the Brown County law enforcement to do a site visit for humane reasons at Lemarr’s farm on Nov. 23, 2020. “She had 19 horses, 12-14 goats, 20-30 chickens, two dogs and cats,” Peterson testified. “In the first pen I saw no hay, bunk or feeding spot, and smaller, underweight horses that looked pretty rough. They had dull coats, were scrawny, and hadn’t been groomed lately.” Peterson testified she touched the back of one of the horses, “J.J.” and described him as underweight, taking into account that he arrived at Lemarr’s farm underweight. In addition, Peterson testified a water tank had no tank heater that would allow water to stay thawed in the winter. “I saw no bedding or feed in stalls. The floor was packed with dirt and manure,” Peterson testified. “The horses needed more bedding. They didn’t have the coat or body condition score for winter.” Peterson testified “veterinarians should be involved in rehabilitating horses in case something goes wrong, because they know what they’ve been doing.” Chief deputy, veterinarian take trial stand in Lemarr trial Defense witness testifies she saw no neglect Nov 19, 2021 Fritz Busch Staff Writer fbusch@nujournal.com https://www.nujournal.com/news/local-news/2021/11/19/chief-deputy-veterinarian-take-trial-stand-in-lemarr-trial/

Decades of social science and jury research “has shown that most people are affective, not cognitive, thinkers.”48 “Most people are emotional, symbol oriented, selective perceivers of information who base their decisions largely on previously held attitudes about people and events.”49 The typical person is also a deductive reasoner—using only a few premises to arrive at a decision and then accepting, rejecting, or distorting “other information to fit their already determined conclusions.”50 In contrast, a scientific expert witness is a cognitive thinker—basing decisions on evaluation, synthesis, and analysis. Given a jury panel with a typical cross section of the population who will most like be affective thinkers, veterinary pathologists who are typically cognitive thinkers need to understand how to bridge that chasm between affective thinkers and cognitive thinkers. A way to bridge that chasm is for veterinary pathologists to think of themselves as teachers.51 Consider ways to take complicated testimony and make it simple and interesting for the students (the jurors).52 A good exercise is for the expert witness to think back on his or her best teachers and what qualities made them good teachers.53 Consider the ways in which those teachers made learning fun and understandable, and translate them into the testimony.54 Veterinary pathologists should also employ different ways to get across the testimony, including visual aids.55 Expert witnesses should delve into the natural enthusiasm and passion they have for their subjects. This is veterinary pathologists’ chance to discuss and share an area that they love and have spent years mastering. That enthusiasm will be noticed and appreciated by jurors, and it makes the expert likeable (likeability reaches the core of an affective thinker). Demystifying the Courtroom: Everything the Veterinary Pathologist Needs to Know About Testifying in an Animal Cruelty Case Reese Frederickson, First Published May 16, 2016 https://journals.sagepub.com/doi/10.1177/0300985816647439

3. Only horses exhibiting altered metabolism and having inadequate feed stores on the premises should be seized. Removing healthy horses from their home is not necessary and may often result in adverse consequences due to stress created by a new environment and untrained handlers. 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. “Innocent until proven guilty” is the most abused legal standard in America today. Due to biased press coverage, most “trials” are conducted before the accused ever has a chance to answer the charges. Once a horse owner has been accused of neglect, they are stained for life. If they are later proven to be innocent, the public has already painted them with a negative picture. This should not happen. It is imperative that the state authorities demonstrate adequate cause for seizure. Unsupported claims of neglect against a horse owner should be followed by a vigorous public campaign by the state authorities criticizing the parties who have filed a frivolous claim and, if possible, such parties should be prosecuted by the state. Author’s Information:(MIS)USE OF THE BCS IN ALLEGED NEGLECT by Don Henneke, Ph.D., is currently the Director of Equine Science at Tarleton State University, Stephenville, Texas. Dr. Henneke was the principal investigator in developing the Body Condition Scoring System for Horses at Texas A&M University in 1979.

