tag:blogger.com,1999:blog-39928698033501106732024-02-19T04:13:31.847-08:00Lion NewsLion News is a local grassroots media outlet. Lion News focuses in on local corruption.Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comBlogger851125tag:blogger.com,1999:blog-3992869803350110673.post-86359286117667034742023-09-15T18:09:00.004-07:002023-09-16T06:52:17.661-07:00Minnesota State Patrol Major Joe “The Kook” Dwyer Maliciously Redacts Public Data From A Public Document AKA Citation 882300280016 In Scam To Illegally Withhold Citation From Nemmers? “The Kook” Dwyer Provides Nemmers With Clear Precise And Unquestionable Evidence Of Misuse Of Public Resources And Criminal Misconduct Of A Public Employee? Too Bad For “The Kook” Dwyer That MSP General Orders 10-063 State Citations Are Public Data, Right? Corrupt MSP Forced To Cough Up Illegally Withheld Citation For Celebrity Attorney Nick "Clickbait" Rekieta?<p>Have you ever had a corrupt cop illegally withhold a public document called a Citation from you? If you ever attempted to obtain a Minnesota State Patrol (MSP) Citation for a couple of high-profile traffic cases, like traffic case for corrupt Swift County Sheriff John Holtz and a celebrity attorney Nick "Clickbait" Rekieta, then you just might have a corrupt cop like Minnesota State Patrol Major Joe “The Kook” Dwyer illegally withhold those public documents from you, right? That's right, isn't it? It is, isn't it?</p><p>Of course, we all know that a MSP Citation is public data, don't we? We do, don't we? Even the MSP General Order 10-063 clearly state that a MSP Citation is public data, doesn't it?<a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgQ1AF5EWfPiRHhymDjmocIvd4Jl6ylo4wPq6UvjsPw4zKIxkefSytsqbL9uyA975bdcxejxS2acbGuzhQog_rAZrQGNhfFfEfiTZdnMJv8iRy0JoK_ZY6tZLBcpHYsC1LhPn16SalqvGAqwo4jsLAlZldJiuD0yrXVEI6lRq89MFN7Om7mS0xfODwt072f/s1102/MSP_Data_Inventory_General_Order_10-063_Page2_Citation.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="851" data-original-width="1102" height="494" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgQ1AF5EWfPiRHhymDjmocIvd4Jl6ylo4wPq6UvjsPw4zKIxkefSytsqbL9uyA975bdcxejxS2acbGuzhQog_rAZrQGNhfFfEfiTZdnMJv8iRy0JoK_ZY6tZLBcpHYsC1LhPn16SalqvGAqwo4jsLAlZldJiuD0yrXVEI6lRq89MFN7Om7mS0xfODwt072f/w640-h494/MSP_Data_Inventory_General_Order_10-063_Page2_Citation.jpg" width="640" /></a><br /></p><p>It does, doesn't it?</p><p><i>Minnesota State Patrol Records Retention Schedule General Order 10-063<br />Field Office (District Office)<br />Item #: 01400 Records Series Title and Description: <b>Citations</b> Retention Instructions: Current year plus three years<br />SM*: P/E <b>Statute: Public</b> Disposition: Destroy<br />Item #: 06900 Records Series Title and Description: <b>Warnings</b> Retention Instructions: Current year plus three years SM*: P/E <b>Statute: Public</b> Disposition: Destroy Page 3 of 7. Records Retention Schedule (8-2022).pdf</i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjiamp5bu__05EQ5qejpAyKnidiwd9R0x5PiJcxEj2ob8vWhNWmwqMUbpWThHP36nigcaEqoSwnqIoK5IhWVZI0Cwb5l6ifv8EDuhzpXXpRFaoAHh-Sn0lcTwLu2mf7gNTVoUN6nP1h5HZ6xOA9WpqlDKn4BTJbl57Q6mlkjCesCt2OWCxqwwc_BVokBxAS/s1102/MSP_Data_Inventory_General_Order_10-063_Page2_Citation.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="851" data-original-width="1102" height="494" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjiamp5bu__05EQ5qejpAyKnidiwd9R0x5PiJcxEj2ob8vWhNWmwqMUbpWThHP36nigcaEqoSwnqIoK5IhWVZI0Cwb5l6ifv8EDuhzpXXpRFaoAHh-Sn0lcTwLu2mf7gNTVoUN6nP1h5HZ6xOA9WpqlDKn4BTJbl57Q6mlkjCesCt2OWCxqwwc_BVokBxAS/w640-h494/MSP_Data_Inventory_General_Order_10-063_Page2_Citation.jpg" width="640" /></a></div><p>So that means there is absolutely no Private data nor Confidential data nor Non-Public data on a MSP Citation, doesn't it? It does, doesn't it? So that means that all the data contained on corrupt Swift County Sheriff John Holtz's Citation Number 882300280016 is all public data, right? That's right, isn't it? Take a look at the public Citation Summary data for State of Minnesota vs John Jason Holtz Case Number: 76-CR-23-297, okay?</p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgm7BrbA7ROCBYmNpDEb72vsY-4k-pAQPEIxgoTLvSSIoDKfj0Mhup4r86E3f9I953B8YKF-tTxVlzJXVdTezcW_aCfpZngU1YddUkquaG5TCLLDkvcoce7IkzVzXgq0T9TDGeWfw7PHYNGsvUPuhw224sO9XsYNkmmu8u_2WkGyAN6l_tc-TWdZmsMkno9/s1169/Citation_882300280016_Summary_Data.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1169" data-original-width="827" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgm7BrbA7ROCBYmNpDEb72vsY-4k-pAQPEIxgoTLvSSIoDKfj0Mhup4r86E3f9I953B8YKF-tTxVlzJXVdTezcW_aCfpZngU1YddUkquaG5TCLLDkvcoce7IkzVzXgq0T9TDGeWfw7PHYNGsvUPuhw224sO9XsYNkmmu8u_2WkGyAN6l_tc-TWdZmsMkno9/w452-h640/Citation_882300280016_Summary_Data.jpg" width="452" /></a></div><br /><p><i>Citation Data Summary <b>Citation Number 882300280016</b> Ticket Date 05/24/2023 <b>Name HOLTZ, JOHN JASON</b> Involvement Driver Address Offense Date 05/24/2023 Offense Time 7:59 AM Case Type Crim/Traf Mandatory 1180 200TH AVE SW Appleton, MN 56208 Date of Birth 09/04/1969 Eye Color Hazel Weight 300 Height 5'10" Driver's License State Minnesota Driver's License Number E525077310412 Fingerprints Taken No Issuing Method In Person Issuing Agency MN State Patrol - St. Cloud Community of Offense Swift County Prosecuting Agency Swift County Attorney <b>Property Damage Endanger Life/Property</b> CN/ICR 23602048 Officer Name SALTO TIMOTHY Officer Badge Number 28 Location of Violation 23149 90TH ST SW A76 APPT, SWIFT COUNTY Officer Comments REVIEWED BY POPE COUNTY ATTORNEY TROY NELSON FOR SQUAD INVOLVED CRASH. Citation Vehicle Summary Type Passenger Vehicle Year 2018 Make Ford Model EXPLORER Color White License Plate Number SHERIFF License Plate State MN Commercial Vehicle No Hazardous Vehicle No Citation Charge Data Charge Number 1 Statute Number 169.201 Degree Misdemeanor Description <b>FAIL TO YIELD TO YIELD SIGN</b> DISCLAIMER. This document is not an exact representation of the paper citation issued in this matter. This document contains initial citation data accepted by the Minnesota Judicial Branch. It may not include all information provided on the paper citation. Page 1 of 1</i></p><p>Don't forget to take a look at the public Citation Summary data for Citation Number 882301290172 in State of Minnesota vs Nicholas Robert Rekieta Case Number: 76-CR-23-297, okay?</p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgX3E1axiK_-QKV1dve2WxxToXDyvYiAn0gr9EXcO7q_XTo6nUTvE2s9genTcvts_nHsZX4MtjhTNhS1CF1c_yP2Ztbpn3rCivWaeE5j4Mwl_reDPKTwyIgnjFzYx2jOZ0j39gAJiKYXLNvItx0yq_GWZuusoCubFPg8pcGQiRbLDz7xwjALSWdkINSe_ZJ/s1169/Citation_882301290172_Summary_Data.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1169" data-original-width="827" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgX3E1axiK_-QKV1dve2WxxToXDyvYiAn0gr9EXcO7q_XTo6nUTvE2s9genTcvts_nHsZX4MtjhTNhS1CF1c_yP2Ztbpn3rCivWaeE5j4Mwl_reDPKTwyIgnjFzYx2jOZ0j39gAJiKYXLNvItx0yq_GWZuusoCubFPg8pcGQiRbLDz7xwjALSWdkINSe_ZJ/w452-h640/Citation_882301290172_Summary_Data.jpg" width="452" /></a></div><br /><p><i>Citation Data Summary <b>Citation Number 882301290172</b> Ticket Date 04/15/2023 Name <b>Rekieta, Nicholas Robert</b> Offense Date 04/15/2023 Offense Time 6:44 AM Involvement Driver Address Case Type Crim/Traf Non-Mand 12291 51ST ST NE Spicer, MN 56288 Date of Birth 12/16/1981 Eye Color Blue Weight 185 Height 6'2" Driver's License State Minnesota Driver's License Number N674181529917 Fingerprints Taken No Issuing Method In Person Issuing Agency MN State Patrol - St. Cloud Community of Offense Willmar Prosecuting Agency Willmar City Attorney Officer Name MONSON JOSHUA Officer Badge Number 129 Location of Violation 700 SB 71 HWY A34 WMR, WILLMAR Officer Comments DRIVER WAS WESTBOUND IN RIGHT LANE OF USTH 71 NEAR MILE POST 124 VISUALLY FAST. I VISUALLY ESTIMATED DRIVERS SPEED COMING AROUND CURVE AT ABOUT 80 MPH IN 65 MPH ZONE. I ACTIVATED MY FRONT RADAR ANTENNA FROM STATIONARY POSITION <b>CLOCKED AT 80 AND 81 MPH LOCKING IT AT 81 MPH IN 65 MPH ZONE</b>. HAD GOOD LOUD CLEAR HIGH AUDIBLE STEADY DOPPLER TONE. <b>UPON STOP DRIVER STATED BRING CHILD TO SPEECH MEET</b> AND DID NOT KNOW HE WAS GOING THAT FAST. DRIVER STATED WASN'T PAYING ATTENTION. <b>ISSUED CITATION FOR 80 MPH IN 65 ZONE. RAINING WET CLOUDY</b> Citation Vehicle Summary Type Passenger Vehicle Year 2022 Make Ford Model MUSTANG Color Red License Plate Number LAWPOPE License Plate State MN Commercial Vehicle No Hazardous Vehicle No Citation Charge Data Charge Number 1 Statute Number 169.14.2(a)(2) Degree Petty Misdemeanor 3rd Violation No Description SPEED 65 ZONE NON INTERSTATE 80/65 Speeding Speed: 80 mph Posted Speed: 65 mph DISCLAIMER. This document is not an exact representation of the paper citation issued in this matter. This document contains initial citation data accepted by the Minnesota Judicial Branch. It may not include all information provided on the paper citation. Page 1 of 1</i><br /></p><p>You would agree that all the data in the public Citation Data Summary for Citation Number 882301290172 is all public data, wouldn't you? That must be why MSP Major Joe “The Kook” Dwyer emailed me an unredacted electronic version of Citation Number 882301290172, right?</p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiwSo4xPI-a9U-3xykcBF8ftho3gHou6481GxJKwOwPlmyrQc_pXEt35DWJyWcvy27W-_eGXOgD9E5esVCd90-5aZfRZw8snb_-ndmOO-HHlG3twJUxA9Glg0-unVIhXgRY4Eppzo5pN-jBPQh4qasBK98jXrppPfF3WOZ0WvLyaWMQ8_CIWm-bO9DmjuqX/s1100/Citation_882301290172.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiwSo4xPI-a9U-3xykcBF8ftho3gHou6481GxJKwOwPlmyrQc_pXEt35DWJyWcvy27W-_eGXOgD9E5esVCd90-5aZfRZw8snb_-ndmOO-HHlG3twJUxA9Glg0-unVIhXgRY4Eppzo5pN-jBPQh4qasBK98jXrppPfF3WOZ0WvLyaWMQ8_CIWm-bO9DmjuqX/w494-h640/Citation_882301290172.jpg" width="494" /></a></div><p>You can see that all the public data listed in the public Citation Data Summary for Citation Number 882301290172 that was filed in Case Number 34-VB-23-781 State of Minnesota vs Nicholas Robert Rekieta is found in the original Citation, can't you? You can, can't you?</p><p>Are you ready for the misuse of public resources and criminal misconduct of a public employee part, yet?<br /></p><p><i><a href="https://www.revisor.mn.gov/rules/1205.0900/">https://www.revisor.mn.gov/rules/1205.0900/</a> 1205.0900 AUTHORITY OF THE RESPONSIBLE AUTHORITY. Pursuant to Minnesota Statutes, sections 13.02 to 13.06, the responsible authority shall have the authority to:<br />A. implement the act and these rules in each entity;<br /><b>B. make good faith attempts to resolve all administrative controversies arising from the entity's practices of creation, collection, use, and dissemination of data;</b><br />C. prescribe changes to the administration of the entity's programs, procedures, and design of forms to bring those activities into compliance with the act and with this chapter;<br />D. take all administrative actions necessary to comply with the general requirements of the act, particularly Minnesota Statutes, section 13.04, and this chapter; and<br />E. where necessary, direct designees to perform the detailed requirements of the act and this chapter under the general supervision of the responsible authority.<br />Statutory Authority: MS s 13.07 Published Electronically: July 13, 2007</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/609.43">https://www.revisor.mn.gov/statutes/cite/609.43</a> 609.43 MISCONDUCT OF PUBLIC OFFICER OR EMPLOYEE. A public officer or employee who does any of the following, for which no other sentence is specifically provided by law, may be sentenced to imprisonment for not more than one year or to payment of a fine of not more than $3,000, or both:<br />(1) intentionally fails or refuses to perform a <b>known mandatory, nondiscretionary, ministerial duty of the office or employment </b>within the time or in the manner required by law; or</i><br /></p><p>So, it is Major Joe “The Kook” Dwyer's known mandatory, nondiscretionary, ministerial duty of his MSP employment to act in good faith and provide me with the unredacted Citation 882300280016, right? It's is, isn't it?<br /></p><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjbTle4UdH1kIvM-388s53Z3e3ehydC4auyarE2Uvfo3GLQ3O1U4srvhNk_Bz9SiMv5CUxh_kSvt6YDBBd5WgiOtlfmQZ5txcJIo57_s7b044zjMoUimtjlEILnIpK0pc3psEaI-a8XMXVTg7Bw2pmBERZPTXxQyW2R0hEjMTR21dGbpd6LPDg4Oj1KQpT2/s1100/Citation_88230028016_REDACTED.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjbTle4UdH1kIvM-388s53Z3e3ehydC4auyarE2Uvfo3GLQ3O1U4srvhNk_Bz9SiMv5CUxh_kSvt6YDBBd5WgiOtlfmQZ5txcJIo57_s7b044zjMoUimtjlEILnIpK0pc3psEaI-a8XMXVTg7Bw2pmBERZPTXxQyW2R0hEjMTR21dGbpd6LPDg4Oj1KQpT2/w494-h640/Citation_88230028016_REDACTED.jpg" width="494" /></a></div><p></p><p>Does corrupt Swift County Sheriff John Holtz's Citation 882300280016 look like it is unredacted? It sure doesn't, does it? MSP Major Joe “The Kook” Dwyer misused the public's dime redacting public data from a public document, didn't he? He did, didn't he? Why was this public data knowingly, intentionally and maliciously redacted from this public document? “The Kook” Dwyer made the wild, outrageous, unsubstantiated and completely baseless assertion that Citation 882300280016 contained "Confidential data," didn't he? The kook did, didn't he?</p><p>In fact, until just recently Clickbait Rekieta's Citation Number 882301290172 was illegally withheld from me for the exact same crazy reason, wasn't it? It was, wasn't it? Bit all those of dirty details of criminal misconduct of corrupt MSP public employees will have to wait for another day, won't it? It will, won't it?</p><p>Related Links:<br /></p><p><br /></p><p><br /></p><p><br /></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-82946028168508437962022-07-03T07:15:00.011-07:002022-07-04T07:06:48.705-07:00Nemmers Assists In A Felony Dismissal And 3 Misdemeanor Dismissals For State Of Minnesota Vs Jeremy James Boles Case No.: 72-CR-20-85, 72-CR-20-81, 72-CR-20-83, & 72-CR-20-172? Imagine How Quickly These Cases Could Have Been Dismissed If Boles Wasn't Actively Trying To Sabotage His Own Case?<p><span style="background-color: black;"><span style="color: #fcff01;"><b>Felony Dismissal For State of Minnesota vs Jeremy James Boles Case No.: 72-CR-20-85</b></span></span></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjRCiYqS4QFEdulnk2LetVn1bfkEhI3Au3A-Yjbs0rF64Vx14_-PVZUvDGQR90H1sVMN6Gd4LrHhE0ioR6QiBa7MCgs4y-tXWRvgM8Vp7dW_DOq8caL-Ym39ZxhRguevgh3i6t3TMwDn4p69ldb5i2mjmgKgtlaGjEJdD3C044L9ma7altwnIhhjJplsA/s1100/72-CR-20-85Dimissal01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjRCiYqS4QFEdulnk2LetVn1bfkEhI3Au3A-Yjbs0rF64Vx14_-PVZUvDGQR90H1sVMN6Gd4LrHhE0ioR6QiBa7MCgs4y-tXWRvgM8Vp7dW_DOq8caL-Ym39ZxhRguevgh3i6t3TMwDn4p69ldb5i2mjmgKgtlaGjEJdD3C044L9ma7altwnIhhjJplsA/w494-h640/72-CR-20-85Dimissal01.jpg" width="494" /></a></div><p><b><i>State Of Minnesota Vs Jeremy James Boles Case No.: 72-CR-20-85</i></b></p><p><i><b>03/23/2020</b> E-filed Comp-Order for Detention Index # 1</i></p><p><i><b>08/12/2021 Order-Evaluation for Competency</b> to Proceed (Rule 20.01) Index # 51 (Judicial Officer: Donley, Amber )</i></p><p><i><b>03/17/2022 Found Competent</b> (Judicial Officer: Donley, Amber ) <br /></i></p><p><i><b>06/20/2022 Order for Dismissal</b> Index # 67 (Judicial Officer: Winters, Jody L. )<br />06/20/2022 Notice of Filing of Order Index # 68<br /><b>06/23/2022</b> CANCELED Settlement Conference (1:00 PM) (Judicial Officer Donley, Amber) <b>Dismissed</b><br />06/27/2022 Returned Mail Index # 69<br /><b>06/28/2022</b> CANCELED Jury Trial (8:30 AM) (Judicial Officer Donley, Amber)<br /><b>Dismissed</b></i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEj6sVau-FlFC3mtOYZWUcOJyccjQtQ7k0TpDM1f4kGoohMCrPbYC0LNWs_XedLQh1tFtVxZHttzA9CEHjALTgjkiDhIosaFDPcY7w6Y0yCeFDcMQVR4uVmlgtopFGonH7VLxAvI-tYM7xWiPck7twgIGidMLel9-1nJYjz_nntEOsbyQD-rpHp_o1Qw3w/s1100/72-CR-20-85Dimissal02.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEj6sVau-FlFC3mtOYZWUcOJyccjQtQ7k0TpDM1f4kGoohMCrPbYC0LNWs_XedLQh1tFtVxZHttzA9CEHjALTgjkiDhIosaFDPcY7w6Y0yCeFDcMQVR4uVmlgtopFGonH7VLxAvI-tYM7xWiPck7twgIGidMLel9-1nJYjz_nntEOsbyQD-rpHp_o1Qw3w/w494-h640/72-CR-20-85Dimissal02.jpg" width="494" /></a></div><span style="background-color: black;"><span style="color: #fcff01;"><b>Misdemeanor Dismissals For State of Minnesota vs Jeremy James Boles Case No.: 72-CR-20-81, 72-CR-20-83, & 72-CR-20-172</b></span></span><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjHz-wrPgxb4RGTGtL5YtsJZxro-29OUNpSrf9kJvR7y4QaAYD2fUdJmKA0obzl7Z3oMYD83BF1iXqnRgh0VoXnMuXJ_DfZ92QoDsy2_pXO6ee4ppCksjjqyg8l78B8YCOqc5x2zdvqNXVAPoOnnixn02EnGFv52-8qqBPzIm5AKl41JAFIDDo8z9q4sw/s1100/72-CR-20-81Dismissal01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjHz-wrPgxb4RGTGtL5YtsJZxro-29OUNpSrf9kJvR7y4QaAYD2fUdJmKA0obzl7Z3oMYD83BF1iXqnRgh0VoXnMuXJ_DfZ92QoDsy2_pXO6ee4ppCksjjqyg8l78B8YCOqc5x2zdvqNXVAPoOnnixn02EnGFv52-8qqBPzIm5AKl41JAFIDDo8z9q4sw/w494-h640/72-CR-20-81Dismissal01.jpg" width="494" /></a></div><p><b>State of Minnesota vs Jeremy James Boles Case No.: 72-CR-20-81</b></p><p><i><b>03/21/2020</b> Citation E-Filed</i></p><i>06/23/2022 Settlement Conference (1:00 PM) (Judicial Officer Donley, Amber)<br />Result: Held On the Record<br />06/23/2022 Proposed Order or Document Index # 41<br />06/23/2022 e-Service BOLES, JEREMY JAMES Served 06/23/2022 <br /><b>06/23/2022</b> <b>Order for Dismissal</b> Index # 42 (Judicial Officer: Donley, Amber )<br /><b>06/28/2022</b> <b>CANCELED</b> Jury Trial (8:30 AM) (Judicial Officer Donley, Amber)<br /><b>Dismissed</b></i><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEg7WR-YP1f0GfnS-JVh3RVT3pVrXi9limXkdr-vPTUx0ZbQKkfQr603NgTes08P8VXDlxaunw8bTZwxLm8V2BGGWS9QHgz9M1eb19emGhp0mk3jCktzImoj211WKpY-Bgnhhok5QIVexfyHBLtXXh-_irXj_KJ7BKyleu_7NHM7KiaKBjVa8MWpsJUpSQ/s1100/72-CR-20-83Dismissal01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEg7WR-YP1f0GfnS-JVh3RVT3pVrXi9limXkdr-vPTUx0ZbQKkfQr603NgTes08P8VXDlxaunw8bTZwxLm8V2BGGWS9QHgz9M1eb19emGhp0mk3jCktzImoj211WKpY-Bgnhhok5QIVexfyHBLtXXh-_irXj_KJ7BKyleu_7NHM7KiaKBjVa8MWpsJUpSQ/w494-h640/72-CR-20-83Dismissal01.jpg" width="494" /></a></div><p><b><i>State of Minnesota vs Jeremy James Boles Case No.: 72-CR-20-83</i></b></p><p><i><b>03/21/2020</b> Citation E-Filed</i></p><p><i>06/23/2022 Settlement Conference (1:00 PM) (Judicial Officer Donley, Amber)<br />Result: Held On the Record<br />06/23/2022 Proposed Order or Document Index # 38<br />06/23/2022 e-Service BOLES, JEREMY JAMES Served 06/23/2022 <br /><b>06/23/2022 Order for Dismissal</b> Index # 39 (Judicial Officer: Donley, Amber )<br /><b>06/28/2022 CANCELED</b> Jury Trial (8:30 AM) (Judicial Officer Donley, Amber)<br /><b>Dismissed</b> <br /></i></p><br /><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhUCwaD6iocLlxqNYZVswD8re8OqQTC9Q0psU5Ka3Dfl9S0HmPToe7oDHFtChzXXDMuZ9jQdEN0Vu9Wn09-0UsnolN7N6Nfgyu174mgTsXpq7PujVjTGB_5uFYgMsLaCN4RGY4QJ1Z29fxJ_y1hb0VZFq-_RTgx7yUy65Gyur8gaO8yD88CUprCnJKH7w/s1100/72-CR-20-172Dismissal01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhUCwaD6iocLlxqNYZVswD8re8OqQTC9Q0psU5Ka3Dfl9S0HmPToe7oDHFtChzXXDMuZ9jQdEN0Vu9Wn09-0UsnolN7N6Nfgyu174mgTsXpq7PujVjTGB_5uFYgMsLaCN4RGY4QJ1Z29fxJ_y1hb0VZFq-_RTgx7yUy65Gyur8gaO8yD88CUprCnJKH7w/w494-h640/72-CR-20-172Dismissal01.jpg" width="494" /><b></b></a></div><p><i><b>State of Minnesota vs Jeremy James Boles Case No.: 72-CR-20-172</b></i></p><p><i><b>06/04/2020</b> E-filed Comp-Summons Index # 1</i></p><p><i>06/23/2022 Settlement Conference (1:00 PM) (Judicial Officer Donley, Amber)<br />Result: Held On the Record<br />06/23/2022 Proposed Order or Document Index # 38<br />06/23/2022 e-Service Boles, Jeremy James Served 06/23/2022 <br />06/23/2022 Order for Dismissal Index # 39 (Judicial Officer: Donley, Amber )<br /><b>06/28/2022 CANCELED</b> Jury Trial (8:30 AM) (Judicial Officer Donley, Amber)<br /><b>Dismissed</b></i><br /></p><p> </p><p>Do you want to read the complaint that Boles filed against his attorney? <br /></p><p><a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a> Minnesota Court Records Online (MCRO) Case Details Case Number:72-CR-20-85 Case Title: State of Minnesota vs JEREMY JAMES BOLES 08/10/2021 Correspondence 15 pages</p><p><span style="background-color: #fcff01;"><span style="color: #444444;"><b>Final Instructions That Forced The Misdemeanor Dismissals? </b></span></span><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhuyedkIL3TfMlG0u0xz3O7kiNaKFGWr0Dd2R4mkhq7RBTqkVZVnPeLJMab0YOrZBhj6Qck5RW5KaXwghU9Nx5QW3yoeRzXAIZGx2lwRhoIeK-8g0lXnMSzMXnRn-MXud8Hzpwa9ujmx6W03f30PCxW5HPf9u2kefH4guWTFeoB7vsN0Be0yUjWlaRxbg/s1094/062222DillonLtr_01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1094" data-original-width="846" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhuyedkIL3TfMlG0u0xz3O7kiNaKFGWr0Dd2R4mkhq7RBTqkVZVnPeLJMab0YOrZBhj6Qck5RW5KaXwghU9Nx5QW3yoeRzXAIZGx2lwRhoIeK-8g0lXnMSzMXnRn-MXud8Hzpwa9ujmx6W03f30PCxW5HPf9u2kefH4guWTFeoB7vsN0Be0yUjWlaRxbg/w494-h640/062222DillonLtr_01.jpg" width="494" /></a></div><p><i>06-22-22</i></p><p><i>John G. Dillon Assistant State Public Defender 237 Mackubin St. St. Paul MN, 55102 (612) 703-8648</i></p><p><i>Re: Stop Sabotaging My Criminal Cases & Get My Phone From Henderson</i></p><p><i>Emailed to: keithswenson49@gmail.com, randy_tiegs@hotmail.com, sellnerconstruction@gmail.com, amyhardel1@gmail.com, jabld@frontiernet.net, chenderson165@mchsi.com, lionnews00@gmail.com, John.Dillon@pubdef.state.mn.us, amber.donley@courts.state.mn.us, karen.messner@courts.state.mn.us</i></p><p><i>You and your fellow public pretender Wesley Harvey have helped to make life a living hell for the last 2+ years. Neither you nor Harvey have made any real attempts to get Case Nos. 72-CR-20-81, 72-CR-20-83, 72-CR-20-172, 72-CR-20-85 dismissed1,2,3. I have reason to suspect that the only reason why the felony case, 72-CR-20-85, was dismissed was because of the intervention of Mr. Terry Nemmers. While backstabbing Harvey was conspiring with Sibley County Attorney Donald E. Lannoye4,5,6 to make sure that I was smeared with a malicious competency hearing, Mr. Nemmers was helping me to toss a monkey wrench into that same malicious competency hearing.</i></p><p><i>What have you actually accomplished in my case? Have you gotten my phone back from either Henderson City Attorney Jason Moran or Henderson Chief of Police Dimitri Ikonitski? You haven’t, have you? How am I supposed to go to trial or even have a chance at winning at trial without the exculpatory evidence that is on my phone? You know what I do have? I have a damning audio recording of you making it perfectly clear to me that you have no intention of obtaining my phone aka my exculpatory evidence from the City of Henderson until you have secured my convictions in Case Nos. 72-CR-20-81, 72-CR-20-83, and72-CR-20-172. Let me make this perfectly clear to you. I want my phone, today! Not tomorrow! Not next week! Today! Do I make myself perfectly clear?</i></p><p><i>According the City of Henderson’s City Attorney’s Brady/Giglio policy, it is misconduct for Henderson Chief of Police Dimitri Ikonitski to illegally withhold my phone from me. Consider this my misconduct7,8,9 complaint against Henderson Chief of Police Dimitri Ikonitski for illegally withholding my phone from me. You are directed to make this complaint known to the City of Henderson’s City Administrator Lon Berberich. My next instruction to you is to obtain the City of Henderson’s findings and bills for services rendered from the Bureau of Criminal Apprehension for the handwriting analysis that they did to determine</i></p><p><i>Page 1 of 5</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiTqlXTowJ7kmDdnLCcvHJHLPkvl1c7LpGn5M5O2fDLJHmUbjxmR5eZPln19jNBrNjVDK_Udp-NZMCKaAla99ssyXVyrOVw9p0J909nG7Bq2pcPNsXNA7Lie0PBfdCpDINF6WT-Q-Xdu0K8mUGiE8GBuBjTRG2lWkseBxQZKEhr68Lm1gP2anOSnIOwBQ/s1094/062222DillonLtr_02.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1094" data-original-width="846" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiTqlXTowJ7kmDdnLCcvHJHLPkvl1c7LpGn5M5O2fDLJHmUbjxmR5eZPln19jNBrNjVDK_Udp-NZMCKaAla99ssyXVyrOVw9p0J909nG7Bq2pcPNsXNA7Lie0PBfdCpDINF6WT-Q-Xdu0K8mUGiE8GBuBjTRG2lWkseBxQZKEhr68Lm1gP2anOSnIOwBQ/w494-h640/062222DillonLtr_02.jpg" width="494" /></a></div><p><i>whether or not I forged Anthony Cermak’s name to any document. Because I did not forge10,11,12,13 Cermak’s name to any document it has caused me to have reason to suspect that Henderson City Attorney Jason Moran and Henderson Chief of Police Dimitri Ikonitski are counting on Cermak to lie on the witness stand in Case Nos. 72-CR-20-81, 72-CR-20-83, and 72-CR-20-172. My third instruction is that I want those investigator files emailed to me immediately. Those are the files that I have repeatedly told Harvey that I wanted sent to me. I do not want a summary of the files, I want the actual documents and the actual audio files. I want to see and hear what information the investigator obtained from Myron Cermak. My final instruction to you is for you to get Case Nos. 72-CR-20-81, 72-CR-20-83, and 72-CR-20-172 dismissed, today!. All you want to do is continue to make my life a living hell be forcing me to go to these completely unnecessary settlement conferences. You know perfectly well that I do not have the money nor the resources to waste going to the 06-23-22 Settlement conferences. If you refuse to get my cases dismissed, then I want to see and hear Anthony Cermak engage in perjury on the witness stand during trial. Make this know to the court! Do I make myself perfectly clear? Good! Get it done! _____________________________________________________________ </i></p><p><i>Jeremy Boles iisokrutoo@gmail.com</i></p><p><i>Footnotes:</i></p><p><i>1. Case No. 72-CR-20-81 State of Minnesota vs Jeremy James Boles, Date of Incident: 03/11/2020 03/21/2020 Citation E-Filed 06/23/2022 Settlement Conference (1:00 PM) (Judicial Officer Donley, Amber) 06/28/2022 Jury Trial (8:30 AM) (Judicial Officer Donley, Amber) Case No. 72-CR-20-83 State of Minnesota vs Jeremy James Boles, Date of Incident: 03/11/2020 03/21/2020 Citation E-Filed 06/23/2022 Settlement Conference (1:00 PM) (Judicial Officer Donley, Amber) 06/28/2022 Jury Trial (8:30 AM) (Judicial Officer Donley, Amber) Case No. 72-CR-20-172 State of Minnesota vs Jeremy James Boles, Date of Incident: 05/24/2020 06/04/2020 Citation E-Filed 06/23/2022 Settlement Conference (1:00 PM) (Judicial Officer Donley, Amber) 06/28/2022 Jury Trial (8:30 AM) (Judicial Officer Donley, Amber) </i></p><p><i>Page 2 of 5</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEix_eSB9999lxidj1oW1vb902iiVqK03ykNYKfmE-xwmqQLT2O3ohDnqw3TzJyzg969iR5s7riq6smgfDjhly5Awrsmy1Kq8WzuJKyCxD2keHP67ucwghT0KLwIx4hU5Y09YPH155I-mWxDZ6Nz0zr80qbVY9FqNqzXaFjT3Tf5rKj8ihM76C28PzvMpg/s1094/062222DillonLtr_03.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1094" data-original-width="846" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEix_eSB9999lxidj1oW1vb902iiVqK03ykNYKfmE-xwmqQLT2O3ohDnqw3TzJyzg969iR5s7riq6smgfDjhly5Awrsmy1Kq8WzuJKyCxD2keHP67ucwghT0KLwIx4hU5Y09YPH155I-mWxDZ6Nz0zr80qbVY9FqNqzXaFjT3Tf5rKj8ihM76C28PzvMpg/w495-h640/062222DillonLtr_03.jpg" width="495" /></a></div><p><i>Case No. 72-CR-20-85 State of Minnesota vs Jeremy James Boles, Date of Incident: 03/21/2020 03/23/2020 E-filed Comp-Order for Detention Index # 1 08/12/2021 Order-Evaluation for Competency to Proceed (Rule 20.01) Index # 51 (Judicial Officer: Donley, Amber ) 02/17/2022 Rule 20 Evaluation Report Index # 59 03/17/2022 Found Competent (Judicial Officer: Donley, Amber ) 06/16/2022 Motion to Dismiss Index # 65 06/20/2022 Order for Dismissal Index # 67 (Judicial Officer: Winters, Jody L. ) 06/23/2022 CANCELED Settlement Conference (1:00 PM) (Judicial Officer Donley, Amber) Dismissed 06/28/2022 CANCELED Jury Trial (8:30 AM) (Judicial Officer Donley, Amber) Dismissed</i></p><p><i>2. THE COURT: We are here for an omnibus hearing today. Mr. Dillon? MR. DILLON: Your Honor, thank you. At this time we'd like to set this matter on for a trial and a preceding settlement conference, submit probable cause on the record. THE COURT: All right. I'll review that complaint. I think we can get some dates and times. THE CLERK: How far out are you looking? I mean, I know February -- do you want to go into March? MR. DILLON: March is not good right now. Is April available? THE CLERK: Okay, let's look here. It would be -- April 27th would be the jury trial. And for settlement conference should -- do you want that in February or March? MR. DILLON: Let's do March. THE CLERK: Okay. How about March 11th at 1:00 p.m. MR. DILLON: That's fine. THE COURT: The Court has reviewed the complaint and notes that there is probable cause to support the charges. Mr. Lannoye, anything further? MR. LANNOYE: No, Your Honor. THE COURT: All right. Mr. Dillon, anything further? MR. DILLON: No, Your Honor. Thank you. THE COURT: Okay. Thank you. This hearing is concluded. Mr. Boles, you can disconnect. (Whereupon, the matter concluded.) Transcript of the Proceedings – Omnibus Hearing December 10, 2020. Appearances Donald E. Lannoye, Assistant County Attorney, appeared for and on behalf of the Plaintiff. John G. Dillon, Assistant Public Defender, appeared for and on behalf of the Defendant. 03/30/2021 Transcript 4 pages Case Details Case Number: 72-CR-20-85 Case Title: State of Minnesota vs Jeremy James Boles https://publicaccess.courts.state.mn.us/DocumentSearch </i></p><p><i>3. 08/10/2021 Correspondence RE: Public Defender John G. Dillon Conspiring With Prosecutor To Sabotage Case No. 72-CR-20-85, 72-CR-20-81, 72-CR-20-83 and 72-CR-20-172. Index # 46 08/10/2021 Correspondence 15 pages Case Details Case Number: 72-CR-20-85 Case Title: State of Minnesota vs Jeremy James Boles <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a> </i></p><p><i>4. On February 4, 2022, I spoke with the prosecutor, Mr. Lannoye, who informed me he requested the evaluation of Mr. Bole’s competency to proceed because it appeared Mr. Boles believed people were out to get him and that was making the process difficult for his attorney. Page 7 of 8 John R. Anderson, Ph.D., LP Senior Clinical Forensic Psychologist Regional Psychological Services Confidential Forensic Evaluation Report (Rule 20.01) Date: February 16, 2022 Name: Jeremy James Boles DOB: February 1, 1978 Case: 72-CR-20-85. Jeremy James Boles 72-CR-20-85 Filed in District Court State of Minnesota 2/17/2022 8:17 AM</i></p><p><i>5. Mr. Boles outlined a defense strategy and described feeling confident that he would be able to prove his case if he were to go to trial. He described the charges being dismissed as the best possible outcome</i></p><p><i>Page 3 of 5</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjnMwjCnPU5VWaRJF21gJ2Z9_bsIHGGwgJ5JvQY7Wz7aUR_CTGgWAr7keepCKiUBTO-uoyoUy9VHijqYFr-Fv_4RXDPukRGa7CmcOaoLcfejrbeVrjRU992zSeZZ4dzC-RdzK_I71tZdnGY1s-65WYMdKmiAxm0nJbeD5ZSLu8T-qCFY9wRDyBzxSL9PQ/s1094/062222DillonLtr_04.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1094" data-original-width="846" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjnMwjCnPU5VWaRJF21gJ2Z9_bsIHGGwgJ5JvQY7Wz7aUR_CTGgWAr7keepCKiUBTO-uoyoUy9VHijqYFr-Fv_4RXDPukRGa7CmcOaoLcfejrbeVrjRU992zSeZZ4dzC-RdzK_I71tZdnGY1s-65WYMdKmiAxm0nJbeD5ZSLu8T-qCFY9wRDyBzxSL9PQ/w494-h640/062222DillonLtr_04.jpg" width="494" /></a></div><p><i>in his case. When asked, he refused to consider the worst possible outcome in his case because he believed he was innocent. He conveyed that he does not trust the “system” and that he had concerns about receiving a fair trial related to the prosecution not providing recorded interviews of witnesses. He described his belief that he would be able to show the truth in trial. Mr. Boles stated he has been shown “firsthand that things are not being done legally” and he referenced a previous psychological evaluation conducted by an unlicensed psychologist (who was supervised by a licensed psychologist) who was later reprimanded for practicing without a license. Page 6 of 8. John R. Anderson, Ph.D., LP Senior Clinical Forensic Psychologist Regional Psychological Services Confidential Forensic Evaluation Report (Rule 20.01) Date: February 16, 2022 Name: Jeremy James Boles DOB: February 1, 1978 Case: 72-CR-20-85. Jeremy James Boles 72-CR-20-85 Filed in District Court State of Minnesota 2/17/2022 8:17 AM</i></p><p><i>6. In sum, although his interpersonal style may be guarded and somewhat rigid, it is my opinion that Mr. Boles maintains the ability to consult with a reasonable degree of rational understanding with defense counsel and that he has the capacity to understand the criminal proceedings and participate in the defense. Page 7 of 8 John R. Anderson, Ph.D., LP Senior Clinical Forensic Psychologist Regional Psychological Services Confidential Forensic Evaluation Report (Rule 20.01) Date: February 16, 2022 Name: Jeremy James Boles DOB: February 1, 1978 Case: 72-CR-20-85. Jeremy James Boles 72-CR-20-85 Filed in District Court State of Minnesota 2/17/2022 8:17 AM</i></p><p><i>7. 11. Professional Conduct of Police Officers Policy Law enforcement effectiveness depends upon community respect and confidence. Conduct which detracts from this respect and confidence is detrimental to the public interest and should be prohibited. The policy of this department is to investigate circumstances, which suggest an officer has engaged in unbecoming conduct, and impose disciplinary action when appropriate. Rules 1 Peace officers shall not knowingly exceed their authority in the enforcement of the law. 2 Peace officers shall not knowingly disobey the law or rules of criminal procedure in such areas as interrogation, arrest, detention, and searches. Seizures, use of informants and preservation of evidence. Except where permitted in the performance of duty under proper authority. 3 Peace officers shall not knowingly restrict the freedom of individuals, whether by arrest or detention, in violation of the Constitutions and laws of the United States and the State of Minnesota. Peace officers, whether on or off duty, shall not knowingly commit any criminal offense under any laws of the United States or any state or local jurisdiction in which the officer is present. Number: Policy Manual 10.00 Effective Date: January 2020 Subject: Officer Conduct & Discipline Reference: MSS 626.8457. Henderson, MN Police Department Mailing: PO Box 125, Henderson, MN 56044 Location: 600 Main St, Henderson, MN 56044 Chief Dmitri Ikonitski Effective Date: January 2020 Distribution: All personnel City of Henderson Henderson Police Department Policy Manual </i></p><p><i>8. <a href="https://www.youtube.com/watch?v=aJsR1i9xxFo">https://www.youtube.com/watch?v=aJsR1i9xxFo</a> Lion News: Henderson Chief Ikonitski illegally Withholds Myron Cermak’s Statement From Boles? 133 views Nov 30, 2021 <a href="https://lionnews00.blogspot.com/2021/08/jeremy-boles-asks-kevin-j-kajer-chief.html">https://lionnews00.blogspot.com/2021/08/jeremy-boles-asks-kevin-j-kajer-chief.html</a> Lion News: Henderson Chief Ikonitski illegally Withholds Myron Cermak’s Statement From Boles?</i></p><p><i>9. 2. Upon execution of this policy, the Chief Law Enforcement Officer (County Sheriff or Police Chief) and Chief Administration Officer (Administratively, clerk) for each City and County will search the respective agency’s records any instance of SUSTAINED MISCONDUCT THAT RESULTED IN DISCIPLINE of any law enforcement employee, including the chief law enforcement officer, that relates to the following categories: A. False reports. B. Misconduct that reflects on truthfulness C. Racial, religious or personal bias. D. Promises, offers or inducement, including grants of immunity E. Mishandling of evidence or property</i></p><p><i>Page 4 of 5</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhfEVAu2Vc_GcW_ySYX7kDB5PtTjzu6qzXoE32bZSPrXmUZhZOsR0EhquYzNd_FQCf7J88qCW5KjHyu1n9xTOI4HpR3biCL-ky3j0mlhwdfmN-q3DLdgCpv1wr1RDH53jNLLNP6A7eq0dovRRa0bHU4curP70RQbF2Z0py7SJ4k077f39HuNqmH83sM5Q/s1094/062222DillonLtr_05.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1094" data-original-width="846" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhfEVAu2Vc_GcW_ySYX7kDB5PtTjzu6qzXoE32bZSPrXmUZhZOsR0EhquYzNd_FQCf7J88qCW5KjHyu1n9xTOI4HpR3biCL-ky3j0mlhwdfmN-q3DLdgCpv1wr1RDH53jNLLNP6A7eq0dovRRa0bHU4curP70RQbF2Z0py7SJ4k077f39HuNqmH83sM5Q/w494-h640/062222DillonLtr_05.jpg" width="494" /></a></div><p><i>F. Excessive Force G. Criminal convictions H. Harassment I. Inappropriate access to or dissemination of government data. J. Pending criminal charges K. Other sustained actions that clearly reflect on credibility. Joint Policy Regarding Brady/Giglio Information</i></p><p><i>10. Jeremy James Boles (02/01/1978) turned in information to Assistant Sibley County Public Defender John Dillon, who then turned the information over to Henderson City Attorney Jones provided several documents to the police department which included a copy of a lease agreement that indicates that it was signed by Anthony James Cermak (05/31/1996) as the property owner, and Boles and Erica Marie Stufflebeam (06/13/1980) as tenants to the property (208 S 3rd St) on 08/01/2019; an email from Excel Energy in regards to setting up an account dated on 09/24/2019; two hand written notes; and what appears to be a Facebook messenger conversation between Cermak and Boles. Attorney Jones asked that we follow up on the authenticity of the lease, if there was ever a termination of the lease, and if any rent was paid. I then contacted Cermak and asked if he would be willing to give another statement on the matter and he advised that he would. Cermak provided a written and recorded statement. See attached written statement. Supplemental Report ICR: 20000371 Title: 702 Report Last Modified: 12-14-2020 2017 Created By: Alex Schmidt Henderson Police Department.</i></p><p><i>11. I asked Cermak what his interpretation of these documents were, and he advised that this never happened and made a comment that his signature was forged Supplemental Report ICR: 20000371 Title: 702 Report Last Modified: 12-14-2020 2017 Created By: Alex Schmidt Henderson Police Department.</i></p><p><i>12. This report will be forwarded to the Sibley County Attorney's Office for review and possible charges in accordance to MN statute for aggravated forgery 609.625 subd. 1(1) against Jeremy Boles. Supplemental Report ICR: 20000371 Title: 702 Report Last Modified: 12-14-2020 2017 Created By: Alex Schmidt Henderson Police Department.</i></p><p><i>13. Questioned Documents The Questioned Documents section offers examination services in the areas of signature, handwriting, and hand printing identification; typewriter identification; indented writing; inks; papers; mechanical impressions; photocopier identification; alterations and obliterations; reconstruction of documents that have been burned or otherwise damaged; and the identification of counterfeit documents. Minnesota Department Of Public Safety Bureau Of Criminal Apprehension Forensic Science Service 2003 Annual Report <a href="https://dps.mn.gov/divisions/bca/bca-divisions/forensic-science/Documents/2003%20Minnesota%20BCA%20Forensic%20Science%20Service%20Annual%20Report.pdf">https://dps.mn.gov/divisions/bca/bca-divisions/forensic-science/Documents/2003%20Minnesota%20BCA%20Forensic%20Science%20Service%20Annual%20Report.pdf</a> 14. File contents belong to the client and must be turned over to the client upon request. OPINION 13: COPYING COSTS By William J. Wernz, Director Minnesota Office of Lawyers Professional Responsibility Reprinted from Bench & Bar of Minnesota (August 1989) <a href="http://lprb.mncourts.gov/articles/Articles/Opinion%2013-%20Copying%20Costs%20%28Lawyers%20Professional%20Responsibility%20Board%20Opinion%20No.%2013%29.pdf">http://lprb.mncourts.gov/articles/Articles/Opinion%2013-%20Copying%20Costs%20%28Lawyers%20Professional%20Responsibility%20Board%20Opinion%20No.%2013%29.pdf</a> </i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjkIoB9Bpp354-gAwtq2nom90U1AknF-QkNud4jXMnhshWqqHSJ1yj3P9VY_1bYf0-ERn-zzkZwqGIatD6_1GqIO2udmC6g5-ws2P7bH1jQcBHo9Hx9Fe-DXeGufTT0k3JwnUdJa2QwcDjFNwBAhOxd3tc3yuYhB2DUyTAND-PYbygjQpfi69IY573tIw/s1094/062222DillonLtr_06.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1094" data-original-width="846" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjkIoB9Bpp354-gAwtq2nom90U1AknF-QkNud4jXMnhshWqqHSJ1yj3P9VY_1bYf0-ERn-zzkZwqGIatD6_1GqIO2udmC6g5-ws2P7bH1jQcBHo9Hx9Fe-DXeGufTT0k3JwnUdJa2QwcDjFNwBAhOxd3tc3yuYhB2DUyTAND-PYbygjQpfi69IY573tIw/w494-h640/062222DillonLtr_06.jpg" width="494" /></a></div><i>Page 5 of 5</i><p></p><p>More to come ... </p><p>Related Links:</p><p><a href="https://lionnews00.blogspot.com/2021/05/where-oh-whre-is-zoom-meeting-id-number.html">Where Oh Where Is The Zoom Meeting ID Number & Passcode For The 05-07-21 Contested Omnibus Hearing For Rigged Case No. 72-CR-20-85 State Of Minnesota Vs Jeremy James Boles? It's That Corrupt First Judicial District Again, Isn't It? Doesn't Corrupt Judicial Officer Amber Donley Want You To See Public Pretender Dillon Sabotage Bole's Contested Omnibus Hearing? UPDATE: Boles Received Zoom Instructions After Nemmers? Zoom Data Arrives At Friday, May 7, 2021, 11:38 AM? Less Than A 2 Hour Notice, Right? Nemmers Received His On May 7, 2021, 8:16 AM, Right?</a></p><p><a href="http://lionnews00.blogspot.com/2021/08/jeremy-boles-asks-kevin-j-kajer-chief.html">Jeremy
Boles Asks Kevin J. Kajer, Chief Administrator & State of Minnesota
Board Of Public Defense Board Members Le, Darris & Haugen: Why Is
Public Defender John Dillon Sabotaging Case Nos. 72-CR-20-85,
72-CR-20-81, 72-CR-20-83 And 72-CR-20-172 State Of Minnesota Vs Jeremy
James Boles? FYI Boles' Messerich Complaint Filed As 08/10/2021
Correspondence To Judge Index # 46?</a></p><p><a href="http://lionnews00.blogspot.com/2021/07/boles-files-complaint-against.html">Boles
Files Complaint Against Backstabbing Public Pretender Dillon With First
Judicial District Chief Judicial Officer Messerich? Boy This Sounds
Just Like Complaint Hartger Filed Against Her Backstabbing Public
Pretenders Shea And Baker In Rigged Case No. 19HA-CR-19-2768, Doesn't
It? It Rigged Case Nos. 72-CR-20-85, 72-CR-20-81, 72-CR-20-83 And
72-CR-20-172, Isn't It? It Is, Isn't It?</a></p><p><a href="https://lionnews00.blogspot.com/2021/03/who-want-zoom-instructions-for-rigged.html">Who
Wants The Zoom Instructions For Rigged Case No. 72-CR-20-85 State Of
Minnesota Vs Jeremy James Boles? Poor Jeremy Is Being Stabbed In The
Back By His Public Pretender Dillon, Isn't He? Corrupt Judicial Officers
Only Give Zoom Instructions The Day Before Hearings? And Corrupt City
of Henderson City Administrator Lon Berberich, Corrupt Sibley Co.
Sheriff Pat Nienaber, Corrupt Sibley Co. Administrator John Glisczinski
And Corrupt Sibley Co. Attorney David E. Schauer Are All Harassing Poor
Jeremy James Boles Over Readily Available, Free, Electronic Public Data?
It's That Corrupt First Judicial District Again, Isn't It? It Is, Isn't
It?</a> <br /></p><p><a href="http://lionnews00.blogspot.com/2021/03/oooops-did-nemmers-wreck-all-rigged.html">Oooops!
Did Nemmers Wreck All The Rigged Cases For The Fugitive Defective
Detective Jessica "The Conspiracy Theorist Who Cried Wolf" Hartger?
Nemmers Tosses A Monkey Wrench Into These Rigged Case By Asking For Zoom
Instructions? Magically & Mysteriously Hartger's Wrong Address
Wiped From Register Of Actions For Rigged Case 19HA-CR-19-2768? Doesn't
Corrupt Court Want To Issue A Warrant For Hartger In Colorado? Hey Look
Did Corrupt Lakeville Chief Of Police Jeff Long Cough Up My Data? Long
Really Hates Me, Doesn't He?</a></p><p><a href="http://lionnews00.blogspot.com/2020/12/hey-how-about-we-ask-corrupt-dakota-co.html">Hey
How About We Ask Corrupt Dakota Co. Attorney Jimmy "Sovereign Citizen"
Backstrom For Some Chapter 13 Data For The Fugitive Defective Detective
Jessica "The Conspiracy Theorist Who Cried Wolf" Hartger? Oh And Let's
Get An Update From The Corrupt City Of Burnsville On The Magically &
Mysteriously Missing Hartger Data, Shall We?</a></p><p><a href="http://lionnews00.blogspot.com/2020/12/corrupt-city-of-burnsville-continues-to.html">Corrupt
City Of Burnsville Continues To Harass Nemmers Over Jessica "The
Conspiracy Theorist Who Cried Wolf" Hartger Data? You Remember That
Jessica Is the Defective Detective, Don't You? Is The Motive For The
Harassment Burnsville Officer/Detective Klingfus' Perjured Statement
About "Imminent Harm"? Klingfus Wasn't Concerned About 04-11-20
"Imminent Harm" If The Complaint Wasn't Signed Until 10-17-20, Right?
Isn't Cody Myers Using 609.26 Depriving Another Of Custodial Or Parental
Rights To Bait Defective Detective Jessica Into A Violation Trap?</a></p><p><a href="http://lionnews00.blogspot.com/2020/11/the-defective-detective-jessica.html">The
Defective Detective Jessica "The Conspiracy Theorist Who Cried Wolf"
Hartger Targets The Wrong Woman For Harassment? Defective Detective
Hartger Almost Earns Another Criminal Harassment Complaint? Oh And All
Eight (8) Dakota County Warrants Are All Still Active, Aren't They?
Nemmers' Intervention Is Still Keeping Defective Detective Hartger Out
Of Jail, Isn't It? UPDATE: Defective Detective Jessica Continues With
Her Smear Campaign On Nemmers & Her Abused Husband? Did I Forget To
Update You On The 11-05-20 Conspiracy Theory Free Zoom Hearing For
19HA-CR-19-2768?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2020/11/how-about-we-request-burnsville-data.html">How
About We Request The Burnsville Data For The Warrant (19AV-CR-20-8547,
Right?) For Jessica "The Conspiracy Theorist Who Cried Wolf" Hartger?
Maybe Burnsville Personnel Can Explain How Fugitive Hartger Has Managed
To Avoid Arrest For Eight (8) Active Warrants? We All Know The Real
Reason Is The Intervention Of Nemmers, Don't We? We Do, Don't We?</a> </p><p><a href="http://lionnews00.blogspot.com/2020/11/how-is-it-possible-that-jessica.html">How
Is It Possible That Jessica "The Conspiracy Theorist Who Cried Wolf"
Hartger Has Been Able To Avoid Arrest (Again, Right?) From 10-19-20
Until Today's Date? It's Because Of Nemmers' Intervention (Again,
Right?), Isn't it? Let's Ask Hamline University For Some Of Hartger's
Fugitve Data, Shall We? Bonus Round: Why Oh Why Does Ken Hartger's
Estranged Wife Jessica Want To Sabotage Ken's Case No. 27-CR-20-4801?
Did I Forget To Mention That Lakeville Police Have A Well-Documented
History Of Stalking Fugitive Jessica Well Outside Their Jurisdiction?
Let's Ask For The Zoom Meeting ID Number & Password For The 11-05-20
3:00 PM Remote Hearing For Case No. 19HA-CR-19-2768, Shall We?</a> </p><p><a href="http://lionnews00.blogspot.com/2020/10/can-you-guess-whose-big-stupid-mouth.html">Can
You Guess Whose Big Stupid Mouth Earned Her Eight (8) Active Warrants
For Her Arrest? Did You Guess Jessica "The Conspiracy Theorist Who Cried
Wolf" Hartger? Maybe Jessica Shouldn't Have Spent All Her Time Running
Smear Campaigns On Nemmers? Maybe Jessica Will Finally Get Help For Her
Paranoia? Paranoia Induced By Daily Marijuana Use - Illicit Adderall
Drug Use & Crazy Conspiracy Theories, Right? Bonus Round: Would You
Like To See The Washington County Computer-Aided Dispatch Report &
Incident Report (Redacted & Unredacted) For The Last Round Of
Warrants For Jessica "The Conspiracy Theorist Who Cried Wolf" Hartger?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2020/09/whatever-happened-to-nemmers-data.html">Whatever
Happened To Nemmers' Data Request For The False Police Report Filed By
Corrupt Dakota Co. Judicial Officer Ann Offerman Vs Jessica Hartger AKA
Jessica Cook DOB: 01/15/1992? Will Hartger File A Counter-Criminal
Complaint? Why The Continued Harassment Over Public Data For Corrupt
Dakota County Judicial Officer Ann Offerman's False Police Report
Against Jessica Hartger AKA Jessica Cook?</a></p><p><a href="http://lionnews00.blogspot.com/2020/09/hey-should-we-debunk-trumped-up-charges.html">Hey
Should We Debunk The Trumped Up Charges And The Rigged Case Against
Jessica Hartger AKA Jessica Cook? It's Rigged Case Case No.
19HA-CR-19-2768, Isn't It? Watch For The Mystery Woman Who Magically
& Mysteriously Stays At The Door, Okay? And Make Sure You See That
Corrupt Lakeville Police Chief Jeff Long's Officers Make No Attempt To
Verify Jessica's Alibi, Okay?</a></p><p><a href="http://lionnews00.blogspot.com/2020/08/what-happens-when-person-who-claims-to.html">What
Happens When The Person Who Claims To Want Help Can't Work The Plan But
Can Only Run Her Big Stupid Mouth? The "Know-It-All-Know-Nothing" Gets
Another Warrant Issued, Right? Did You Guess Jessica Hartger AKA Jessica
Cook For Rigged Case No. 19HA-CR-19-2768?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2020/08/ken-hartgers-city-of-eden-prairies.html">Ken
Hartger's Complaint To Judicial Officer Robben? City Of Eden Prairie’s
& Prosecutor’s Willful Refusal To Comply With Mn Statute 13.82 &
Dept. of Administration’s Advisory Opinion 18-005 In Regard To Subject
Data AKA Criminal Investigative Data AKA Discovery For Case No.
27-CR-20-4801 State of Minnesota vs Kenneth John Hartger? How About We
Ask Robben To Put His Crooked Officers Of The Court Under Oath In Regard
To The Fraudulent $321.93 Bill? Hey Did You Know That Chief Judicial
Officer Toddrick Barnette's Staff Member Charles Rooney Acknowledged
Receipt Of Hartgers' Complaint?</a></p><p><a href="http://lionnews00.blogspot.com/2020/08/dare-to-compare-how-many-time-jessica.html">Dare
To Compare How Many Times Jessica Hartger Has Been Arrested Since
Nemmers' Intervention As Opposed To The Incompetent Bungler Michael "The
Hack" Volpe's Intervention? Hartger Has Been Arrested Zero Times In
Rigged Case No. 19HA-CR-19-2768 By Dakota County's Corrupt LEO Since
Nemmers' Intervention, Hasn't She?</a></p><p><a href="http://lionnews00.blogspot.com/2020/08/dakota-co-creates-intelligence-report.html#">Dakota
Co. Creates An Intelligence Report On Jessica Hartger For Daring To
Send Some Emails To Corrupt Dakota Co. Judicial Officer Offerman?
Intelligence Report Admits That Hartger Did Absolutely Nothing Wrong,
Doesn't It?</a></p><div><a href="http://lionnews00.blogspot.com/2020/08/dakota-co-creates-intelligence-report.html#" id="http://lionnews00.blogspot.com/2020/07/why-oh-why-are-dakota-county.html" name="http://lionnews00.blogspot.com/2020/07/why-oh-why-are-dakota-county.html">Why
Oh Why Are Dakota County Communications Executive Director Tom Folie
& Operations Director Cheryl Pritzlaff Trying To Steal $13.65 From
Jessica Hartger? What Is The Status On The Transcripts?</a></div><div><br /></div><div><a href="http://lionnews00.blogspot.com/2020/06/evidence-shows-that-corrupt-dakota-co.html">Evidence
Shows That Corrupt Dakota Co. Judicial Officer Offerman Conspired With
Dakota Co. Assist. Co. Attorney Monnens & Apple Valley Det. Becker
& Corrupt Dakota Co. Judicial Officer Knutson To File False Police
Report & Subsequent Phony Arrest Warrant For Jessica Hartger? Eden
Prairie Responsible Authority/City Clerk Kathleen Porta Refuses To
Explain/Justify In Signed Document Fraudulent Retaliatory Bill Of
$321.93 For Hartger Data? It Looks Like There Is A Huge Cover-Up For
Eden Prairie Police Personnel Exacting Street Justice & Payback On
Jessica Hartger For Dakota County Judicial Officers David Knutson &
Ann Offerman, Right? Kenneth's & Jessica's Informed Consent
Submissions Toss Monkey Wrenches Into Cover-Up?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/06/eden-prairie-police-greg-weber-lurking.html">Update:
Eden Prairie Police Greg Weber Lurking & Skulking On Lion News For 3
Minutes 37 Seconds On 06-19-20 With IP Address 156.142.95.179? Weber
Gawking At Pic About Eden Prairie Police Personnel Exacting Street
Justice & Payback On Jessica Hartger For Dakota County Judicial
Officers David Knutson & Ann Offerman? Oh Dakota Co. Deputy
Scheffknecht Says Offerman Filed False Police Report Against Jessica
Hartger, Didn't He? So Evidence Of EPPD Street Justice & Payback On
Hartger, Right? 3 Minutes Long Enough To File Share Damning Data To
Nemmers On 06-19-20, Right? Corrupt Chief Weber Attempts "Payback" &
"Street Justice" On Nemmers With Retaliatory Fraudulent Bill?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/06/eden-prairie-police-personnel-exacting.html">Eden
Prairie Police Personnel Exacting Street Justice & Payback On
Jessica Hartger For Dakota County Judicial Officers David Knutson &
Ann Offerman? Why Oh Why Didn't EPPD Confirm The Warrant Before They
Broke Out Hartger's Car Window? To Teach Hartger A Street Justice
Lesson, Right?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/05/incompetent-bungler-michael-hack-volpe_12.html">Incompetent
Bungler Michael "The Hack" Volpe's Latest Victim Jessica Danielle Cook
AKA Jessica Danielle Hartger Lands In The Dakota County Jail? Did
Nemmers' FOIA Requests To Kent Co. Sheriff Michelle LaJoye-Young &
Kent Co. Prosecuting Attorney Christopher R. Becker Expedite
Extradition?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/05/incompetent-bungler-michael-hack-volpe.html">Incompetent
Bungler Michael "The Hack" Volpe Succeeds In Getting His Latest Victim
Jessica Danielle Cook AKA Jessica Danielle Hartger Arrested? You
Remember "The Hack" Volpe From His Sabotaging Of The High-Profile Sandra
Grazzini-Rucki Case, Don't You? Oh And Don't Forget "The Hack" Volpe
Helped To Sabotage All Of Dede Evavold's Cases Also, Didn't He? Run Away
- Do Not Walk Away - Run Away From Hack Volpe And His Fellow Fanatic
Karen Possessky, Okay?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/04/incompetent-bungler-michael-hack-volpe.html">Incompetent
Bungler Michael "The Hack" Volpe Succeeds In Getting A Warrant Issued
For His Latest Victim Jessica Danielle Cook AKA Jessica Hartger? You
Remember "The Hack" Volpe From His Sabotaging Of The High-Profile Sandra
Grazzini-Rucki Case, Don't You? Oh And Don't Forget "The Hack" Volpe
Helped To Sabotage All Of Dede Evavold's Cases Also, Didn't He? Hack
Volpe's Fellow Fanatic Karen Possessky Speaks?</a><br />
<br />
<a href="https://www.bitchute.com/video/8EIeB6CDlTqa/">Lion News: Nemmers Exposes Michael “Hack” Volpe’s & Sandra Grazzini-Rucki’s Smear Campaign?</a></div><p></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-72589864757710696222022-06-23T06:31:00.000-07:002022-06-23T06:31:22.124-07:00Is Hubbard County Sgt. Christenson Trying To Shield Minnesota Hooved Animal Rescue Foundation President Drew Fitzpatrick And/Or Minnesota Animal Humane Society Humane Agent Amanda Oquist From A Legitimate Investigation? Isn't There A Laugh Track That Is Supposed To Go Along With This Crazy Incident Report ICR# 22005116?<p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhEaDAB7COjvy4QuQz2jn1YulA0t5yyVVogjDKWgpaLkifGsjEjX1rHIsioHNMODPn0CD9wXVJxJdiETGtG35j4zXUb1nSW07rTf4URVC1n7xJ_FY1rQ0Js5M2k9wL2nH-rEhjIzRTvCx5Uy1QmdL3YquVmFA5XUKkZDKXkjpBL7eJeUuo2WuzYVVYm5g/s1920/Archie_Oquist.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1080" data-original-width="1920" height="360" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhEaDAB7COjvy4QuQz2jn1YulA0t5yyVVogjDKWgpaLkifGsjEjX1rHIsioHNMODPn0CD9wXVJxJdiETGtG35j4zXUb1nSW07rTf4URVC1n7xJ_FY1rQ0Js5M2k9wL2nH-rEhjIzRTvCx5Uy1QmdL3YquVmFA5XUKkZDKXkjpBL7eJeUuo2WuzYVVYm5g/w640-h360/Archie_Oquist.jpg" width="640" /></a></div><i>from: Lion News lionnews00@gmail.com<br />to: jfrieden@co.hubbard.mn.us,<br />sparks@co.hubbard.mn.us,<br />Cory Aukes caukes@co.hubbard.mn.us<br />date: Jun 23, 2022, 8:20 AM<br />subject: Nemmers' Chapter 13.04 Subject Data Missing For ICR# 22005116 And Incorrect Data In Hubbard County Sheriff's Sgt Troy Christenson's Incident Report ICR# 22005116 That Needs To Be Corrected<br />mailed-by: gmail.com</i><p></p><p><i>Cory Aukes, Hubbard Sheriff 218-732-3331 & Jonathan Frieden, County Attorney 218-732-4133:</i></p><p><i>Would you please immediately correct the incorrect data in this crazy incident report ICR# 22005116 that was filed by your Troy Christenson, Sergeant Sheriff Firearms Instructor ERU Team 218-732-2276 Badge: 5110?<br />Missing subject data for Nemmers:</i></p><p><i>1. 05-30-22 call to Hubbard County Dispatch and computer-aided dispatch report.<br />2. 05-30-22 recorded statement of Terry Nemmers made by Sgt Christenson on either squad audio/video, body camera video, personal audio recorder or cell phone application.<br />3. 05-31-22 recorded statement of Terry Nemmers made by Sgt Christenson on either squad audio/video, body camera video, personal audio recorder or cell phone application.<br />4. 06-07-22 & 06-09-22voicemails left by Nemmers for Hubbard County Chief Deputy Scott Parks<br />5. 06-14-22 recorded statement of Terry Nemmers made by Sgt Christenson on either squad audio/video, body camera video, personal audio recorder or cell phone application.<br />6. Emails sent to Hubbard County on 05-30-22, 06-01-22, 06-06-22 and 06-14-22<br />Instances in ICR# 22005116 where the name of the emaciated horse called "Archie" that is in the possession of Minnesota Hooved Animal Rescue Foundation President Drew Fitzpatrick is magically and mysteriously renamed "Doc"<br />1. Terry advised of a horse by the name of Doc the Humane Society removed from a Hubbard County resident in March 2022.<br />2. Along with complaint that animal Humane Society investigator Amanda Oquist falsely impersonating self as a peace officer Terry stated the Humane Society was also taking part in releasing information to the public specific to an ongoing criminal investigation reference horse name Doc.<br />3. Terry asked if the Hubbard County Sheriff’s office was going to investigate possible animal neglect on the owner of the horse named Doc.<br />4. I advised Amanda of complaint received and asked Amanda if she could send a copy of her investigation specific to horse named Doc that was voluntarily surrendered in March 2022 by a Hubbard County resident.<br />5. I asked Amanda if she was familiar with that investigation and if she could advise if charges of animal cruelty/neglect were appropriate on the owner of the horse name Doc.</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. DIdn't Sgt. Christenson take any screenshots of my blog posts on his visits to my blog, Lion News? Is that why Sgt. Christensen magically and mysteriously states in ICR# 22005116: "Digital evidence: None."? Isn't it part of Sgt. Christenson' employment with Hubbard County to gather, to save and to preserve evidence that he observed on my blog, Lion News? Hmm? Inquiring minds want to know, don't they?<br />P.S.S. Isn't Sgt. Christenson a trainer observer? Did your trainer observer Sgt. Christenson "intentionally forget" what he saw and read on blog, Lion News? Hmm? Inquiring minds really want to know, don't they?<br />P.S.S.S. Does Sgt. Christenson have any known drug or alcohol problems? How about a recent stroke or head injury? Can you think of any reason why oh why Sgt. Christenson would call the palimnio "Archie" a completely different name ("Doc") (5) five separate and distinct times?<br />P.S.S.S.S. How about we resolve these issues before I bring up all the other problems with ICR# 22005116?<br />P.S.S.S.S.S. Did you notice that I don't even need the Hubbard County Sheriff's Office policy and procedure manuals that you are currently illegally withholding from me to toss a monkey wrench into this crazy ICR# 22005116?<br />P.S.S.S.S.S.S. This wouldn't be some crazy stunt by Sgt. Christenson to shield Minnesota Hooved Animal Rescue Foundation President Drew Fitzpatrick and/or Minnesota Animal Humane Society Humane Agent Amanda Oquist from a legitimate investigation, would it? Isn't there a laugh track that is supposed to go along with this incident report?</i></p><p><i><a href="https://www.facebook.com/photo/?fbid=318666630299060&set=a.317027157129674">https://www.facebook.com/photo/?fbid=318666630299060&set=a.317027157129674</a> Minnesota Hooved Animal Rescue Foundation March 4 · Archie is a palomino gelding who is our newest intake from an owner surrender case in Hubbard County. He arrived at Anoka Equine Veterinary Services today and is now getting the care he needs. (Thank you to Investigator Oquist from Animal Humane Society of Minnesota)! Watch for updates!</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/13.04">https://www.revisor.mn.gov/statutes/cite/13.04</a> Subd. 4. Procedure when data is not accurate or complete. (a) An individual subject of the data may contest the accuracy or completeness of public or private data. To exercise this right, an individual shall notify in writing the responsible authority describing the nature of the disagreement. The responsible authority shall within 30 days either: (1) correct the data found to be inaccurate or incomplete and attempt to notify past recipients of inaccurate or incomplete data, including recipients named by the individual; or (2) notify the individual that the authority believes the data to be correct. Data in dispute shall be disclosed only if the individual's statement of disagreement is included with the disclosed data. The determination of the responsible authority may be appealed pursuant to the provisions of the Administrative Procedure Act relating to contested cases. Upon receipt of an appeal by an individual, the commissioner shall, before issuing the order and notice of a contested case hearing required by chapter 14, try to resolve the dispute through education, conference, conciliation, or persuasion. If the parties consent, the commissioner may refer the matter to mediation. Following these efforts, the commissioner shall dismiss the appeal or issue the order and notice of hearing. (b) Data on individuals that have been successfully challenged by an individual must be completed, corrected, or destroyed by a government entity without regard to the requirements of section 138.17.After completing, correcting, or destroying successfully challenged data, a government entity may retain a copy of the commissioner of administration's order issued under chapter 14 or, if no order were issued, a summary of the dispute between the parties that does not contain any particulars of the successfully challenged data.</i></p><p><i>B. PRINCIPLE TWO Peace officers shall refrain from any conduct in an official capacity that detracts from the public’s faith in the integrity of the criminal justice system.<br />b) Peace officers shall not knowingly make false accusations of any criminal, ordinance, traffic or other law violation. This provision shall not prohibit the use of deception during criminal investigations or interrogations as permitted under law.<br />c) Peace officers shall truthfully, completely, and impartially report, testify and present evidence, including exculpatory evidence, in all matters of an official nature. Professional Conduct Of Peace Officers Model Policy Mn Stat 626.8457<br /><a href="https://dps.mn.gov/entity/post/model-policies-learning-objectives/Documents/Professional-Conduct-of-Peace-Officers-Model-Policy.pdf">https://dps.mn.gov/entity/post/model-policies-learning-objectives/Documents/Professional-Conduct-of-Peace-Officers-Model-Policy.pdf</a></i></p><p><i><a href="https://www.revisor.mn.gov/rules/1205.0900/">https://www.revisor.mn.gov/rules/1205.0900/</a> 1205.0900 AUTHORITY OF THE RESPONSIBLE AUTHORITY. Pursuant to Minnesota Statutes, sections 13.02 to 13.06, the responsible authority shall have the authority to: A. implement the act and these rules in each entity; B. make good faith attempts to resolve all administrative controversies arising from the entity's practices of creation, collection, use, and dissemination of data; § C. prescribe changes to the administration of the entity's programs, procedures, and design of forms to bring those activities into compliance with the act and with this chapter; D. take all administrative actions necessary to comply with the general requirements of the act, particularly Minnesota Statutes, section 13.04, and this chapter; and E. where necessary, direct designees to perform the detailed requirements of the act and this chapter under the general supervision of the responsible authority. Statutory Authority: MS s 13.07 Published Electronically: July 13, 2007</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/609.43">https://www.revisor.mn.gov/statutes/cite/609.43</a> 609.43 MISCONDUCT OF PUBLIC OFFICER OR EMPLOYEE. A public officer or employee who does any of the following, for which no other sentence is specifically provided by law, may be sentenced to imprisonment for not more than one year or to payment of a fine of not more than $3,000, or both: (1) intentionally fails or refuses to perform a known mandatory, nondiscretionary, ministerial duty of the office or employment within the time or in the manner required by law; or ... (4) in the capacity of such officer or employee, makes a return, certificate, official report, or other like document having knowledge it is false in any material respect.</i></p><p><i>Initial Search: https://www.google.com/ ISP: State Of Minnesota Platform / Resolution: Desktop / 1920x1080 IP Address: 156.99.241.125 — OS: Win10 Location: [United States] Park Rapids, Minnesota, United States Browser: Chrome 102.0 Host Name: (no host name found for 156.99.241.125) Total Sessions: 3 Total Visitors: 1 Navigation Paths Export Expand AllCollapse All Session #3 3 Page Views https://www.google.com/ Jun 6 03:00:24 PM Lion News https://www.google.com/ 03:00:24 PM Lion News https://www.google.com/ 03:00:24 PM Lion News Session #2 3 Page Views https://www.google.com/ May 31 09:59:28 AM Lion News https://www.google.com/ 09:59:28 AM Lion News https://www.google.com/ 09:59:28 AM Lion News Session #1 7m 34s 5 Page Views https://www.google.com/ May 30 02:30:13 PM Lion News https://www.google.com/ 02:30:13 PM Lion News https://www.google.com/ 02:30:13 PM Lion News lionnews00.blogspot.com/ 02:37:47 PM Lion News: Will Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To Impersonate A Peace Officer During The High-Profile Trial For Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth? It's ICR: 22-019955, Isn't It? Did Nemmers' Complaint Toss A Monkey Wrench Into Trial? Serg lionnews00.blogspot.com/ 02:37:47 PM Lion News: Will Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To Impersonate A Peace Officer During The High-Profile Trial For Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth? It's ICR: 22-019955, Isn't It? Did Nemmers' Complaint Toss A Monkey Wrench Into Trial? Serg</i></p><p><i>Initial Referrer: Referring url for session #1 is no longer available in your detailed log ISP: State Of Minnesota Platform / Resolution: Desktop / 1280x720 IP Address: 136.234.16.119 — OS: Win10 Location: [United States] Park Rapids, Minnesota, United States Browser: Firefox 101.0 Host Name: (no host name found for 136.234.16.119) Total Sessions: 1 Total Visitors: 1 Navigation Paths Export Session #1 3 Page Views https://www.google.com/ Jun 14 02:07:24 PM Lion News https://www.google.com/ 02:07:24 PM Lion News https://www.google.com/ 02:07:24 PM Lion News<br /></i></p><p><i>2. Upon execution of this policy, the Chief Law Enforcement Officer (County Sheriff or Police Chief) and Chief Administration Officer (Administratively, clerk) for each City and County will search the respective agency’s records any instance of SUSTAINED MISCONDUCT THAT RESULTED IN DISCIPLINE of any law enforcement employee, including the chief law enforcement officer, that relates to the following categories:<br />A. False reports.<br />B. Misconduct that reflects on truthfulness<br />C. Racial, religious or personal bias.<br />D. Promises, offers or inducement, including grants of immunity<br />E. Mishandling of evidence or property<br />F. Excessive Force<br />G. Criminal convictions<br />H. Harassment<br />I. Inappropriate access to or dissemination of government data.<br />J. Pending criminal charges<br />K. Other sustained actions that clearly reflect on credibility. Sibley County Attorney's Office Joint Policy Regarding Brady/Giglio Information.</i></p><p></p><p>More to come. . . </p><p>Related links:</p><p><a href="http://lionnews00.blogspot.com/2022/06/what-is-status-of-my-chapter-13-data.html">What Is The Status Of My Chapter 13 Data Request For ICR 22-005116 Data? Is Animal Humane Society Humane Agent Amanda Oquist Allowed To Impersonate A Peace Officer Or Government Officials In Hubbard County? How About Illegal Property Searches?</a></p><p><a href="http://lionnews00.blogspot.com/2022/06/why-oh-why-doesnt-hubbard-sgt-troy.html">Why
Oh Why Doesn't Hubbard Co. Sgt Troy Christenson Want To Find Out The
Name Of The Owner Of The Horse That Looks Like A Skeleton? Its That
Really Really Really Skinny Horse That Is Referenced In ICR 22-005116,
Isn't It? Is Sgt Christenson Afraid That Owner Will State That Minnesota
Animal Humane Society Humane Investigator Amanda Oquist Was
Impersonating A Peace Officer During The "Voluntary Surrender" Of
"Archie" The Emaciated Horse?</a></p><p><a href="http://lionnews00.blogspot.com/2022/06/who-want-to-request-icr-22-005116-do.html">Who
Wants To Request ICR 22-005116? Do You Want To Find Out If Minnesota
Humane Society Humane Agent Amanda Oquist Was Impersonating A Peace
Officer In Hubbard County? Do You Want To Find Out If Minnesota Hooved
Animal Rescue Foundation Executive Director Drew Fitzpatrick Was Trying
An Animal Cruelty Case In The Court Of Public Opinion For Hubbard Co.
Attorney Frieden And Sheriff Aukes? Let's Find Out, Shall We? It's ICR
22-005116, Isn't It? FYI: Did You Know That Sgt Christenson Was Caught
Lurking & Skulking On My Blog After Claiming He Wasn't Receiving My
Emails?</a></p><p><a href="http://lionnews00.blogspot.com/2022/05/is-minnesita-humane-society-humane.html">Is
Minnesota Humane Society Humane Agent Amanda Oquist Impersonating A
Peace Officer In Hubbard County? Is Minnesota Hooved Animal Rescue
Foundation Executive Director Drew Fitzpatrick Trying An Animal Cruelty
Case In The Court Of Public Opinion For Hubbard Co. Attorney Frieden And
Sheriff Aukes? Let's Find Out, Shall We? It's ICR 22-005116, Isn't It?</a></p><p><a href="http://lionnews00.blogspot.com/2022/05/will-minnesota-humane-society-humane.html">Will
Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To
Impersonate A Peace Officer During The High-Profile Trial For Case No.