08-CR-21-272 STATE OF MINNESOTA Filed in District Court State of Minnesota 11/1/2021 4:48 PM IN DISTRICT COURT COUNTY OF BROWN FIFTH JUDICIAL DISTRICT Court File No. 08-CR-21-272 State of Minnesota, Plaintiff, vs. STATE’S AMENDED WITNESS LIST Candi Jolene Lemarr, Defendant. TO: Defendant above-named, and her attorney, James J. Kuettner, 427 South Broad Street, P.O. Box 12, Mankato, MN 56002. The State may call the following witnesses at trial: 1. Deputy Randee Murphy Brown County Sheriff's Office 15 South Washington Street New Ulm, MN 56073 No Known Criminal History 2. Deputy Derek Shaw Brown County Sheriff's Office 15 South Washington Street New Ulm, MN 56073 No Known Criminal History 3. Investigator Jeremy Reed Brown County Sheriff's Office 15 South Washington Street New Ulm, MN 56073 No Known Criminal History 4. Stacey Lee Gaede 16158 Lincoln Road Fayette, IA 52142 No Known Criminal History08-CR-21-272 5. Tami Bailey 215 Chalmer Drive North Ft. Meyers, FL 33917 No Known Criminal History 6. Dr. Amanda Elston South Winn Veterinary Clinic 315 Fisher Avenue Ossian, Iowa 52161 No Known Criminal History 7. Dr. Zach Loppnow Iowa State University Hospital 1809 S. Riverside Drive Ames, Iowa 50011 No Known Criminal History 8. Dr. Margo Cangemi Anoka Equine Vet Services 16445 70 th St. NE Elk River, MN 55330 No Known Criminal History 9. Elizabeth Ann Olander 4231 Stark Rd NE Cambridge, MN 55008 No Known Criminal History 10. Ryan Michael Hauth 26731 315th Avenue Sleepy Eye, MN 56085 Please See Attached 11. Drew Ann Fitzpatrick Please See Attached Minnesota Hooved Animal Rescue Foundation P.O. Box 47 Zimmerman, MN 55398 12. Steven Edmund Sellner 405 North 6 th St. Henderson, MN 56044 Please See Attached 13. Kym Garvey Save the Brays 12788 115 th Street Milaca, MN 56353 No Known Criminal History 2 Filed in District Court State of Minnesota 11/1/2021 4:48 PM08-CR-21-272 14. Dr. Nancy Peterson New Ulm Regional Veterinary Center 401 20 th Street South New Ulm, MN 56073 No Known Criminal History 15. Elizabeth Jane Meyer 16158 Lincoln Road Fayette, Iowa 52142 No Known Criminal History 16. Devlin Ray Corler 406 Mechanic St. Fayette, Iowa 52142 No Known Criminal History 17. Madeline Harford 1108 Grant Ave, Apt 3 Waterloo, IA 50702 No Known Criminal History 18. Christine Maire 506 2 nd Avenue SW Independence, Iowa 50644 No Known Criminal History 19. Stephanie Poor 16134 Jade Rd. Fayette, Iowa 52142 No Known Criminal History 20. Anyone else listed on Defendant’s Witness List. 21. Anyone else listed in Discovery materials. 22. John Feinberg Facebook, Inc 1601 S. California Ave Palo Alto, CA 94304 23. Joseph Dela Cruz GoFundMe c/o Legal Department 855 Jefferson Avenue P.O. Box 1329 Redwood City, CA 94063 3 Filed in District Court State of Minnesota 11/1/2021 4:48 PM08-CR-21-272 24. Cora Hamann Kuettner Legal PLLC 427 S. Broad St. Mankato, MN 56001 25. Janelle Louwagie 26. Jesse Kettner 27. Jennifer Eaton 28. Kayla Mathiowetz 29. Madie Wildfeuer 30. Eryn Friesen 31. Rachel Friesen 32. Rachelle Rients 33. Barb Herrig 34. Nicole Maras 35. Josh Garcia 36. Clara Lemarr 26731 315th Ave. Sleepy Eye, MN 56086 37. Michelle Koenig New Ulm Regional Veterinary Center 401 20 th Street South New Ulm, MN 56073 Filed in District Court State of Minnesota 11/1/2021 4:48 PM Expert Witness List: (Minn. R. Evid. 702) Dr. Nancy Peterson Ms. Peterson is a Licensed Veterinarian for New Ulm Regional Veterinary Clinic. Pursuant to Minn. R. Evid. 702, Ms. Peterson qualifies as an expert to testify regarding animal science, welfare and overall practice of veterinary care. Ms. Peterson qualifies as an expert by knowledge, skill, experience, training, and education in the area of veterinary medicine. A copy of Ms. Peterson’s Curriculum Vitae is provided via the exhibit list and her criminal history attached hereto. 408-CR-21-272 Filed in District Court State of Minnesota 11/1/2021 4:48 PM Dr. Zach Loppnow Mr. Loppnow is a Licensed Veterinarian for Iowa State University College of Veterinary Medical Center. Pursuant to Minn. R. Evid. 702, Mr. Loppnow qualifies as an expert to testify regarding animal science, welfare and overall practice of veterinary care. Mr. Loppnow qualifies as an expert by knowledge, skill, experience, training, and education in the area of veterinary medicine. A copy of Mr. Loppnow’s resume is provided via the exhibit list and his criminal history attached hereto. Dr. Margo Cangemi Ms. Cangemi is a Licensed Veterinarian for Anoka Equine. Pursuant to Minn. R. Evid. 702, Ms. Cangemi qualifies as an expert to testify regarding animal science, welfare and overall practice of veterinary care. Ms. Camgemi qualifies as an expert by knowledge, skill, experience, training, and education in the area of veterinary medicine. A copy of Ms. Cangemi’s resume is provided via the exhibit list and her criminal history attached hereto. Dr. Amanda Elston Ms. Elson is a Licensed Veterinarian for South Winn Veterinary Clinic. Pursuant to Minn. R. Evid. 702, Ms. Elston qualifies as an expert to testify regarding animal science, welfare and overall practice of veterinary care. Ms. Elston qualifies as an expert by knowledge, skill, experience, training, and education in the area of veterinary medicine. A copy of Ms. Elston’s resume is provided via the exhibit list and her criminal history attached hereto. CHARLES W. HANSON BROWN COUNTY ATTORNEY Dated: November 1, 2021 By: /s/ Jill M. Jensen Jill M. Jensen #0398408 Deputy County Attorney 1 South State Street P.O. Box 248 New Ulm, MN 56073 Phone: (507) 233-6688 Fax: (507) 233-6692 5