13-CR-19-1031 State of Minnesota vs Carmen Marie Burth? It's ICR:
22-019955, Isn't It? Did Nemmers' Complaint Toss A Monkey Wrench Into
Trial? Sergeant Berg Says Trial Continued But No New Trial Date Set?</a></p><p><a href="https://lionnews00.blogspot.com/2021/08/who-wants-to-toss-monkey-wrench-into.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/08/transcripts-for-case-no-46-cv-19-1224.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/06/lets-ask-joseph-gangi-attorney-for.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/05/lets-ask-martin-county-sheriff.html">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?</a> <br /></p><a href="http://lionnews00.blogspot.com/2021/05/armed-minnesota-animal-humane-society.html">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</a><p></p><p><br /></p><p><br /></p><p><br /></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-21834474119527304532022-06-17T11:07:00.021-07:002022-06-17T14:14:31.883-07:00Did Southwest Minnesota State University Director Of Public Safety Mike Munford Engage In Perjury During The High-Profile Criminal Case Of Case No. 42-CR-21-98 State Of Minnesota Vs Larvita Marie Elena McFarquhar? It's ICR 228804, Isn't it?<a href="https://rumble.com/v18taou-the-perjury-filing-of-southwest-minnesota-state-public-safety-director-mich.html">https://rumble.com/v18taou-the-perjury-filing-of-southwest-minnesota-state-public-safety-director-mich.html</a> The Perjury Filing of Southwest Minnesota State Public Safety Director Michael Munford<br /><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgNffEpqYvChKXCsfPy7erzi5QoM97axhHgRQVhVYGNf3DucRhgqmihRVZDVLdfWcyBvP_kys_uW4uJSGiNTWdfQ4Gn4zMBMfx1MWNjXMO5X8Swz6fRTIOEkgF3YknlYFeC8zRHsJHQCh9bzEd_9RoAjV3P3UNfXNhpo8QB08vnuO7KXDsZzdOqtt3XVQ/s1100/MunfordCmpt01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgNffEpqYvChKXCsfPy7erzi5QoM97axhHgRQVhVYGNf3DucRhgqmihRVZDVLdfWcyBvP_kys_uW4uJSGiNTWdfQ4Gn4zMBMfx1MWNjXMO5X8Swz6fRTIOEkgF3YknlYFeC8zRHsJHQCh9bzEd_9RoAjV3P3UNfXNhpo8QB08vnuO7KXDsZzdOqtt3XVQ/w494-h640/MunfordCmpt01.jpg" width="494" /></a></div><p><i>Eric Wallen, Lyon Co. Sheriff 06-17-22<br />611 West Main Street<br />Marshall, MN 56258<br />(507) 537-7666<br />ericwallen@co.lyon.mn.us<br /><br />Hand-delivered on 06-17-22</i></p><p><i>This is my formal criminal complaint against Southwest Minnesota State University Director of Public Safety Mike Munford (Hereinafter Munford) for making multiple perjured 1 statements during the 05-04- 22 Court Trial of Case No. 42-CR-21-98 State of Minnesota vs Larvita Marie Elena McFarquhar. Munford also admitted on the witness stand to being in the possession of digital images of myself and the individuals who accompanied me to SMSU on 02-04-21. Those digital images were subject to Brady disclosure requirements. The digital images were exculpatory because they indicated that I was in possession of the medical exemptions for my daughters who attended SMSU. Munford gave multiple conflicting 2,3,4 answers during his sworn testimony about whether he was made aware of the medical exemptions. Munford also made conflicting sworn statements in regard to who took the digital images. Furthermore, I had not received those exculpatory digital images 5 from either City of Marshall City Attorney Dennis Simpson, Assistant City of Marshall City Attorney Matthew Gross or City of Marshall Director of Public Safety Jim Marshall prior to nor during the 02-04-21 trial.</i></p><p><i>On 02-04-21 both Munford and Marshall Police Officer Alicia Popowski #219 were made aware of the “doctor’s note” aka medical exemption that Larvita McFarquhar (hereinafter McFarquhar) had obtained for her daughters. At the 1:52 mark (1:50-1:53/21:25) of the body camera video entitled “Determan 1.mp4” McFarquhar can be seen clearly displaying the medical exemption to both Munford and Popowski.</i></p><p><i>She has every right to be in class. She has a doctor’s note. [Note: Larvita McFarquhar shows doctor’s note aka medical exemption to Southwest Minnesota State University Director of Public Safety Mike Munford and Marshall Police Officer Popowski] 1:50-1:53/21:25 Determan 1.mp4 LLarvita Published September 13, 2021 <a href="https://rumble.com/vmglhz-determan-1.mp4.html">https://rumble.com/vmglhz-determan-1.mp4.html</a><br />Page 1 of 14</i><br /></p><p><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjMlzPP26xY0rZq5qoI2cvu6HUrotsrbfXHO9IGacrrLddCQ88UuSY2fc_d2YKfjomSX1T7RWiVZSJzh6TLWrV7uHRZAHg610_A6qJwYlO0BRjfTPD1cY3pFQPQut2Z0rkWbwJpi2181iA2x2_Cwf_nWAVyvSRI5AbWbJ3s6vHDqreFVtvt67_CMQP8FA/s1100/MunfordCmpt02.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjMlzPP26xY0rZq5qoI2cvu6HUrotsrbfXHO9IGacrrLddCQ88UuSY2fc_d2YKfjomSX1T7RWiVZSJzh6TLWrV7uHRZAHg610_A6qJwYlO0BRjfTPD1cY3pFQPQut2Z0rkWbwJpi2181iA2x2_Cwf_nWAVyvSRI5AbWbJ3s6vHDqreFVtvt67_CMQP8FA/w494-h640/MunfordCmpt02.jpg" width="494" /></a></div><p><i>Both the body camera video and the transcript of the body camera video indicate the presence of both Munford and Popowski when McFarquhar is displaying the “doctor’s note” aka medical exemption.</i></p><p><i>Prior to this encounter, I personally showed Munford the doctor’s note aka medical exemption for my daughter. Below is the transcript of the interaction with Munford: Mike Mumford: Obey the rules of the university.</i></p><p><i>Larvita McFarquhar: We already obeyed the rules.</i></p><p><i>Mike Mumford: Obey the rules of the university.</i></p><p><i>Larvita McFarquhar: See what happens is you weren’t even in the class he still came. Mike Mumford: Yes. Yes, she has no mask. And everybody has to mask up on our campus</i></p><p><i>Larvita McFarquhar: You see this right here?</i></p><p><i>Mike Mumford: Ma’am I’m not.</i></p><p><i>Larvita McFarquhar: I have a doctor’s note.</i></p><p><i>Mike Mumford: That’s that’s she could wear a shield, also.</i></p><p><i>Larvita McFarquhar: No. Her doctor said she can’t wear a shield or a face covering. And I’ve shown you this. And I’ve shown it to you to the ADA Mike Mumford: At this point, my conversation with you is over. And I’m looking to have you removed and [unintelligible]. 1:22-2:01 / 4:52 <a href="https://rumble.com/v11d4a8-exhibit-one-mike-mumford.html">https://rumble.com/v11d4a8-exhibit-one-mike-mumford.html</a> Page 2 of 14</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhw663W_QaxvXqRphYbrB9XUrYqKoVLkSwi_a859sWVE-kV1BYHuJPWqUwd_O82Z3nTLvGqexzKZbYigAT3j5SYctLn_1JFCjYYKzUYt7XRLW1sH-YiiWclDd_Yzt-Ay7SF99KFgQxD71UyS9gE1SE2feEczLO4F6Vrvumsjicsyxaiz4AK-3g-1M-FqA/s1100/MunfordCmpt03.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhw663W_QaxvXqRphYbrB9XUrYqKoVLkSwi_a859sWVE-kV1BYHuJPWqUwd_O82Z3nTLvGqexzKZbYigAT3j5SYctLn_1JFCjYYKzUYt7XRLW1sH-YiiWclDd_Yzt-Ay7SF99KFgQxD71UyS9gE1SE2feEczLO4F6Vrvumsjicsyxaiz4AK-3g-1M-FqA/w494-h640/MunfordCmpt03.jpg" width="494" /></a></div><p><i>Exhibit one Mike Mumford LLarvita Published April 17, 2022 10 Views 1 rumble Mufford telling us that those students have a right to their education and basically my daughter doesn’t because she is not wearing a face covering. Prior to me giving notice to Munford of my daughter’s “doctor’s note” aka medical exemption digital image and/or video was taken of myself and the individuals who accompanied me to SMSU on 02-04- 21.</i></p><p><i>Page 3 of 14</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgQ41JCdbEzYYXpnidNlkWPw0xp42prdq7NH46UvjH840m7SuxIKdtzAqoTDrskRcozQn2sz3pWsYrlFwYqr5fdo7DYhRUezkjMMJNkqqfl90V9fiIAGwSRU9tfZr4dywZ_BXktSrVREnuL0L4f5L6SL8-ijDrl4t7qCNfbuDcuLFchTJAfoCv42Vps8Q/s1100/MunfordCmpt04.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgQ41JCdbEzYYXpnidNlkWPw0xp42prdq7NH46UvjH840m7SuxIKdtzAqoTDrskRcozQn2sz3pWsYrlFwYqr5fdo7DYhRUezkjMMJNkqqfl90V9fiIAGwSRU9tfZr4dywZ_BXktSrVREnuL0L4f5L6SL8-ijDrl4t7qCNfbuDcuLFchTJAfoCv42Vps8Q/w494-h640/MunfordCmpt04.jpg" width="494" /></a></div><p></p><p><i>At the :56 minute mark; the :59 minute mark, and the 1:01 minute mark of the video entitled “Exhibit one Mike Mumford” you can see Munford taking pictures or running video of myself and theindividuals who accompanied me to SMSU on 02-04-21. It should also be noted that the video entitled “Exhibit one Mike Mumford” was published on my Rumble account over two (2) weeks prior (April 17, 2022) to the the 05-04-22 court trial. Which means that City of Marshall City Attorney Dennis</i></p><p><i>Page 4 of 14</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEihSWmrTZ-3iQnLDaNDDDhhT2fPpJzAs--5XWINpHTwot0irZrrLKDQWiFXM51qLiaTMxe5tQJCq8ZElHvB1cs-UeRoc8YpZ4XMkN24ifgVlJGqZaKviW37gJLDhHEWaBY3yceN5K3IeDgHHtdoPyp0QFwBWBGGe-7QDuyHCU5t8wUpo5LHbycqwFDg-A/s1100/MunfordCmpt05.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEihSWmrTZ-3iQnLDaNDDDhhT2fPpJzAs--5XWINpHTwot0irZrrLKDQWiFXM51qLiaTMxe5tQJCq8ZElHvB1cs-UeRoc8YpZ4XMkN24ifgVlJGqZaKviW37gJLDhHEWaBY3yceN5K3IeDgHHtdoPyp0QFwBWBGGe-7QDuyHCU5t8wUpo5LHbycqwFDg-A/w494-h640/MunfordCmpt05.jpg" width="494" /></a></div><p><br /><i>Simpson, Assistant City of Marshall City Attorney Matthew Gross or City of Marshall Director of Public Safety Jim Marshall had ample time to verify whether or not Munford was telling the truth, the whole truth and nothing but the truth about the incident on 02-04-21 prior to his testimony while under oath on 05-04-22. I bring this up this point since I have incident reports that indicate that Lyon County law enforcement has monitored my social media sites in the past. So, neither City of Marshall City Attorney Dennis Simpson nor Assistant City of Marshall City Attorney Matthew Gross nor even City of Marshall Director of Public Safety Jim Marshall can say that they were unaware of what actually happened on 02-04-21 at SMSU.</i></p><p><i>During the 05-04-22 Court Trial of Case No. 42-CR-21-98 State of Minnesota vs Larvita Marie Elena McFarquhar Munford testified to the following:</i></p><p><i>1. Munford testified that he did not see the medical exemption documents for McFarquhar’s daughters. Munford insists that MacFarquhar only mentioned the exemptions 7,8,9,10 .</i></p><p><i>2. Munford testified that he vaguely remembers McFarquhar discussing the medical exemption documents for McFarquhar’s daughters. However, Munford doesn’t recall seeing medical exemption documents for McFarquhar’s daughters 11,12,13 .</i></p><p><i>3. Munford testified that he even has memory problems when it comes to discussing his interactions with the Marshall Police 14 .</i></p><p><i>4. Munford testified that pictures of McFarquhar were taken on 02-04-21. However, Munford denies taking the pictures himself 15. .</i></p><p><i>5. Munford testified that pictures of McFarquhar were taken on 02-04-21. However, Munford doesn’t recall who took the pictures 16 .</i></p><p><i>6. Munford testified that he was following MSMU’s COVID-19 policy 17,18,19,20 . </i></p><p><i>Munford’s sworn testimony about not seeing the medical exemption for my daughter is incompatible with the video evidence that I posted on my Rumble channel on September 13, 2021 and April 17, 2022. The videos entitled “Determan 1.mp4” and “Exhibit one Mike Mumford” provide clear, precise and unquestionable evidence that Munford did know about the medical exemptions for my daughters on 02-04-21. Which means that Munford repeatedly engaged in perjured testimony when he testified that he did not see the medical exemptions or when he testified that he did not recall seeing the medical exemptions during the 05-04-22 court trial.</i></p><p><i>The video entitled “Exhibit one Mike Mumford” also provides clear, precise and unquestionable evidence that it was Munford who was taking pictures/video of myself and the individuals who accompanied me to SMSU on 02-04-21. Which means that Munford repeatedly provided perjured testimonty during the 05-04-22 court trial when he testified that he either did not take the pictures/video or didn’t not recall who took pictures/video of myself and the individuals who accompanied me on 02-04-21.</i></p><p><i>In order for Munford to testify that he was following MSMU’s COVID-19 policies it required Munford to lie under oath about not seeing the medical exemptions and also to lie under oath about not taking the pictures/video of myself and individuals who accompanied me to SMSU on 02-04-21. Southwest Minnesota State University’s 600-12 Civil Disturbance or Demonstrations policy 21 make it clear that photographic evidence is to be provide to local law enforcement. Yet, the digital images/video of myself and the people who accompanied me on 02-04-21 was not provided to me through my Chapter 13 Subject Data Request that I submitted to the City of Marshall.</i></p><p><i>Means-Motive-Opportunity</i></p><p><i>Clearly Southwest Minnesota State University Director of Public Safety Mike Munford is of the mindset</i></p><p><i>Page 5 of 14</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjTjkTQo035bez5l5syDiZwmx9VlK9vrRfiFiTEPPue1L1V9fCUnf1ZzidI9QgNpErEYQy9yrTb-ryTTIGJP2TeAO4wX--CpnBcmtCwlvPdIBpw4dMxCgI2EJ3KqSwPE5KgEhVWx3cNFjO1UyDlJI52q9-9qs08MXRq8PfIAfIdCNdDFfDZwlY-t7eA7w/s1100/MunfordCmpt06.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjTjkTQo035bez5l5syDiZwmx9VlK9vrRfiFiTEPPue1L1V9fCUnf1ZzidI9QgNpErEYQy9yrTb-ryTTIGJP2TeAO4wX--CpnBcmtCwlvPdIBpw4dMxCgI2EJ3KqSwPE5KgEhVWx3cNFjO1UyDlJI52q9-9qs08MXRq8PfIAfIdCNdDFfDZwlY-t7eA7w/w494-h640/MunfordCmpt06.jpg" width="494" /></a></div><p><i>that he and SMSU President Kumara Jayasuriya are entitled to think and act like they are above the law. This is clearly evidenced by SMSU President Jayasuriya not wearing a mask during the COVID- 19 pandemic when it benefited him personally 22 . Obviously this situation that I created with my daughter’s medical exemption could have been easily handle months prior to the incident of 02-04-21. All SMSU President Jayasuriya had to do was get an adverse medical examiner to give a medical opinion that my daughter’s medical exemption was not valid. But, Jayasuriya chose not to do that. Or Jayasuriya could have taken myself and my daughters to court to have my daughter’s medical exemptions invalidated. Yet, again Jayasuriya chose not to do that. Instead Jayasuriya and Munford decided to bully and intimidate their way through the situation.</i></p><p><i>Apparently, the plan that SMSU President Jayasuriya and SMSU Director of Public Safety Mike Munford hatched was to defame/discredit me and silence me by having me trespassed from SMSU. This plan would only work if Munford lied to the Marshall police about not seeing the medical exemptions for my daughters. And since Munford was willing to lie to the police about not seeing the medical exemption fo rmy daughters, then it only follows that Munford was willing to illegally withhold the exculpatory digital images/video from me that he took of myself and the individuals who accompanied me to SMSU on 02-04-21.</i></p><p><i>It would appear that I threw a monkey wrench into both SMSU President Jayasuriya’s and SMSU Director of Public Safety Munford’s plans by demanding 23,24 that I receive all my evidence in my criminal case. My demand for my evidence and my demand for sanctions placed a huge spotlight on City of Marshall City Attorney Dennis Simpson, Assistant City of Marshall City Attorney Matthew Gross or City of Marshall Director of Public Safety Jim Marshall. And that spotlight called Simpson’s, Gross’s and Marshall integrity and willingness to abide by the laws of the land into question. Of course, it is a matter of the public record that Judicial Officer Patrick Rohland’s willful refusal to rule on my demands for sanctions. And it was highly suspicious that Judicial Officer Patrick Rohland didn’t want to have a evidentiary hearing. This made me begin to think that this was all coordinated to ensure that I would be found guilty at trial – at a trial by ambush.</i></p><p><i>I became even more suspicious of Judicial Officer Patrick Rohland when he just ignored my criminal complaint 25,26 that I filed into the court record. It was becoming even more clear that everyone in positions of power were looking for that Lisa Hanson moment 27, 28, 29 where they could say that I am the bad person for not following the rules. Even if it meant those people in positions of power needed to use a sledge hammer to pound that square peg into that round hole.</i></p><p><i>My little Facebook Live chat 30 with Lyon County Sheriff Eric Wallen helped me to realize that Wallen really had no problem with City of Marshall City Attorney Dennis Simpson, Assistant City of Marshall City Attorney Matthew Gross or City of Marshall Director of Public Safety Jim Marshall thinking and acting like they were above the law. However, my complaint that filed with Lyon County Sheriff Eric Wallen apparently had a major negative impact on the credibility of Wallen. Simpson, Gross and Marshall. Apparently, the hit on Wallen’s, Simpson’s, Gross’ and Marshall’s reputation was so bad that the 911 call 31 that I reported to Wallen as being illegally withhold from me by Simpson, Gross and Marshall was magically and mysteriously provided to me on April 22, 2022.</i></p><p><i>It would seem that Simpson, Gross and Marshall began to have serious doubts that a jury would believe Munford’s ridiculous testimony. I came to that logical conclusion after getting the offer from the prosecutor to drop the disorderly conduct charge in exchange for a bench trial. After hearing Munford’s ridiculous testimony it made sense to me why Simpson, Gross and Marshall only want Judicial Officer Patrick Rohland to hear the case. Only someone who wanted me to be found guilty would blindly believe Munford. And since Judicial Officer Patrick Rohland apparently had no problem with trial by ambush then the verdict was easy to predict.</i></p><p><i>Page 6 of 14</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi8nY6gqly3iccZ3ZVC-Ct7f3jHqsW2tmrZmKSj0qjFSIYaIdwNhp6TZI7ql3_GP7F-T26833k5UVpznsKOYD40wU0zMtSLK6ZpJ4w7P_udE5XJUrm-Qj41WqIiU1x5D1DCs2Ap9y6A2jaDzMFDlRgEmlRFnUcHtDK5jVzxtP77nUnMPt8WFfhlgSCFoQ/s1100/MunfordCmpt07.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi8nY6gqly3iccZ3ZVC-Ct7f3jHqsW2tmrZmKSj0qjFSIYaIdwNhp6TZI7ql3_GP7F-T26833k5UVpznsKOYD40wU0zMtSLK6ZpJ4w7P_udE5XJUrm-Qj41WqIiU1x5D1DCs2Ap9y6A2jaDzMFDlRgEmlRFnUcHtDK5jVzxtP77nUnMPt8WFfhlgSCFoQ/w494-h640/MunfordCmpt07.jpg" width="494" /></a></div><p>Of course, the roadblocks that Judicial Officer Patrick Rohland’s court reporter 32,33 placed in my way to prevent me from obtaining the transcript for Munford’s testimony were also easy to predict.</p><p>With all that being said, I am filing this legitimate complaint not because I believe that you will actually do a thorough investigation of Southwest Minnesota State University Director of Public Safety Mike Munford’s perjured testimony during the 05-04-22 bench trial. I would have to have confidence in you and your Sheriff’s office to do that. In fact, I have absolutely no confidence in you or your sheriff’s office. I am simply I am filing this legitimate complaint to prove to the world that you have no intention of doing a serious and thorough investigation of SMSU Public Safety Director Mike Munford’s perjured testimony during the 05-04-22 bench trial.</p><p>____________________________________________</p><p>Larvita McFarquhar 106 E. Railroad St. Lynd, Minnesota 56157 </p><p>Footnotes:</p><p>1. 609.48 Perjury. § Subdivision 1. Acts constituting. Whoever makes a false material statement not believing it to be true in any of the following cases is guilty of perjury and may be sentenced as provided in subdivision 4: (1) in or for an action, hearing or proceeding of any kind in which the statement is required or authorized by law to be made under oath or affirmation; https://www.revisor.mn.gov/statutes/cite/609.48</p><p>2. The “liar liar” technique, when stripped to its barest essentials involves the following progression: (1) Get the defendant to say that a prior inconsistent statement is true. (2) Get the defendant to say that she knew it was untrue when she made it. (3) Get the defendant to admit that she lied. George R. Dekle, Sr, Prosecution Principles: A Clinical Handbook (Thompson/West:2007), Page 283.</p><p>3. The witness will appear dishonest in one of three ways – either the testimony will be illogical, internally inconsistent or incompatible with other evidence. George R. Dekle, Sr, Prosecution Principles: A Clinical Handbook (Thompson/West:2007), Page 166.</p><p>4. Truthful Subject Offer Confident and Definitive Responses. Deceptive Subject May Offer Qualified Responses. A truthful denial will stand on its own, and it will be clear that the subject is accepting full responsibility within his response. ... A second category of qualifying phrases is a memory qualifiers, which blame memory. Because memory does not exist in a measurable sense and, of course, cannot be seen, a deceptive subject may reduce anxiety by blaming a poor memory. He realizes that it is impossible to prove what a person did or did not remember at a particular point in time. Some common phrases within this category include the following: ... “I can't recall whether” Page 87. Inbau, Fred E., Reid, John E., Buckley Joseph P., Jayne, Brian C. Essentials of the Reid Technique: Criminal Interrogation and Confessions.</p><p>5. The prosecutor in a criminal case shall: (d) make timely disclosure to the defense of all evidence or information known to the prosecutor that tends to negate the guilt of the accused or mitigates the offense, and, in connection with sentencing, disclose to the defense and to the tribunal all unprivileged mitigating information known to the prosecutor, except when the prosecutor is relieved of this responsibility by a protective order of the tribunal; Minnesota Court Rules Professional Rules Minnesota Rules of Professional Conduct Rule 3.8 Special Responsibilities of a Prosecutor. https://www.revisor.mn.gov/court_rules/pr/subtype/cond/id/3.8/</p><p>6. Transcript – Determan Radio “inaudible”</p><p>Munford: This is the Mother. The Mother is disrupting.</p><p>Defendant: How dare you tell her to disobey me.</p><p>Page 7 of 14<br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgr-rQV89hEPQ-bDLxZVSDseogCV3ziYj8oTmoxZlMVfkFEd_4D5vUnOj5eR-yQT8v1yR3FxOQRbuM9937GuBO1JZ-Y8lZH1rGQlu7V7-KvbwMMq7YE-KR1yCeXgY8wQO8VdxF6aZzczO_z8UouJzlPCB9NPFa8Tpn59qCZ0F5f_Cve_eraFL_AKYStVQ/s1100/MunfordCmpt08.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgr-rQV89hEPQ-bDLxZVSDseogCV3ziYj8oTmoxZlMVfkFEd_4D5vUnOj5eR-yQT8v1yR3FxOQRbuM9937GuBO1JZ-Y8lZH1rGQlu7V7-KvbwMMq7YE-KR1yCeXgY8wQO8VdxF6aZzczO_z8UouJzlPCB9NPFa8Tpn59qCZ0F5f_Cve_eraFL_AKYStVQ/w494-h640/MunfordCmpt08.jpg" width="494" /></a></div><br /><p><i>Munford: The Mother is disrupting our classes. She was given a notice of trespass yesterday. She has failed to abide by it.</i></p><p><i>Defendant: No don’t get to talk to me daughter who is underage without permission and how dare you tell her to disobey me!</i></p><p><i>Munford: I would like for you guys to remove her. Defendant: How dare you tell her to disobey me!</i></p><p><i>Popowski: So I will have you just back up for me please sir. So would it be okay if I just talk to you if we just go talk on the other side by the doors please?</i></p><p><i>Defendant: Please please have her go back to her class she has every right to be in class. Munford: She can’t.</i></p><p><i>Defendant: She has every right to be in class. She has a doctor’s note. [Note: Larvita McFarquhar shows doctor’s note aka medical exemption to Southwest Minnesota State University Director of Public Safety Mike Munford and Marshall Police Officer Popowski] She has the executive orders.</i></p><p><i>Popowski: Okay.</i></p><p><i>Defendant: I will talk to you, but she has to be in that class.</i></p><p><i>Popowski: Okay and I will be happy to see what I can do to help you with that, but at this point in time I’m going to say that all four of us can go to the doors and we can have a civilized conversation about this and I can try to help figure out what’s going on. Okay. So let’s start with that Okay? 42-CR-21-98 Filed in District Court State of Minnesota 9/15/2021 8:58 AM 09/15/2021 Case Details Case Number:42-CR-21-98 Case Title:State of Minnesota vs Larvita Marie Elena McFarquhar Discovery Disclosure 1 page <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>7. Q: So, when a child tells you that she has a disability, which we clearing show in the evidence, that she has a disability and a doctor’s note stating that she has an exemption why, would you call that part of the ADA? A: Ma’am, I, uh, you’re referring to documents I’m unaware of. Cross Examination of Mike Munford Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 12. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages https://publicaccess.courts.state.mn.us/DocumentSearch</i></p><p><i>8. Q: No, just I want you to just tell me what, on that day, when she walked into the door, after you knew that she had an exemption, what did you say to her?</i></p><p><i>A: Well, let me ask you this quick, I haven’t seen any exemption, I was not aware of any exemption and my uh, course of action was then at the time to ask her to don the protective gear. Cross Examination of Mike Munford Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 15. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages https://publicaccess.courts.state.mn.us/DocumentSearch</i></p><p><i>9. Q: On May, May, I keep saying May, I’m so sorry. On February 3 rd you stated that her daughter hasn’t met, uh, that you stated that Larvita McFarquhar stated that she was on campus to support her daughter and that her daughter has a medical condition that prevents her from wearing a mask. Did you make that statement?</i></p><p><i>A: If that’s written, I, yes, ma’am I did.</i></p><p><i>Q: Did you or did you not just say that you were not aware that Saphi had a medical condition, that she could not wear a face mask?</i></p><p><i>A: I, I alluded to the fact that I, I never saw documentation to that fact. I’ve only heard from you. Cross Examination of Mike Munford Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 33-34. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages</i></p><p><i>Page 8 of 14</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhtsBDdcXCXpUMa8fzFXBPYE2uHGqjTw19hrifWz9HyXuXf8hh0UuQH5U0l2pi8O9uJ3PrSV1l7nSRmj9KNM4pXWm9jdVHvXkuJ7SokeVymVEx-1BwId50kGzBFWGr1uILd-T2u7JzgtT1qGqBRJ7qX70jOedAoFs0qmJORxOPt5woIJf4oMEZmHmz8KQ/s1100/MunfordCmpt09.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhtsBDdcXCXpUMa8fzFXBPYE2uHGqjTw19hrifWz9HyXuXf8hh0UuQH5U0l2pi8O9uJ3PrSV1l7nSRmj9KNM4pXWm9jdVHvXkuJ7SokeVymVEx-1BwId50kGzBFWGr1uILd-T2u7JzgtT1qGqBRJ7qX70jOedAoFs0qmJORxOPt5woIJf4oMEZmHmz8KQ/w494-h640/MunfordCmpt09.jpg" width="494" /></a></div><br /><p><i><a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a> </i></p><p><i>10. Q: If you do not have, if you do not have the authority to deny or accept an exemption, how can you stop someone from enting-entering a building when they have an exemption?</i></p><p><i>GROSS: Objection, vague and--</i></p><p><i>THE COURT: On what authority did you stop them from entering the building?</i></p><p><i>A: Well, again, I go back to, and at the best I can answer your question is my initial conversation with you when you said you had an exemption, I, I encourage you to reach out to our disability services to, to, to make that known so they could have went through the proper paperwork and made that known to my office and my staff. I was going to give you an example, we have people-- Re-Cross Examination of Mike Munford. Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 40. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages https://publicaccess.courts.state.mn.us/DocumentSearch </i></p><p><i>11. Q: Good morning, Mr. Munford.</i></p><p><i>A: Good morning.</i></p><p><i>Q: Um, would you please state for the record what does your trespassing order state on there, please?</i></p><p><i>A: Can I look at it?</i></p><p><i>GROSS: Objection, Your Honor that’s not into evidence and he was not the author of that (inaudible) trespass.</i></p><p><i>MCFARQUHAR: Yes, he was. THE COURT: Well, l-let’s, did you write that trespass order?</i></p><p><i>MUNFORD: I, yes, I, I did, I did sign, I did sign it and I put the reason why.</i></p><p><i>THE COURT: Okay, and is it the trespass order that he issued, I want to make sure I understand the question, so I can evaluate the uh, objection, is it the trespass order that he issued to you telling you not to return to the property, is that what you’re referring to? (inaudible response)</i></p><p><i>THE COURT: Okay. Um, I’m going to allow the question.</i></p><p><i>A: Could you repeat your question, ma’am? Q: Would you please um, would you please, sorry, would you please tell me what is on the trespass order that you put down?</i></p><p><i>A: Yes, ma’am, I will. It says here, “Failure to wear protective mask as stipulated by SMSU.”</i></p><p><i>Q: Thank you. On uh, Febr-February 3rd when you came up to the, the school and then we went downstairs to talk for like 15 minutes, did we, did I or did I not tell you that I had an exemption and Saphi had an exemption, I had a binder that showed the constitution that mandate exemption, my doctor’s exemption, we talked about her continuing (inaudible).</i></p><p><i>A: I vaguely do remember your discussing that I, but I, I don’t recall ever seeing any paperwork.</i></p><p><i>Q: I gave the paperwork to SMSU personally (inaudible) it started and Saphi also um, carried around a binder that that she’ll clearly state that she had mask exemption, that she had followed the ADA, that the, and the constitution and the mandate that she carried around with her and she did, and I did take it and I showed it to you that day. Cross Examination of Mike Munford Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Pages 10-11. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a> </i></p><p><i>12. Q: So, when Saphi McFarquhar informed you that she has a disability that she has an exemption from her doctor, from her god, from the mandate itself, from the constitution herself, what did you tell her? GROSS: Objection, Your Honor, the disability status of someone other than Ms. McFarquhar would be irrelevant.</i></p><p><i>Page 9 of 14</i> <br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiKWsn1xxvy-pr_NAXDzlwyAnnaZXbNbFZ3iOF0eq4QurrexuTg-vZd5L9Cb3I1imMi-ffSLj5padfHkUKjdZBv6cnNdnbi7QoRd3KmSj_29i6qehMFRTK23o2itXIHLZl7nRBEIPconn4SwJ4vcloNwISpFmWjGKyqlA0Hb97oSChUWiarUhDCo00grQ/s1100/MunfordCmpt10.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiKWsn1xxvy-pr_NAXDzlwyAnnaZXbNbFZ3iOF0eq4QurrexuTg-vZd5L9Cb3I1imMi-ffSLj5padfHkUKjdZBv6cnNdnbi7QoRd3KmSj_29i6qehMFRTK23o2itXIHLZl7nRBEIPconn4SwJ4vcloNwISpFmWjGKyqlA0Hb97oSChUWiarUhDCo00grQ/w494-h640/MunfordCmpt10.jpg" width="494" /></a></div><br /><p><i>THE COURT: I mean, well I’m going to overrule the irrelevant one, um, was it presented to you that way?</i></p><p><i>MUNFORD: I don’t recall that, and if someone would have presented that to me, my first response would have been we have a disability service officer that I would, would have asked them to, to visit, to schedule an appointment um, because that’s something I don’t deal with uh, from my position. So, if someone has a uh, a disability, uh, uh, that would be what I would have instructed them to do connect with our disabilities office and, and, if they needed some type of uh, of, of uh, assistance or aid then they would have got it from that office. Cross Examination of Mike Munford Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 13. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>13. Q: Did you do all the things that you just said when she came to you and I came to you and said we had a disability?</i></p><p><i>A: I’m, I, I don’t recall. I don’t recall that. Cross Examination of Mike Munford Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 13-14. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>14. Q: Even after I had said to you that we have a disability over and over again, what we-was your comment</i></p><p><i>A: I don’t recall.</i></p><p><i>Q: Mask up.</i></p><p><i>A: Mask up. Cross Examination of Mike Munford Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 13-14. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a> </i></p><p><i>15. Q: Do you recall me mentioning uh, um, that my daughter has a disability?</i></p><p><i>A: I, yes, I do.</i></p><p><i>Q: Do you recall mention-me mentioning that my daughter has an exemption?</i></p><p><i>A: To, vaguely I do, but again, I go back to say my directions to you and your daughter at the time, and it would still be today, is that we have a um, disability service people that know those rules, those laws, that I asked you to uh, see, to go see, to make a scheudle with so we could take care of that.</i></p><p><i>Q: You just, before told me that you did not mention that, for me to go to the ADA rights counselor?</i></p><p><i>A: I, I don’t think that’s the case. I think I’ve always said my, my action would have been and, and would have been to ask you to see our disability services. </i></p><p><i>MCFARQUHAR: I object. Can I object?</i></p><p><i>THE COURT: Yeah, you disagree, I think is what you mean to say. Uh,-- </i></p><p><i>MCFARQUHAR: Yeah, because he just contradicted himself.</i></p><p><i>THE COURT: And the testimony what the testimony is. I’m taking notes.</i></p><p><i>MCFARQUHAR: Okay. Cross Examination of Mike Munford Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 31-32. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>14. Q: What do you recall after the sec-the second incident being upstairs, when the police were called? A: Oh, you’re talking about the second incident. I recall meeting you in the hallway with your daughter and, if I’m not mistaken, that was uh, someone from the media there, and-- </i></p><p><i>Page 10 of 14</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjuoLRLFaMhY3cbbn9C9c7ZYCAvt5RZQ0eKc8FK3eHzBluOo_iQQ6R0x6x_KEoVeCPF4n3DIykqrYYK23BDynac1_MQFbFLsnhnPuhqM0_h5swGcbuteACNPt6cPqn3pb81ttFOpF03CGKbMBaHTz8L8O2M1d-JN0oWQSSmvoVm3cQR4K-t3XwMtkyYCw/s1100/MunfordCmpt11.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjuoLRLFaMhY3cbbn9C9c7ZYCAvt5RZQ0eKc8FK3eHzBluOo_iQQ6R0x6x_KEoVeCPF4n3DIykqrYYK23BDynac1_MQFbFLsnhnPuhqM0_h5swGcbuteACNPt6cPqn3pb81ttFOpF03CGKbMBaHTz8L8O2M1d-JN0oWQSSmvoVm3cQR4K-t3XwMtkyYCw/w494-h640/MunfordCmpt11.jpg" width="494" /></a></div><p><i>Q: Abigail-- A: --are we talking about the same timeframe, I think?</i></p><p><i>Q: Yep, mm-hmm.</i></p><p><i>A: Um, in my converation was again to don the mask uh, for your daughter and for you it was that uh, to uh, that I called the police department to have you removed from campus, if I recall collectly, that was my course of action. Cross Examination of Mike Munford Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 17. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>15. Q: Were there any recordings made?</i></p><p><i>A: None that I’m aware of. Q: On your phone, when you took out your phone to record us, was it recording?</i></p><p><i>A: I think what you mea-what you’re talking about is pictures. We took pictures.</i></p><p><i>Q: You took pictures? Now you said I’m going to record you because you’re recording me?</i></p><p><i>A: We wasn’t recording and I don’t re-recall saying that. Cross Examination of Mike Munford Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 28. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>16. Q: Mr. Munford, did you provide L-the Court’s, Larvita McFarquhar with your pictures that you took on the date of 2/4?</i></p><p><i>GROSS: Objection, asked and answered, he’s, he indicated he did not take any.</i></p><p><i>THE COURT: Well,--</i></p><p><i>MCFARQUHAR: He said he took pictures. </i></p><p><i>GROSS: Or, that, that’s not relevant for him providing it to the Court.</i></p><p><i>THE COURT: Um, that’s true, it wouldn’t normally get provided to the Court, but I’ll allow the question, uh, did you provide those to the, Mr. Gross?</i></p><p><i>A: Um, I, I don’t recall, I don’t if he requested pictures from me or, or any of that, but I do have the pictures attached to the report that uh, that we made uh, that we provided at our, at our campus. So,--</i></p><p><i>Q: Who did you--</i></p><p><i>A: --the pictures we took that day, the pictures I’m re-referring to, the pictures we took to notify our staff that you had been trespassed. So, we’d have reference to that uh, that (inaudible).</i></p><p><i>Q: When were those pictures taken? A: It would have been on the, the, uh, the 3 rd or the 4 th --</i></p><p><i>Q: Who took--</i></p><p><i>A: --of February.</i></p><p><i>Q: --those pictures?</i></p><p><i>A: I think you said I did. I’m not, I don’t recall, but I know it was somebody from my department, whether I took ‘em or, or one of my staff members took ‘em, but it would have been by my authority that they were taken.</i></p><p><i>Q: Who else was there, from your staff on 2/4/21? A: I, I’m so sorry, I don’t recall that.</i></p><p><i>Q: Because I clearly in my data request, I asked for all evidence from SMSU to be given to me.</i></p><p><i>GROSS: Outside the scope of these proceedings, Your Honor.</i></p><p><i>THE COURT: Alright. Did you, did you see, when you came up to look at that, did you see the photographs?</i></p><p><i>MCFARQUHAR: No, I did not.</i></p><p><i>THE COURT: Okay. Do you want to see them?</i></p><p><i>MCFARQUHAR: Yes, I do.</i></p><p><i>Page 11 of 14</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiwyh3PUYnK90Q5rxsQtwdSSoI4t9uqyGe7KTYHsWXwCqCIn6oUtOrvuR2yoTii3iA2bmEvjn-dPgTBHp5pc9wM9_4YjLKgaJK-bjKHbu-_iq6si1CdmRtqViraZOictq7W6xVyE1YggzUD7DGSQwparPwBs2LeGmpYAU33MNvLBWEHBcD212qA5iNb2g/s1100/MunfordCmpt12.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiwyh3PUYnK90Q5rxsQtwdSSoI4t9uqyGe7KTYHsWXwCqCIn6oUtOrvuR2yoTii3iA2bmEvjn-dPgTBHp5pc9wM9_4YjLKgaJK-bjKHbu-_iq6si1CdmRtqViraZOictq7W6xVyE1YggzUD7DGSQwparPwBs2LeGmpYAU33MNvLBWEHBcD212qA5iNb2g/w494-h640/MunfordCmpt12.jpg" width="494" /></a></div><p><i>THE COURT: Uh, can you show the photographs to Ms. McFarquhar that are.</i></p><p><i>A: Now, this is, well--</i></p><p><i>THE COURT: Maybe my, maybe I misunderstood. You said you that you had the photos perhaps somewhere--</i></p><p><i>MUNFORD: We have photographs that I used in, in the office of the public safety department where it has her picture and the pictures of the other people that were trespassed, I’m sorry, I don’t have that on me, but that was an internal document for our office to refer back to trespass notice.</i></p><p><i>Q: Did you or did not clearly just state we did not take pictures? A: No ma’am, if I did I misspoke. I said we took pictures, but I didn’t take--</i></p><p><i>Q: I said you. GROSS: Asked and answered, Your Honor.</i></p><p><i>THE COURT: Yeah, he did answer the question--</i></p><p><i>MCFARQUHAR: He just contradicted himself.</i></p><p><i>THE COURT: --that it, uh, he, he a-as I recall the testimony and you can correct me if I’m wrong that either it was you, you don’t recall if it was you or it was somebody in your department--</i></p><p><i>MUNFORD: Yes. THE COURT: --but it was taken at your direction? MUNFORD: Yes. Cross Examination of Mike Munford Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 30-32. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>17. Q: So, who gave you the authority on the campus of SMSU?</i></p><p><i>A: The s-my employment is that I enforce the policies and procedures of the university that I run a comprehensive security department that, that uh, that uh, uh, is, is dedicated to the safety and the uh, further ation of life on our campus. Cross Examination of Mike Munford</i></p><p><i>Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 20. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a> </i></p><p><i>18. Q: Mr. Munford, you don’t make the policies for M-SMSU University, do you?</i></p><p><i>A: No, I do not.</i></p><p><i>Q: You just enforce them in your uh, role as the director of public safety? A: Yes, sir.</i></p><p><i>Q: You’re not the one that grants exclusions or exemptions from the mask policy?</i></p><p><i>A: That is correct, sir.</i></p><p><i>Q: And you’re not an expert on ADA matters or any other disability-- MCFARQUHAR: Objection--</i></p><p><i>Q: --or discrimination matters, is that correct?</i></p><p><i>A: That is correct.</i></p><p><i>THE COURT: W-We’ve established that already, go ahead.</i></p><p><i>Q: Um, and on February 3 rd or 4 th was Ms. McFarquhar exempted from the SMSU mask policy?</i></p><p><i>A: She, she was not exempt. Q: Okay. GROSS: No further questions, Your Honor. Re-Direct Examination of Mike Munford. Q: Matthew Gross, Marshall City Attorney. A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 39. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>19. Q: Do you have the authority to give Larvita McFarquhar an exemption?</i></p><p><i>Page 12 of 14</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhEZWDiuXfMp435VbJ9VUtZExzmmatVF1IYMB8yFR3frV_2UFx5vIV5X7u3ve7YvFJVV2jwSdWL8RFlC57lMYTKJvY0t9oJs647xp4VT8j3pKV7MCU09QmO0nX2ZdOfyyY_c_9FcMWIjov2A67BJJ-PeXc6XDyZyjQynnEoSkCB6St-sMOuEWN7IlqZAQ/s1100/MunfordCmpt13.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhEZWDiuXfMp435VbJ9VUtZExzmmatVF1IYMB8yFR3frV_2UFx5vIV5X7u3ve7YvFJVV2jwSdWL8RFlC57lMYTKJvY0t9oJs647xp4VT8j3pKV7MCU09QmO0nX2ZdOfyyY_c_9FcMWIjov2A67BJJ-PeXc6XDyZyjQynnEoSkCB6St-sMOuEWN7IlqZAQ/w494-h640/MunfordCmpt13.jpg" width="494" /></a></div><p><i>GROSS: Asked and answered, Your Honor.</i></p><p><i>THE COURT: Um, I’m going to allowed the question. Do you yourself have the authority to grant exemptions?</i></p><p><i>A: No, ma’am.</i></p><p><i>Q: Do you have the right to deny an exemption? </i></p><p><i>A: No, ma’am. Re-Cross Examination of Mike Munford. Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 39. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>20. THE COURT: We’re limited to those three (3) issues, uh, doesn’t make the policies, doesn’t grant or deny exceptions, and not a medical or disability expert on the ADA. So, on those issues uh, that you’re kind of limited on re-direct on those issues.</i></p><p><i>MCFARQUHAR: I’m sorry, can you repeat the three (3) issues?</i></p><p><i>THE COURT: That he doesn’t make the policies, uh, that he does not grant exemptions and or deny exemptions, I’ve let you ask that question, um, and that he’s not a medical or an ADA expert. Re- Cross Examination of Mike Munford. Q: Larvita Elena McFarquhar A: Mike Munford, Southwest Minnesota State University Director of Public Safety. Page 41. Partial Transcript Of Proceedings File No. 42-CR-21-98 Larvita Elena McFarquhar Court Trial May 4, 2022. Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 6/09/2022 Transcript 44 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>21. Non-violent disruptive demonstrations A. In the event that a demonstration blocks access to University facilities or interferes with the operation of the University: i. Demonstrators will be asked to terminate the disruptive activity by the Public Safety Director or his designee ii. The Director will consider having a photographer or video camera available for verification/documentation purposes and notify Marshall PD of the situation iii. Key University and student leaders will be asked to go to the area and persuade the demonstrators to desist iv. The President or his designee will go to the area and ask the demonstrators to leave or to discontinue the disruptive activities v. If the demonstrators persist in the disruptive activity, they will be appraised that failure to discontinue the specified action within a determined length of time may result in disciplinary action including suspension or expulsion and/or possible intervention by civil authorities vi. Efforts should be made to secure positive identification of demonstrators in violation to facilitate later testimony, including photos or video tape if advisable vii. After consultation with President’s cabinet and University legal counsel, the need for intervention of civil authorities will be determined viii. If intervention by civil authorities is deemed appropriate, the demonstrators should be informed. Upon arrival of the Marshall Police, the remaining demonstrators will be warned of the intention to arrest. Southwest Minnesota State University 600-12 Civil Disturbance or Demonstrations policy</i></p><p><i>22. Exhibits for Demand for Sanctions & Dismissal & Removal. 11/30/2021 Motion to Dismiss 79 pages 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a> Larvita McFarquhar: I don’t understand. When do people like you get involved when people are doing the wrong thing?</i></p><p><i>23. Demand for Sanctions & Dismissal. 09/15/2021 Correspondence 4 pages 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a> </i></p><p><i>24. Demand for Sanctions & Dismissal & Removal 11/30/2021 Motion to Dismiss 3 pages 42-CR-21- 98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a> </i></p><p><i>25. Formal criminal complaint. 12/06/2021 Other Document 6 pages Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar https://publicaccess.courts.state.mn.us/DocumentSearch 26. ICR# 21-17510. 12/06/2021 Other Document 1 page Case Number: 42-CR-21-98 Case Title:</i></p><p><i>Page 13 of 14</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhWkOfRCGiMafJTuiTuDbz3cae28UWi7vPXoPOhV4fTt2F2zRtOnEqaD8urg9QZkyPhFYFoEK3KaloTgizgGom757CTwpcIkWSHO0MSNduSKvhbRdjE6BEYQfbxAcYMt3Kl_NdmF3MU5o5Saxtp_OrMAlLkOZGeMirg4HLNrI6tGjSnW4iqz4m2wW-X-g/s1100/MunfordCmpt14.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhWkOfRCGiMafJTuiTuDbz3cae28UWi7vPXoPOhV4fTt2F2zRtOnEqaD8urg9QZkyPhFYFoEK3KaloTgizgGom757CTwpcIkWSHO0MSNduSKvhbRdjE6BEYQfbxAcYMt3Kl_NdmF3MU5o5Saxtp_OrMAlLkOZGeMirg4HLNrI6tGjSnW4iqz4m2wW-X-g/w494-h640/MunfordCmpt14.jpg" width="494" /></a></div><p><i>State of Minnesota vs Larvita Marie Elena McFarquhar <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a> </i></p><p><i>27. THE COURT: But, Ms. Hanson, you don't get to decide that you're the governor and you don't have to follow the rules that the rest of society has to follow. That's not your role. And if you think you have that role -- which you pretty well made it clear -- you got to understand the law applies to you; it applies to everybody equally. Page 13-14. State of Minnesota, Plaintiff, vs. Melissa Lynn Hanson, Defendant. Transcript Of Proceedings December 9, 2021 Sentencing Hearing Court File No. 24-CR- 21-137 Case Number: 24-CR-21-137 Case Title: State of Minnesota vs Melissa Lynn Hanson. 01/25/2022 Transcript 21 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>28. THE COURT: And you were making money so you could -- you could roll in the dough because the suckers down the street had closed their bar. You played them for the fool, didn't you? THE DEFENDANT: No, I did not. THE COURT: No. No. I'm not -- I'm not asking a response. Page 14. State of Minnesota, Plaintiff, vs. Melissa Lynn Hanson, Defendant. Transcript Of Proceedings December 9, 2021 Sentencing Hearing Court File No. 24-CR- 21-137 Case Title: State of Minnesota vs Melissa Lynn Hanson. 01/25/2022 Transcript 21 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>29. THE COURT: So, I mean, you kind of cut the line here, Ms. Hanson, in the sense that you wanted to decide how you were going to live your life. Agreed-upon rules of law are ignored in your world; you decide what you want to do, and then you're going to fight tooth and nail to explain yourself and justify your behaviors. You're going to criticize me; you have before, and you will in the future. Page 17. State of Minnesota, Plaintiff, vs. Melissa Lynn Hanson, Defendant. Transcript Of Proceedings December 9, 2021 Sentencing Hearing Court File No. 24-CR-21-137 Case Title: State of Minnesota vs Melissa Lynn Hanson. 01/25/2022 Transcript 21 pages <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>30. Lyon County Sheriff Eric Wallen: You see in Minnesota the whole. We are not constitutional sheriffs. We’re. Our position is established by state statute and and state laws in Minnesota. It’s not established by the constitution. The state of Minnesota could abolish the sheriff’s offices if they want. And just take the laws off the books. They’re not going to but they could. So were are not as you say constitutional sheriffs. Were not. We don’t get involved in those situations What other police departments do is they handle their own matters. And, if you do have issues with how they handle those matters that is why they have city councils and the mayor and city administrator and things like that. 11:10-11:57/39:59 <a href="https://rumble.com/v143w05-marshall-sheriff-states-i-do-not-follow-the-constitution..html">https://rumble.com/v143w05-marshall-sheriff-states-i-do-not-follow-the-constitution..html</a> Marshall Sheriff states "I do not follow the Constitution". LLarvita Published May 9, 2022 113 Views It shows Larvita McFarquhar trying to get the necessary evidence that she requested nearly a year ago and at the pre-trial hearing a week prior. Filmed on Tuesday, May 3, 2022</i></p><p><i>31. State Of Minnesota District Court Fifth Judicial District Criminal Division File Numberz42—CR-21- 98 County Of Lyon State of Minnesota, Affidavit of Service by Mail Plaintiff, vs. Larvita Maria Elena McFarquhar, Defendants, Erika L. Meulebroeck, being first sworn, says that on April 22, 2022, she served the attached following document(s): o DVD — 911 call on the following person by US mail: Larvita Maria Elena McFarquhar 106 E Railroad Street Lynd, MN 56157 Sworn/affirmed before me on: April 22, 2022. l... Meulebroeck, Affiant Ngtary Public Jessica Lynn Hennen Notary Public - Minnesota My Gmnmifiiw Expires Jan. 31. 2025 Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar 04/22/2022 Affidavit of Mailing 1 page Case Number: 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>32. Transcript for Appeal – Perjured Testimony. 05/27/2022 Other Document 14 pages. 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>33. Transcript for Appeal – Perjured Testimony. 05/23/2022 Other Document 7 pages. 42-CR-21-98 Case Title: State of Minnesota vs Larvita Marie Elena McFarquhar <a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a></i></p><p><i>Page 14 of 14</i></p><p>More to come ...</p><p>Related links:</p><p><a href="https://lionnews00.blogspot.com/2021/12/who-wants-copy-of-public-portion-of.html">Who Wants A Copy Of The Public Portion Of Larvita McFarquhar's ICR 21-17510 For Her Criminal Complaint Against City Of Marshall City Attorney Dennis Simpson, Assistant City Of Marshall City Attorney Matthew Gross And Director Of Public Safety Jim Marshall? Let's Submit A Chapter 13 Data Quest, Shall We? It's Still Rigged Case No. 42-CR-21-98 State Of Minnesota Vs Larvita Maria Elen Mcfarquhar, Isn't It?</a></p><p><a href="http://lionnews00.blogspot.com/2021/12/mcfarquhar-tosses-monkey-wrench-into.html">McFarquhar
Tosses A Monkey Wrench Into Rigged Case No. 42-CR-21-98 State Of
Minnesota Vs Larvita Maria Elen Mcfarquhar By Filing A Criminal
Complaint Against City Of Marshall City Attorney Dennis Simpson,
Assistant City Of Marshall City Attorney Matthew Gross And Director Of
Public Safety Jim Marshall? It's ICR 21-17510, Isn't It? 12-13-21
Pre-trial Gets Booted Way Way Way Back To 04-18-22?</a> </p><p><a href="https://lionnews00.blogspot.com/2021/09/demand-for-sanctions-dismissal-in-case.html">Demand
For Sanctions & Dismissal In Rigged Case No. 42-CR-21-98 State Of
Minnesota Vs Larvita Maria Elen Mcfarquhar? Nemmers' Intervention Puts
An End To Ridiculous "Sovereign Citizen" Paperwork AKA "Patriot
Paperwork"? Nemmers' Intervention Also Turns The Tables On The Corrupt
City Of Marshall and Corrupt Southwest Minnesota State University
(SMSU), Doesn't It?</a></p><p></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-22610998339332412952022-06-14T06:13:00.003-07:002022-06-14T06:16:13.875-07:00What Is The Status Of My Chapter 13 Data Request For ICR 22-005116 Data? Is Animal Humane Society Humane Agent Amanda Oquist Allowed To Impersonate A Peace Officer Or Government Officials In Hubbard County? How About Illegal Property Searches?<p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgAnxsHDVq9r1A2NuL_6kwh_fwbzWDvdIqQ8sQdofHxdNrRRmlEw9y09DXtNnV1NRDTpn5Ja_wA1-rIk_ORujLnDrZAtng74hTXiOTWCoOLuz2mQBUJ11lMbxglqPGAOFXP3bHJBXCUib06Tx-AgwH0-jWCkOakBsXKeVj1stWMgy__h-TL2gHZ3afEow/s1920/Archie_Oquist.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1080" data-original-width="1920" height="360" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgAnxsHDVq9r1A2NuL_6kwh_fwbzWDvdIqQ8sQdofHxdNrRRmlEw9y09DXtNnV1NRDTpn5Ja_wA1-rIk_ORujLnDrZAtng74hTXiOTWCoOLuz2mQBUJ11lMbxglqPGAOFXP3bHJBXCUib06Tx-AgwH0-jWCkOakBsXKeVj1stWMgy__h-TL2gHZ3afEow/w640-h360/Archie_Oquist.jpg" width="640" /></a></div><p></p><p><i>from: Lion News lionnews00@gmail.com<br />to: Troy Christenson troy.christenson@co.hubbard.mn.us>,<br />Cory Aukes caukes@co.hubbard.mn.us,<br />sparks@co.hubbard.mn.us,<br />jfrieden@co.hubbard.mn.us,<br />tchristenson@co.hubbard.mn.us<br />date: Jun 14, 2022, 8:07 AM<br />subject: What Is The Status Of My Chapter 13 Data Request For ICR 22-005116 Data? Is Animal Humane Society Humane Agent Amanda Oquist Allowed To Impersonate A Peace Officer Or Government Officials In Hubbard County? How About Illegal Property Searches?<br />mailed-by: gmail.com<br /></i></p><p><i>Cory Aukes, Hubbard Sheriff 218-732-3331 & Jonathan Frieden County Attorney 218-732-4133:</i></p><p><i>What is the status of my Chapter 13 Data Request for the public portion of the data created for ICR 22-005116? Why oh why does your Chief Deputy Scott Parks 218-732-2509 willfully refuse to return my phone calls? Why oh why does your Hubbard Co. Sgt Troy Christenson willfully refuse to ask the owner of the emaciated palomino gelding, Archie, if Animal Humane Society (AHS) Humane Agent Amanda Oquist was either impersonating a MN peace officer or a MN government official while on their property? Doesn't your Sgt Christenson want to ask Archie's owner if AHS Humane Agent Amanda Oquist flashed a business card that states "Enforcement"? Does your signed Hubbard County appointment/confidentiality agreement with AHS Humane Agent Amanda Oquist grant Oquist any law enforcement powers? If AHS Humane Agent Amanda Oquist obtained possession of Archie under false pretenses, then wouldn't that be a crime and therefore nullify any signed "Notice of Seizure" or "Declaration of Ownership and request for Hearing" or "Request for Hearing or Voluntary Surrender" form? Hmm? Inquiring minds want to know, don't they?</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. Did you want to see how many times your Sgt Christenson has been lurking and skulking on my blog, Lion News? See attached, okay?<br />P.S.S. Did you want a copy of the business card that AHS Humane Agent Amanda Oquist has been flashing around? You can see the word "enforcement" right on the business card, can't you?</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/609.475">https://www.revisor.mn.gov/statutes/cite/609.475</a>1 609.4751 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. Subd. 3.Felony. Whoever violates this section within five years of a previous violation of this section is guilty of a felony and may be sentenced to imprisonment for not more than two years or to payment of a fine of not more than $4,000, or both. History: 2017 c 95 art 3 s 14</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/609.475">https://www.revisor.mn.gov/statutes/cite/609.475</a> 609.475 IMPERSONATING A MILITARY SERVICE MEMBER, VETERAN, OR PUBLIC OFFICIAL. Whoever falsely impersonates an active or reserve component military service member, veteran, or public official with intent to wrongfully obtain money, property, or any other tangible benefit is guilty of a misdemeanor. History: 1963 c 753 art 1 s 609.475; 1971 c 23 s 49; 1986 c 444; 2017 c 95 art 3 s 13</i></p><p><i>False pretenses. (18c) The crime of knowingly obtaining title to another’s personal property by misrepresenting a fact with the intent to defraud. Page 678. Black's Law Dictionary, Standard Ninth Edition 9th Edition by Bryan A. Garner West; 9th edition (June 25, 2009).</i></p><p><i>Initial Search: https://www.google.com/ ISP: State Of Minnesota Platform / Resolution: Desktop / 1920x1080 IP Address: 156.99.241.125 — OS: Win10 Location: [United States] Park Rapids, Minnesota, United States Browser: Chrome 102.0 Host Name: (no host name found for 156.99.241.125) Total Sessions: 3 Total Visitors: 1 Navigation Paths Export Expand AllCollapse All Session #3 3 Page Views https://www.google.com/ Jun 6 03:00:24 PM Lion News https://www.google.com/ 03:00:24 PM Lion News https://www.google.com/ 03:00:24 PM Lion News Session #2 3 Page Views https://www.google.com/ May 31 09:59:28 AM Lion News https://www.google.com/ 09:59:28 AM Lion News https://www.google.com/ 09:59:28 AM Lion News Session #1 7m 34s 5 Page Views https://www.google.com/ May 30 02:30:13 PM Lion News https://www.google.com/ 02:30:13 PM Lion News https://www.google.com/ 02:30:13 PM Lion News lionnews00.blogspot.com/ 02:37:47 PM Lion News: Will Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To Impersonate A Peace Officer During The High-Profile Trial For Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth? It's ICR: 22-019955, Isn't It? Did Nemmers' Complaint Toss A Monkey Wrench Into Trial? Serg lionnews00.blogspot.com/ 02:37:47 PM Lion News: Will Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To Impersonate A Peace Officer During The High-Profile Trial For Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth? It's ICR: 22-019955, Isn't It? Did Nemmers' Complaint Toss A Monkey Wrench Into Trial? Serg</i></p><p><i>Tuesday, May 31, 2022 Is Minnesota Humane Society Humane Agent Amanda Oquist Impersonating A Peace Officer In Hubbard County? Is Minnesota Hooved Animal Rescue Foundation Executive Director Drew Fitzpatrick Trying An Animal Cruelty Case In The Court Of Public Opinion For Hubbard Co. Attorney Frieden And Sheriff Aukes? Let's Find Out, Shall We? It's ICR 22-005116, Isn't It?<br /><a href="http://lionnews00.blogspot.com/2022/05/is-minnesita-humane-society-humane.html">http://lionnews00.blogspot.com/2022/05/is-minnesita-humane-society-humane.html</a><br /></i></p><p><i>Wednesday, June 1, 2022 Who Wants To Request ICR 22-005116? Do You Want To Find Out If Minnesota Humane Society Humane Agent Amanda Oquist Was Impersonating A Peace Officer In Hubbard County? Do You Want To Find Out If Minnesota Hooved Animal Rescue Foundation Executive Director Drew Fitzpatrick Was Trying An Animal Cruelty Case In The Court Of Public Opinion For Hubbard Co. Attorney Frieden And Sheriff Aukes? Let's Find Out, Shall We? It's ICR 22-005116, Isn't It? FYI: Did You Know That Sgt Christenson Was Caught Lurking & Skulking On My Blog After Claiming He Wasn't Receiving My Emails?<br /><a href="http://lionnews00.blogspot.com/2022/06/who-want-to-request-icr-22-005116-do.html">http://lionnews00.blogspot.com/2022/06/who-want-to-request-icr-22-005116-do.html</a></i></p><p><i>Monday, June 6, 2022 Why Oh Why Doesn't Hubbard Co. Sgt Troy Christenson Want To Find Out The Name Of The Owner Of The Horse That Looks Like A Skeleton? Its That Really Really Really Skinny Horse That Is Referenced In ICR 22-005116, Isn't It? Is Sgt Christenson Afraid That Owner Will State That Minnesota Animal Humane Society Humane Investigator Amanda Oquist Was Impersonating A Peace Officer During The "Voluntary Surrender" Of "Archie" The Emaciated Horse?<br /><a href="http://lionnews00.blogspot.com/2022/06/why-oh-why-doesnt-hubbard-sgt-troy.html">http://lionnews00.blogspot.com/2022/06/why-oh-why-doesnt-hubbard-sgt-troy.html</a></i></p><p><i><a href="https://www.facebook.com/humanesocieties/about/?ref=page_internal">https://www.facebook.com/humanesocieties/about/?ref=page_internal</a> Minnesota Federated Humane Societies @humanesocieties · Nonprofit organization More info About MFHS is the only non-profit 501(c)3 organization authorized under Minnesota state statute to investigate reports of animal abuse, cruelty and neglect in all 87 counties.</i></p><p><i><a href="https://www.mnfedhs.org/our-story-and-mission.html">https://www.mnfedhs.org/our-story-and-mission.html</a> Minnesota Federated Humane Societies is the only animal welfare organization authorized under Minnesota statutes to train and appoint state agents in all Minnesota counties and to conduct investigations into cases of animal abuse and neglect across the state.</i></p><p><i>Q And you said that you were appointed agent for East Bethel; is that right?<br />A Yes.<br />Q That was - - and the official that appointed you was the city planner?<br />A Or a deputy planner. I don’t know her specific title, but she’s from the planning department is my understanding.<br />Q Who is that?<br />A I don't recall.<br />Q You said that, there would be a record of that on file: is that right?<br />A Yes.<br />MR, RICHMAN: Your Honor, I would ask that that be provided by the prosecutor, Ms. Nodes.<br />THE COURT: That's the rule of discovery in a criminal case that, she turns over everything she has. So, go ahead. Next question. A: Animal Humane Society Humane Agent Keith Streff Q: Robert Richman, attorney for defendant Lowell Friday. Page 50. 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.</i></p><p><i>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.<br />Q But that was sometime after August 29th?<br />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. 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.</i></p><p><i>Ms. Oquist stated that after she had left the residence, she contacted the second anonymous party to obtain more information. Ms. Oquist stated that according to the second anonymous party, JOHNSON has not been around the farm for some time. Ms. Oquist stated that the second anonymous party had also witnessed several dead cows on the property. Ms. Oquist stated that according to the second anonymous party there were also dead cows behind the wall in the shed. Ms. Oquist stated that she was currently on her way to JOHNSON’s residence. Ms. Oquist stated that she planned to make sure the cows from the barn had been removed and that the cows outside had food and water. Ms. Oquist stated that she was also planning on checking the shed, where there was supposed to be other dead cows and the hole where JOHNSON had laced told her he had placed dead cows. Ms. Oquist stated that if at any time she needed assistance, she would contact the Sheriff’s Office. A short time later, Ms. Oquist called me back and stated that all of the cows had been removed from the property. Ms. Oquist stated that she had also observed another dead cow in a shed, located near the house. Ms. Oquist stated that as far as she could tell, none of the carcasses had been property disposed of. Ms. Oquist stated that she had left information for JOHNSON, pertaining to carcass removal and left the residence. Kanabec County Sheriff Incident Report Number: 19-00578 Incident Location: 2534 250th AVE, Brook Park , MN 55007 Incident Date: 01/15/2019 Reporting Officer)s: Miller, Bailey H. Payroll Number: 3130<br />Zeb Jeremiah Johnson, Date of Birth: 12/30/1992 Citation Number: 330000024189<br /></i></p><p><i>NARRATIVE Evidence: Photographs Vet Documents On October 28, 2019 at approximately 1433 hours, an anonymous party called Kanabec County Dispatch and requested to speak with a Deputy regarding animal neglect at the address 2021 280th Avenue. The anonymous party stated that SAM WILLIAM STROM (DOB 07/22/1991) and ALYSSA KATHLEEN STROM (DOB 08/07/1991) were not feeding their animals. … The following day, Ms. Oquist contacted me. Ms. Oquist advised that she had gone to the property and also observed the condition of the horses. Ms. Oquist stated that she convinced SAM and ALYSSA to surrender the emaciated horse, because she felt that it was near death. Ms. Oquist advised that she told SAM and ALYSSA that she would help them and make sure the other horses got healthy. Ms. Oquist advised that she had gotten a horse trailer and went back to the residence. Ms. Oquist advised that she then tried to walk the horse to the trailer, but it was so weak, that it was unable to walk and laid down. Ms. Oquist advised that the horse had to be put onto a tarp and then drug into the trailer. Ms. Oquist advised at that time, she was not sure if the horse would survive the trip to the Veterinarian in the cities. Ms. Oquist advised that the horse did survive the trip, but it was so weak, they had to drag it from the trailer. Ms. Oquist advised that she would contact me when more information became available. On November 5, I contacted Ms. Oquist, inquiring about the horse. Ms. Oquist advised that the horse had died on October 31 and a necropsy would be performed. Ms. Oquist advised that she would be forwarding me a copy of her report. Kanabec County Sheriff Incident Report Number: 19-011644. Incident Date: 10/28/19. Reporting Officer)s: Miller, Bailey H. Payroll Number: 3130 Report Date: 11/09/2019</i></p><p><i>NARRATIVE On December 18, 2019 I received an email from Amanda Oquist, who is an Investigator for the Minnesota Animal Humane Society. Included in the email was Ms. Oquist’s report, regarding the horse “Duke” that belonged to SAM WILLIAM STROM (DOB 07/22/1991) and ALYSSA KATHLEEN STROM (DOB 08/07/1991). Along with the report was a copy of the write up from the Veterinarian from Anoka Equine Veterinarian Services, the necropsy report, the bill from the Anoka Equine Veterinarian Services bill and the bill from the University of Minnesota, which performed the necropsy. Kanabec County Sheriff Incident Report Number: 19-011644. Incident Date: 10/28/19. Reporting Officer)s: Miller, Bailey H. Payroll Number: 3130 Report Date: 01/09/2020</i></p><p><i>Attachment: 156.99.241.125_HCSO_Lion News_Statcounter060622_304pm.pdf<br /></i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgoIW4nM9mllOk-iTXFsSryHFxGEiQ3IROOIIdw_QeGAkDUsdKScQy5Al3ywVYHs4vYOK-zj6B6i_4W-JWlh2-puG_jtIDNR9OQZOWxZnfrXC9BYji6Bd1jGpWO1cqVV73PRqWTlqusI5CH5fGkY_RHLvm0-MayHYg_at6h3jGnKJ8s-Us4Yci1l6St1A/s816/ICR_22-005116b.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="612" data-original-width="816" height="480" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgoIW4nM9mllOk-iTXFsSryHFxGEiQ3IROOIIdw_QeGAkDUsdKScQy5Al3ywVYHs4vYOK-zj6B6i_4W-JWlh2-puG_jtIDNR9OQZOWxZnfrXC9BYji6Bd1jGpWO1cqVV73PRqWTlqusI5CH5fGkY_RHLvm0-MayHYg_at6h3jGnKJ8s-Us4Yci1l6St1A/w640-h480/ICR_22-005116b.jpg" width="640" /></a></div><br /><p></p><p>More to come ...</p><p>Related links:</p><p><a href="http://lionnews00.blogspot.com/2022/06/why-oh-why-doesnt-hubbard-sgt-troy.html">Why Oh Why Doesn't Hubbard Co. Sgt Troy Christenson Want To Find Out The Name Of The Owner Of The Horse That Looks Like A Skeleton? Its That Really Really Really Skinny Horse That Is Referenced In ICR 22-005116, Isn't It? Is Sgt Christenson Afraid That Owner Will State That Minnesota Animal Humane Society Humane Investigator Amanda Oquist Was Impersonating A Peace Officer During The "Voluntary Surrender" Of "Archie" The Emaciated Horse?</a></p><p><a href="http://lionnews00.blogspot.com/2022/06/who-want-to-request-icr-22-005116-do.html">Who
Wants To Request ICR 22-005116? Do You Want To Find Out If Minnesota
Humane Society Humane Agent Amanda Oquist Was Impersonating A Peace
Officer In Hubbard County? Do You Want To Find Out If Minnesota Hooved
Animal Rescue Foundation Executive Director Drew Fitzpatrick Was Trying
An Animal Cruelty Case In The Court Of Public Opinion For Hubbard Co.
Attorney Frieden And Sheriff Aukes? Let's Find Out, Shall We? It's ICR
22-005116, Isn't It? FYI: Did You Know That Sgt Christenson Was Caught
Lurking & Skulking On My Blog After Claiming He Wasn't Receiving My
Emails?</a></p><p><a href="http://lionnews00.blogspot.com/2022/05/is-minnesita-humane-society-humane.html">Is
Minnesota Humane Society Humane Agent Amanda Oquist Impersonating A
Peace Officer In Hubbard County? Is Minnesota Hooved Animal Rescue
Foundation Executive Director Drew Fitzpatrick Trying An Animal Cruelty
Case In The Court Of Public Opinion For Hubbard Co. Attorney Frieden And
Sheriff Aukes? Let's Find Out, Shall We? It's ICR 22-005116, Isn't It?</a></p><p><a href="http://lionnews00.blogspot.com/2022/05/will-minnesota-humane-society-humane.html">Will
Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To
Impersonate A Peace Officer During The High-Profile Trial For Case No.
13-CR-19-1031 State of Minnesota vs Carmen Marie Burth? It's ICR:
22-019955, Isn't It? Did Nemmers' Complaint Toss A Monkey Wrench Into
Trial? Sergeant Berg Says Trial Continued But No New Trial Date Set?</a></p><p><a href="https://lionnews00.blogspot.com/2021/08/who-wants-to-toss-monkey-wrench-into.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/08/transcripts-for-case-no-46-cv-19-1224.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/06/lets-ask-joseph-gangi-attorney-for.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/05/lets-ask-martin-county-sheriff.html">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?</a> <br /></p><a href="http://lionnews00.blogspot.com/2021/05/armed-minnesota-animal-humane-society.html">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</a> <br />Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-65073541039698746842022-06-06T11:09:00.008-07:002022-06-06T12:59:27.273-07:00Why Oh Why Doesn't Hubbard Co. Sgt Troy Christenson Want To Find Out The Name Of The Owner Of The Horse That Looks Like A Skeleton? Its That Really Really Really Skinny Horse That Is Referenced In ICR 22-005116, Isn't It? Is Sgt Christenson Afraid That Owner Will State That Minnesota Animal Humane Society Humane Investigator Amanda Oquist Was Impersonating A Peace Officer During The "Voluntary Surrender" Of "Archie" The Emaciated Horse?<p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhaipD6jOD7Yxfmlj6p3oI5tHTpIpZYBeGpvvmTROXvN7bcoyS14PjKoqyqODnvE02b6FD20AHZJNTtDCaE2LNN3V3I2GxJ5BL-34bbm8IMkb3UPK0rxFQlIKl3jmmUlp6LJbsy1qVjyFUQ7Ui3Gbi5CpRptlBBwzGud1KTZfn9NmXhyabBOzw1YGy-4A/s1920/Archie_Oquist.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1080" data-original-width="1920" height="360" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhaipD6jOD7Yxfmlj6p3oI5tHTpIpZYBeGpvvmTROXvN7bcoyS14PjKoqyqODnvE02b6FD20AHZJNTtDCaE2LNN3V3I2GxJ5BL-34bbm8IMkb3UPK0rxFQlIKl3jmmUlp6LJbsy1qVjyFUQ7Ui3Gbi5CpRptlBBwzGud1KTZfn9NmXhyabBOzw1YGy-4A/w640-h360/Archie_Oquist.jpg" width="640" /></a></div><p></p><i>from: Troy Christenson troy.christenson@co.hubbard.mn.us<br />to: "lionnews00@gmail.com" lionnews00@gmail.com<br />date: Jun 6, 2022, 12:10 PM<br />subject: authority<br />security: Standard encryption (TLS) Learn more<br />: Important according to Google magic.</i><p></p><p><i>Terry,<br />MN Humane Society has authority under the attached Statute 343.01.<br /> <br /> <br />343.01 PURPOSES; POWERS; COUNTY ORGANIZATION.<br />Subdivision 1.Formation authorized.<br /> <br />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.<br />§<br />Subd. 1a.Minnesota Humane Society; continuation confirmed.<br /> <br />The Minnesota Humane Society, also known as the Minnesota Society for the Prevention of Cruelty, is confirmed and continued as a nonprofit organization under chapter 317A.<br />As you can see the federation as you are referring to gets its authority under 317A and so does the Minnesota Humane society. If you continue to read it articulates how the society must be governed with a board and thus meets the statutory powers.<br /> <br />Any further questions please email or call.<br /> <br />Thanks, Troy <br /> <br />Sgt. Troy Christenson<br />Hubbard County Sheriff’s Office<br />301 Court Ave<br />Park Rapids, MN 56470<br />Direct Line: 218-732-2595<br />Cell: 218-252-6889<br />troy.christenson@co.hubbard.mn.us<br /> <br />This electronic mail and any attached documents are intended solely for the named addressee(s) and contain confidential information. If you are not an addressee, or responsible for delivering this email to an addressee, you have received this email in error and are notified that reading, copying, or disclosing this email is prohibited. If you received this email in error, immediately reply to the sender and delete the message completely from your computer system.</i></p><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjL787bqY9nxttPjUNeP_6V7n-FPrMn_QW51LedzhHuDvE8v2zrh-dZDjFy_5QRq92P-MW3YhVY91MyjJBsvnxoWHnncaTl4j10bZv20uIS4PBT2DfNef79p-4aHW0rhOmMVqOcSjzi--9dMf-XlZSJEqX3SbgOw_W1FUsZqpe2FsItt_hd6EL1FhDihA/s816/ICR_22-005116b.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="612" data-original-width="816" height="480" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjL787bqY9nxttPjUNeP_6V7n-FPrMn_QW51LedzhHuDvE8v2zrh-dZDjFy_5QRq92P-MW3YhVY91MyjJBsvnxoWHnncaTl4j10bZv20uIS4PBT2DfNef79p-4aHW0rhOmMVqOcSjzi--9dMf-XlZSJEqX3SbgOw_W1FUsZqpe2FsItt_hd6EL1FhDihA/w640-h480/ICR_22-005116b.jpg" width="640" /></a></div><p><i>from: Lion News lionnews00@gmail.com<br />to: Troy Christenson troy.christenson@co.hubbard.mn.us,<br />Cory Aukes caukes@co.hubbard.mn.us,<br />sparks@co.hubbard.mn.us,<br />jfrieden@co.hubbard.mn.us<br />date: Jun 6, 2022, 12:29 PM<br />subject: Re: authority<br />mailed-by: gmail.com</i></p><p><i>Troy Christenson, Sergeant 218-252-6889:</i></p><p><i>Thank you for resending me the information that I have previously sent you. And again I point you to the word "appointed." Which is why the defense attorney was asking Minnesota Animal Humane Society Humane Agent for his signed appointment. Also I included to references where Minnesota Federated Humane Societiesthey state that they are the only nonprofit allowed to investigate animal cruelty case per statute.</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. You know I missed a Zoom hearing because of all the rounds and rounds you created?</i></p><p><i><a href="https://www.facebook.com/humanesocieties/about/?ref=page_internal">https://www.facebook.com/humanesocieties/about/?ref=page_internal</a> Minnesota Federated Humane Societies @humanesocieties · Nonprofit organization More info About MFHS is the only non-profit 501(c)3 organization authorized under Minnesota state statute to investigate reports of animal abuse, cruelty and neglect in all 87 counties.</i></p><p><i><a href="https://www.mnfedhs.org/our-story-and-mission.html">https://www.mnfedhs.org/our-story-and-mission.html</a> Minnesota Federated Humane Societies is the only animal welfare organization authorized under Minnesota statutes to train and appoint state agents in all Minnesota counties and to conduct investigations into cases of animal abuse and neglect across the state.</i></p><p><i>Q And you said that you were appointed agent for East Bethel; is that right?<br />A Yes.<br />Q That was - - and the official that appointed you was the city planner?<br />A Or a deputy planner. I don’t know her specific title, but she’s from the planning department is my understanding.<br />Q Who is that?<br />A I don't recall.<br />Q You said that, there would be a record of that on file: is that right?<br />A Yes.<br />MR, RICHMAN: Your Honor, I would ask that that be provided by the prosecutor, Ms. Nodes.<br />THE COURT: That's the rule of discovery in a criminal case that, she turns over everything she has. So, go ahead. Next question. A: Animal Humane Society Humane Agent Keith Streff Q: Robert Richman, attorney for defendant Lowell Friday. Page 50. 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.</i></p><p><i>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.<br />Q But that was sometime after August 29th?<br />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. 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.</i></p><p><i>Who Wants To Request ICR 22-005116? Do You Want To Find Out If Minnesota Humane Society Humane Agent Amanda Oquist Was Impersonating A Peace Officer In Hubbard County? Do You Want To Find Out If Minnesota Hooved Animal Rescue Foundation Executive Director Drew Fitzpatrick Was Trying An Animal Cruelty Case In The Court Of Public Opinion For Hubbard Co. Attorney Frieden And Sheriff Aukes? Let's Find Out, Shall We? It's ICR 22-005116, Isn't It? FYI: Did You Know That Sgt Christenson Was Caught Lurking & Skulking On My Blog After Claiming He Wasn't Receiving My Emails? <a href="http://lionnews00.blogspot.com/2022/06/who-want-to-request-icr-22-005116-do.html">http://lionnews00.blogspot.com/2022/06/who-want-to-request-icr-22-005116-do.html</a></i><br /></p><p>More to come ...</p><p>Related Links:</p><p><a href="http://lionnews00.blogspot.com/2022/06/who-want-to-request-icr-22-005116-do.html">Who Wants To Request ICR 22-005116? Do You Want To Find Out If Minnesota Humane Society Humane Agent Amanda Oquist Was Impersonating A Peace Officer In Hubbard County? Do You Want To Find Out If Minnesota Hooved Animal Rescue Foundation Executive Director Drew Fitzpatrick Was Trying An Animal Cruelty Case In The Court Of Public Opinion For Hubbard Co. Attorney Frieden And Sheriff Aukes? Let's Find Out, Shall We? It's ICR 22-005116, Isn't It? FYI: Did You Know That Sgt Christenson Was Caught Lurking & Skulking On My Blog After Claiming He Wasn't Receiving My Emails?</a></p><p><a href="http://lionnews00.blogspot.com/2022/05/is-minnesita-humane-society-humane.html">Is
Minnesota Humane Society Humane Agent Amanda Oquist Impersonating A
Peace Officer In Hubbard County? Is Minnesota Hooved Animal Rescue
Foundation Executive Director Drew Fitzpatrick Trying An Animal Cruelty
Case In The Court Of Public Opinion For Hubbard Co. Attorney Frieden And
Sheriff Aukes? Let's Find Out, Shall We? It's ICR 22-005116, Isn't It?</a></p><p><a href="http://lionnews00.blogspot.com/2022/05/will-minnesota-humane-society-humane.html">Will
Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To
Impersonate A Peace Officer During The High-Profile Trial For Case No.
13-CR-19-1031 State of Minnesota vs Carmen Marie Burth? It's ICR:
22-019955, Isn't It? Did Nemmers' Complaint Toss A Monkey Wrench Into
Trial? Sergeant Berg Says Trial Continued But No New Trial Date Set?</a></p><p><a href="https://lionnews00.blogspot.com/2021/08/who-wants-to-toss-monkey-wrench-into.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/08/transcripts-for-case-no-46-cv-19-1224.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/06/lets-ask-joseph-gangi-attorney-for.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/05/lets-ask-martin-county-sheriff.html">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?</a> <br /></p><a href="http://lionnews00.blogspot.com/2021/05/armed-minnesota-animal-humane-society.html">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</a><p></p><p> </p><p><br /></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-33134329480682422312022-06-01T09:45:00.011-07:002022-06-03T07:01:25.068-07:00Who Wants To Request ICR 22-005116? Do You Want To Find Out If Minnesota Humane Society Humane Agent Amanda Oquist Was Impersonating A Peace Officer In Hubbard County? Do You Want To Find Out If Minnesota Hooved Animal Rescue Foundation Executive Director Drew Fitzpatrick Was Trying An Animal Cruelty Case In The Court Of Public Opinion For Hubbard Co. Attorney Frieden And Sheriff Aukes? Let's Find Out, Shall We? It's ICR 22-005116, Isn't It? FYI: Did You Know That Sgt Christenson Was Caught Lurking & Skulking On My Blog After Claiming He Wasn't Receiving My Emails?<p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjFOiG9Gn971Qbnn5Ob8HrpPmNrP6ZBsWBslz82i4YfLG6or9_0Y4DJQdmM1AXZkN1zwMmJB7MQyl-HoSSZH4Sug_AgIgbuclDqXpXsbZAy6kaaR87tXK6PCzPm6dA6Hfce7nZNAtXqVg2HwjJZxCh05UcsDJ629hWG5HpSo4hkfQrJr13Y1g6XVoanWA/s816/ICR_22-005116a.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="612" data-original-width="816" height="480" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjFOiG9Gn971Qbnn5Ob8HrpPmNrP6ZBsWBslz82i4YfLG6or9_0Y4DJQdmM1AXZkN1zwMmJB7MQyl-HoSSZH4Sug_AgIgbuclDqXpXsbZAy6kaaR87tXK6PCzPm6dA6Hfce7nZNAtXqVg2HwjJZxCh05UcsDJ629hWG5HpSo4hkfQrJr13Y1g6XVoanWA/w640-h480/ICR_22-005116a.jpg" width="640" /></a></div><p></p><p><i>from: Lion News lionnews00@gmail.com<br />to: Cory Aukes caukes@co.hubbard.mn.us,<br />sparks@co.hubbard.mn.us,<br />jfrieden@co.hubbard.mn.us<br />date: Jun 1, 2022, 8:43 AM<br />subject: Chapter 13 Data Request For ICR 22-005116<br />mailed-by: gmail.com</i></p><p><i>Cory Aukes, Hubbard Sheriff 218-732-3331 & Jonathan Frieden County Attorney 218-732-4133:</i></p><p><i>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:<br />1. Public portion of ICR 22-005116.</i></p><p><i>I've attached proof that your Sgt Christenson was on my blog, Lion New, on both 05-30-22 and 05-31-22, haven't I? See attached, okay? Oh, FYI this Chapter 13 Data Request will be posted on my blog before the end of business today, won't it?</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. Has your Sgt Christenson sought treatment for his tunnel vision?<br />P.S.S. Did you know that your Sgt Christenson's anecdotes about Minnesota Humane Agent Wade Hanson and Amanda Oquist seem to defy logic and were strangely incompatible with other evidence?</i></p><p><i><a href="https://www.youtube.com/watch?v=23RWmsDBFzM&t=18s">https://www.youtube.com/watch?v=23RWmsDBFzM&t=18s</a> Lion News: Hubbard County Attorney Frieden Harasses Nemmers Over Sheriff Aukes’ Fraudulent Bill? 133 views Jul 14, 2021 http://lionnews00.blogspot.com/ Lion News: Hubbard County Attorney Frieden Harasses Nemmers Over Sheriff Aukes’ Fraudulent Bill?</i></p><p><i>When can I get a copy of the investigative report? Investigation ongoing If the law enforcement agency is still investigating the crime, members of the public will not be able to get a copy of the report. They can, however, get what’s often referred to as the public portion of the report containing basic information about the case that is classified as public. How Do I Get A Copy Of My Police Report? Information For Crime Victims Who Want To Make A Request For Law Enforcement Data. Crime Victim Justice Unit – Office of Justice Programs – Minnesota Department of Public Safety. How-Do-I-Get-a-Copy-of-My-Police-Report.pdf <a href="https://www.mncasa.org/wp-content/uploads/2018/08/How-Do-I-Get-a-Copy-of-My-Police-Report.pdf">https://www.mncasa.org/wp-content/uploads/2018/08/How-Do-I-Get-a-Copy-of-My-Police-Report.pdf</a></i></p><p><i>Tunnel vision may have already led investigators at this point to prematurely but confidently conclude that the innocent suspect is guilty. Confirmation bias then leads investigators to seek out information and evidence that affirms this belief and to reject or discount information and evidence that does not. Richard A. Leo, Police Interrogation and American Justice, (Cambridge: 2008), Page 264.</i></p><p><i>The witness will appear dishonest in one of three ways – either the testimony will be illogical, internally inconsistent or incompatible with other evidence. George R. Dekle, Sr, Prosecution Principles: A Clinical Handbook (Thompson/West:2007), Page 166.</i></p><p><i>Q And you said that you were appointed agent for East Bethel; is that right?<br />A Yes.<br />Q That was - - and the official that appointed you was the city planner?<br />A Or a deputy planner. I don’t know her specific title, but she’s from the planning department is my understanding.<br />Q Who is that?<br />A I don't recall.<br />Q You said that, there would be a record of that on file: is that right?<br />A Yes.<br />MR, RICHMAN: Your Honor, I would ask that that be provided by the prosecutor, Ms. Nodes.<br />THE COURT: That's the rule of discovery in a criminal case that, she turns over everything she has. So, go ahead. Next question. A: Animal Humane Society Humane Agent Keith Streff Q: Robert Richman, attorney for defendant Lowell Friday. Page 50. 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.</i></p><p><i>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.<br />Q But that was sometime after August 29th?<br />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. 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.</i></p><p><i>Is Minnesota Humane Society Humane Agent Amanda Oquist Impersonating A Peace Officer In Hubbard County? Is Minnesota Hooved Animal Rescue Foundation Executive Director Drew Fitzpatrick Trying An Animal Cruelty Case In The Court Of Public Opinion For Hubbard Co. Attorney Frieden And Sheriff Aukes? Let's Find Out, Shall We? It's ICR 22-005116, Isn't It? <a href="http://lionnews00.blogspot.com/2022/05/is-minnesita-humane-society-humane.html">http://lionnews00.blogspot.com/2022/05/is-minnesita-humane-society-humane.html</a></i></p><p><i>Will Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To Impersonate A Peace Officer During The High-Profile Trial For Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth? It's ICR: 22-019955, Isn't It? Did Nemmers' Complaint Toss A Monkey Wrench Into Trial? Sergeant Berg Says Trial Continued But No New Trial Date Set? <a href="http://lionnews00.blogspot.com/2022/05/will-minnesota-humane-society-humane.html">http://lionnews00.blogspot.com/2022/05/will-minnesota-humane-society-humane.html</a> Attachments<br /></i></p><p><i>Attachments: 156.99.241.125_HCSO_Lion News_Statcounter053022_723pm.pdf, 156.99.241.125_HCSO_Lion News_Statcounter053122_1009am.pdf</i><br /></p><p>More to come ...</p><p>Related Links: <br /></p><p><a href="http://lionnews00.blogspot.com/2022/05/is-minnesita-humane-society-humane.html">Is Minnesota Humane Society Humane Agent Amanda Oquist Impersonating A Peace Officer In Hubbard County? Is Minnesota Hooved Animal Rescue Foundation Executive Director Drew Fitzpatrick Trying An Animal Cruelty Case In The Court Of Public Opinion For Hubbard Co. Attorney Frieden And Sheriff Aukes? Let's Find Out, Shall We? It's ICR 22-005116, Isn't It?</a><br /></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-14703179985204484862022-05-31T05:13:00.012-07:002022-05-31T05:41:46.302-07:00Is Minnesota Humane Society Humane Agent Amanda Oquist Impersonating A Peace Officer In Hubbard County? Is Minnesota Hooved Animal Rescue Foundation Executive Director Drew Fitzpatrick Trying An Animal Cruelty Case In The Court Of Public Opinion For Hubbard Co. Attorney Frieden And Sheriff Aukes? Let's Find Out, Shall We? It's ICR 22-005116, Isn't It?