Attachment: Chapter 13 Data Request For Candi Lemarr Related Data Why Is The Convicted Thief Brown County Attorney Chuck Hanson Still Harassing111821_1000am.pdf

More to come ...

Related links: 

How About We Tell The New Ulm Journal About The Hostile Response Nemmers Received From The The MN Board of Veterinary Medicine? The Data From The Rigged Cases (13-CR-19-1031 State Of Minnesota Vs Carmen Marie Burth & 08-CR-21-272 State Of Minnesota Vs Candi Jolene Lemarr) Made Executive Director Julia H. Wilson, DVM Hostile, Right? Where Oh Where Is That Brown County Data, Huh?

How About We Toss A Monkey Wrench Into The High-Profile Animal Cruelty Cases Of Candi Lemarr And Carmen Marie Burth? It's Rigged Case Nos. 13-CR-19-1031 State Of Minnesota Vs Carmen Marie Burth & 08-CR-21-272 State Of Minnesota Vs Candi Jolene Lemarr, Isn't It? Let's Request Some Data From The MN Board of Veterinary Medicine, Shall We? Do You Want To See The Ridiculous Response From Executive Director Julia H. Wilson, DVM?

Who Wants To Toss A Monkey Wrench Into The High-Profile Candi Lemarr Animal Cruelty Case? It's Rigged Case No. 08-CR-21-272 State Of Minnesota Vs Candi Jolene Lemarr, Isn't It? Chapter 13 Data Request For Candi Lemarr Related Data – Why Is The Convicted Thief Brown County Attorney Chuck Hanson Harassing Nemmers?

Nemmers Asks The Brown Co. Commissioners: "Have You Or Haven't You Watched The Damning Video Of Your Corrupt Brown Co. Attorney Charles “The Thief” Hanson Falsely Accusing Nemmers Of Harassment?" Why Oh Why Is “The Thief” Hanson Retaliating Against Nemmers? Did You Know That Nemmers Was Looking Into How “The Thief” Hanson Was Hired As A Law Enforcement Officer AKA Assistant Watonwan Co. Attorney When “The Thief” Hanson Had Prior Theft Convictions? And Nemmers Tossed A Huge Monkey Wrench Into The High-Profile Case No. 08-CV-20-978 Candi Lemarr Vs Brown County, Didn't He? Sounds Like A Motive To Threaten & To Harass Nemmers, Doesn't It? 

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?

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