<div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgaev1Bi_bdutu2lzVsv2qjaRoYMVyQN2cVumccCSWbAwwGgZoFkSGVbYckLs-kyVJPeefHIsHLY8Ov0ZLIiBMU7DlwbDLY9uNdBLXCFun0C0A4ugIMpvY4YiLLBcqDruF26CxDyt7JlFxmzp4Pu4Wmq5mRTUCXv4yNUt272ldiiuN66RocMnemyONQZw/s816/ICR_22-005116a.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="612" data-original-width="816" height="480" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgaev1Bi_bdutu2lzVsv2qjaRoYMVyQN2cVumccCSWbAwwGgZoFkSGVbYckLs-kyVJPeefHIsHLY8Ov0ZLIiBMU7DlwbDLY9uNdBLXCFun0C0A4ugIMpvY4YiLLBcqDruF26CxDyt7JlFxmzp4Pu4Wmq5mRTUCXv4yNUt272ldiiuN66RocMnemyONQZw/w640-h480/ICR_22-005116a.jpg" width="640" /></a></div><p></p><p><i>from: Lion News lionnews00@gmail.com<br />to: Cory Aukes caukes@co.hubbard.mn.us,<br />sparks@co.hubbard.mn.us,<br />jfrieden@co.hubbard.mn.us,<br />tchristenson@co.hubbard.mn.us<br />date: May 30, 2022, 11:11 AM<br />subject: Animal Humane Society Humane Agent Amanda Oquist Impersonating A Peace Officer And Potential Witness Drew Fitzpatrick Of Minnesota Hooved Animal Rescue Foundation Trying Potential Cases In Court Of Public Opinion<br />mailed-by: gmail.com</i></p><p><i>Troy Christenson, Sergeant Sheriff Firearms Instructor ERU Team 218-732-2276 Badge: 5110</i></p><p><i>Here is the information that we discussed on the phone.</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i><a href="https://www.youtube.com/watch?v=23RWmsDBFzM&t=18s">https://www.youtube.com/watch?v=23RWmsDBFzM&t=18s</a> Lion News: Hubbard County Attorney Frieden Harasses Nemmers Over Sheriff Aukes’ Fraudulent Bill? 131 views Jul 14, 2021 http://lionnews00.blogspot.com/ Lion News: Hubbard County Attorney Frieden Harasses Nemmers Over Sheriff Aukes’ Fraudulent Bill?<br /></i></p><p><i>05/23/2022 CANCELED Jury Trial (9:00 AM) (Judicial Officer Dowdal, Bridgid E.) Other Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth 05/23/2022 Jury Trial (9:00 AM) (Judicial Officer Dowdal, Bridgid E.)</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/609.4751">https://www.revisor.mn.gov/statutes/cite/609.4751</a> 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</i></p><p><i><a href="https://www.revisor.mn.gov/court_rules/pr/subtype/cond/id/3.8/">https://www.revisor.mn.gov/court_rules/pr/subtype/cond/id/3.8/</a> Minnesota Court Rules Professional Rules Minnesota Rules of Professional Conduct Rule 3.8 Special Responsibilities of a Prosecutor (f) exercise reasonable care to prevent employees or other persons assisting or associated with the prosecutor in a criminal case and over whom the prosecutor has direct control from making an extrajudicial statement that the prosecutor would be prohibited from making under Rule 3.6.</i></p><p><i>Incident Report Number: 19-010579 3675 Hemingway AVE; NB ANIMAL-Neglect/Abuse (AMNIMNEG) Report Date: 11/18/2019 North Branch Police Department Date: 12/29/2019 14:50:37 Unit: 517 Notes: CM works with Animal Humane Society as an animal humane investigator. CM reported that she received complaint beginning of Sept regarding some under fed horses at a property in North Branch. CM went to check on the animals and found 1 horse down and unable to get up. Horse would later be put down. Over several additional visits the animals were monitored. Body conditions improved for a couple of weeks and have deteriorated according to the animal investigator. No evidence that A/O is providing adequate food and care for the animals.</i></p><p><i>During the investigation, affiant spoke with Agent Amanda Oquist several times. Affiant learned that Amanda Oquist is a Humane Agent at the Animal Humane Society. Previously Agent Oquist was a licensed peace officer in the state of Missouri and Minnesota for a combined total of 15 years of experience in law enforcement. Agent Oquist has previous experience investigating horse welfare cases when a licensed officer. Agent Oquist has been an active horse owner her entire life. State of Minnesota, County of Chisago District Court Application for Search Warrant. Applicant: Todd Frank, North Branch Police department. Page 2 of 7.</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/343.01">https://www.revisor.mn.gov/statutes/cite/343.01</a> 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.</i></p><p><i>Humane Investigations.MN Humane Society.pdf - Dodge ... https://www.co.dodge.mn.us › … <a href="https://www.co.dodge.mn.us/Humane%20Investigations.MN%20Humane%20Society.pdf">https://www.co.dodge.mn.us/Humane%20Investigations.MN%20Humane%20Society.pdf</a> PDF animal welfare industry. SINCE. 1878. Humane Agent. Keith Streff. Humane Agent. Ashley Pudas. Humane Agent. Amanda Oquist. Minnesota. Investigation. 2 pages [Note: Images indicate Minnesota Animal Humane Society Humane Agent Keith Streff impersonating a peace officer by wearing a police utility belt, holster, pistol, badge, blue shirt, shoulder patch, America Flag patch, brass name tag. Streff is standing next to a licensed peace officer]</i></p><p><i>How To Conduct A Successful Animal Cruelty Investigation II. The Investigator: A. Image: (A profile of a good humane investigator) 1. Know Your Authority and Jurisdiction: Under Minnesota State Statutes, a humane investigator has little more power than a private citizen regarding the enforcement of State Statutes. You do have the right to go to your local law enforcement agency and request assistance for the enforcement of state law. You do not have the power of enforcement yourself. How To Conduct A Successful Animal Cruelty Investigation Complied By The Minnesota Humane Society This document is made available electronically by the Minnesota Legislative Reference Library as part of an ongoing digital archiving project. http:/www/leg.state.mn.us/lrl/lrl.asp <a href="https://www.leg.mn.gov/docs/pre2003/other/811123.pdf">https://www.leg.mn.gov/docs/pre2003/other/811123.pdf</a></i></p><p><i><a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a> Minnesota Court Records Online (MCRO)<br />Case Details<br />Case Number:83-CR-18-513<br />Case Title:State of Minnesota vs Michael Charles Johnson<br />04/10/2019 Other Document 1 page [Note: Images indicate Minnesota Animal Humane Society Humane Agent Keith Streff impersonating a peace officer by wearing a police utility belt, holster, pistol, badge, blue shirt, shoulder patch, America Flag patch, brass name tag.]<br />04/10/2019 Other Document 1 page [Note: Images indicate Minnesota Animal Humane Society Humane Agent Keith Streff impersonating a peace officer by wearing a police utility belt, holster, pistol, badge, blue shirt, shoulder patch, America Flag patch, brass name tag.]</i></p><p><i><a href="https://www.animalhumanesociety.org/humane-investigations">https://www.animalhumanesociety.org/humane-investigations</a><br />Humane investigations<br />Animal Humane Society’s Humane Investigations team is committed to seeking justice for animals throughout Minnesota by investigating reports of animal abuse and neglect, collaborating with law enforcement, and providing training and workshops for agencies, institutions, and community organizations.<br />Contact us for help<br />Individuals and law enforcement agencies may contact our humane investigation team for assistance. Learn more about how to report suspected animal abuse or neglect.<br />Humane Agent Keith Streff [Note: Images indicate Minnesota Animal Humane Society Humane Agent Keith Streff impersonating a peace officer by wearing a police utility belt, holster, pistol, badge, blue shirt, shoulder patch, America Flag patch, brass name tag.]<br />Humane Agent Ashley Pudas [Note: Images indicate Minnesota Animal Humane Society Humane Agent Ashley Pudas impersonating a peace officer by wearing a badge, blue shirt, shoulder patch, America Flag patch, brass name tag.]<br />Humane Agent Amanda Oquist [Note: Images indicate Minnesota Animal Humane Society Humane Agent Amanda Oquist impersonating a peace officer by wearing a badge, blue shirt, shoulder patch, America Flag patch, brass name tag.]<br /></i></p><p><i>Initial Complaint Report ICR Number: 112036927 Agency: Washington County Sheriff’s Office ICR Created: 11/27/2012 09:55:10 DEPUTY S. PEULEN #163 DATE/TIME OCCURRED: 1127212 – 0955 HRS. DATE/TIME REPORT MADE: 112812 – 0652 HRS. DETAILS OF REPORT: On November 27, 2012, I was dispatched to 433 170th St in Hugo for a harassment report. The complainant, MATTHEW PAUL MONTAIN, DOB: [Redacted], was advising that an unwanted male was on his property. I am familiar with this issue, as the unwanted male had been on the property last week for an issue that Sgt Johnson, #121, was dealing with. See ICR 112036632. Upon arrival there, I observed a silver Honda Element with MN LIC: 887KYD parked in the driveway outside of the office trailer on site. The vehicle registers to the Humane Society for Companion Animals. I observed a male standing near the vehicle. I am familiar with this male from the past contact as WADE RICHARD HANSON, DOB: [Redacted]. He is an employee of the Animal Humane Society. As I pulled up with my squad, I observed HANSON was wearing dark brown BDU style pants, black military style boots, and a dark brown wind breaker type jacket with large yellow letters on the back stating “Humane Agent.” There were patches on the upper arms of the jacket. As I got closer to HANSON, I observed that the patched indicated that he was an investigator with the Humane Society. I could see also a badge on the jacket that was shaped in a police shield style with “Investigator” on the top rocker and “Humane Society” on the bottom rocker. I saw that under the dark brown jacket, HANSON, was wearing a tan deputy style duty shirt with dark brown pocket flaps and shoulder epaulets. This shirt also had a badge like the one on his jacket. This uniform was strikingly similar to the uniform that I was wearing and he could be easily mistaken for law enforcement personnel. HANSON had also provided me with one of his business cards at my request. One side appeared to be the generic business card for the Animal Humane Society. The top half of the other side has a photograph of a gold police style badge with an eagle on the top. The top rocker of the badge is difficult to make out but I believe it says “State of Minnesota.” The center has the Great Minnesota Seal, and the bottom rocker says “Humane Agent.” Underneath is written “Animal Humane Society.” On the bottom portion of the card is HANSON’s contact information. He is listed as a “Senior Humane Investigator” with 2 email addresses. The other appears to be a personal email address of whanson@animalhumanesociety.org. The other appears to be a personal email address of humaneagentmn@yahoo.com. There are 3 phone numbers listed as: a “department”number of 763-489-2235, a “direct” number of 763-489-1570 and a “cell” number of [Redacted]. I asked HANSON why he was back at the property today. He told me that he was doing a follow up visit to the property to make sure that they were complying with the clean up order. I confirmed with him that the veterinarian he called had been on site last week and had cleared all the animals health -wise. He confirmed that statement. I then asked why he was back if all the animals had been cleared. He again told me he was doing a follow up visit to make sure the pen areas were being cleaned up. He told me that he was satisfied with the progress that had been made and felt that everything “looked good” and that he had no more concerns. I asked HANSON if he was ready to leave, and he told me that he was, I asked him to stay on site while I talked with MONTAIN. He agreed and had a seat in his vehicle. I approached MONTAIN and asked him what had happened today. He asked if we could speak in the office, which is a modified trailer home. We went inside, and MONTAIN told me that HANSON had arrived on the property today saying that he was going to do a follow up. He said that HANSON told him that the work had been done on the pen area was just a start and that he had a lot of work to do. I spoke with MONTAIN about HANSON’s visit today and on 11/23/13. MONTAIN told me that HANSON introduced himself as “OFFICER HANSON” and that MONTAIN felt that HANSON was an “enforcment authority.” When Montain was presented with the $153 veterinarian bill, he felt that he was obligated to pay it. He told me that he had approximately $2,000.00 invested into the cleanup of the animal pens between the vet bill and labor involved. MONTAIN said he had put approximately 10 hours into the cleanup and PAUL MONTAIN had put in approximately 8 hours into the cleanup so far. MONTAIN was wondering what to do if HANSON came back to the property. He said that he had been concerned about the previous visit as the female employee HANSON and two other females had talked to previously was pregnant and had been very upset about the incident (ICR 112036632). I advised MONTAIN that he was within his rights to trespass HANSON from the property. He was surprised to learn and seemed surprised when I advised him that HANSON was a civilian. MONTAIN requested that I assist him in advising HANSON of the trespass notice. He was debating whether he should just allow HANSON to leave no and trespass him if he returns in the future or if he would like HANSON trespassed immediately. I advised him that I could not make that decision for him. MONTAIN decided that to avoid future problems, he would like HANSON trespassed today. As HANSON was preparing to leave, he asked me if he needed to notify me that he was going to be investigating another complaint in Hugo. I told him that he did, and he showed me a form advising of a small dog tied up outside with no shelter at 5590 157th Lane in Hugo. I advised him that I would check on the dog, and if I needed assistance for anything, that I would notify him. HANSON was ok with that, and left the MONTAIN property. During this entire incident, my squad VHS tape was running. I have removed the tape and will give it to Sgt Johnson for further review. I did check the address listed for the dog complaint, and found that 157th Lane does not exist. I located the address of 157th Way and found that the complaint was unfounded. PUELEN #163/al – 112812 – 0822 hrs. cc: Investigations Patrol Sgts CJG1UPRWCSO Washington County Sheriff’s Office Initial Complaint Report 112036927 DATE/TIME REPORTED: 11/27/12 9:55:10 DISPATCHER: CCOBRIE DATE/TIME STAMP: 11/27/12 9:59:04 ENTERED BY: CCOBRIE DATE/TIME OCCURRED: 11/27/12 9:55:10 – 11/27/12 9:55:10 LOCATION OF INCIDENT: 4330 170th St N HUGO, MN 55038 GRID: INCIDENT RECEIVED BY: TELEPHONE OFFICERS ASSIGNED: 85 SCHMID 121 JOHNSON 130 BUMP 163 PEULEN 170 WITTL NAMES ASSOCIATED WITH THIS INCIDENT: MATTHEW PAUL MONTAIN 6709 CENTERVILLE RD HUGO, MN 55038 PHONE: (H) [Redacted] (W) SEX: M DOB: [Redacted] 1985 ASSOCIATION: COMPLAINTANT HARASSMENT ANIMAL RIGHTS ACTIVIST IN 887KYD HONDA ELEMENT-SILVER HARASSING COMP MEET COMP AT THE FARM/ADDRESS WADE RICHARD HANSON 845 MEADOW LN N GOLDEN VALLEY, MN 55422 PHONE: (H) [Redacted] (W) [Redacted] SEX: M DOB: [Redacted]/1955 ASSOCIATION: SUSPECT EMPLOYEE OF ANIMAL HUMANE SOCIETY OFFICER COMMENTS: ASSISTED 163. 130 11/27/12 ASSIGNED TO IN ERROR BY DISPATCH 170 11/28/12 ICR ONLY? Y NON=EMERGENCY CLASSIFIED AS: SUSPICIOUS AUTOS/PERSON/ACTIVITY/OCCURRENCE 9048</i></p><p><i><a href="https://www.startribune.com/social-media-battles-complicate-seizure-of-minnesota-horses/600012438/">https://www.startribune.com/social-media-battles-complicate-seizure-of-minnesota-horses/600012438/</a> 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 "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. Social media, Fitzpatrick said, becomes "a platform for the accused, the alleged violator, to rant and rave … and sucker people into their side of the equation who really don't know anything and are only hearing one side of the story. They don't have all the facts, and that's too bad." Meanwhile, she added, "I can't say 'boo.' I've got to remain quiet. I can't refute any of their claims." … But when authorities do seize animals, public blowback on social media is likely. Fitzpatrick said she's gotten two death threats in the last six months, along with other threats of bodily harm. "Mainly coming from the crackhead people," she said. Others have accused her of selling seized horses for personal profit. The foundation does auction off seized animals in its care, with the money going toward its $200,000 annual budget. "The money that gets taken in goes to the horses," Fitzpatrick said. "I don't go to the Bahamas."</i></p><p><i><a href="https://www.startribune.com/sleepy-eye-horse-trainer-acquitted-of-20-counts-of-animal-cruelty/600163418/">https://www.startribune.com/sleepy-eye-horse-trainer-acquitted-of-20-counts-of-animal-cruelty/600163418/</a> Sleepy Eye horse trainer acquitted of 20 counts of animal cruelty After a five-day trial, jury took less than an hour to deliver verdict By John Reinan Star Tribune April 8, 2022 — 7:24pm Minneapolis attorney Katherine Claffey, Lemarr's other attorney, said county officials didn't conduct a thorough investigation. "There was a lot of [exculpatory] information they could have received, but they didn't go out and find it," she said. "I think it was a retaliatory complaint that was made because of a falling-out" between Lemarr and the breeder.</i></p><p><i><a href="https://www.startribune.com/judge-dismisses-east-bethel-horse-abuse-case/182621041/">https://www.startribune.com/judge-dismisses-east-bethel-horse-abuse-case/182621041/</a> Judge dismisses East Bethel horse-abuse case – Judge suppressed the evidence against a rancher because of improper searches of his property. By PAUL LEVY Star Tribune December 7, 2012 — 8:37pm "I don't know what to say," said Keith Streff, the investigator for the Animal Humane Society involved in the search. … Streff testified earlier this year that he did not mention to Friday that he had the authority to search the herd on Aug. 29, 2011. He later testified that he "may have discussed it," according to court documents. Friday testified that he didn't object to the search because he thought Streff was within his legal power. But Streff wasn't. The land permit between Friday and the city of East Bethel calls for valid notice before a search may be conducted. The judge also found that in other searches involving Anoka County deputies, applications for search warrants and supporting affidavits were not attached to the search warrant. … Many of the horses, including Special Effects, have been since placed in new homes. After they were seized, one had to be euthanized. Others were nursed back to health by University of Minnesota veterinarians, then turned over to the Minnesota Hooved Animal Rescue Foundation, a nonprofit near Princeton, Minn., where they were given months of further rehabilitation. Crystal, for instance, gained 200 pounds within months, said Drew Fitzpatrick, who runs the foundation. Crystal was adopted by a family in St. Francis. "It's disturbing that the case against him has been dropped, but at least he can't have the horses back," said Fitzpatrick. "Those poor horses were so emaciated. It's so sad."<br /></i></p><p><i><a href="https://www.twincities.com/2012/12/09/east-bethel-no-charges-for-horse-breeder-in-neglect-case/">https://www.twincities.com/2012/12/09/east-bethel-no-charges-for-horse-breeder-in-neglect-case/</a> East Bethel: No charges for horse breeder in neglect case By Sarah Horner | shorner@pioneerpress.com | Pioneer Press Published: December 9, 2012 at 11:01 p.m. | UPDATED: November 10, 2015 at 10:03 a.m “It was unbelievable the work some of those horses needed after that kind of long-term neglect,” said Drew Fitzpatrick, director of the Minnesota Hooved Animal Rescue Foundation. The organization helped care for and place Friday’s horses in new homes after they were initially treated at the University of Minnesota Equine Center. Fitzpatrick said she was “floored” by the judge’s decision. But the good news, Fitzpatrick said, is that none of the horses — many of which have been permanently placed in new homes — would be returning to Friday.</i></p><p><i>Dawn Rose is entitled to judgment against Mn Hooved Animal Rescue for the sum of $1200, plus fees of $ ---, disbursements of $ ---, and conditional costs of $ ---, for a total amount of 1200.--. Order for Judgment on Claim and Counterclaim Dated: 06-28-21 Signed: Walter M. Kaminsky Case No. 71-CO-21-200 Dawn Rose vs Drew Fitzpatrick, MN Hooved Animal Rescue DISPOSITIONS 06/30/2021 Judgment (Judicial Officer: Kaminsky, Walter) 06/30/2021 Judgment Index #7 3 pages <a href="https://publicaccess.courts.state.mn.us/CaseSearch">https://publicaccess.courts.state.mn.us/CaseSearch</a> Case Information Case Number: 71-CO-21-200 Case Title:Dawn Rose vs Drew Fitzpatrick, MN Hooved Animal RescueDawn Rose versus Drew Fitzpatrick, MN Hooved Animal Rescue Case Type: Conciliation Date Filed:03/26/2021 March 26 2021 Location: Sherburne County Case Status: Closed</i></p><p><i>[x] The Defendant has the following property that belongs to me (list property): I adopted a horse AKA Badlass from Def. Of MN HAR for $2,000.00 Agreeing not to ever sell, must be returned for a horse of equal value. It physically attacked me while riding friends horse in arena. I received a concussion. 2 broken bones. I returned horse & made many attempts to call & email def. Finally she answered and took my address vowing to mail me a $2,000 check. She ignored it & resold horse to another. The horse had several owners. People returned her before. Plaintiff’s Statement of Claim Dated: 03-18-21 Plaintiff: Dawn Rose. Case No. 71-CO-21-200 Dawn Rose vs Drew Fitzpatrick, MN Hooved Animal Rescue. 03/29/2021 Statement of Claim Index #1 3 pages <a href="https://publicaccess.courts.state.mn.us/CaseSearch">https://publicaccess.courts.state.mn.us/CaseSearch</a> Case Information Case Number: 71-CO-21-200 Case Title:Dawn Rose vs Drew Fitzpatrick, MN Hooved Animal Rescue Dawn Rose versus Drew Fitzpatrick, MN Hooved Animal Rescue Case Type: Conciliation Date Filed: 03/26/2021 March 26 2021 Location: Sherburne County Case Status: Closed<br /></i></p><p><i><a href="https://publicaccess.courts.state.mn.us/CaseSearch">https://publicaccess.courts.state.mn.us/CaseSearch</a> Case Information Case Number: 46-CV-19-1224 Case Title: Goldmount Veterinary Center, P.A. vs Watonwan County, Animal Humane Society Goldmount Veterinary Center, P.A. versus Watonwan County, Animal Humane Society Case Type: Civil Other/Misc.Civil Other Miscellaneous Date Filed: 12/03/2019 December 3 2019 Location: Martin County Judicial Officer: Bentz, Darci J. Case Status: Closed 12/18/2020 Affidavit-Other Index #66 37 pages Animal Humane Society Agent Notes Golden Valley Campus Investigation Incident: Neglect Owner/Suspect: Michael Charles Johnson (DOB: 7/21/64) Address: 66498 430th St Odin, MN (farm site) Phone# 507-621-1786 Investigator: Streff Complaint Date: 6/20/18 6/22/18 9 am I briefed the AHS PR team and Kathy Mock on the status of this case while in route back to the Johnson farm. Arrangements were made to have AHS (Zack Nugent) PR meet me at the farm site. 11am I met with Watonwan County Sheriff Deputies at the SO. A search warrant was drafted, signed and ready for execution. We later drove out to the farm site where AHS – 23</i></p><p><i><a href="https://www.ivis.org/library/aaep/aaep-annual-convention-denver-2004/how-to-manage-starved-horses-and-effectively-work-humane-and-law-enforcement-officials">https://www.ivis.org/library/aaep/aaep-annual-convention-denver-2004/how-to-manage-starved-horses-and-effectively-work-humane-and-law-enforcement-officials</a> How to Manage Starved Horses and Effectively Work with Humane and Law Enforcement Officials Author(s): Wilson J.H. and Fitzpatrick D.A. In: AAEP Annual Convention - Denver, 2004 by American Association of Equine Practitioners Updated: DEC 04, 2004 Media interest in seizures of large numbers of animals may result in requests for interviews with the veterinarian. With permission from the humane agency and law officials involved, the veterinarian should restrict his or her comments to the medical condition of the horses, empathy for their condition, and legitimate positive comments that can be made about any improvements noted since seizure. If the media also wish to photograph the animal(s), additional permission should be sought from the same agencies. The veterinarian should refrain from publicly judging the horse’s owner or divulging that person’s identity, if known. Media interviews can also serve as an excellent public educational opportunity to promote basic equine health care, and indirectly, may lead to public contributions to support the seized animals.</i></p><p><i><a href="https://www.presspubs.com/pine_city/news/53-dogs-rescued-from-pine-county-property/article_578d910c-8e1c-11e5-8a29-bf2cb62bb263.html">https://www.presspubs.com/pine_city/news/53-dogs-rescued-from-pine-county-property/article_578d910c-8e1c-11e5-8a29-bf2cb62bb263.html</a> 53 dogs rescued from Pine County property Staff report, news@pinecitymn.com Nov 18, 2015 More than 50 dogs and other animals have been taken from a property in Pine County after they were discovered to be without sufficient shelter or care. The Animal Humane Society reports that it has removed 51 adult dogs and two puppies – all hound mixes – from a rural property in Pine County. According to a press release, the dogs were surrendered by an individual who was unable to provide adequate care and shelter for them. Animal Humane Society Humane Agent Wade Hanson worked with the Pine County Sheriff’s Office to investigate the case, which also led to the removal of horses and other farm animals.<br /></i></p><p><i><a href="https://publicaccess.courts.state.mn.us/CaseSearch">https://publicaccess.courts.state.mn.us/CaseSearch</a> Case Information Case Number: 46-CV-19-1224 Case Title: Goldmount Veterinary Center, P.A. vs Watonwan County, Animal Humane Society Goldmount Veterinary Center, P.A. versus Watonwan County, Animal Humane Society Case Type: Civil Other/Misc.Civil Other Miscellaneous Date Filed: 12/03/2019 December 3 2019 Location: Martin County Judicial Officer: Bentz, Darci J. Case Status: Closed 11/24/2021 Judgment Index #171 3 pages Conclusion Of Law 1) Based on the jury’s findings, Goldmount Veterinary Center, P.A. is entitled to recover $1,498,375 plus costs and disbursements as allowed by law from Animal Humane Society. … 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. … Let Judgment Be Entered Accordingly. It Is So Ordered. By The Court: Darci J. Bentz Judge of District Court Jul 8 2021 3:38 PM</i></p><p><i><a href="https://www.animalhumanesociety.org/news/humane-investigation-brings-57-animals-ahs">https://www.animalhumanesociety.org/news/humane-investigation-brings-57-animals-ahs</a> Humane investigation brings 57 animals to AHS Orange kitten held by AHS vet staff Animal Humane Society’s Critical Response Team partnered with the Hubbard County Sheriff’s Office to rescue 57 animals from a northern Minnesota home last Monday. (May 24, 2021) Confined to filthy rooms filled with garbage and covered in feces, 54 cats and three dogs were rushed to AHS in need of immediate medical and behavioral care. Fourteen deceased animals were also discovered within the home.<br /></i></p><p><i><a href="https://www.facebook.com/photo/?fbid=318666630299060&set=a.317027157129674">https://www.facebook.com/photo/?fbid=318666630299060&set=a.317027157129674</a> Minnesota Hooved Animal Rescue Foundation March 4 · Archie is a palomino gelding who is our newest intake from an owner surrender case in Hubbard County. He arrived at Anoka Equine Veterinary Services today and is now getting the care he needs. (Thank you to Investigator Oquist from Animal Humane Society of Minnesota)! Watch for updates!<br />510<br />89 Comments<br />Linda Lemieux<br />I think there needs to be a educational reach out program for animal owners. Something that could be put in mailboxes<br /> 12w<br />Robin Johnson<br />I hope who ever had him is charged!! 😡, thank you for rescuing him.<br /> 12w<br />Most Relevant is selected, so some replies may have been filtered out.<br />Diane Lingle<br />Robin Johnson sounds like they did a voluntary surrender, so most likely no charges, and we don’t really no the story at all,<br /> 12w<br />Robin Johnson<br />Diane Lingle it sounds like they surrendered the horse after being investigated….people are not always good to animals, so please don’t stand up for them..<br /> 12wEdited<br />Robin Johnson<br />Diane Lingle I donate to these organizations all the time, so don’t even bring that up… seriously.<br /> 12w<br />Most Relevant is selected, so some replies may have been filtered out.<br />Mary Pollard<br />Hell be beautiful when he gets his nutrition he needs ❤<br /> 12w<br />Justin Tami Oestreich<br />Ugh, why do people wait so long?!😢 He's in good hands now.<br /> 12w<br />Emmy Rinke<br />Justin Tami Oestreich some people don’t care. Others are ashamed. Some don’t realize how bad it is or are in denial. And then there are those who don’t know where to turn.<br /> 12w<br />Susan Budig<br />Thankfully, there are those who notice and take action.<br /> 12w<br />Justin Tami Oestreich<br />Emmy Rinke its just sad to see any animal like that. Hopefully in time he will be spunky and eating in a big pasture.<br /> 12w<br />Justin Tami Oestreich<br />Susan Budig yes! I have volunteered with hospice patients. Animal neglect I can't do- thankfully others are able to help.❤<br /> 12w<br />Lisa Sherwood Fagerwick<br />Emmy Rinke thank you for explaining that people aren’t just despicable, sometimes we don’t know their story<br /> 12w<br />Susan Budig<br />Justin Tami Oestreich same. I did hospice respite for seven years as a volunteer. I'd do it again when time allows.<br /> 12w<br />Rachel Lewis<br />How on earth is he still standing. Poor boy!!!<br /> 12w<br />Chris Filzen Bruns<br />Praying for this beautiful horse. Thank you for all you do at the rescue.<br /> 12w<br />Judy Jahnz<br />He is going to be one pretty boy if he makes it. Will pray for him.<br /> 12w<br />Laurie Beltrand<br />Thank you for saving him and I pray that he'll feel better and make a fast recovery! Thank God he's now in great hands and getting lots of well deserved love and care!<br /> 12w<br />Cindy Randall<br />So glad they did reach out for help and MHARF is able to do your magic.<br /> 12w<br /><b>Drew Fitzpatrick<br />Cindy Randall No one but the Humane Investigator reached out for help. He would have died tied to a rope, laying on the ice if someone hadn’t turned in a complaint.<br /> 12w</b><br /> Cindy Randall<br /> Drew Fitzpatrick That’s terrible. Poor guy.<br /> 12w<br />Amy Zilka<br />Still no excuse. He was starving for a long time. Sad indeed<br /> 12w<br />Angela Walker<br />Omg, thats a rough condition. So glad he was helped before it was too late<br /> 12w<br />Tina Jensen<br />So sorry Archie I’m sure you didn’t deserve this. Get better, baby. You are in good hands.<br /> 12w<br />Bonnie Jo Eller<br />Oh goodness! It’s amazing he can still stand. Must be a fighter & meant to be here. Praying all goes well!<br /> 12w<br />Erin Scearcy Larson<br />Lucky boy has a shot now. Thank you for getting him.<br /> 12w<br />Krista Kelm Kvitek<br />I see kind and grateful eyes. He will be beautiful once he gets some care.<br /> 12w<br />Bonnie Jo Eller<br />Makes me so sad! If it’s meant to be he will with me!❤️<br /> 12w<br />Cathy Watry<br />Ohhhh….hope he regains his health. Poor boy<br /> 12w<br />Amy Hatchner<br />Every time I see this, I ask myself how on earth does this happen? 😕<br /> 12w<br />Pip Cadman<br />Oh bless him 😔 hope he recovers from this 😞<br /> 12w<br />JoJo Bee<br />💔 hang in there Archie, it'll be tough but I promise it'll be worth it. Love and care are abundant now.<br /> 12w<br />Carol Johnson<br />So sad 😞 too bad this keeps on happening!<br /> 12w<br />Jamie Hansen<br />Oh sweet Archie, rest, eat, heal<br /> 12w<br />Teri L Vickerman Fredrick<br />There is hope in his beautiful eyes. Once back in shape he will be handsome<br /> 12w<br />Alysa Bjorklund<br />So so thankful he is in your care now!!<br /> 12w<br />Nicole Nogosek Kozitza<br />How about surrender him a bit sooner than this???? Poor fella, makes me sick. Lucky to be where he is now.<br /> 12w<br />Most Relevant is selected, so some replies may have been filtered out.<br />Diane Lingle<br />Nicole Nogosek Kozitza sometimes they go downhill very fast for reasons we do not know, and then the owners become scared to ask for help. Hopefully he is getting help in time.<br /> 12w<br />Charlene Tallen<br />Diane Lingle That doesn’t happen over night or in a week. That’s long time abuse.<br /> 12wEdited<br />Cathy Mitchell<br />This horse didn't end up like this in a short period of time. And even senior horses should NEVER get in such poor condition. There is NO excuse for this. And I'm sure Drew DOES know the facts of this case, as well as the thousands of other horrible ab… See more<br /> 12w<br />Nicole Nogosek Kozitza<br />Cathy Mitchell exactly!!! I have many horses old and young and some have had health issues and I’ve never had one like this, not even kinda close!! It’s sickening.<br /> 12w<br />Most Relevant is selected, so some replies may have been filtered out.<br />Jeanne Ellman Fierstine<br />Another Hubbard Co. case not too many years ago - she brought her two horses to a remote area - tied them to a tree and left them to freeze and starve to death. They were found in the Spring. So cruel! She was charged.<br /> 12w<br />Tracy Marie Olafson<br />Jeanne Ellman Fierstine Is this the same woman who did that to the two behind the Dorset liquor store?<br /> 12w<br />Jeanne Ellman Fierstine<br />Tracy Marie Olafson I know it was in that area, so it could be that person.<br /> 12w<br />Tracy Marie Olafson<br />Jeanne Ellman Fierstine hmmm<br /> 12w<br /> Tracy Marie Olafson<br /> Near Dorset again?<br /> 12w<br />Marlene Laudenbach<br />Oh poor thing, this kind of abuse makes me mad. Ask for help, even if it makes you feel like a failure, it will make you feel better just asking for a little help for the animal. Prayers for this horse and I have faith that you all will put do a great job in fixing her up.<br /> 12w<br />Marcia Anderson Hinz<br />Boy, he needs some good hay and grain!<br /> 12w<br />Pamela Weise Adams<br />🤞 Hopefully, you got him in time!!<br /> 12w<br />Kris McNelis<br />So, is the owner going to be prosecuted for this animal abuse?<br /> 12w<br /><b>Drew Fitzpatrick<br />Kris McNelis Hope so, Hubbard county should!<br /> 12w</b><br />Cindy Keller Pohl<br />How old is this poor guy?<br /> 12w<br /><b>Drew Fitzpatrick<br />Cindy Keller Pohl We don’t know quite yet, will update after the vets get a good look at him later.<br /> 12w</b><br />Cindy Keller Pohl<br />Drew Fitzpatrick Thank you<br /> 12w<br />Connie Gammon<br />I just don't understand why people let their horses get this bad before surrendering them they know they can't afford to take care of them or whatever the reason my God get ahead of the situation and surrender them before this happens to them 😥😪😭😡🤬 Poor horse<br /> 12w<br />Lisa Luiken<br />Connie Gammon no kidding! How can a person just sit and watch a horse deteriorate like this in front of them. So incredibly sad! Did they miss they're meals too?? Probably not.<br /> 12w<br /> Michelle McComesky<br /> Lisa Luiken , because people think loving an animal is enough. And it isnt. They need care and knowledgeable care at that. Too many get horses because they just want one without really thinking of their financial situation. Animal suffers... and here we are. Happens all the time. Im so glad this horse was saved. I bet he will have an amazing future.<br /> 12w<br />Kathy Wood<br />Oh, poor baby<br /> 12w<br />Michelle Danelle<br />Ugh no food for months<br /> 12w<br />Carol Asauskas<br />Wish I could<br /> 12w<br /> Ronni Nordby<br /> Please keep us posted on his progress!!!! Hopefully he's eating up oats, hay, and hearts full of love coming his way!!!!<br /> 12w<br />Most Relevant is selected, so some comments may have been filtered out.<br /></i></p><p><i><a href="https://www.facebook.com/photo/?fbid=350629673769422&set=a.317027157129674&__tn__=%2CO*F">https://www.facebook.com/photo/?fbid=350629673769422&set=a.317027157129674&__tn__=%2CO*F</a><br /><a href="https://www.facebook.com/mnhoovedanimalrescue/posts/350635473768842?__cft__[0]=AZXbaXIxIy-RTGSXm7rdH-WGgNOJeKkdM1DkZC2h91_i9lqxfnqRjHL25aHy5YgtBwM02n8V7JCX5BFDrZrxjZySiI_WUvzWNzSAnMnZa4DdnQKy7UeZqJqQc9zqOsBeHu56enIyhSw5f17NPhVkMe6GD1WTbdQFx6nRk3VG4Tk26w&__tn__=%2CO%2CP-R">https://www.facebook.com/mnhoovedanimalrescue/posts/350635473768842?__cft__[0]=AZXbaXIxIy-RTGSXm7rdH-WGgNOJeKkdM1DkZC2h91_i9lqxfnqRjHL25aHy5YgtBwM02n8V7JCX5BFDrZrxjZySiI_WUvzWNzSAnMnZa4DdnQKy7UeZqJqQc9zqOsBeHu56enIyhSw5f17NPhVkMe6GD1WTbdQFx6nRk3VG4Tk26w&__tn__=%2CO%2CP-R</a> Minnesota Hooved Animal Rescue Foundation<br />April 24 · Lonna and Lex <b>(both from March 2022 Pine County humane case)</b> are coming along well in their rehab thanks to Wendy and her helpers at Essence of Equus! They both still have some weight to gain before we do their training assessments under saddle and make them available for adoption. Lonna is approximately 10 years old and Lex is approximately 15. To get information on applying to adopt either horse when they are ready, please email us at info@mnhoovedanimalrescue.org. Thank you!<br /><a href="https://www.facebook.com/mnhoovedanimalrescue/posts/326192786213111?__cft__[0]=AZW5V3s8l4nJej1lksWtfg3Yq17lJJO1oqk96M2-YpDhimhaYMx148-QjyDUAxMj5iiqGbZ5fED53ag9mhV0ENAFYKVenRDOZNkCyUJd8g5oqmdLQEA0sBO735hF3rgotirbe8Za7p649bpg-7ktwBOSQLmcOwYrabciwHmb8pW-1A&__tn__=%2CO%2CP-R">https://www.facebook.com/mnhoovedanimalrescue/posts/326192786213111?__cft__[0]=AZW5V3s8l4nJej1lksWtfg3Yq17lJJO1oqk96M2-YpDhimhaYMx148-QjyDUAxMj5iiqGbZ5fED53ag9mhV0ENAFYKVenRDOZNkCyUJd8g5oqmdLQEA0sBO735hF3rgotirbe8Za7p649bpg-7ktwBOSQLmcOwYrabciwHmb8pW-1A&__tn__=%2CO%2CP-R</a><br />Minnesota Hooved Animal Rescue Foundation<br />March 16 ·<br /><b>More pics of the intakes from a recent Pine County humane case</b> (click on individual pics for horse info). Four of the five (all but the aged bay roan mare) have been moved to foster homes or the MHARF farm for rehabilitation. The older mare will remain at the clinic for a few more days. These horses are all currently in our rehab program and won't be available for adoption until they have put on weight, had all of their vet and farrier care completed, and have been assessed for training. Thank you so much to everyone who has donated towards their care!<br />162<br />2 Comments<br />Top fan<br />Carmen Bayliss<br />In your exceptional care, these darlings will make their way to a happy and healthy life ahead. ❤<br /> 10w<br /> Trish Ashley</i><br /><i> Thank you for the updates 🙏 for their successful recoveries.<br /> 10w</i></p><p><i>Attachments: Open Records Request For POST Data On Now Former Peace Officer Amanda Oquist021521-021621.pdf, Final Notice For Form 990 For Minnesota Hooved Animal Rescue Foundation030822_1020am.pdf</i><br /></p><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiL6CnF68jewJebYrPDdZKkb8oGyFXSWbTSBxZVyWK3xuTEXNZVmW-h5HetjRZubQIEhZnwonPbDigBQozlw6DA0aI_mKiKfeYug4qv1TFASds2ukxZeTXuwMS3QAZvA04WvcEQKyO4FNgCgLPw9LJYKlIRCWRKKCSuQwDFIPT5euUwWqe7lZLEvWumKg/s816/ICR_22-005116b.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="612" data-original-width="816" height="480" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiL6CnF68jewJebYrPDdZKkb8oGyFXSWbTSBxZVyWK3xuTEXNZVmW-h5HetjRZubQIEhZnwonPbDigBQozlw6DA0aI_mKiKfeYug4qv1TFASds2ukxZeTXuwMS3QAZvA04WvcEQKyO4FNgCgLPw9LJYKlIRCWRKKCSuQwDFIPT5euUwWqe7lZLEvWumKg/w640-h480/ICR_22-005116b.jpg" width="640" /></a></div><br /><p>More to come ...</p><p>Related Links:</p><p><a href="http://lionnews00.blogspot.com/2022/05/will-minnesota-humane-society-humane.html">Will Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To Impersonate A Peace Officer During The High-Profile Trial For Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth? It's ICR: 22-019955, Isn't It? Did Nemmers' Complaint Toss A Monkey Wrench Into Trial? Sergeant Berg Says Trial Continued But No New Trial Date Set?</a></p><p><a href="https://lionnews00.blogspot.com/2021/08/who-wants-to-toss-monkey-wrench-into.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/08/transcripts-for-case-no-46-cv-19-1224.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/06/lets-ask-joseph-gangi-attorney-for.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/05/lets-ask-martin-county-sheriff.html">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?</a> <br /></p><a href="http://lionnews00.blogspot.com/2021/05/armed-minnesota-animal-humane-society.html">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</a><p></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-89888790095404712992022-05-23T07:20:00.011-07:002022-05-25T07:51:51.904-07:00Will Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To Impersonate A Peace Officer During The High-Profile Trial For Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth? It's ICR: 22-019955, Isn't It? Did Nemmers' Complaint Toss A Monkey Wrench Into Trial? Sergeant Berg Says Trial Continued But No New Trial Date Set?<div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEh2q0CPK2rFdz0PZ1AThWRSOVtPnees0NKzPyORyIoqxjqBaGZs1YDwO3ssZipVg9FvN0IyRb56mY-c3sxolWocDQ-hmBsbZvTwT2korpKHlF44HfC57dO30PW9gmKyaJeEuTwwIngJPVKZU3EfGEy_jXA_LWsHvdHdFRv7nJY3x5viPGPLuzdWEHty2Q/s816/BergICR22-019955.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="612" data-original-width="816" height="480" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEh2q0CPK2rFdz0PZ1AThWRSOVtPnees0NKzPyORyIoqxjqBaGZs1YDwO3ssZipVg9FvN0IyRb56mY-c3sxolWocDQ-hmBsbZvTwT2korpKHlF44HfC57dO30PW9gmKyaJeEuTwwIngJPVKZU3EfGEy_jXA_LWsHvdHdFRv7nJY3x5viPGPLuzdWEHty2Q/w640-h480/BergICR22-019955.jpg" width="640" /></a></div><p><span style="background-color: black;"><span style="color: #fcff01;"><b>FYI: If you want a copy of the initial complaint report it is: ICR 22-019955</b></span></span><br /></p><p><i></i></p><div class="separator" style="clear: both; text-align: center;"><i><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiUsXW7RqQqthz6DD9wI0904mFU1mbtDhNVAImmqs6gv6mHckQpMNIgRoyRz6wjxE5klGF2W9ytprZoUgZLZvqN9q2msl6xsdbNMWtNPQFUqGxEhISH2_JnyZeOx0GuI2YpFzziKV1K7EzvmcqzqJphAtyYAlowX_c5bdIjMhv0ckImI9dIQi_mJ6xGlQ/s750/MNHSBadge02.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="750" data-original-width="561" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiUsXW7RqQqthz6DD9wI0904mFU1mbtDhNVAImmqs6gv6mHckQpMNIgRoyRz6wjxE5klGF2W9ytprZoUgZLZvqN9q2msl6xsdbNMWtNPQFUqGxEhISH2_JnyZeOx0GuI2YpFzziKV1K7EzvmcqzqJphAtyYAlowX_c5bdIjMhv0ckImI9dIQi_mJ6xGlQ/w478-h640/MNHSBadge02.jpg" width="478" /></a></i></div><p></p><p></p><p><i>from: Lion News lionnews00@gmail.com<br />to: Brandon.Thyen@chisagocountymn.gov,<br />"Justin A. Wood" Justin.Wood@chisagocountymn.gov,<br />Andrew.Mahowald@chisagocountymn.gov,<br />Derek.Anklan@chisagocountymn.gov,<br />Robert.Berg@chisagocountymn.gov<br />date: May 23, 2022, 8:26 AM<br />subject: Will Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To Impersonate A Peace Officer During The High-Profile Trial For Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth?<br />mailed-by: gmail.com</i></p><p><i>R. Scott Berg, Sergeant 651-213-6311:</i></p><p><i>Here is the information that we discussed over the phone.</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth 05/23/2022 Jury Trial (9:00 AM) (Judicial Officer Dowdal, Bridgid E.)</i></p><p><i>Incident Report Number: 19-010579 3675 Hemingway AVE; NB ANIMAL-Neglect/Abuse (AMNIMNEG) Report Date: 11/18/2019 North Branch Police Department Date: 12/29/2019 14:50:37 Unit: 517 Notes: CM works with Animal Humane Society as an animal humane investigator. CM reported that she received complaint beginning of Sept regarding some under fed horses at a property in North Branch. CM went to check on the animals and found 1 horse down and unable to get up. Horse would later be put down. Over several additional visits the animals were monitored. Body conditions improved for a couple of weeks and have deteriorated according to the animal investigator. No evidence that A/O is providing adequate food and care for the animals.</i></p><p><i>During the investigation, affiant spoke with Agent Amanda Oquist several times. Affiant learned that Amanda Oquist is a Humane Agent at the Animal Humane Society. Previously Agent Oquist was a licensed peace officer in the state of Missouri and Minnesota for a combined total of 15 years of experience in law enforcement. Agent Oquist has previous experience investigating horse welfare cases when a licensed officer. Agent Oquist has been an active horse owner her entire life. State of Minnesota, County of Chisago District Court Application for Search Warrant. Applicant: Todd Frank, North Branch Police department. Page 2 of 7.</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/343.01">https://www.revisor.mn.gov/statutes/cite/343.01</a> 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.</i></p><p><i>Humane Investigations.MN Humane Society.pdf - Dodge ... https://www.co.dodge.mn.us › … <a href="https://www.co.dodge.mn.us/Humane%20Investigations.MN%20Humane%20Society.pdf">https://www.co.dodge.mn.us/Humane%20Investigations.MN%20Humane%20Society.pdf</a> PDF animal welfare industry. SINCE. 1878. Humane Agent. Keith Streff. Humane Agent. Ashley Pudas. Humane Agent. Amanda Oquist. Minnesota. Investigation. 2 pages [Note: Images indicate Minnesota Animal Humane Society Humane Agent Keith Streff impersonating a peace officer by wearing a police utility belt, holster, pistol, badge, blue shirt, shoulder patch, America Flag patch, brass name tag. Streff is standing next to a licensed peace officer]</i></p><p><i>How To Conduct A Successful Animal Cruelty Investigation II. The Investigator: A. Image: (A profile of a good humane investigator) 1. Know Your Authority and Jurisdiction: Under Minnesota State Statutes, a humane investigator has little more power than a private citizen regarding the enforcement of State Statutes. You do have the right to go to your local law enforcement agency and request assistance for the enforcement of state law. You do not have the power of enforcement yourself. How To Conduct A Successful Animal Cruelty Investigation Complied By The Minnesota Humane Society This document is made available electronically by the Minnesota Legislative Reference Library as part of an ongoing digital archiving project. http:/www/leg.state.mn.us/lrl/lrl.asp <a href="https://www.leg.mn.gov/docs/pre2003/other/811123.pdf">https://www.leg.mn.gov/docs/pre2003/other/811123.pdf</a><br /></i></p><p><i><a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a> Minnesota Court Records Online (MCRO)<br />Case Details<br />Case Number:83-CR-18-513<br />Case Title:State of Minnesota vs Michael Charles Johnson<br />04/10/2019 Other Document 1 page [Note: Images indicate Minnesota Animal Humane Society Humane Agent Keith Streff impersonating a peace officer by wearing a police utility belt, holster, pistol, badge, blue shirt, shoulder patch, America Flag patch, brass name tag.]<br />04/10/2019 Other Document 1 page [Note: Images indicate Minnesota Animal Humane Society Humane Agent Keith Streff impersonating a peace officer by wearing a police utility belt, holster, pistol, badge, blue shirt, shoulder patch, America Flag patch, brass name tag.]</i></p><p><i><a href="https://www.animalhumanesociety.org/humane-investigations">https://www.animalhumanesociety.org/humane-investigations</a><br />Humane investigations<br />Animal Humane Society’s Humane Investigations team is committed to seeking justice for animals throughout Minnesota by investigating reports of animal abuse and neglect, collaborating with law enforcement, and providing training and workshops for agencies, institutions, and community organizations.<br />Contact us for help<br />Individuals and law enforcement agencies may contact our humane investigation team for assistance. Learn more about how to report suspected animal abuse or neglect.<br />Humane Agent Keith Streff [Note: Images indicate Minnesota Animal Humane Society Humane Agent Keith Streff impersonating a peace officer by wearing a police utility belt, holster, pistol, badge, blue shirt, shoulder patch, America Flag patch, brass name tag.]<br />Humane Agent Ashley Pudas [Note: Images indicate Minnesota Animal Humane Society Humane Agent Ashley Pudas impersonating a peace officer by wearing a badge, blue shirt, shoulder patch, America Flag patch, brass name tag.]<br />Humane Agent Amanda Oquist [Note: Images indicate Minnesota Animal Humane Society Humane Agent Amanda Oquist impersonating a peace officer by wearing a badge, blue shirt, shoulder patch, America Flag patch, brass name tag.]</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/609.4751">https://www.revisor.mn.gov/statutes/cite/609.4751</a> 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</i></p><p><i>Initial Complaint Report ICR Number: 112036927 Agency: Washington County Sheriff’s Office ICR Created: 11/27/2012 09:55:10 DEPUTY S. PEULEN #163 DATE/TIME OCCURRED: 1127212 – 0955 HRS. DATE/TIME REPORT MADE: 112812 – 0652 HRS. DETAILS OF REPORT: On November 27, 2012, I was dispatched to 433 170th St in Hugo for a harassment report. The complainant, MATTHEW PAUL MONTAIN, DOB: [Redacted], was advising that an unwanted male was on his property. I am familiar with this issue, as the unwanted male had been on the property last week for an issue that Sgt Johnson, #121, was dealing with. See ICR 112036632. Upon arrival there, I observed a silver Honda Element with MN LIC: 887KYD parked in the driveway outside of the office trailer on site. The vehicle registers to the Humane Society for Companion Animals. I observed a male standing near the vehicle. I am familiar with this male from the past contact as WADE RICHARD HANSON, DOB: [Redacted]. He is an employee of the Animal Humane Society. As I pulled up with my squad, I observed HANSON was wearing dark brown BDU style pants, black military style boots, and a dark brown wind breaker type jacket with large yellow letters on the back stating “Humane Agent.” There were patches on the upper arms of the jacket. As I got closer to HANSON, I observed that the patched indicated that he was an investigator with the Humane Society. I could see also a badge on the jacket that was shaped in a police shield style with “Investigator” on the top rocker and “Humane Society” on the bottom rocker. I saw that under the dark brown jacket, HANSON, was wearing a tan deputy style duty shirt with dark brown pocket flaps and shoulder epaulets. This shirt also had a badge like the one on his jacket. <b>This uniform was strikingly similar to the uniform that I was wearing and he could be easily mistaken for law enforcement personnel</b>. HANSON had also provided me with one of his business cards at my request. One side appeared to be the generic business card for the Animal Humane Society. The top half of the other side has a photograph of a gold police style badge with an eagle on the top. The top rocker of the badge is difficult to make out but I believe it says “State of Minnesota.” The center has the Great Minnesota Seal, and the bottom rocker says “Humane Agent.” Underneath is written “Animal Humane Society.” On the bottom portion of the card is HANSON’s contact information. He is listed as a “Senior Humane Investigator” with 2 email addresses. The other appears to be a personal email address of whanson@animalhumanesociety.org. The other appears to be a personal email address of humaneagentmn@yahoo.com. There are 3 phone numbers listed as: a “department”number of 763-489-2235, a “direct” number of 763-489-1570 and a “cell” number of [Redacted]. I asked HANSON why he was back at the property today. He told me that he was doing a follow up visit to the property to make sure that they were complying with the clean up order. I confirmed with him that the veterinarian he called had been on site last week and had cleared all the animals health -wise. He confirmed that statement. I then asked why he was back if all the animals had been cleared. He again told me he was doing a follow up visit to make sure the pen areas were being cleaned up. He told me that he was satisfied with the progress that had been made and felt that everything “looked good” and that he had no more concerns. I asked HANSON if he was ready to leave, and he told me that he was, I asked him to stay on site while I talked with MONTAIN. He agreed and had a seat in his vehicle. I approached MONTAIN and asked him what had happened today. He asked if we could speak in the office, which is a modified trailer home. We went inside, and MONTAIN told me that HANSON had arrived on the property today saying that he was going to do a follow up. He said that HANSON told him that the work had been done on the pen area was just a start and that he had a lot of work to do. I spoke with MONTAIN about HANSON’s visit today and on 11/23/13. MONTAIN told me that HANSON introduced himself as “OFFICER HANSON” and that MONTAIN felt that HANSON was an “enforcment authority.” When Montain was presented with the $153 veterinarian bill, he felt that he was obligated to pay it. He told me that he had approximately $2,000.00 invested into the cleanup of the animal pens between the vet bill and labor involved. MONTAIN said he had put approximately 10 hours into the cleanup and PAUL MONTAIN had put in approximately 8 hours into the cleanup so far. MONTAIN was wondering what to do if HANSON came back to the property. He said that he had been concerned about the previous visit as the female employee HANSON and two other females had talked to previously was pregnant and had been very upset about the incident (ICR 112036632). I advised MONTAIN that he was within his rights to trespass HANSON from the property. He was surprised to learn and seemed surprised when I advised him that HANSON was a civilian. MONTAIN requested that I assist him in advising HANSON of the trespass notice. He was debating whether he should just allow HANSON to leave no and trespass him if he returns in the future or if he would like HANSON trespassed immediately. I advised him that I could not make that decision for him. MONTAIN decided that to avoid future problems, he would like HANSON trespassed today. As HANSON was preparing to leave, he asked me if he needed to notify me that he was going to be investigating another complaint in Hugo. I told him that he did, and he showed me a form advising of a small dog tied up outside with no shelter at 5590 157th Lane in Hugo. I advised him that I would check on the dog, and if I needed assistance for anything, that I would notify him. HANSON was ok with that, and left the MONTAIN property. During this entire incident, my squad VHS tape was running. I have removed the tape and will give it to Sgt Johnson for further review. I did check the address listed for the dog complaint, and found that 157th Lane does not exist. I located the address of 157th Way and found that the complaint was unfounded. PUELEN #163/al – 112812 – 0822 hrs. cc: Investigations Patrol Sgts CJG1UPRWCSO Washington County Sheriff’s Office Initial Complaint Report 112036927 DATE/TIME REPORTED: 11/27/12 9:55:10 DISPATCHER: CCOBRIE DATE/TIME STAMP: 11/27/12 9:59:04 ENTERED BY: CCOBRIE DATE/TIME OCCURRED: 11/27/12 9:55:10 – 11/27/12 9:55:10 LOCATION OF INCIDENT: 4330 170th St N HUGO, MN 55038 GRID: INCIDENT RECEIVED BY: TELEPHONE OFFICERS ASSIGNED: 85 SCHMID 121 JOHNSON 130 BUMP 163 PEULEN 170 WITTL NAMES ASSOCIATED WITH THIS INCIDENT: MATTHEW PAUL MONTAIN 6709 CENTERVILLE RD HUGO, MN 55038 PHONE: (H) [Redacted] (W) SEX: M DOB: [Redacted] 1985 ASSOCIATION: COMPLAINTANT HARASSMENT ANIMAL RIGHTS ACTIVIST IN 887KYD HONDA ELEMENT-SILVER HARASSING COMP MEET COMP AT THE FARM/ADDRESS WADE RICHARD HANSON 845 MEADOW LN N GOLDEN VALLEY, MN 55422 PHONE: (H) [Redacted] (W) [Redacted] SEX: M DOB: [Redacted]/1955 ASSOCIATION: SUSPECT EMPLOYEE OF ANIMAL HUMANE SOCIETY OFFICER COMMENTS: ASSISTED 163. 130 11/27/12 ASSIGNED TO IN ERROR BY DISPATCH 170 11/28/12 ICR ONLY? Y NON=EMERGENCY CLASSIFIED AS: SUSPICIOUS AUTOS/PERSON/ACTIVITY/OCCURRENCE 9048</i></p><p><i>Attachment: Open Records Request For POST Data On Now Former Peace Officer Amanda Oquist021521-021621.pdf</i></p><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEioZnFGbzrxmNo_Q_GNMampWr18tM5G_I3cfV3Y64vbVi02FA6v3M3R3pg6ec2NpmdZVYXyCWn5FQStD-d18752_EztwhiQg5S0XKzAxAmtnu0IemlgXTPf15F9Cdt2KbfWdG6UCHUtebEBbfDoiAbHlNnaKc6GCy9eo1EvMRj7nBx9TzQ15ur45mfbGA/s1169/MHSStreffPistol2.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="826" data-original-width="1169" height="452" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEioZnFGbzrxmNo_Q_GNMampWr18tM5G_I3cfV3Y64vbVi02FA6v3M3R3pg6ec2NpmdZVYXyCWn5FQStD-d18752_EztwhiQg5S0XKzAxAmtnu0IemlgXTPf15F9Cdt2KbfWdG6UCHUtebEBbfDoiAbHlNnaKc6GCy9eo1EvMRj7nBx9TzQ15ur45mfbGA/w640-h452/MHSStreffPistol2.jpg" width="640" /></a></div><p><i>from: Robert S. Berg Robert.Berg@chisagocountymn.gov<br />to: Lion News lionnews00@gmail.com<br />date: May 23, 2022, 11:27 AM<br />subject: RE: Will Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To Impersonate A Peace Officer During The High-Profile Trial For Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth?<br />mailed-by: chisagocountymn.gov<br />signed-by: chisagocounty.onmicrosoft.com<br />security: Standard encryption (TLS) Learn more<br />: Important mainly because it was sent directly to you.<br /></i></p><p><i>Mr. Nemmers<br /> <br />Just a quick follow up regarding our phone conversation. <br /> <br />The court case was continued to another date which is unknown at this time.<br /> <br />Have a good day!<br /> <br />Sgt Berg<br /> <br />Chisago County Sheriff's Office Logo<br /> <br />Robert Berg | Sergeant<br />Chisago County Sheriff's Office<br />15230 Per Rd, Center City, MN 55012<br />Robert.Berg@chisagocountymn.gov<br />Phone: 651-213-6311<br /> <br />'The Chisago County Sheriff's Office vision is to ensure the quality of life in our community through excellence in public safety. To accomplish this, the sheriff's office will build community partnerships, collaborate with other law enforcement agencies, be fiscally responsible and provide more effective and efficient services.'<br />NOTICE: E-mail correspondence to and from Chisago County may be public data subject to the Minnesota Data Practices Act and/or may be disclosed to third parties.</i></p><p><i>From: Lion News lionnews00@gmail.com<br />Sent: Monday, May 23, 2022 8:33 AM<br />To: Robert S. Berg Robert.Berg@chisagocountymn.gov<br />Subject: Fwd: Will Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To Impersonate A Peace Officer During The High-Profile Trial For Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth?<br /> <br />This is an external email message!<br />This message originated from outside the Chisago County email system. Use caution when clicking hyperlinks, downloading pictures or opening attachments.</i><br /></p><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjCmd6_QVQiMx5Uo8Ct7n2VIuLdCCmKim0SeGpzKD00QYxlA9S7-GDsw0vgRh2DaN6aGsruhp9ZDoRNSLcoWnTiqi5qSrMenpyapFyhZa-ay1OTlnv5mgbIcuCahbEyuYMLpHDomqjdBvT4d1-cHe4rLh1IKCUl7tfZ4pH8clzA8SgVtkam4p5bFzcztA/s1920/13-CR-19-1031Continued2.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1080" data-original-width="1920" height="360" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjCmd6_QVQiMx5Uo8Ct7n2VIuLdCCmKim0SeGpzKD00QYxlA9S7-GDsw0vgRh2DaN6aGsruhp9ZDoRNSLcoWnTiqi5qSrMenpyapFyhZa-ay1OTlnv5mgbIcuCahbEyuYMLpHDomqjdBvT4d1-cHe4rLh1IKCUl7tfZ4pH8clzA8SgVtkam4p5bFzcztA/w640-h360/13-CR-19-1031Continued2.jpg" width="640" /></a></div><br /><p><i>from: Lion News lionnews00@gmail.com<br />to: "Robert S. Berg" Robert.Berg@chisagocountymn.gov<br />date: May 23, 2022, 11:35 AM<br />subject: Re: Will Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To Impersonate A Peace Officer During The High-Profile Trial For Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth?<br />mailed-by: gmail.com<br /></i></p><p><i>Sgt Berg:</i></p><p><i>Thanks for the update.</i></p><p><i>Terry </i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEioqHz8qvuuxE75CTgIh6I9ldFHFDy1jyM8R-WMqqD-Bx10JocSvpNjxQGgKVdhOKWYR-QT1GLf8sdIn3SluWSLg8u0_A2UI7gjmCDPF027vuWEoCKRidBDYjhJgFZ7dOX2SkFYsQNFeGrFy_zEZQCfL_URvkU_pmUkPJMzb4CFZgIy9vXfTRx81l6Jnw/s1169/MHSStreffPistol3.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="826" data-original-width="1169" height="452" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEioqHz8qvuuxE75CTgIh6I9ldFHFDy1jyM8R-WMqqD-Bx10JocSvpNjxQGgKVdhOKWYR-QT1GLf8sdIn3SluWSLg8u0_A2UI7gjmCDPF027vuWEoCKRidBDYjhJgFZ7dOX2SkFYsQNFeGrFy_zEZQCfL_URvkU_pmUkPJMzb4CFZgIy9vXfTRx81l6Jnw/w640-h452/MHSStreffPistol3.jpg" width="640" /></a></div><br /><p><i>from: Lion News lionnews00@gmail.com<br />to: Janet Reiter Janet.Reiter@chisagocountymn.gov,<br />Kathryn.Kelly@chisagocountymn.gov,<br />Brandon.Thyen@chisagocountymn.gov<br />date: May 23, 2022, 11:46 AM<br />subject: Chapter 13 Data Request For ICR 22-019955<br />mailed-by: gmail.com</i></p><p><i>Brandon Thyen, Chisago Sheriff 651-213-6301 & Janet Reiter, Chisago County Attorney 651-213-8400:</i></p><p><i>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:<br />1. Incident report, email from Nemmers with attachment and audio/video files associated with ICR 22-019955. Complaint taken by Chisago County Sgt Robert Berg, Badge 113 on 05-23-22 in regard to the high-profile trial of Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth.</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. You aren't going to have a problem if I call in again on the date of the new trial, are you?</i></p><p><i>Monday, May 23, 2022 Will Minnesota Humane Society Humane Agent Amanda Oquist Be Allowed To Impersonate A Peace Officer During The High-Profile Trial For Case No. 13-CR-19-1031 State of Minnesota vs Carmen Marie Burth? It's ICR: 22-019955, Isn't It?<br /><a href="http://lionnews00.blogspot.com/2022/05/will-minnesota-humane-society-humane.html">http://lionnews00.blogspot.com/2022/05/will-minnesota-humane-society-humane.html</a></i><br /></p><p> </p><p> </p><p>More to come ...</p><p>Related links:</p><p><a href="https://lionnews00.blogspot.com/2021/08/who-wants-to-toss-monkey-wrench-into.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/08/transcripts-for-case-no-46-cv-19-1224.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/06/lets-ask-joseph-gangi-attorney-for.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/05/lets-ask-martin-county-sheriff.html">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?</a> <br /></p><a href="http://lionnews00.blogspot.com/2021/05/armed-minnesota-animal-humane-society.html">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</a><p></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-19129329837989470642022-05-01T07:03:00.007-07:002022-05-01T07:05:25.233-07:00Who Wants A Flier For The Trial By Ambush For Larvita McFarquhar? It's Rigged Case No 42-CR-21-98 State Of Minnesota Vs Larvita Maria Elen Mcfarquhar, Isn't It? Did You Know That Both Lyon County Sheriff Eric Wallen & Lyon County Attorney Rick Maes Are Conspiring To Illegally Withhold ICR# 21-17510 The Public Portion Of McFarquhar's Initial Criminal Complaint Against Marshall City Attorney Dennis Simpson, Assistant City Of Marshall City Attorney Matthew Gross And Director of Public Safety Jim Marshall From Both McFarquhar And Nemmers? The City Of Marshall Is A Corrupt Town In A Lawless County, Isn't It? It Is, Isn't It?<p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEixGUFU5m5H-qHTv8B9YSXU1axsE37jWi1-ZGzLq_In1exG56YHyVpMVUoxUeVBqkjmJ6ffCTI9hLKgCucjqRdDVZf7PYrsUOjj24CoxlyhQvytZdaT84_S7XERP_lNODxdvqGkK3jOHJMqMpCcrSt2uxE7CrslycvqKZU0TYlnUghHKy1X366_6xz0IQ/s3300/LarvitaFlier.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="3300" data-original-width="2550" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEixGUFU5m5H-qHTv8B9YSXU1axsE37jWi1-ZGzLq_In1exG56YHyVpMVUoxUeVBqkjmJ6ffCTI9hLKgCucjqRdDVZf7PYrsUOjj24CoxlyhQvytZdaT84_S7XERP_lNODxdvqGkK3jOHJMqMpCcrSt2uxE7CrslycvqKZU0TYlnUghHKy1X366_6xz0IQ/w494-h640/LarvitaFlier.jpg" width="494" /></a></div><br /><p></p><p> </p><p> More to come...</p><p>Related Links: <br /></p><p><a href="https://lionnews00.blogspot.com/2021/12/who-wants-copy-of-public-portion-of.html">Who Wants A Copy Of The Public Portion Of Larvita McFarquhar's ICR 21-17510 For Her Criminal Complaint Against City Of Marshall City Attorney Dennis Simpson, Assistant City Of Marshall City Attorney Matthew Gross And Director Of Public Safety Jim Marshall? Let's Submit A Chapter 13 Data Quest, Shall We? It's Still Rigged Case No. 42-CR-21-98 State Of Minnesota Vs Larvita Maria Elen Mcfarquhar, Isn't It?</a></p><p><a href="http://lionnews00.blogspot.com/2021/12/mcfarquhar-tosses-monkey-wrench-into.html">McFarquhar
Tosses A Monkey Wrench Into Rigged Case No. 42-CR-21-98 State Of
Minnesota Vs Larvita Maria Elen Mcfarquhar By Filing A Criminal
Complaint Against City Of Marshall City Attorney Dennis Simpson,
Assistant City Of Marshall City Attorney Matthew Gross And Director Of
Public Safety Jim Marshall? It's ICR 21-17510, Isn't It? 12-13-21
Pre-trial Gets Booted Way Way Way Back To 04-18-22?</a> </p><p><a href="https://lionnews00.blogspot.com/2021/09/demand-for-sanctions-dismissal-in-case.html">Demand
For Sanctions & Dismissal In Rigged Case No. 42-CR-21-98 State Of
Minnesota Vs Larvita Maria Elen Mcfarquhar? Nemmers' Intervention Puts
An End To Ridiculous "Sovereign Citizen" Paperwork AKA "Patriot
Paperwork"? Nemmers' Intervention Also Turns The Tables On The Corrupt
City Of Marshall and Corrupt Southwest Minnesota State University
(SMSU), Doesn't It?</a></p><p> </p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-70405733201234898562022-04-17T06:36:00.008-07:002022-04-30T12:17:41.079-07:00Unsuspecting MN Parents: What Is Going To Happen If You Get Duped Into Following The Dangerous Sovereign Citizen Tactics Of The Agitator/Rabble-Rouser Keith Haskell Of The National Action Task Force (NATF)? You're Going To Get A Letter Informing You That You Could Be Sued Civily Or Criminally Prosecuted, Aren't You? You Are, Aren't You? Why? Did Haskell Intentionally Forget To Mention To Unsuspecting Parents That He Teaches Paper Terrorism? Did You Know That Fanatic Haskell Loves To Impersonate Peace Officers?<p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiTvJKR-SYyqrKGlwjxULlzK1e7yesqfy50sn0MkvdnsiEmaenXcSWcfvOQ-HcHp8zpqSxlUga-6UH-IepBGopBPZ083F4RLqkfG6ysucLOnpk3PmCto8zrGgHjNR_qLYKLWDO_IJXewoyr12ynXnKI9ZgjrvuTyZy3eFqXfIZ8UzUZagCvbotapi4mHA/s1100/NeldnerISD857Notice_00a.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiTvJKR-SYyqrKGlwjxULlzK1e7yesqfy50sn0MkvdnsiEmaenXcSWcfvOQ-HcHp8zpqSxlUga-6UH-IepBGopBPZ083F4RLqkfG6ysucLOnpk3PmCto8zrGgHjNR_qLYKLWDO_IJXewoyr12ynXnKI9ZgjrvuTyZy3eFqXfIZ8UzUZagCvbotapi4mHA/w494-h640/NeldnerISD857Notice_00a.jpg" width="494" /></a></div><p></p><p><i>Maggie R. Wallner Attorney at Law <br />Direct Dial: (612) 337-9301<br />Email: mwallner@kennedy-graven.com<br />January 20, 2022</i></p><p><i>Tammie Nelder<br />[Redacted]<br />Lewiston, MN 55952</i></p><p><i>CERTIFIED MAIL RETURN RECEIPT REQUESTED AND REGULAR U.S. MAIL </i></p><p><i>Dear Ms. Nelder:</i></p><p><i>Our firm represents the Lewsiton-Altura School District. This letter is in response to the “Notice” that was delivered to School Board members on January 10, 2022.<br />The School Board and its members have acted in full compliance with state and federal law and within its statutory and constitutional authority, and your assertions otherwise are wholly without merit. The District’s Safe Learning Plan is aimed at protecting health and safety of students and staff; and the District will not be deterred from that effort. </i></p><p><i>With respect to your allegations and demands related to the Oath of Office, all Board members have been duly elected and are properly serving under oath, including the oral oath taken at the January 4, 2021 School Board meeting. The District will continue its efforts to locate all executed forms. Any representation by you that you, by self-appointment, are a member of the member of the School Board of Independent School District No. 857. is and act of fraudulent and negligent misrepresentation, for which there are potential civil and criminal penalties.</i></p><p><i>There is absolutely no basis for your $250,000 per board member monetary demand; it is frivolous and is hereby rejected. Any purported lien filed against Board members would be, as a matter of law, invalid, unless authorized by a court order or a specific statute. See, Minnesota Statutes, Section 514.99, subdivision 4. A fraudulent lien will be reported to law enforcement as a violation of Minnesota Statutes, Section 609.7475, which is a gross misdemeanor. Also, if it is necessary to bring an action in district court to remove liens against Board members, they will seek all available money damages, costs, attorney fees and punitive damages available under Minnesota Statutes, Section 514.99 against all individuals who filed the liens.</i></p><p><i>If you are represented by an attorney, please provide me his/her contact information, so any further correspondence or service of process can be directed to him/her.</i></p><p><i>Sincerely, KENNEDY & GRAVEN, CHARTERED By: /s/ Maggie R. Wallner</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhhW7lz9RF4oTOy0kohxQXZESOrhhUxZ3HkiP07TiUjE3jd5eAS3YjS70ebhCVZQ1UTSaauEUA_08G5mJ3IXEjqvbMnzWsWRU8SUgxaF2gaMaoYGJP2eRNwJy_fZphjd9ShqY4b5ICxNsgXCUPZYazD-yiPdcfpDu7XmlAOzo1HEzIUr1WrKbHR37eHLQ/s1100/NeldnerISD857Notice_01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhhW7lz9RF4oTOy0kohxQXZESOrhhUxZ3HkiP07TiUjE3jd5eAS3YjS70ebhCVZQ1UTSaauEUA_08G5mJ3IXEjqvbMnzWsWRU8SUgxaF2gaMaoYGJP2eRNwJy_fZphjd9ShqY4b5ICxNsgXCUPZYazD-yiPdcfpDu7XmlAOzo1HEzIUr1WrKbHR37eHLQ/w494-h640/NeldnerISD857Notice_01.jpg" width="494" /></a></div><p>If you want to read Haskell's and Nelder's paper terrorism then just click on the images, okay?</p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjPpwRqsbRETaAWDIBtVcijapPCRrQqeMvzPhNacn5yiDnuPakJyH6dtBuyPwU4irCVsHimpWY2B237zxf9M84qetCI6kvwCL-T-U7ij2hYT643ML3XQ7qcwg46_s8mkFSXv2uGkcBQaKM9C97Uq2WCJuoYTL8rP4pwH61tZtfFVasub7n6gJ4x9ya6Vg/s1100/HaskellISD857Notice_02.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjPpwRqsbRETaAWDIBtVcijapPCRrQqeMvzPhNacn5yiDnuPakJyH6dtBuyPwU4irCVsHimpWY2B237zxf9M84qetCI6kvwCL-T-U7ij2hYT643ML3XQ7qcwg46_s8mkFSXv2uGkcBQaKM9C97Uq2WCJuoYTL8rP4pwH61tZtfFVasub7n6gJ4x9ya6Vg/w494-h640/HaskellISD857Notice_02.jpg" width="494" /></a></div><i><b>FYI: </b>The parent’s claims were baseless. ... But the scare tactic has become a familiar one. ... The parents’ strategy is simple: Try to use obscure and often inapplicable legal claims to force a school district to make a policy change. ... “Paper terrorism” is a well-known tactic among anti-government extremist movements. The term originates from terminology that law enforcement officials used to describe the tactics of the Montana Freemen, 'Paper terrorism': Parents against mask mandates bombard school districts with sham legal claims – A group called Bonds for the Win is organizing parents to file claims against school districts’ insurance policies, taking a page from the sovereign citizen playbook. Feb. 21, 2022, 6:21 AM CST / Updated Feb. 21, 2022, 2:27 PM CST By Tyler Kingkade and Ben Collins</i> <a href="https://www.nbcnews.com/news/us-news/parents-mask-schools-surety-bonds-rcna16872">https://www.nbcnews.com/news/us-news/parents-mask-schools-surety-bonds-rcna16872</a><br /><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi52JPzpHCr8sDfGfwCwaJOo7YMebaoCZBfvn91PDL0nBvFmmEBPQE5v9W87nYoS6IvmauW-NNYhi96QQPc5Cm2mgzjqaBieN-qg3oL-mbGTMajEOnjlpqqvIRRatb__PPVLjOOwbjcU4V7WWQZyh8LLWjlWQjhKqa2ZLhFwSfihXNa2BsQx-lifrVn7Q/s1100/NeldnerISD857Notice_03.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi52JPzpHCr8sDfGfwCwaJOo7YMebaoCZBfvn91PDL0nBvFmmEBPQE5v9W87nYoS6IvmauW-NNYhi96QQPc5Cm2mgzjqaBieN-qg3oL-mbGTMajEOnjlpqqvIRRatb__PPVLjOOwbjcU4V7WWQZyh8LLWjlWQjhKqa2ZLhFwSfihXNa2BsQx-lifrVn7Q/w494-h640/NeldnerISD857Notice_03.jpg" width="494" /></a></div><i><b>FYI:</b> After Board Chair Ruth Nelson told Haskell his three minutes were up, he continued on, telling the board members if they run for office again, their next campaign slogan should be “masking for money.” “You’re on notice tonight, officially. You are violating state statutes, U.S. codes. You’re violating policies and procedures that you set about bullying with some of what you’ve done,” Haskell said, continuing on beyond his three minutes as Nelson tried to get him to stop talking. “And here’s the best news. You have now pierced the veil of protection that you have as a school board member. You’re no longer protected by your insurance. You are each individually civilly and criminally responsible. And I have news for you so that you’re aware — I know my time’s up. I don’t care.” Nelson hit her gavel on the table and called for a recess, as Haskell raised his voice and stood up and turned to address the audience. School board stops meeting as speaker alleges rights violations - Keith Haskell, who later identified himself as an investigator with the National Action Task Force, chastised the board during the public forum portion of the meeting with allegations of taking away citizens’ rights. He noted the board’s rules for public forums and the district’s mask mandate. By Theresa Bourke December 14, 2021 03:12 PM <a href="https://www.brainerddispatch.com/news/school-board-stops-meeting-as-speaker-alleges-rights-violations">https://www.brainerddispatch.com/news/school-board-stops-meeting-as-speaker-alleges-rights-violations</a></i><br /><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgLFRPGyYwa9MG52P6Rc22YVh_sJ0NcbI2phKr-FJYdjEvEPKgam8jPG9Yqmm8eKj3vInKJSB2t8GJWxJi5vhzskwA0ajeRBAH-oce-3Tqgx1nKKFTPDUDZcIyOswBVSZdJUAYon769fPB02vbuJU7l1SemKkRr6mhXDHbRnktTQ1pMcNwexdi-TPAiaA/s1100/NeldnerISD857Notice_04.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgLFRPGyYwa9MG52P6Rc22YVh_sJ0NcbI2phKr-FJYdjEvEPKgam8jPG9Yqmm8eKj3vInKJSB2t8GJWxJi5vhzskwA0ajeRBAH-oce-3Tqgx1nKKFTPDUDZcIyOswBVSZdJUAYon769fPB02vbuJU7l1SemKkRr6mhXDHbRnktTQ1pMcNwexdi-TPAiaA/w494-h640/NeldnerISD857Notice_04.jpg" width="494" /></a></div><i><b>FYI:</b> Haskell and Hillman both questioned whether the face covering requirement was an attempt from the district to secure extra COVID-19 relief funding, including the third round of Elementary and Secondary School Emergency Relief funds from the American Rescue Plan Act. ... District’s statement John Edison, the district’s legal counsel with Rupp, Anderson, Squires, Waldspurger & Mace, responded to the issue in an email Wednesday. “The documents handed to the Board of Education today are similar to documents that have been handed to school officials in other Minnesota school districts,” he wrote. “The claims asserted in the documents provided to the Board of Education today have no legitimate legal basis whatsoever, and appear to be part of a concerted effort to harass school officials by asserting baseless claims related to COVID-19 mitigation strategies.” Hahn said the district will likely make a statement after legal counsel thoroughly reviews the documents. <a href="https://www.scribd.com/document/563725373/Brainerd-School-Board-Legal-documents-March-9-2022#from_embed">https://www.scribd.com/document/563725373/Brainerd-School-Board-Legal-documents-March-9-2022#from_embed</a> Brainerd School Board - Legal Documents March 9, 2022 Original Title:Brainerd School Board - Legal documents March 9, 2022 Uploaded byinforumdocs Description:Legal documents presented to Brainerd School Board members March 9, 2022. Brainerd parent group demands resignations, damages over school mask mandate The district called the legal claims illegitimate. By Theresa Bourke March 10, 2022 06:00 AM <a href="https://www.brainerddispatch.com/news/local/parent-group-demands-resignations-damages-over-school-mask-mandate">https://www.brainerddispatch.com/news/local/parent-group-demands-resignations-damages-over-school-mask-mandate</a></i><br /><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEh-f-GHjPlfUTnm7SddKZmlUDBbKfhceVdouFyJQIKVpzcocCSTC-WrGLsD_wyvL2SxOYv05Cq3LkpLDoSFRp7l-WLTuNiNy2t5YJ8Go-ue7efhzoIsH0Q6vcbPealq-rhXvICQ92I2qrUPHovYDF-8r-InSJC4FeTltON9EoJ5QNlkIxs5J-A1GTF4sw/s1100/NeldnerISD857Notice_05.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEh-f-GHjPlfUTnm7SddKZmlUDBbKfhceVdouFyJQIKVpzcocCSTC-WrGLsD_wyvL2SxOYv05Cq3LkpLDoSFRp7l-WLTuNiNy2t5YJ8Go-ue7efhzoIsH0Q6vcbPealq-rhXvICQ92I2qrUPHovYDF-8r-InSJC4FeTltON9EoJ5QNlkIxs5J-A1GTF4sw/w494-h640/NeldnerISD857Notice_05.jpg" width="494" /></a></div><i><b>FYI:</b> “The N.A.T.F is law enforcement.” Keith Haskell 1:34:59-1:34:59/3:42:47 <a href="https://www.facebook.com/tC.pearson.564/videos/646173653015329/UzpfSTM2NTAwMTM3MDc1NzI5MTo5MzM3ODYwMzM4Nzg4MTk/">https://www.facebook.com/tC.pearson.564/videos/646173653015329/UzpfSTM2NTAwMTM3MDc1NzI5MTo5MzM3ODYwMzM4Nzg4MTk/</a> TC Pearson was live — at Owatonna VFW. about a month ago · Owatonna, MN · We Choose Freedom Rally hosted by United Patriots for Accountability</i><br /><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhbUYvLSdpRdDkyquq3d37YgDzwQEz-J_GnckHTd-xLT6T1yhTZpuXNV47Wh8iv1CZiQu7vTKKcb_uQGBAOGjwV0BCM_y8QzpIUxZPPisy69k-Lw1h0Tc0eLdT9W4YPy18NbQ9R-pblc5kLQoEfK9_vMexoOcRcAUt4ATfAxqK-RpI8IppbdXnJDulOjg/s1100/NeldnerISD857Notice_06.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhbUYvLSdpRdDkyquq3d37YgDzwQEz-J_GnckHTd-xLT6T1yhTZpuXNV47Wh8iv1CZiQu7vTKKcb_uQGBAOGjwV0BCM_y8QzpIUxZPPisy69k-Lw1h0Tc0eLdT9W4YPy18NbQ9R-pblc5kLQoEfK9_vMexoOcRcAUt4ATfAxqK-RpI8IppbdXnJDulOjg/w494-h640/NeldnerISD857Notice_06.jpg" width="494" /></a></div><p><i><b>FYI:</b> <a href="https://www.republicaneagle.com/news/man-charged-with-pepper-spraying-2-police-officers/article_f93ef6bd-7494-57b7-8cfa-6cec11442f56.html">https://www.republicaneagle.com/news/man-charged-with-pepper-spraying-2-police-officers/article_f93ef6bd-7494-57b7-8cfa-6cec11442f56.html</a> Man charged with pepper-spraying 2 police officers editor@rosemounttownpages.com Published on Apr 5, 2007 Two Rosemount police officers got faces full of pepper spray last month when they tried to arrest a man suspected of larceny and impersonating a police officer. Police from Sioux Falls, S.D. called Rosemount March 21 and asked local police to arrest Keith Douglas Haskell, 44. The South Dakota department planned to extradite Haskell to Sioux Falls so he could face charges there. Sioux Falls police warned Rosemount officers Haskell has a history of impersonating police officers and likely had police equipment. Investigators Henry Cho and Emau Morgan went to Haskell's home on Atrium Avenue at 2 p.m. March 21. According to a complaint filed in the Dakota County Attorney's office Haskell tried to keep the officers from getting into his home, then sprayed them with pepper spray when they tried to push through the door as Haskell tried to close it. Cho was hit directly in both eyes and was incapacitated but Morgan, who was sprayed directly in only one eye, was able to arrest Haskell. Haskell reportedly told Morgan later he wouldn't have used the pepper spray if he'd known the two were police officers, but according to the complaint Haskell sprayed Cho and Morgan after they identified themselves.</i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgOy1SqV-yVoZNj_3ujQ1VYoey3o2rlTe1ZkO9VadSYWMHk9K6SHzkuN0W_yTgYGLgtfS2A02b1nm86NJSF83W_HBAvmuL02t8OPHIwsoH70EXdqAZHnCpoHmAdBiBC9tqdDNaprg3izamV7Ec1xnt4-yK6tHCGVgBogcrTfMRqn3AxTH31pB_uZ-pM4A/s1100/NeldnerISD857Notice_07.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgOy1SqV-yVoZNj_3ujQ1VYoey3o2rlTe1ZkO9VadSYWMHk9K6SHzkuN0W_yTgYGLgtfS2A02b1nm86NJSF83W_HBAvmuL02t8OPHIwsoH70EXdqAZHnCpoHmAdBiBC9tqdDNaprg3izamV7Ec1xnt4-yK6tHCGVgBogcrTfMRqn3AxTH31pB_uZ-pM4A/w494-h640/NeldnerISD857Notice_07.jpg" width="494" /></a></div><p><i><b>FYI:</b> Guest – Keith Haskell: We’re in a society where we want someone else to do everything for us. You know, I just put on my Facebook page if we had 6,000 at a rally or 3,000 people at a rally, why don’t we have election judges? Why are we not becoming election judges or poll watchers? Or going to caucus? Or becoming a delegate?<br />Sons Of Liberty – Tim Brown: Yeah.<br />Guest – Keith Haskell: That’s a huge concern. If I have 5,000 patriot brothers and sisters standing at the state capitol.You know, 200 of us with guns or whatever. Why are we not doing the things that we need to do to take this country<br />back? One community one state at a time. And those are things that we have to do. If we don’t do it. This is all I hear “Waa, waa, waa, waa, waa.” And these are my patriots brothers and sisters. It’s time to take action. It doesn’t all have<br />to be by force. But, I’m agreeing with you Tim I think that time. It’s not here right now. It’ll be here in 90 days.<br />Sons Of Liberty – Tim Brown: Yup. ... 53:37-54:30/1:00:06 <a href="https://www.bitchute.com/video/fdiwT5swUqzy">https://www.bitchute.com/video/fdiwT5swUqzy</a>/ Taking It To The Tyrants Of Minnesota - Guest - Keith Haskell Watch % buffered 12:19 20:08 124 6 4 First published at 15:12 UTC<br />on December 28th, 2021. #sonsofliberty #vaccinehoax #medicaltyranny channel image SonsOfLiberty1776AD Sons</i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjqWOmq4L3MPu613zq1u_ZOyCDWQokLm1rSH3ScI3nz1Pd1Z3WKrDVysu0S9J-oWw1NyXWtzP828VPnPY6_h4yaD09HfwhGb3m6hiZ-MhBIPnlDS47wViXIPvPCAG6uBOIBHIcme4m5UwkOGejDzQNoU0Ax92M8_ikH73ld_e5m1rHfrGKWbPNvnrb9KA/s1100/NeldnerISD857Notice_08a.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjqWOmq4L3MPu613zq1u_ZOyCDWQokLm1rSH3ScI3nz1Pd1Z3WKrDVysu0S9J-oWw1NyXWtzP828VPnPY6_h4yaD09HfwhGb3m6hiZ-MhBIPnlDS47wViXIPvPCAG6uBOIBHIcme4m5UwkOGejDzQNoU0Ax92M8_ikH73ld_e5m1rHfrGKWbPNvnrb9KA/w494-h640/NeldnerISD857Notice_08a.jpg" width="494" /></a></div><br /><p><i><b>FYI:</b> Keith Haskell, an investigator with the National Action Task Force (NATF), https://national-taskforce.org/about-us who has been working to assist Hanson throughout the process, told The Minnesota Sun that he wants to see the judge removed and the city attorney who handled the case disbarred, due to the alleged misconduct outlined in the writ of habeas corpus. NATF is a national group made up of investigators that “work in concert with local and federal authorities when and where it is appropriate.”EXCLUSIVE: Lisa Hanson Files Writ of Habeas Corpus with United States District Court of Minnesota December 15, 2021 Hayley Feland hayley@volente.biz<br /><a href="https://theminnesotasun.com/2021/12/15/exclusive-lisa-hanson-files-writ-of-habeas-corpus-with-united-states-district-court-of-minnesota/">https://theminnesotasun.com/2021/12/15/exclusive-lisa-hanson-files-writ-of-habeas-corpus-with-united-states-district-court-of-minnesota/</a></i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhSTE0pb9Fg-HTqwasbFCFiaTcRBgFPthud5k4bYBmI88PoJBHoxKvnoXETZbEYsY8vMOeEOT5LWUBmwxezTn71FTJp_d5x2PP6nS5Ircjid1t7fnozJO53H21DzOrVzNxp-V8LcF7gUgdJTNNN5uw--ssO9igzB5bDedKGBKtAZsJ55DOgSJDTfPPH_w/s1100/NeldnerISD857Notice_09.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhSTE0pb9Fg-HTqwasbFCFiaTcRBgFPthud5k4bYBmI88PoJBHoxKvnoXETZbEYsY8vMOeEOT5LWUBmwxezTn71FTJp_d5x2PP6nS5Ircjid1t7fnozJO53H21DzOrVzNxp-V8LcF7gUgdJTNNN5uw--ssO9igzB5bDedKGBKtAZsJ55DOgSJDTfPPH_w/w494-h640/NeldnerISD857Notice_09.jpg" width="494" /></a></div><p><i><b>FYI:</b> An individual identified as Richard Martin attempted to appear by teleconference and represent Defendant. Mr. Martin would not provide the Court with a verification of his Minnesota attorney registration number to confirm he is authorized to practice law in the state of Minnesota. The Court attempted to ask Mr. Martin if he was a licensed attorney in the state of Minnesota. Mr. Martin refused to answer the Court’s questions. Instead, Mr. Martin asked the Court if it wanted to go down that path. Because Mr. Martin refused to answer the question, the Court delegated Mr. Martin an observer for the hearing. As an observer, Mr. Martin’s microphone was muted and he was not permitted to speak during the proceeding. Order For Contempt BY THE COURT: Dated: 10 January 2021 Ross L. Leuning Judge of District Court State of Minnesota, by its Attorney General, Keith Ellison, Plaintiff, vs. MLH Enterprises L.L.C. d/b/a The Interchange Wine & Coffee Bistro, Defendant. File No. 24-CV-20-1788</i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgtyFL-yu69P83XdmF_3jTBM2OO7OY1jRbNsZRiGH-BYfoFjzD9s7Aqpykm7_HOGjUZ_34ik6kOZ3gaq9MS-UdoORc2rC0hg0dGFGbVBEYa3pz1WkDwPu9JO3d5NKK6qAcjuvrKMw_hVqFHMpekPcs6z64H-LuAFHBctrGG0GaxfjhHxR_5djAbfQqaVA/s1100/NeldnerISD857Notice_10.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgtyFL-yu69P83XdmF_3jTBM2OO7OY1jRbNsZRiGH-BYfoFjzD9s7Aqpykm7_HOGjUZ_34ik6kOZ3gaq9MS-UdoORc2rC0hg0dGFGbVBEYa3pz1WkDwPu9JO3d5NKK6qAcjuvrKMw_hVqFHMpekPcs6z64H-LuAFHBctrGG0GaxfjhHxR_5djAbfQqaVA/w494-h640/NeldnerISD857Notice_10.jpg" width="494" /></a></div><p><i><b>FYI: </b>THE COURT: All right. Well, it seems like it is diminished. We'll press
on. And so I have called the case. Ms. Hanson, I did not ask: Are you
represented by counsel?<br />MS. HANSON: I am represented by assistance of counsel.<br />THE ZOOM HOST: If I could, I could try to move Ms. Hanson into a breakout room to fix her audio.<br />THE COURT: All right. We're going to go off the record.<br />(Whereupon, at 3:55 p.m., a recess was taken, after which, at 4:02 p.m., the following proceedings were had:)<br />THE COURT: We'll go back on the record. And, Ms. Hanson, when we were interrupted with the<br />communication issues, I asked if you were represented by counsel. Are you represented by counsel?<br />MS. HANSON: I am represented by assistance of counsel.<br />MS. HANSON: I am represented by Richard Martin, my lawyer.<br />THE COURT: All right. Mr. Martin, are you there? And for our host –<br />THE ZOOM HOST: I have asked him to unmute.<br />THE COURT: Okay.<br />MR.
MARTIN: Okay. I've lost -- tell me -- I got you on audio, but I don't
have you on visual currently. This is Rick Martin of the Constitutional
Law Group. And I am acting only as assistance of counsel.<br />THE COURT: So, Mr. Martin, by that, what do you mean?<br />MR.
MARTIN: Under the Sixth Amendment, her rights are protected. She
chooses her assistance of counsel, and I am currently acting of as
assistance of counsel. That is my only capacity.<br />THE COURT: Mr. Martin, are you a licensed attorney in the State of Minnesota?<br />MR. MARTIN: Let me ask you this question before we go any further: Do you want to pursue that?<br />THE COURT: Yes, I do. Are you a licensed –<br />MR. MARTIN: You really do?<br />THE COURT: -- attorney in the State of Minnesota?<br />MR. MARTIN: I'm going to ask you the question --<br />THE COURT: All right. Our host can mute him.<br />MR. MARTIN: Listen. I've got to ask for clarity: So that we are clear –<br />THE ZOOM HOST: That was your wish, Your Honor, to mute him; correct? It was hard to hear.<br />THE COURT: That is correct, yes.<br />THE ZOOM HOST: Okay.<br />THE
COURT: So, Ms. Hanson, Mr. Martin is not a licensed attorney in the
State of Minnesota; he is not authorized to practice law in this court;
he has not filed any motion to appear pro hoc vice. No attorney in the
state has made that motion and represented that they will assist him in<br />this
proceeding. And, because of that, I can't allow him to be your
attorney. I can certainly allow him to continue to observe the
proceedings as any member of the public does. Do you understand?<br />MS. HANSON: No, I don't understand.<br />THE
COURT: Well, the State of Minnesota does not allow anyone to practice
law unless they are a licensed attorney within the state. He is not, so
he cannot practice in this court. It is that simple.<br />(Whereupon, an unidentified third party spoke to the defendant off the record.)<br />THE COURT: Are you ready to proceed?<br />MS. HANSON: I'm sorry. No, sir. I am not ready to proceed. Can I have a moment to look at my notes?<br />THE COURT: You certainly may.<br />MS. HANSON: Thank you.<br />THE
COURT: Ms. Hanson, the question before you is: Are you ready to
proceed? It is time to answer the question. You've had enough time to
look at your notes. And, for our host, let's unmute Ms. Hanson.<br />THE ZOOM HOST: I have made the request, sir.<br />THE COURT: Okay.<br />MS. HANSON: Can you hear me now?<br />THE COURT: We can, yes.<br />MS.
HANSON: I'm not ready to proceed, sir. Can you provide me with a copy
of your license and your bond to practice law in the State of Minnesota?
That would be a question for both the judge and the<br />prosecutor.<br />THE
COURT: Ma'am, we are not going to do that; we don't have to do that. We
are going to proceed. Is there anything else you'd like to address?<br />MS.
HANSON: I'm asking if you can provide me with a copy of your license
and your bond to practice law in the State of Minnesota.<br />THE COURT:
And I answered that, "No," ma'am. We're not going to do that; we're
going to proceed with this case. (Whereupon, an unidentified third party
spoke to the defendant off the record.)<br />MS. HANSON: I'm sorry?<br />THE
COURT: All right. With that, then, we will proceed. Ms. Hanson will be
representing herself and her business, and the moving party is the State
of Minnesota. … Page 9-13 State of Minnesota, by its Attorney General,
Keith Ellison, Plaintiff, vs. MLH Enterprises L.L.C. d/b/a The
Interchange Wine & Coffee Bistro, Defendant. Motion Hearing Court
File No. 24-Cv-20-1788 The above-entitled matter came on for hearing via
Zoom before the Honorable Ross L. Leuning, Judge of District Court, at
the Freeborn County Government Center, Courtroom No. 2, City of Albert
Lea, County Of Freeborn, State Of Minnesota, at 3:45 P.M. on January 8,
2021. 24-Cv-20-1788 Filed In District Court State Of Minnesota 1/26/2021
4:09 Pm State Of Minnesota In District Court County of Freeborn Third
Judicial District Civil Division</i></p><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgd8Vyvyl0ibw7jrbTTVm1BgTy8vx2AyHv9r_8eeHK3N1q-GL0ksRYtDFxCCM00oVszHkkbkLkQyKMbl9ywSmCMECXTz1E_G7PuQ5VK9TT1xTtCys9Xhl085G9_cKD1AOgQTvcO_h85rxYwZTS7ocHvqSLSuzVSPLh9PddQmBd773LPc-PB0odM5tieqw/s1100/HaskellISD857Notice_01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgd8Vyvyl0ibw7jrbTTVm1BgTy8vx2AyHv9r_8eeHK3N1q-GL0ksRYtDFxCCM00oVszHkkbkLkQyKMbl9ywSmCMECXTz1E_G7PuQ5VK9TT1xTtCys9Xhl085G9_cKD1AOgQTvcO_h85rxYwZTS7ocHvqSLSuzVSPLh9PddQmBd773LPc-PB0odM5tieqw/w494-h640/HaskellISD857Notice_01.jpg" width="494" /></a></div><br /><i><b>FYI:</b> Keith Haskell: Alternative demand for redress. Hey I like choice. I like alternatives. Don’t you? I like choice. That’s what an alternative is. I have an alternative for you. And it’s not wear the mask or go home. Cease and desist with enforcement of wearing a face mask as a condition upon which to enter this public place. And provide notice to the claimant of this decision. In other words you got to tell me you’re going to quit doing it. Now folks that is just one alternative demand for redress of grievances. Let’s talk about some more that have been used in the state of Minnesota successfully. Does anybody know there are nine school board . I’m sorry nine superintendents of schools that have already resigned in the state of Minnesota this year?<br />Videographer: They’re not telling us that.<br />Keith Haskell: Oh yeah.<br />Videographer: Yeah. 36:37-37:22/1:10:41 <a href="https://www.youtube.com/watch?v=RUehmPUsoVU">https://www.youtube.com/watch?v=RUehmPUsoVU</a> TAKE BACK THE SCHOOL BOARDS! Keith Haskell. 44 views Feb 24, 2022 4 Dislike Share Save Wes Lund</i><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjgyFA_y6QSK3IH3OcWwKnwXvC_07qPviGZVFzmAlbOK-F6hcRNffKrspAkK8ZnnY_cPafey0RD4iL0JcxzRcPyuhyuM7UbG318g2wUzEHWgWWCelHSZJ8d4khoZ8BozUgFg5Yt8HqpWeJ5LXch4tq6D5urrto2uroFRRffDdyIwry6WKfXkKTAHkCh6A/s1100/HaskellISD857Notice_01a.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjgyFA_y6QSK3IH3OcWwKnwXvC_07qPviGZVFzmAlbOK-F6hcRNffKrspAkK8ZnnY_cPafey0RD4iL0JcxzRcPyuhyuM7UbG318g2wUzEHWgWWCelHSZJ8d4khoZ8BozUgFg5Yt8HqpWeJ5LXch4tq6D5urrto2uroFRRffDdyIwry6WKfXkKTAHkCh6A/w494-h640/HaskellISD857Notice_01a.jpg" width="494" /></a></div><br /><p><i><b>FYI:</b> Keith Haskell: I don’t need you pushing me out front and making me a sacrificial lamb. I don’t need you taking a Brian Brotner and Elena or or even a Wes Lund and saying “Hey look at all this information I have for you. You should go scream at them.” No. That is not what we need. Listen I’m dumb enough. I’m going to volunteer to be in the front. I don’t need your help.<br />Videographer: (Laughs)<br />Keith Haskell: I don’t need your help pushing me there. But, I’ll tell you what. I used to love a good old western. And I was talking with a gentleman today and this just came to me today. I don;t need you behind me. I don’t need me up here talking at the school board podium and have 45 of you or 50 or 60 of you behind me. Or 100 of 140. I need you on my flank. My right and my left. I need it to be like the old westerns with the cowboys looked up out of the valley up on the hill and all they saw was horses and feathers. All the way around. And when uh oh they brought an army and we’re surrounded. Now you don’t all have to have skills. And yes there’s strength in numbers. You don’t have to have the same skills I have. But you do all have skills, I know because you were made by God. And He didn’t leave you empty-handed. He gave you certain talents and skills that I don’t have. But one of them is joint the doggone army. Quit standing behind us. Quit making your neighbor do all the work. There’s people out her fighting at these school boards and city councils do not have children in public schools. Well yeah those are the rabblerousers. And they shouldn’t be there. They don’t have a reason to be there. Listen, we all have a reason to be there. 57:20-59:18/1:10:41 <a href="https://www.youtube.com/watch?v=RUehmPUsoVU">https://www.youtube.com/watch?v=RUehmPUsoVU</a> TAKE BACK THE SCHOOL BOARDS! Keith Haskell. 44 views Feb 24, 2022 4 Dislike Share Save Wes Lund</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjIXnUikKQWz_KSaNnor70fw4gBgphPuUwI9AObvWyt4eoKRtcNiVxuGFH8Aw0G7Hfni7eKiBthvMzPfu6TlJBSiVF8uuCb_-Ic0FFln8YtEX_sanO-amkHcFdOElqSgZ3LNwkxdUaX1tlCwIDREGuZarHjK5vK5K_0SRQeimw2LVcpJDfE5DGd0TLomw/s1100/HaskellISD857Notice_02.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjIXnUikKQWz_KSaNnor70fw4gBgphPuUwI9AObvWyt4eoKRtcNiVxuGFH8Aw0G7Hfni7eKiBthvMzPfu6TlJBSiVF8uuCb_-Ic0FFln8YtEX_sanO-amkHcFdOElqSgZ3LNwkxdUaX1tlCwIDREGuZarHjK5vK5K_0SRQeimw2LVcpJDfE5DGd0TLomw/w494-h640/HaskellISD857Notice_02.jpg" width="494" /></a></div><i><b>FYI:</b> Now you serve a late notice because they pay that in sevens days. Instructions again how to pay. And again affidavit of service. All right then you serve notice of default and dishonor. What that means is you are deliberately not answering this and you are now in default. And folks that holds up in court. There are quite a few fun little things you can do after this point. You can go to court. You can file what’s called a les Prudence claim with affidavits and record them in the court recorder’s office. You know what that does? Well about midnight that night or midnight on Friday night at the latest it’s automatic all that information is automatically uploaded. And it usually shows up at places like public notice sections in newspapers. And it goes to companies. Let me see if I get these names right. And if you guys have ever heard of any of them. TransUnion. Equifax. Hmm. I lik that cabin that you’re trying to sell. Can’t sell that with a lien, can you? Oh, you don’t have 250,000? That’s okay. How about that nice boat you just bought. I like the water. See I’m a negotiator. I have the power. You have the power. It’s we the people. We are the government. And we’ve got to stop rolling over and letting people 53:52-55:20/1:10:41 <a href="https://www.youtube.com/watch?v=RUehmPUsoVU">https://www.youtube.com/watch?v=RUehmPUsoVU</a> TAKE BACK THE SCHOOL BOARDS! Keith Haskell. 44 views Feb 24, 2022 4 Dislike Share Save Wes Lund</i><br /><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjlxZJQc1sKBII4fdHvmoSOKmsCJ4WIH94O1r-AHHGSwn-PYm8rNDLkS1EK6iQJ2ykQebYA7Q2Dk00nvI5Gvzbg0Hy79giZI22b_ldNERvfDM5Hn8a7Vl3lHeCXzy73qnrrwuTACyed92FJ4NmXqibUVp5iBaDc_17JqYcsKUFeSiYe1g3Yn-EtBnfSNg/s1100/HaskellISD857Notice_04.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjlxZJQc1sKBII4fdHvmoSOKmsCJ4WIH94O1r-AHHGSwn-PYm8rNDLkS1EK6iQJ2ykQebYA7Q2Dk00nvI5Gvzbg0Hy79giZI22b_ldNERvfDM5Hn8a7Vl3lHeCXzy73qnrrwuTACyed92FJ4NmXqibUVp5iBaDc_17JqYcsKUFeSiYe1g3Yn-EtBnfSNg/w494-h640/HaskellISD857Notice_04.jpg" width="494" /></a></div><br /><p><i><b>FYI:</b> Notice of Wrongdoing and Demand for Redress<br />(Verified)<br />I, [your in proper capitalization], a [man/woman], hereinafter referenced as “Claimant”, HEREBY NOTICE [name of wrongdoer, in his/her full capacity as a man/woman [acting in agency of XXX] of wrongful conduct against the Claimant and MAKE DEMAND for redress of the wrongdoing in the alternative, make the Offer of Opportunity to dispute the facts, assert any law that would avoid the liability as charged, or dispute the value of the damages as noticed herein.<br />Wrongdoer is FURTHER NOTICED that he/she has [7, 14, 21] days from the date of receipt of service made by [certified mail or personal service] to either redress the wrongdoing as demanded herein or make dispute of any such fact, or allege claims in avoidance, under penalty of perjury by certified mail addressed to the Claimant at : [address].<br />In absent of said dispute or assertion of claim(s) in avoidance to the liability as charged and made in the manner and services so specified, it will be established that no dispute exists and that the Claimant is entitled to the redress of wrongdoing upon the actions(s) of trespass on the case according to the DEMAND made herein and will be deemed as tacit admission to the wrongdoing in fact and tacit agreement with the value established for redress of the wrongdoing – having no authority upon which to avoid the liability as charged – and will estop Wrongdoer from asserting any legal rights thereafter. Any dispute of fact shall be put before a trial by jury tribunal.<br />Upon reasonable belief, Wrongdoer is not licensed to practice medicine in [your state].<br />Wrongdoer made no claim to have medical knowledge.<br />Claimant gave notice to Wrongdoer that she did not consent to the wearing of a face mask.<br />Wrongdoer made assertions that he/she could interfere with the liberty and freedom of the medical choice of the Claimant in conspiracy with other unknown people as a matter of a policy of [policy maker].<br />Medical device. Any article or healthcare product intended for use in the diagnosis of disease or condition, or for the use in the care, treatment or prevention of disease, which does not achieve any of its primary intended purpose by chemical actions or by being metabolized.<br />Duty<br />Wrongdoer has a duty as a man/woman under common law to not commit a trespass against another man or woman.<br />First Cause of Action: Intentional Trespass on the case (trespass ab initio) against Wrongdoer for interference with the liberty and medical choice of the Claimant in his/her decision to not wear a face mask in the conduct of Claimant’s private matter in a premise open to the public.<br />Paragraphs 1 through 14 incorporated here by reference as fully stated.<br />DEMAND FOR REDRESS<br />WHEREFORE: Because of the truthfulness of the foregoing cause of action and the facts in support thereof, the Claimant makes DEMAND for MONEY DAMAGES against Wrongdoer as according to the following demand:<br />Considering that the trespass was intentional and a violation of constitutionally protected common law rights of personal liberty and medical choice and Wrongdoer’s willful and contemptuous disregard, Special or Punitive Damage in the amount of $250,000 as the punitive value Congress has established with respect to any two or more person who who conspire to injure any person in any State in the free exercise or enjoyment or any right or privilege secured to him by the Constitution or laws of the United States – They shall be fined as not to exceed $250,000 under 18 U.S.C. § 241 and 18 U.S.C § 3571(b).<br />ALTERNATIVE DEMAND FOR REDRESS<br />CEASE AND DESIST with the enforcement of wearing a face mask as a condition upon which to enter [public place] and provide notice to the Claimant of the cessation.<br />Verification<br />I declare under penalty of perjury under the laws of the state of [your state] that the foregoing is true, correct, and made in good faith upon my knowledge and belief and will testify to the same in court if called to do so. <br />Executed on this _________ day of [month], 2022<br />by: ____________________________<br /></i></p><p><i><a href="https://www.youtube.com/watch?v=RUehmPUsoVU">https://www.youtube.com/watch?v=RUehmPUsoVU</a> TAKE BACK THE SCHOOL BOARDS! Keith Haskell. 44 views Feb 24, 2022 4 Dislike Share Save Wes Lund</i><br /></p><p>More to come ...</p><p>Related Links:<br /></p><p><br /></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-38103746188068848062022-04-15T11:28:00.005-07:002022-04-15T18:31:09.257-07:00Part Two Of Candi Lemarr: A Fool And Their Money & Horses Are Soon Parted? (Lemarr Turned Down Nemmers' Winning Sage Advice, Didn't She?) Will Or Won't Subject Of Data Candi Lemarr Authorize Release Of Body Camera Video For State of Minnesota vs Candi Jolene Lemarr Case Number 08-CR-21-272? FYI: Lemarr's Angry/Embarrassed Attorney Says "No" After Nemmers Mentions The Fact That Lemarr Was Determined To Be "Not A Credible Witness"?<p>Note: Has everyone been waiting for Candi Lemarr's response to whether or not she will authorize Brown County to release the body camera video for State of Minnesota vs Candi Jolene Lemarr Case Number 08-CR-21-272 to me? Did you know that I just sent a second email today? Maybe I shouldn't have mentioned in the email that Candi Lemarr was determined to be not a credible witness? That wouldn't be any fun if I left that damning part out, would it? So guess who responded? Did you guess Lemarr's apparently very angry and very embarrassed attorney?</p><p>_____________________________________________________________________________</p><p><i>from: Lion News lionnews00@gmail.com<br />to: katie@grosheklaw.com,<br />James Kuettner jim@jklawmn.com,<br />fbusch@nujournal.com,<br />gorear@nujournal.com,<br />Jeremy.reed@co.brown.mn.us,<br />cpeterson@nujournal.com,<br />Jason Seidl Jason.Seidl@co.brown.mn.us<br />date: Apr 15, 2022, 10:31 AM<br />subject: Will Or Won't Subject Of Data Candi Lemarr Authorize Release Of Body Camera Video For State of Minnesota vs Candi Jolene Lemarr Case Number 08-CR-21-272?<br />mailed-by: gmail.com</i></p><p><i>Katherine Claffey, lead attorney for Candi Lemarr 612-827-3833:</i></p><p><i>Is your falsely accused client, Candi Lemarr, subject of the data, going to have a problem with authorizing Brown County to release the body camera video for State of Minnesota vs Candi Jolene Lemarr Case Number 08-CR-21-272 to me? Plus, doesn't your client's reputation need some rehabilitation? Your client was found by the court to be a "not credible" witness, right? Wouldn't releasing the videos help to repair Lemarr's damaged reputation? And, isn't it also true that Lemarr's credibility was damaged, in part, because your co-counsel failed to either ask for sanctions against Brown County Attorney Chuck Hanson (The convicted thief, right?) and/or failed to ask for the Evidentiary hearing for Case No. CV-20-978 Candi Lemarr vs. Brown County to be continued? Aren't asking for sanctions and asking for a continuance the things that a competent attorney would do when the prosecutor illegally withholds and/or delays the defendant's evidence for an evidentiary hearing? Hmm? Inquiring minds want to know, don't they?</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. Did you see the video that Mahnomen County Sheriff Josh Guenther released to the public to dispell the attemted murder rumors? Funny, Brown County Sheriff Jason Seidl didn't think to volunteer to release the Lemarr videos to dispel all those Lemarr rumors, isn't it?</i></p><p><i><br />"I think now that the facts have been released, it might change some people's minds, and they might have a different feeling about this whole situation," Guenther told MPR News on Thursday. Mahnomen County authorities release dashcam video of shooting after pursuit MPR News Staff April 14, 2022 1:35 PM <a href="https://www.mprnews.org/story/2022/04/14/authorities-release-dashcam-video-of-shooting-after-pursuit-in-mahnomen-county">https://www.mprnews.org/story/2022/04/14/authorities-release-dashcam-video-of-shooting-after-pursuit-in-mahnomen-county</a><br /></i></p><p><i><a href="https://www.facebook.com/MahnomenCountySheriffsOffice/videos/3102661763382534">https://www.facebook.com/MahnomenCountySheriffsOffice/videos/3102661763382534</a> Mahnomen County Sheriff's Office April 13 at 2:59 PM · WARNING: GRAPHIC CONTENT Sheriff’s Statement April 13, 2022 The provided video shows a portion of the officer involved shooting that occurred in Mahnomen County on March 13th, 2022 involving Deputy Dakota Czerny and Shequoya Deanne Basswood, age 20, of Mahnomen. The purpose of releasing this segment of video is transparency. There is a narrative being pushed through social media from a coalition out of the Twin Cities area stating that Deputy Czerny attempted to murder Basswood. This coalition has created a “Wanted” poster regarding Deputy Czerny, which raises serious questions about Deputy Czerny’s safety. The intent of releasing this video is to make the public aware of the facts. On March 13th at approximately 1:37 a.m. Deputy Czerny</i></p><p><i>Consider the typical jury trial. For an innocent defendant, even a not guilty verdict is a loss. Although the innocent defendant has “won,” she has undergone arrest and (at least minimal) incarceration, spent money on premiums paid to bail bondsman, spent more money hiring a lawyer, withstood the inevitable public censure and suspicion, undergone the roller coaster ride of emotion during the protracted litigation, and will ever after suffer a stain on her reputation. For the innocent defendant, “not guilty” is a smaller loss than “guilty as charged,” but it is a loss nonetheless. For a guilty defendant, even a guilty verdict and a prison sentence can be a win. More than one guilty defendant facing a draconian sentence has celebrated when she was convicted of a lesser crime and sentenced to the maximum for a minor felony. George R. Dekle, Sr, Prosecution Principles: A Clinical Handbook (Thompson/West:2007), Page 65.</i></p><p><i>Q Investigator Reed, if someone is posting online regarding what happened on November 23rd, 2020, were there eight deputies out at Sapphire Farms on November 23rd, 2020?<br />MR. KUETTNER: Objection to the -- sorry, Your Honor. Objection to the relevance. The first half of this question, whether or not somebody posting online, whatever they're posting has nothing to do with what happened on November 23.<br />THE COURT: I agree. I don't know what has been posted online. Obviously, we were focused here on what did happen and not on rumors or speculation or guesses online, so I will sustain the objection to the first part of the question. Page 146-147. Evidentiary Hearing - Volume III Day 3 of 3 Pages 111-172 Evidentiary Hearing File No. CV-20-978 Candi Lemarr vs. Brown County. Q: Andrea Liester, Assistant Brown County Attorney, Q: James Kuettner, Attorney for Defendant</i></p><p><i>My client did not see the video, itself, until this morning. We did not have time to review the video in total together because the video was disclosed to me yesterday morning, after I had told the State that I would be making a site visit out to my client's farm place. My client's farm place is an hour from my office, so one hour out, one hour back. We spent some time there. It turns out that the State decided not to pursue what they were initially pursuing, so the event might have been viewed or might be viewed as a waste of my time. I didn't arrive back to my office until 1:15. At that point, I had lunch and started to review the videos. I again shared them, parts of them, with my client this morning. She has not seen all of the videos yet, but I did share with her parts of those videos. She has told me that she has, essentially, gone social media blackout and/or silent. I have no control, nor do I have any duty to control third parties, so whatever they do on social media, I have nothing to do with it. I have advised them generally not to say or do anything, anybody that I have met, not to say or do anything or talk about this case outside of the case, itself, but I hope that Ms. Lieser's stated concerns from earlier in this hearing are assuaged by my statements here. Page 77-78. Evidentiary Hearing - Volume I Day 1 of 3 Pages 1-81. Evidentiary Hearing File No. CV-20-978 Candi Lemarr vs. Brown County. Q: James Kuettner, Attorney for Defendant</i></p><p><i>ORDER 1. The motion for a new trial or amended findings is DENIED. 2. The attached Memorandum is incorporated herein. DATED: February 12, 2021 Digitally signed by Docherty Robert (Judge) Date: 2021.02.12 Robert A. Docherty Judge of District Court ... Finally, Plaintiff argues her credibility; the Court sees no reason to change its conclusion that she was not a credible witness. For these reasons, the Plaintiff’s post-trial motion is denied. RAD Order & Memorandum Case Number: 08-CV-20-978 Case Title: Candi Lemarr vs Brown County</i></p><p><i>23. Plaintiff’s therapist, Sandra Walsh, testified about her contacts with Plaintiff. When Plaintiff is under great stress, she dissociates, which Ms. Walsh described as avoiding eye contact; staring into space; and, in therapy sessions, perseveration of thoughts. In dissociation, Plaintiff may appear calm or may break down; she may have shifty eye movements and may appear dishonest.<br />24. Ms. Walsh was not at Plaintiff’ s farm on November 23, 2020, and she did not testify to any observations of Plaintiff on that date.<br />25. During her contact with Investigator Reed, Plaintiff did not say that she did not understand what he was saying or that she was confused. She did not stare into space or break down, and she maintained attention throughout her contact.<br />26. Neither the Plaintiff nor her son expressed any concerns about her mental health on November 23, 2020. … The actions of Investigator Reed in this case do not amount to duress. Plaintiff had the option of allowing the animals to be removed involuntarily and demanding a court hearing. There is no indication that Plaintiff was suffering from dissociation during her contact with Investigator Reed; she spoke clearly and lucidly and asked relevant questions. Plaintiff was allowed to consult with her son and was free to leave the property and did so. Contrary to her testimony that Investigator Reed isolated her in his vehicle, her son spoke to her through an open window. Plaintiff volunteered to allow Mini-Bit and the three donkeys to be taken. She discussed with the veterinarian which animals could go and which she would keep; her decisions were rationally focused on keeping the animals that would allow her to continue to offer riding lessons and releasing the animals that were not income producers. Based upon the foregoing Findings of Fact and Conclusions of Law, the Court makes the following:<br />ORDER 1. Plaintiff s request for an evidentiary hearing on the seizure of the animals is DENIED. DATED: January 19, 2021 Digitally signed by Docherty Robert (Judge) Date: 2021.01.19. Findings Of Fact, Conclusions Of Law & Order. Case Number: 08-CV-20-978 Case Title: Candi Lemarr vs Brown County</i><br /></p><p>_____________________________________________________________________________</p><p></p><p><i>from: Claffey, Katie katie@grosheklaw.com<br />to: Lion News lionnews00@gmail.com,<br />"jim@jklawmn.com" jim@jklawmn.com<br />date: Apr 15, 2022, 12:39 PM<br />subject: Re: Will Or Won't Subject Of Data Candi Lemarr Authorize Release Of Body Camera Video For State of Minnesota vs Candi Jolene Lemarr Case Number 08-CR-21-272?<br />mailed-by: grosheklaw.com<br />signed-by: christagrosheklaw.onmicrosoft.com<br />security: Standard encryption (TLS) Learn more<br />: Important mainly because it was sent directly to you.<br /></i></p><p><i>Mr. Dean-Nemmers,<br /> <br />Ms. Lemarr is not releasing her file to anyone. Thank you for your interest in this case. I hope this resolves all your questions. Thank you.<br /> <br />Respectfully,<br /> <br />Katie Claffey, Esq.<br />signature_55505470<br />302 North 10th Avenue Minneapolis, MN 55401<br />Phone: (612) 827-3833 Fax: (612) 294-2565<br />www.grosheklaw.com <br /> <br /> <br />CONFIDENTIAL<br />This message is being sent by or on behalf of a lawyer; it is meant for the exclusive use of the intended recipient and may contain information that is privileged or confidential or otherwise legally exempt from disclosure. If you have received this message in error, please notify the sender immediately by e-mail or by telephone (612) 827-3833 and delete all copies of the message.</i><br /></p><p>More to come ...</p><p>Related Links:</p><p><a href="http://lionnews00.blogspot.com/2022/04/candi-lemarr-fool-and-their-money.html">Candi Lemarr: A Fool And Their Money & Horses Are Soon Parted? (Lemarr Turned Down Nemmers' Winning Sage Advice, Didn't She?) Will Or Won't Subject Of Data Candi Lemarr Authorize Release Of Body Camera Video For State of Minnesota vs Candi Jolene Lemarr Case Number 08-CR-21-272? FYI: So Far Crickets From Lemarr's Attorneys, Right?</a></p><p><a href="http://lionnews00.blogspot.com/2022/03/who-wants-to-toss-another-batch-of.html">Who
Wants To Toss Another Batch Of Monkey Wrenches Into Rigged Case No.
08-CR-21-272 State Of Minnesota Vs Candi Jolene Lemarr? Chapter 13 Data
Request For Candi Lemarr Related Data? Rogue Nonprofits (Minnesota
Federated Humane Societies & Minnesota Hooved Animal Rescue, Right?)
Involved In Rigged Investigation Willfully Refuse To Cough Up Form
990's? Trained Observers Can't See Surveillance Video? Witness Friesen's
Middle Finger? Vets Not Asked About All Possible Diagnostic Tests On
Stand?</a> </p><p><a href="https://lionnews00.blogspot.com/2021/11/how-about-we-tell-new-ulm-journal-about.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/11/how-about-we-toss-monkey-wrench-into.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/11/who-wants-to-toss-monkey-wrench-into.html">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?</a></p><p><a href="https://lionnews00.blogspot.com/2021/02/nemmers-asks-brown-co-commissioners.html">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? </a></p><p><a href="https://lionnews00.blogspot.com/2021/08/who-wants-to-toss-monkey-wrench-into.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/08/transcripts-for-case-no-46-cv-19-1224.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/06/lets-ask-joseph-gangi-attorney-for.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/05/lets-ask-martin-county-sheriff.html">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?</a> <br /></p><a href="http://lionnews00.blogspot.com/2021/05/armed-minnesota-animal-humane-society.html">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</a><p></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-29595594030670068592022-04-11T06:46:00.013-07:002022-04-11T07:58:27.832-07:00Nemmers Files Criminal Complaint Against 2022 Superintendent Of The Year Corrupt ISD 241 Superintendent Mike Funk? Corrupt Albert Lea Public Safety Director JD Carlson Acknowledges Receipt Of Nemmers' Complaint On 04-04-22? Did Nemmers Toss A Monkey Wrench Into Funk's Attempt To "Golden Parachute" Out Of Corrupt Freeborn County?<div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgElHtvtJUWJdnwMSgdtJT5WMKoIuA6Ee28SCGe1h7hMqDk10iBX5CLhTxPiD9kl4cIqYcKaKUUNGhKLMlmuCKAK-yNODPallkWOHtWTSGjwkWYIki8iKzPpFLBwdTKy2OBxes9cZ6tGGh51RVOR_F8YkmAYO3AXadMOLOQqTi7HTKnd1jdAVlqSOp3Jg/s1100/Funk_Complaint01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgElHtvtJUWJdnwMSgdtJT5WMKoIuA6Ee28SCGe1h7hMqDk10iBX5CLhTxPiD9kl4cIqYcKaKUUNGhKLMlmuCKAK-yNODPallkWOHtWTSGjwkWYIki8iKzPpFLBwdTKy2OBxes9cZ6tGGh51RVOR_F8YkmAYO3AXadMOLOQqTi7HTKnd1jdAVlqSOp3Jg/w494-h640/Funk_Complaint01.jpg" width="494" /></a></div><p><i>04-04-22</i></p><p><i>JD Carlson, Director of Public Safety 04-04-22 411 S. Broadway Albert Lea, MN 56007 507-377-5665</i></p><p><i>Emailed to: jcarlson@ci.albertlea.mn.us, kmartinez@ci.albertlea.mn.us, sarah.stultz@albertleatribune.com, neal.skaar@alschools.org, kim.nelson@alschools.org, judy.keliher@isd194.org, terry.lind@isd194.org, michael.baumann@isd194.org, shermana@stillwaterschools.org, hockertk@stillwaterschools.org, lansfeldtm@stillwaterschools.org, director@albertlea.org<br /></i></p><p><i>This is my formal criminal complaint 1,2 against ISD 241 Superintendent Mike Funk and ISD 241 Executive Director of Administrative Services Kathy Niebuhr for attempting to defraud me out of $819.62 for readily available 3,4 , free 5 , electronic 6,7 , public, ISD 241 data 8,9,10 .<br /></i></p><p><i>I have reason to suspect that I have clear, precise and unquestionable evidence of both Funk and Niebuhr willfully refusing to perform known mandatory 11 , nondiscretionary, ministerial duties of ISD 241 employment. And those duties are to either timely provide me with the readily available, free, electronic, public ISD 241 data that I requested in my Chapter 13 Data Requests or to provide me with sufficient documentation to explain 12,13,14,15,15,16 and justify 17 their fraudulent bill of $819.62. The evidence is incorporated into this complaint as Exhibits A through R.</i></p><p><i>Prior to Funk’s fraudulent bill of $819.62 I was being harassed by Niebuhr over a Trespass Notice issued to a Christopher Penrod. See Exhibit D. Niebuhr knowingly, intentionally and maliciously redacted public information on the Trepass Notice issued to Penrod. After I confronted Funk over the misuse of public resources and the criminal misconduct by Niebuhr, then Funk retaliated against with the 01-07-22 fraudulent bill of $819.62. I immediately became suspicious of the fraudulent and retaliatory bill.</i></p><p><i>First of all, it is a matter of the public record that ISD 241 went paperless prior to 10-25-14. Second, Page 1 of 8</i><br /></p><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhQReLRca-yKnq5OrXSvVDH7xh0JK1bSzi1iDf9qiAmw-UNbb_ZdA_BTSID2o1AIlvU9rlKbaAlYhX5W6Q-sQTcGVdakIRw4qMGPkRccacxkr5fCRDtI8HOOS3sKSJcwAozzU8aQvoZSqthVsvPmFBQvpdpa1LqSX-qdYSjJTI6TD3yT3Y_WvqeONYqAA/s1100/Funk_Complaint02.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhQReLRca-yKnq5OrXSvVDH7xh0JK1bSzi1iDf9qiAmw-UNbb_ZdA_BTSID2o1AIlvU9rlKbaAlYhX5W6Q-sQTcGVdakIRw4qMGPkRccacxkr5fCRDtI8HOOS3sKSJcwAozzU8aQvoZSqthVsvPmFBQvpdpa1LqSX-qdYSjJTI6TD3yT3Y_WvqeONYqAA/w494-h640/Funk_Complaint02.jpg" width="494" /></a></div><br /><i>my Chapter 13 Data Request asked for electronic data and not paper copies. Which means that all Funk or Niebuhr had to do was simply attach my electronic ISD 241 data onto an email and hit the send button. It was a thirty (30) second project. It also means that I did not agree to have either Funk or Niebuhr print off electronic ISD 421 data from their computer severs or their iCloud accounts onto pieces of paper. Nor did I agree to having either Funk or Niebuhr scan those recently printed pieces of paper back into the ISD 241’s computers so they could email them to me. I did not agree to any of this time-wasting, resources-wasting, data-creating 18,19, harassment scheme 20,21,22,23,24,25 by either Funk or Niebuhr. Which explains why neither Funk and Niebuhr wanted to sign their name to a Minnesota Government Data Practices Act (MGDPA) Cost Calculator. In fact, neither Funk or Niebuhr wanted to provide me with a blank of ISD 241’s MGDPA Cost Calculator.</i><p></p><p><i>The only so-called evidence or documentation that Funk did provide me with to allegedly explain and justify the fraudulent $819.62 was the ridiculous picture on the previous page of this complaint. See Exhibit K. The ridiculous picture of a stack of paper was an insult to my intelligence 26 and a huge waste of my valuable time. The ridiculous picture was clearly intended to harass and intimidate me so I would stop asking for readily available, free, electronic, public, ISD 241 data.</i></p><p><i>Apparently Funk and Niebuhr had “lawyered up” after I have provided them with clear, precise and unquestionable, evidence that they had failed to provided me with sufficient documentation to explain and justify their fraudulent bill of $819.62. So I decided to continue with my education program. Exhibit C is an example of me educating the City of Albert Lea on Funk’s willful refusal to comply with the MGDPA. Exhibit O is me educating Albert Lea Tribune Managing Editor Sarah Stultz and Albert Lea- Freeborn County Chamber of Commerce, Executive Director Shari Jenson and Director Beau Hartman on Funk’s criminal misconduct. I was also educating a number of Freeborn County’s elected officials about Funk. Apparently my education program spurred Funk into the decision to “Golden Parachute” out of ISD 241. I came to this logical conclusion because I started seeing public notices that Funk had applied at both ISD 194 and ISD 843 for superintendent jobs.</i></p><p><i>I thought it was important for me to educate both ISD 194 and ISD 843 on the fact that Funk 27 was a common criminal who willfully refused to comply with the MGDPA. It would seem that my Chapter 13 Data Request to ISD 194 Superintendent Michael Baumann helped to toss a monkey wrench into Funk’s plan to “Golden Parachute” to ISD 194. See Exhibit P. It would also seem that ISD 194 Superintendent Michael Baumann was not happy about my education program. I came to that logical conclusion based on the fact that Baumann willfully refused to respond 29 to my time-sensitive Chapter 13 Data Request. Baumann knows or should know that willfully refusing to respond to my time- sensitive Chapter 13 Data Request is a violation of the MGDPA.</i></p><p><i>I have reason to suspect that ISD 843 Superintendent Malinda Lansfeldt is also very upset that I dared to submit my time-sensitive Chapter 13 Data Request. See Exhibit Q and Exhibit R. I came to this logical conclusion because Lansfeldt has willfully refused to timely provide me with my readily available, free, electronic, public, ISD 241 data that I requested in my time-sensitive Chapter 13 Data Request. Lansfeldt knows or should know that willfully refusing to provide me with my readily available, free, electronic, public ISD 843 data that I requested in my time-sensitive Chapter 13 Data Request is a violation of the MGDPA. I have reason to suspect that both Baumann and Lansfeldt have some sort of “honor amongst thieves” thing going on with Funk.<br /></i></p><p><i>_____________________________________________________ Terry Dean, Nemmers 320-283-5713 20179 County Rd 28 lionnews00@gmail.com Glenwood, MN 556334 Page 2 of 8</i><br /></p><p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEj7cTjnKR0fDJgHAEicuem83HY4mybf5DXEZxYVtAXtoiMnyH3FvgzlwI9w4sh5JrIHOXt7aRfJMKs21QkP4IpAUO2Ve5PfWczPQwbwXHud_Fmalr7-iUeVnJedWZ5qHSKOtk-xu2EFqUuCVPxJCHkqJZVEtF4m35hOEWpjIWUB8pcxhH1t30fpCl48dg/s1100/Funk_Complaint03.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEj7cTjnKR0fDJgHAEicuem83HY4mybf5DXEZxYVtAXtoiMnyH3FvgzlwI9w4sh5JrIHOXt7aRfJMKs21QkP4IpAUO2Ve5PfWczPQwbwXHud_Fmalr7-iUeVnJedWZ5qHSKOtk-xu2EFqUuCVPxJCHkqJZVEtF4m35hOEWpjIWUB8pcxhH1t30fpCl48dg/w494-h640/Funk_Complaint03.jpg" width="494" /></a></div><br /><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhjSz99ZiZjgWMRaWLJDnjBPgNNrPWEV1E8vEt1lsFUDnpayIGSOfhLjZUXXZBDJSyvRpYh1yZHTS-eDBMtqn6glRWg5sHnHGrwNUrunjOk2xQQngMjobZswIADr3Zow0QOs3p6Bj04CKOZzpzd2oXcs0SxQ_LiyDJ6cNkloR091M8sNsGnAqEplOEl1A/s1100/Funk_Complaint04.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhjSz99ZiZjgWMRaWLJDnjBPgNNrPWEV1E8vEt1lsFUDnpayIGSOfhLjZUXXZBDJSyvRpYh1yZHTS-eDBMtqn6glRWg5sHnHGrwNUrunjOk2xQQngMjobZswIADr3Zow0QOs3p6Bj04CKOZzpzd2oXcs0SxQ_LiyDJ6cNkloR091M8sNsGnAqEplOEl1A/w494-h640/Funk_Complaint04.jpg" width="494" /></a></div><br /><p>Footnotes</p><p>1. Most Likely Suspect Remember that when circumstantial evidence or especially physical evidence points toward a particular person, that person is usually the one who committed the offense. Inbau, Fred E., Reid, John E., Buckley Joseph P., Jayne, Brian C. Essentials of the Reid Technique: Criminal Interrogation and Confessions. Page 16.</p><p>2. As the foregoing case demonstrates, no one should be eliminated from suspicion because of professional status, social status, or any other comparable consideration when there exists strong circumstantial evidence of guilt. Inbau, Fred E., Reid, John E., Buckley Joseph P., Jayne, Brian C. Essentials of the Reid Technique: Criminal Interrogation and Confessions. Page 16-17.</p><p>3. 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. <a href="https://www.revisor.mn.gov/statutes/cite/13.03">https://www.revisor.mn.gov/statutes/cite/13.03</a></p><p>4. A response five weeks later is neither prompt nor reasonable. Although the Department did not provide information about its data practices policies and procedures, in instances like this one, those procedures ought to provide for a response within a matter of days, not weeks. Advisory Opinion 95-042. October 31, 1995; Minnesota Department of Children, Families and Learning. October 31, 1995 | Inspection, Response to data requests, Statutory construction (Ch. 645) <a href="https://mn.gov/admin/data-practices/opinions/library/?id=36-267796">https://mn.gov/admin/data-practices/opinions/library/?id=36-267796</a> </p><p>5. Copy Costs The Data Practices Act allows, but does not require, government to charge for copies of government data. If the government’s policy is to charge for copies, the allowable amount depends on whether the requester is a member of the public or a data subject. Data Practices Office – Minnesota Department of Administration <a href="https://mn.gov/admin/data-practices/data/rules/copy-costs/">https://mn.gov/admin/data-practices/data/rules/copy-costs/</a> </p><p>6. 13.03 ACCESS TO GOVERNMENT DATA. Subd. 3. Request for access to data. (e) The responsible authority of a government entity that maintains public government data in a computer storage medium shall provide to any person making a request under this section a copy of any public data contained in that medium, in electronic form, if the government entity can reasonably make the copy or have a copy made. This does not require a government entity to provide the data in an electronic format or program that is different from the format or program in which the data are maintained by the government entity. The entity may require the requesting person to pay the actual cost of providing the copy. <a href="https://www.revisor.mn.gov/statutes/cite/13.03">https://www.revisor.mn.gov/statutes/cite/13.03</a></p><p>7. Copy Costs – Members of the Public – Actual cost - most other copies For copies of other data (more than 100 paper copies, photographs, data on a CD or DVD, data stored electronically, etc.) government may charge the actual cost for an employee to search for and retrieve the data, and to make paper copies or to print copies of electronically stored data. Data Practices Office – Minnesota Department of Administration https://mn.gov/admin/data-practices/data/rules/copy-costs/ 8. PDF A file format that provides an electronic image of text that looks like a printed document, which can be viewed, printed, and electronically transmitted. Page 3 of 8 <br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi0sP4iOR2BvL9b_HSInFAIqI16H90j-aTmrbdNrtQk77HOo4rmrnKCsXcia1uGCcd72inYM4ZXaq5IokmnVyRVqCQ0L6bbGESwCS_RwJCY1rlOtlirXOcO4L6d7RJ5srUQuasw7in7W9PW3XK5CywlimnZLAIvIwgLT0vBzaE8vM0CH3cbYY7do_TgmQ/s1100/Funk_Complaint04.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi0sP4iOR2BvL9b_HSInFAIqI16H90j-aTmrbdNrtQk77HOo4rmrnKCsXcia1uGCcd72inYM4ZXaq5IokmnVyRVqCQ0L6bbGESwCS_RwJCY1rlOtlirXOcO4L6d7RJ5srUQuasw7in7W9PW3XK5CywlimnZLAIvIwgLT0vBzaE8vM0CH3cbYY7do_TgmQ/w494-h640/Funk_Complaint04.jpg" width="494" /></a></div><p><i>Scanned PDF A file created by scanning a paper original and saving it in the “.pdf” file format. Glossarye File and eServe (eFS) Terms and Definitions eCourtMN Minnesota Judicial Branch skills, tools, and knowledge on our way to a paperless court <a href="https://www.mncourts.gov/mncourtsgov/media/scao_library/documents/eFile%20Support/Glossary-eFS-Terms-and-Definitions-Public.pdf">https://www.mncourts.gov/mncourtsgov/media/scao_library/documents/eFile%20Support/Glossary-eFS-Terms-and-Definitions-Public.pdf</a> </i></p><p><i>9. PDF Document Under Rule 14 What’s new with Rule 14? Rule 14 of the General Rules of Practice governs eFiling and eService. Previously, this Rule allowed documents to be eFiled in several different formats. As of September 13, 2013, however, documents are required to “be submitted in searchable PDF format only.” What is “searchable PDF format?” Searchable PDF format allows users to search easily for words or phrases within a document. You achieve this by saving documents you’ve created in Microsoft Word, Excel, etc. as PDFs (see QRG: Creating a Searchable PDF Document). What if my documents aren’t searchable? If you submit a non-searchable document (which is an incorrect format under Rule 14), a judge may not be able to review it efficiently (if at all). Aside from a directive to resubmit your document in the correct format, you may also be subject to sanctions. Fast Facts: eFiling a Searchable eCourtMN Minnesota Judicial Branch skills, tools, and knowledge on our way to a paperless court including, without limitation, costs for staff to convert the document on your behalf. <a href="https://mncourts.gov/mncourtsgov/media/scao_library/documents/eFile%20Support/Fast-Facts-eFiling-a-Searchable-PDF-Document-Under-Rule-14.pdf">https://mncourts.gov/mncourtsgov/media/scao_library/documents/eFile%20Support/Fast-Facts-eFiling-a-Searchable-PDF-Document-Under-Rule-14.pdf</a></i></p><p><i>10. To the Albert Lea school board. Thumbs Down. The school board displays its technology smarts by being paperless and using computers, but yet they can’t figure out how to get on television? Editorial: Tribune thumbs Published 5:30 pm Saturday, October 25, 2014 By Editorial Board <a href="https://www.albertleatribune.com/2014/10/editorial-tribune-thumbs-20/">https://www.albertleatribune.com/2014/10/editorial-tribune-thumbs-20/</a></i></p><p><i>11. 609.43 Misconduct Of Public Officer Or Employee. A public officer or employee who does any of the following, for which no other sentence is specifically provided by law, may be sentenced to imprisonment for not more than one year or to payment of a fine of not more than $3,000, or both: (1) intentionally fails or refuses to perform a known mandatory, nondiscretionary, ministerial duty of the office or employment within the time or in the manner required by law; or <a href="https://www.revisor.mn.gov/statutes/cite/609.43">https://www.revisor.mn.gov/statutes/cite/609.43</a> </i></p><p><i>12. 13.03 Subd. 3. Request for access to data. (d) The responsible authority, upon the request of any person, shall provide sufficient documentation to explain and justify the fee being charged. <a href="https://www.revisor.mn.gov/statutes/cite/13.03">https://www.revisor.mn.gov/statutes/cite/13.03</a> </i></p><p><i>13. Advisory Opinion 02-004 February 7, 2002; Hennepin County February 7, 2002 | Commercial value, Copy costs Any fee charged must be clearly demonstrated by the agency to relate to the actual development costs of the information. The responsible authority, upon request of any person, shall provide sufficient documentation to explain and justify the fee being charged. <a href="https://mn.gov/admin/data-practices/opinions/library/#/detail/appId/1/id/267664">https://mn.gov/admin/data-practices/opinions/library/#/detail/appId/1/id/267664</a></i></p><p><i>14. Advisory Opinion 02-011 March 20, 2002; City of St. Paul March 20, 2002 | Commercial value, Copy costs, Legislative authority and intent, Requests for data, Statutory construction (Ch. 645) Any fee charged must be clearly demonstrated by the agency to relate to the actual development costs of the information. The responsible authority, upon request of any person, shall provide sufficient documentation to explain and justify the fee being charged. <a href="https://mn.gov/admin/data-practices/opinions/library/#/detail/appId/1/id/267482">https://mn.gov/admin/data-practices/opinions/library/#/detail/appId/1/id/267482</a> </i></p><p><i>15. Advisory Opinion 03-025 July 31, 2003; Nobles County July 31, 2003 | Commercial value, Copy costs, Requests for data Any fee charged must be clearly demonstrated by the agency to relate to the actual development costs of the information. The responsible authority, upon Page 4 of 8</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEikVXs92kyJDswYxf4SLxD_nJW7TX8ntaJpJnWl0CW5Eb0lxZ-y_-uUz87l4oMExNLZ5bK1Q-jTq8c46Mv-qU0Nzk3l6NeTG_DILo4fFe-5_MegXEqT0GDY9HT6x8zKch4opK55SMzwsWALgi2toIGfegNvtyGME7Yu-JaPJX9Jtld9XzbPFa131TBELQ/s1100/Funk_Complaint05.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEikVXs92kyJDswYxf4SLxD_nJW7TX8ntaJpJnWl0CW5Eb0lxZ-y_-uUz87l4oMExNLZ5bK1Q-jTq8c46Mv-qU0Nzk3l6NeTG_DILo4fFe-5_MegXEqT0GDY9HT6x8zKch4opK55SMzwsWALgi2toIGfegNvtyGME7Yu-JaPJX9Jtld9XzbPFa131TBELQ/w494-h640/Funk_Complaint05.jpg" width="494" /></a></div><p><i>the request of any person, shall provide sufficient documentation to explain and justify the fee being charged. <a href="https://mn.gov/admin/data-practices/opinions/library/#/detail/appId/1/id/267501">https://mn.gov/admin/data-practices/opinions/library/#/detail/appId/1/id/267501</a></i></p><p><i>16.Advisory Opinion 08-012 May 30, 2008; Carver County May 30, 2008 | Commercial value, Copy costs Any fee charged must be clearly demonstrated by the agency to relate to the actual development costs of the information. The responsible authority, upon request of any person, shall provide sufficient documentation to explain and justify the fee being charged. <a href="https://mn.gov/admin/data-practices/opinions/library/#/detail/appId/1/id/267870">https://mn.gov/admin/data-practices/opinions/library/#/detail/appId/1/id/267870</a></i></p><p><i>17. Advisory Opinion 03-013 May 13, 2003; McLeod County May 13, 2003 | Copy costs, Copy costs Mr. Junge provided to the Commissioner a copy of the McLeod County Fee Schedule. According to that schedule, the County charges $5.00 for a copy of an audiotape of child protection assessments and interviews, and $1.00 per page for a copy of Typed Reports of same. ... According to Mr. Junge, the County includes in its copy cost a charge for employee time to redact confidential data, or other data not accessible to Mr. and Mrs. X. However, according to section 13.04, the County may charge only its actual cost to produce the copies. Chapter 13 does not contain any provision allowing an entity to recover the cost of separating data about the requestor from private or confidential data about other data subjects. Therefore, to the extent that the County's copy charge includes costs for anything beyond the actual costs of making, certifying, and compiling the copies, its charges are not allowable. Government entities may charge their actual costs to produce copies of data on individuals, if they are able to document that those charges are permitted under Chapter 13. Furthermore, the County has not otherwise accounted for its charges and how they relate to the language in section 13.04. The fact that the County Board of Commissioners approved the fee schedule is not, in itself, sufficient to justify that the fees charged are allowable under section 13.04. The County ought to be able to make available specific, accurate data that document the basis of its photocopy charges. The County produced no data that support its copy fee, and thus, did not meet the burden here of establishing its actual and reasonable cost to produce copies of government data. The Commissioner has an additional comment. The fee schedule refers to copies of Typed Reports of child protection assessments and interviews. It is not clear if the County also maintains handwritten notes, or other data about the Xs, and if so, what it charges for copies of such data. According to the information provided, Mr. and Mrs. X asked for copies of all data the County maintains about them, not limited to typed reports. If the County maintains additional data about the Xs, it should make those data available to them without delay. <a href="https://mn.gov/admin/data-practices/opinions/library/?id=36-267362">https://mn.gov/admin/data-practices/opinions/library/?id=36-267362</a></i></p><p><i>18. The Data Practices Act does not require us to create or collect new data in response to a data request, or to provide data in a specific form or arrangement if we do not keep the data in that form or arrangement. For example, if the data you request are on paper only, we are not required to create electronic documents to respond to your request. If we agree to create data in response to your request, we will work with you on the details of your request, including cost and response time. Minnesota Department of Administration's Model Data Practices Policy For the Public Minnesota Statutes, sections 13.025 and 13.03 require this policy. <a href="https://mn.gov/admin/assets/Model%20Access%20Pol%20Public%202019_tcm36-309298.docx">https://mn.gov/admin/assets/Model%20Access%20Pol%20Public%202019_tcm36-309298.docx</a></i></p><p><i>19. The Data Practices Act does not require us to create or collect new data in response to a data request, or to provide data in a specific form or arrangement if we do not keep the data in that form or arrangement. For example, if the data you request are on paper only, we are not required to create electronic documents to respond to your request. If we agree to create data in response to your request, we will work with you on the details of your Page 5 of 8</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgzLi-R091xHRimKi-LnrwlQ4P4dr-PYF30DkT8seMeUQAv2i0SG3d_ZiYdVAW3w7E8FDfAjYwG9xxLMe18Or2JtC7zVxmFwAbqfes7mU7tuyYEgdtHCvq8u7QiutYWyxlD32SnttNdYA1WjyjOvI6f8G7BheR70-Ni8pFR9OU2PhbwI1LZae-cM_wouQ/s1100/Funk_Complaint06.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgzLi-R091xHRimKi-LnrwlQ4P4dr-PYF30DkT8seMeUQAv2i0SG3d_ZiYdVAW3w7E8FDfAjYwG9xxLMe18Or2JtC7zVxmFwAbqfes7mU7tuyYEgdtHCvq8u7QiutYWyxlD32SnttNdYA1WjyjOvI6f8G7BheR70-Ni8pFR9OU2PhbwI1LZae-cM_wouQ/w494-h640/Funk_Complaint06.jpg" width="494" /></a></div><br /><p><i>request, including cost and response time. Minnesota Department of Administration's Model Data Practices Policy: Requests for Data About You and Your Rights as a Data Subject Minnesota Statutes, sections 13.025 and 13.03 require this policy. <a href="https://mn.gov/admin/assets/Model%20Access%20Pol%20Subject%202018_tcm36-309297_tcm36-309297.docx">https://mn.gov/admin/assets/Model%20Access%20Pol%20Subject%202018_tcm36-309297_tcm36-309297.docx</a></i></p><p><i>19. 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 The provisions of this policy are in addition to collective bargaining agreements or any other applicable law (see generally Minn. R. 6700.1500). The Department shall report annually to POST any data regarding the investigation and disposition of cases involving alleged misconduct of officers (Minn. Stat. § 626.8457, Subd. 3). ... b) No peace officer shall ridicule, mock, deride, taunt, belittle, willfully embarrass, humiliate, or shame any person to do anything reasonably calculated to incite a person to violence.Page 156, 616.. Policy 319 Standards of Conduct Albert Lea Department of Public Safety Police Department Policy Manual</i></p><p><i>20. When does criticism become personal attack? And did Loren Martell cross that line during Tuesday's Duluth School Board meeting? Martell, a Red Plan opponent, was escorted from the meeting in handcuffs by a Duluth police officer after refusing board Chairman Tim Grover's order that he leave the podium. Grover said Martell had violated the board's policy against making personal attacks. In an interview on Wednesday, Grover declined to say what he considered to be personal attacks. "You want me to define that? Well, I'm not going to go there," Grover said. "The speakers ... are told that personal attacks will not be tolerated, and if they violate those rules, which the speaker did last night, they're going to be asked to leave the podium." Did speaker at Duluth School Board meeting cross line of civility? By John Lundy October 20, 2010 11:00 PM <a href="https://www.duluthnewstribune.com/news/did-speaker-at-duluth-school-board-meeting-cross-line-of-civility">https://www.duluthnewstribune.com/news/did-speaker-at-duluth-school-board-meeting-cross-line-of-civility</a></i></p><p><i>21. Beverly Petrie, ISD 834 Board Chair: And the final thing is this is not a political rally and uh our attorney has just informed us that we have the ability to ban political signs. And so that’s what I am doing. So put your signs down. And if you don’t I will rule you out of order and you’ll be asked to leave. This is a political election. Put your signs down. We have historically not allowed any type of sign within our board meetings. And that’s been past practice. You don’t have the floor. Signs down please. Signs down. You’re not in charge here. Put your signs down please. And you’ll be asked to leave. You know what we’ll address that later. But for right now put your signs down. Actually no we did get a communication from our attorney. So, thank you for that. Please put your signs down or you’ll be asked to leave. Thank you. Okay we’ll go onto the next item on our agenda. Tina Riehle, ISD 834 Director: Please check Beverly Petrie, ISD 834 Board Chair: I don’t think that we have discussion after the board Chair report. Tina Riehle, ISD 834 Director: I have. You have implemented a new rule on our procedure. And I have a question. Beverly Petrie, ISD 834 Board Chair: And what is your question? Tina Riehle, ISD 834 Director: My question is if policy is in place currently of the sign ups and the procedure around open forum how does that impact the change if we already have Page 6 of 8</i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEixTxLHwbl4hLCf5zXN0sRmXvPXieO1Smf4SQxc8nuFSgDq2c-YG1qNfZM6NszOgoIsovCGriTCtBRHPxQcZdx4Cq2a41clruuuvFar0L6PpkGi-ojo--gupIbtayB5_1Vcxg6VNk_HLfbuJRIgO1vmEh9uyPGdGNKPOuV6l0oNmU-BQvUVYP7EaMVhlg/s1100/Funk_Complaint07.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEixTxLHwbl4hLCf5zXN0sRmXvPXieO1Smf4SQxc8nuFSgDq2c-YG1qNfZM6NszOgoIsovCGriTCtBRHPxQcZdx4Cq2a41clruuuvFar0L6PpkGi-ojo--gupIbtayB5_1Vcxg6VNk_HLfbuJRIgO1vmEh9uyPGdGNKPOuV6l0oNmU-BQvUVYP7EaMVhlg/w494-h640/Funk_Complaint07.jpg" width="494" /></a></div><p><i>current policy on the books. Beverly Petrie, ISD 834 Board Chair: In what. What are you referring to exactly? Tina Riehle, ISD 834 Director: What your group. What your policy group is looking at revoking. You know, the sign ups 30 minutes prior, The whole procedure. Beverly Petrie, ISD 834 Board Chair: That’s not really. That’s not contained in policy. Tina Riehle, ISD 834 Director: It is. You you realigned it. Beverly Petrie, ISD 834 Board Chair: Essentially we just we just created a new pro. We created a process that works a little bit better than the online sign up or Tina Riehle, ISD 834 Director: That’s my Beverly Petrie, ISD 834 Board Chair: paper-based sign up. Tina Riehle, ISD 834 Director: In policy don’t you have to change that first before you can implement your new process? Beverly Petrie, ISD 834 Board Chair: You know, I think it was just a couple years ago that that Mike Petaczyk the board chair um reduced the um time to speak from five minute to three minutes. Tina Riehle, ISD 834: Which I denied. I voted against that actually. Beverly Petrie, ISD 834 Board Chair: Well you knw that the board chair does have the authority to make some changes like this and we went to an online sign up and that’s the way we’re going to go forward. 2:00:46-2:03:49/4:4:14:54 Beverly Petrie, ISD 834 Board Chair: Bangs gavel. Okay put the signs down please. Put the signs down please. Put the signs down. Um okay those people with your signs up please leave now. Leave now. And if you don’t I have an officer right behind you. This is trespassing if you don’t leave after you’ve been told to leave. Audience member: What is the statute on that? There isn’t a statute on not having a sign in a public building? .... There is not a statute Beverly Petrie, ISD 834 Board Chair: We are banning it. We are banning signs. 2:44:54- 2:45:28/4:4:14:54 <a href="https://www.youtube.com/watch?v=lH3HY0g7o9s">https://www.youtube.com/watch?v=lH3HY0g7o9s</a> School Board Meeting - September 23, 2021 4,946 views Streamed live on Sep 23, 2021 Like Dislike Share Save Stillwater Area Public Schools 20.3K subscribers School Board Meeting - September 23, 2021 Closed Session @ 4:30PM Work Session @ 5:00PM Regular Board Meeting @ 6:00PM</i></p><p><i>24. Beverly Petrie, ISD 834 Board Chair: Put the signs down and to the side or you will be asked to leave. Bangs gavel. Put the signs to the side please. Those of you with signs please leave the meeting. Melinda, can you ah call the police department, please? Stillwater police officer: So, I can’t take a sign away from somebody. Beverly Petrie, ISD 834 Board Chair: No, I’ve asked I’ve. No I’ve asked them to leave. Stillwater police officer: Okay. So we can’t force them to leave the property. The most we can do here is end the meeting. If there is going to be an issue, then I can’t force them to leave public property. And I can’t take their signs away. Audience: Claps 3:05:04-3:06:16/4:4:14:54 <a href="https://www.youtube.com/watch?v=lH3HY0g7o9s">https://www.youtube.com/watch?v=lH3HY0g7o9s</a> School Board Meeting - September 23, 2021 4,946 views Streamed live on Sep 23, 2021 Like Dislike Share Save Stillwater Area Public Schools 20.3K subscribers School Board Meeting - September 23, 2021 Closed Session @ 4:30PM Work Session @ 5:00PM Regular Board Meeting @ 6:00PM 25. The Duluth School Board on Monday unanimously approved a $55,000 settlement with Page 7 of 8</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEh9hneM-_6ILQWMTgqA2to0kM5_eu3Qf96GNPpeEn_3qUDByso9SmOzLPRojUshzyDJC8rddpCQFZIfdY7GWpZf6niG_9TvYKqFiiCUIEXiQT18pC-gdTPIL5x97ustEqVqLWdv9ShftOUXDqLyygEyo5aIwFPEUcOX3LbO5uvyzzz7Gt23uShimGIikQ/s1100/Funk_Complaint08.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEh9hneM-_6ILQWMTgqA2to0kM5_eu3Qf96GNPpeEn_3qUDByso9SmOzLPRojUshzyDJC8rddpCQFZIfdY7GWpZf6niG_9TvYKqFiiCUIEXiQT18pC-gdTPIL5x97ustEqVqLWdv9ShftOUXDqLyygEyo5aIwFPEUcOX3LbO5uvyzzz7Gt23uShimGIikQ/w494-h640/Funk_Complaint08.jpg" width="494" /></a></div><p><i>current policy on the books. Beverly Petrie, ISD 834 Board Chair: In what. What are you referring to exactly? Tina Riehle, ISD 834 Director: What your group. What your policy group is looking at revoking. You know, the sign ups 30 minutes prior, The whole procedure. Beverly Petrie, ISD 834 Board Chair: That’s not really. That’s not contained in policy. Tina Riehle, ISD 834 Director: It is. You you realigned it. Beverly Petrie, ISD 834 Board Chair: Essentially we just we just created a new pro. We created a process that works a little bit better than the online sign up or Tina Riehle, ISD 834 Director: That’s my Beverly Petrie, ISD 834 Board Chair: paper-based sign up. Tina Riehle, ISD 834 Director: In policy don’t you have to change that first before you can implement your new process? Beverly Petrie, ISD 834 Board Chair: You know, I think it was just a couple years ago that that Mike Petaczyk the board chair um reduced the um time to speak from five minute to three minutes. Tina Riehle, ISD 834: Which I denied. I voted against that actually. Beverly Petrie, ISD 834 Board Chair: Well you knw that the board chair does have the authority to make some changes like this and we went to an online sign up and that’s the way we’re going to go forward. 2:00:46-2:03:49/4:4:14:54 Beverly Petrie, ISD 834 Board Chair: Bangs gavel. Okay put the signs down please. Put the signs down please. Put the signs down. Um okay those people with your signs up please leave now. Leave now. And if you don’t I have an officer right behind you. This is trespassing if you don’t leave after you’ve been told to leave. Audience member: What is the statute on that? There isn’t a statute on not having a sign in a public building? .... There is not a statute Beverly Petrie, ISD 834 Board Chair: We are banning it. We are banning signs. 2:44:54- 2:45:28/4:4:14:54 <a href="https://www.youtube.com/watch?v=lH3HY0g7o9s">https://www.youtube.com/watch?v=lH3HY0g7o9s</a> School Board Meeting - September 23, 2021 4,946 views Streamed live on Sep 23, 2021 Like Dislike Share Save Stillwater Area Public Schools 20.3K subscribers School Board Meeting - September 23, 2021 Closed Session @ 4:30PM Work Session @ 5:00PM Regular Board Meeting @ 6:00PM</i></p><p><i>24. Beverly Petrie, ISD 834 Board Chair: Put the signs down and to the side or you will be asked to leave. Bangs gavel. Put the signs to the side please. Those of you with signs please leave the meeting. Melinda, can you ah call the police department, please? Stillwater police officer: So, I can’t take a sign away from somebody. Beverly Petrie, ISD 834 Board Chair: No, I’ve asked I’ve. No I’ve asked them to leave. Stillwater police officer: Okay. So we can’t force them to leave the property. The most we can do here is end the meeting. If there is going to be an issue, then I can’t force them to leave public property. And I can’t take their signs away. Audience: Claps 3:05:04-3:06:16/4:4:14:54 <a href="https://www.youtube.com/watch?v=lH3HY0g7o9s">https://www.youtube.com/watch?v=lH3HY0g7o9s</a> School Board Meeting - September 23, 2021 4,946 views Streamed live on Sep 23, 2021 Like Dislike Share Save Stillwater Area Public Schools 20.3K subscribers School Board Meeting - September 23, 2021 Closed Session @ 4:30PM Work Session @ 5:00PM Regular Board Meeting @ 6:00PM 25. The Duluth School Board on Monday unanimously approved a $55,000 settlement with Page 7 of 8</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEh4X29kW2c57lY64NX_iIgT7Q6bdhBc94p1qK1r0ufEdN4bHTx6PCF8mB9QlS4Sbnkqu7fYa_HZSulQKBr9AsvcN7-PNFeGPAwLTxWpZTpwsS8fiMwiiMgo8MPEb7TVvPgP5ksnRel7Jqu107P7-G5JkpjQp4N625YCI8ilE6b85kBisuRBZAFa3BQNhQ/s1100/Funk_Complaint09.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEh4X29kW2c57lY64NX_iIgT7Q6bdhBc94p1qK1r0ufEdN4bHTx6PCF8mB9QlS4Sbnkqu7fYa_HZSulQKBr9AsvcN7-PNFeGPAwLTxWpZTpwsS8fiMwiiMgo8MPEb7TVvPgP5ksnRel7Jqu107P7-G5JkpjQp4N625YCI8ilE6b85kBisuRBZAFa3BQNhQ/w494-h640/Funk_Complaint09.jpg" width="494" /></a></div><p><i>former member Art Johnston, ending Johnston's quest for data involving the district's long- range facilities plan and other matters. .... In July, the state's Department of Administration released a nonbinding finding that the district failed to appropriately respond to Johnston's requests. Johnston filed the lawsuit in 6th Judicial Court in August, saying the district still hadn't responded to the requests. Johnston settles with Duluth School Board By John Lundy January 14, 2019 08:45 PM <a href="https://www.duluthnewstribune.com/news/johnston-settles-with-duluth-school-board">https://www.duluthnewstribune.com/news/johnston-settles-with-duluth-school-board</a></i></p><p><i>26. Behold, I send you forth as sheep in the midst of wolves: be ye therefore wise as serpents, and harmless as doves. Matthew 10:16</i></p><p><i>27. Dr. Michael Funk is the 2022 Minnesota Superintendent of the Year (St. Paul, MN) – The Minnesota Association of School Administrators (MASA) has named Dr. Michael Funk, Superintendent of Albert Lea Area Schools the 2022 Minnesota Superintendent of the Year. As the Minnesota honoree, Dr. Funk is a candidate among other state recipients for National Superintendent of the Year, to be announced during the American Association of School Administrators (AASA) National Conference on Education on February 17-19, 2022, in Nashville, TN. Dr. Funk was selected for this honor by a panel of representatives from a variety of Minnesota education organizations. Nominees are evaluated on how each candidate demonstrates leadership for learning, communication skills, professionalism, and community involvement. <a href="https://www.mnasa.org/supt-of-the-year.html">https://www.mnasa.org/supt-of-the-year.html</a></i></p><p><i>28. Doug Van Zyl, superintendent at St. Joseph School District in St. Joseph, MO, has been selected as the next superintendent at Lakeville Area Schools. Van Zyl was selected over Albert Lea Area Schools Superintendent Mike Funk, the other finalist for the position. Lakeville Schools hires Zyl over Funk for superintendent Published 8:39 am Wednesday, March 16, 2022 By alexguerrero <a href="https://www.albertleatribune.com/2022/03/lakeville-schools-hires-zyl-over-funk-for-superintendent/">https://www.albertleatribune.com/2022/03/lakeville-schools-hires-zyl-over-funk-for-superintendent/</a></i></p><p><i>29. Government entities should respond in one of three ways 1. Provide access to the data (and copies when requested) 2. Inform you the data are classified as not public (must give statute section) 3. Inform you the data do not exist • Not responding is not a proper response. Minnesota Department of Administration - Information Policy Analysis Division - Can I ask for that? Government Data Practices Minnesota Statutes, Chapter 13 page 12.</i></p><p><i>30. A former principal from Omaha, Neb., the superintendent of Albert Lea Public Schools and the Prior Lake High School principal are among the seven finalists to be superintendent in Stillwater. The finalists are: ... Mike Funk, superintendent of Albert Lea Area Schools. Stillwater school board chooses superintendent finalists By Mary Divine | mdivine@pioneerpress.com | Pioneer Press March 27, 2022 at 6:32 p.m. <a href="https://www.twincities.com/2022/03/27/stillwater-school-board-chooses-superintendent-finalists/">https://www.twincities.com/2022/03/27/stillwater-school-board-chooses-superintendent-finalists/</a></i></p><p><i>31. Last Thursday board members for Stillwater Area Public Schools ISD #834 selected a list of seven finalists to interview for the district’s permanent superintendent position. Among them is a familiar face, Mike Funk. Funk currently serves as superintendent of Albert Lea Area Schools. The Stillwater superintendent is currently filled by interim Malinda Lansfeldt. Funk a finalist for Stillwater superintendent job Published 2:08 pm Monday, March 28, 2022 By alexguerrero <a href="https://www.albertleatribune.com/2022/03/funk-a-finalist-for-stillwater-superintendent-job/">https://www.albertleatribune.com/2022/03/funk-a-finalist-for-stillwater-superintendent-job/</a> Page 8 of 8</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEj6CGOS18DeoxSNlcyAUPjJcnhQcm7768GauRLBXwW7FdxnJqqlVGrfRzDnhZmbO1Ra16eshNb9OFuAK65ZNTlHjKExfQ9jl2AbJBQzUK3gQgDMknd9_ljuJkYRIylO5oyhLPpk-RQC1uo573t_kK1jWt1XvuNE02MPn9Mv7aDHgYg3TqVfy7Cn1xkbPQ/s1100/Funk_Complaint10.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEj6CGOS18DeoxSNlcyAUPjJcnhQcm7768GauRLBXwW7FdxnJqqlVGrfRzDnhZmbO1Ra16eshNb9OFuAK65ZNTlHjKExfQ9jl2AbJBQzUK3gQgDMknd9_ljuJkYRIylO5oyhLPpk-RQC1uo573t_kK1jWt1XvuNE02MPn9Mv7aDHgYg3TqVfy7Cn1xkbPQ/w494-h640/Funk_Complaint10.jpg" width="494" /></a></div><p><i>from: Lion News lionnews00@gmail.com<br />to: JD Carlson jcarlson@ci.albertlea.mn.us,<br />"Kelly D. Martinez" kmartinez@ci.albertlea.mn.us,<br />sarah.stultz@albertleatribune.com,<br />neal.skaar@alschools.org,<br />kim.nelson@alschools.org,<br />judy.keliher@isd194.org,<br />terry.lind@isd194.org,<br />michael.baumann@isd194.org,<br />Alison Sherman shermana@stillwaterschools.org,<br />Katie Hockert hockertk@stillwaterschools.org,<br />Malinda Lansfeldt lansfeldtm@stillwaterschools.org,<br />Randy Kehr director@albertlea.org<br />date: Apr 4, 2022, 1:45 PM<br />subject: Criminal Complaint Against ISD 241 Superintendent Funk - Chapter 13 Data Request For Public Portion Of ICR Of Funk Complaint<br />mailed-by: gmail.com</i></p><p><i>JD Carlson, Director of Public Safety 507-377-5665:</i></p><p><i>Please find attached my signed criminal complaint against ISD 241 Superintendent Mike Funk and ISD 241 and Executive Director of Administrative Services Kathy Niebuhr.</i></p><p><i>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:</i></p><p><i>1. Public portion of ICR for Nemmers' complaint against ISD 241 Superintendent Mike Funk and ISD 241 and Executive Director of Administrative Services Kathy Niebuhr.</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>When can I get a copy of the investigative report? Investigation ongoing If the law enforcement agency is still investigating the crime, members of the public will not be able to get a copy of the report. They can, however, get what’s often referred to as the public portion of the report containing basic information about the case that is classified as public. How Do I Get A Copy Of My Police Report? Information For Crime Victims Who Want To Make A Request For Law Enforcement Data. Crime Victim Justice Unit – Office of Justice Programs – Minnesota Department of Public Safety. https://www.mncasa.org/wp-content/uploads/2018/08/How-Do-I-Get-a-Copy-of-My-Police-Report.pdf</i></p><p><i>Attachment: 040422_Signed_ISD_241_Superintendent_Funk_Complaint.pdf</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEir-iH64ez6P_VuVfH0CAY3awxIBNTc2fFLb1oHuRr8qgc5QX69p0mjj_OfiqfcVMHiAmfKFY0s_T_HTaUVs2K-JXuivHuFW4DfCb2ok-X3EEPmKTsaCuNyyDQQ2bi9uGQHyWKoohWi86eSjf226EkQ4uoB71fhHYS4QJFVapZEpoRBV5B6bubUbDWHMw/s1100/Funk_Complaint11.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEir-iH64ez6P_VuVfH0CAY3awxIBNTc2fFLb1oHuRr8qgc5QX69p0mjj_OfiqfcVMHiAmfKFY0s_T_HTaUVs2K-JXuivHuFW4DfCb2ok-X3EEPmKTsaCuNyyDQQ2bi9uGQHyWKoohWi86eSjf226EkQ4uoB71fhHYS4QJFVapZEpoRBV5B6bubUbDWHMw/w494-h640/Funk_Complaint11.jpg" width="494" /></a></div><p><i>from: JD Carlson JCarlson@ci.albertlea.mn.us via esa1.hc4347-97.iphmx.com <br />to: Lion News lionnews00@gmail.com<br />date: Apr 4, 2022, 1:46 PM<br />subject: Automatic reply: Criminal Complaint Against ISD 241 Superintendent Funk - Chapter 13 Data Request For Public Portion Of ICR Of Funk Complaint<br />mailed-by: esa1.hc4347-97.iphmx.com<br />security: Standard encryption (TLS) Learn more<br />: Important according to Google magic.</i></p><p><i> I'm currently out of office. Although, I'll be monitoring my email & voicemail, please contact the Officer in Charge (ALPD/ALFR) for operational assistance at 507.377.5780 (Dispatch).<br />-or-<br />Administrative Assistant Diane Lenway 507.377.5208.</i></p><p></p><p>More to come ...</p><p>Related Links:</p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-70551273549214576622022-04-08T17:22:00.002-07:002022-04-08T19:09:08.599-07:00Candi Lemarr: A Fool And Their Money & Horses Are Soon Parted? (Lemarr Turned Down Nemmers' Winning Sage Advice, Didn't She?) Will Or Won't Subject Of Data Candi Lemarr Authorize Release Of Body Camera Video For State of Minnesota vs Candi Jolene Lemarr Case Number 08-CR-21-272? FYI: So Far Crickets From Lemarr's Attorneys, Right?<p>__________________________________________________<br /></p><p><b>Note:</b> Why is this part really, really funny? Because the prosecution brought up the missing surveillance video aka potentially exculpatory evidence (Evidence which proves your innocence, right?) and not the defense in the mistrial transcripts, right? A competent attorney would ask why the depuites weren't following their own policy manual, right? Guess whose attorney never asked a policy question? Did you guess Lemarr's? And in the mistrial transcripts not a single veterinarian was asked while under oath to list all the subjective and objective tests that a competent veterinarian would perform in an equine/horse starvation criminal investigation, right? <br /></p><p><i>Minneapolis attorney Katherine Claffey, Lemarr's other attorney, said county officials didn't conduct a thorough investigation. "There was a lot of [exculpatory] information they could have received, but they didn't go out and find it," she said. "I think it was a retaliatory complaint that was made because of a falling-out" between Lemarr and the breeder. Sleepy Eye horse trainer acquitted of 20 counts of animal cruelty After a five-day trial, jury took less than an hour to deliver verdict By John Reinan Star Tribune April 8, 2022 — 6:47pm <a href="https://www.startribune.com/sleepy-eye-horse-trainer-acquitted-of-20-counts-of-animal-cruelty/600163418/?refresh=true">https://www.startribune.com/sleepy-eye-horse-trainer-acquitted-of-20-counts-of-animal-cruelty/600163418/?refresh=true</a></i><br /></p><p>__________________________________________________</p><p><i>from: Lion News lionnews00@gmail.com<br />to: katie@grosheklaw.com,<br />James Kuettner jim@jklawmn.com,<br />fbusch@nujournal.com,<br />gorear@nujournal.com,<br />Jason Seidl Jason.Seidl@co.brown.mn.us,<br />Jeremy.reed@co.brown.mn.us,<br />cpeterson@nujournal.com<br />date: Apr 7, 2022, 11:23 AM<br />subject: Will Or Won't Subject Of Data Candi Lemarr Authorize Release Of Body Camera Video For State of Minnesota vs Candi Jolene Lemarr Case Number 08-CR-21-272?<br />mailed-by: gmail.com<br /></i></p><p><i>Katherine Claffey, lead attorney for Candi Lemarr 612-827-3833:</i></p><p><i>Would your falsely accused client, Candi Lemarr, subject of the data, have a problem with authorizing Brown County to release the body camera video for State of Minnesota vs Candi Jolene Lemarr Case Number 08-CR-21-272 to me? You know the body camera video that Brown county used to dispel rumors in the horse removal hearing, right? The same public benefit data that Brown county then magically and mysteriously and willfully refused to release to the public, right? You won't mind if I use the data to educate the Vet boards in both Iowa and Minnesota on how their licensed Vets think that the subjective Body Condition Scoring system for horses is "somewhat subjective," will you? Did you know that Iowa State Vet Jeff Kaisand, DVM has already called me up about my information? Oh, before I forget, did either you or Kuettner ask Brown County Chief Deputy/Investigator Jeremy Reed how it was possible that he couldn't fall back onto his expensive and time-consuming work-related continuing education to gather up all that potentially exculpatory surveillance video from the Lemarr farm? Did you or didn't you ask Reed why oh why he didn't get blood draws for the Lemarr horses prior to removing them from the farm? Will Candi be getting the trial transcripts for her acquittal? Hmm? Inquiring minds want to know, don't they?</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>Laboratory findings in chronically starved horses may include anemia, hypertriglyceridemia, hyperbilirubinemia (especially unconjugated bilirubin), high nonesterified fatty acid concentrations, lymphopenia, hypophosphatemia, and hypomagnesemia. 8 Protein deficiency that often occurs simultaneously can result in hypoalbuminemia and low BUN concentration. 8 Primary thiamine (Vitamin B1) deficiency (Beriberi) is another possible feature of starvation and Refeeding Syndrome documented in humans. 8 Prolonged or severe starvation depletes intracellular concentrations of phosphorus, potassium, and magnesium while serum concentrations often remain within normal limits. 8. Page 5. Equine Refeeding Syndrome: A Clinical Review of the Physiology, Diagnosis, and Management Stephen L Millar, Mississippi State University College of Veterinary Medicine Advisors: Jackie Bowser, DVM, PhD, DACVIM-LA, Mississippi State University College of Veterinary Medicine Michael Brashier, DVM, MS, DACVIM-LA, Mississippi State University College of Veterinary Medicine <a href="https://www.vetmed.msstate.edu/sites/www.vetmed.msstate.edu/files/presentations/10716E_1.PDF">https://www.vetmed.msstate.edu/sites/www.vetmed.msstate.edu/files/presentations/10716E_1.PDF</a></i></p><p><i>“I thought the prosecution tried a great case. I can’t say we’re not pleased with the verdict. We are,” said Mankato defense lawyer James J. Kuettner of Mankato at the end of the week-long trial. “(Deputy Brown County Attorney) Jill Jensen and law enforcement did a wonderful job in this case. Justice has been done,” said Paul Gunderson, assistant Brown County attorneyJury acquits horse trainer Court News and Tickets Apr 2, 2022 Fritz Busch Staff Writer fbusch@nujournal.com<br /><a href="https://www.nujournal.com/news/local-news/2022/04/02/jury-acquits-horse-trainer/">https://www.nujournal.com/news/local-news/2022/04/02/jury-acquits-horse-trainer/</a></i></p><p><i>Q Investigator Reed, if someone is posting online regarding what happened on November 23rd, 2020, were there eight deputies out at Sapphire Farms on November 23rd, 2020?<br />MR. KUETTNER: Objection to the -- sorry, Your Honor. Objection to the relevance. The first half of this question, whether or not somebody posting online, whatever they're posting has nothing to do with what happened on November 23.<br />THE COURT: I agree. I don't know what has been posted online. Obviously, we were focused here on what did happen and not on rumors or speculation or guesses online, so I will sustain the objection to the first part of the question. Page 146-147. Evidentiary Hearing - Volume III Day 3 of 3 Pages 111-172 Evidentiary Hearing File No. CV-20-978 Candi Lemarr vs. Brown County. Q: Andrea Liester, Assistant Brown County Attorney, Q: James Kuettner, Attorney for Defendant</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/13.82">https://www.revisor.mn.gov/statutes/cite/13.82</a> 13.82 Comprehensive Law Enforcement Data. Subd. 15. Public benefit data. Any law enforcement agency may make any data classified as confidential or protected nonpublic pursuant to subdivision 7 or as private or nonpublic under section 13.825 or 626.19 accessible to any person, agency, or the public if the agency determines that the access will aid the law enforcement process, promote public safety, or dispel widespread rumor or unrest.</i></p><p><i>BY MS. JENSEN:<br />Q Officer Reed, without talking about that day, did anyone inform you there was surveillance footage on the property?<br />A Yes. (Note: Trained observer failed to notice surveillance cameras)<br />Q Who was that?<br />A Mr. Kuettner. And, prior to that, there was another call where deputies had received some SD cards, and things on it, on a loodprevious – previous call where Ms. Lemarr's – unrelated.<br />Q Do you recall if Ms. Lemarr talked with you about surveillance footage on the date that you were there?<br />A Yes. In reviewing my body camera, she does talk about having surveillance footage and her cameras. (Note: Trained observer failed to listener to suspect about presence of surveillance cameras)<br />Q And what -- do you recall what she said about her surveillance footage?<br />A That they would show that she -- how she cares for the animals and feeds the animals.<br />Q So you drafted a search warrant for the surveillance footage. Did you obtain that footage?<br />A Yes. It was an automatic delete after seven days, so we had seven day's images.<br />Q And were any of them the surveillance footage for the time period that you went out there on November 23rd?<br />A No. Page 537-538. Jury Trial Volume III File No. 08-CR-21-272 State of Minnesota v. Candi Jolene Lemarr<br />Q: Jill Jensen, Assistant Brown County Attorney<br />A: Brown County Chief Deputy/Investigator Jeremy Reed.</i></p><p><i>But I can tell the Court it is, essentially, this, the witnesses walked by a truck with several people in it. One of the people in the truck was a younger, eighteens, early twenties, they couldn't tell, blonde girl, woman, who seemed to be staring at my witnesses. One of my witnesses responded by showing her the middle finger. That witness is Eryn Friesen. So Eryn Friesen showed the person in the truck the<br />middle finger. There was a phrase, fuck you, in response. There was something responded to that, by Eryn Friesen, about, "Come back to me when you have a truck that the bank doesn't own," and, again, that's not the exact wording. I'm looking for that in my e-mail inbox. This was relayed to me by Eryn Friesen's mother, Rachel Friesen, their version of the events. Eryn Friesen was instructed -- or at least her mother tells me she instructed Eryn Friesen to contact my office with what happened from Eryn Friesen's perspective, when Eryn Friesen wakes up. I haven't received that yet.<br />THE COURT: Ms. Jensen, is this why you were asking for surveillance cameras outside?<br />MS. JENSEN: It is, Your Honor. And I did have a chance to review it. I did request a copy of it. Within seconds of exiting the building, Eryn Friesen gave the people in the vehicle the middle finger, which colloquially means fuck you. So I'm not surprised somebody said it back. She held it in midair walking, for several seconds, did it again, and then when she got down near the truck, she can be seen verbally indicating, and then her mother pulls her away. I've asked for a copy of that, but I'm not able to see the people in the truck. More or less, what Mr. Kuettner has said is accurate, except for I don't know if someone in the truck said fuck you. But it's very clear that Ms. Friesen initiated the altercation, so.<br />THE COURT: Okay. Regardless of who initiated it, it should go without saying, but, apparently it doesn't, that that sort of behavior is not acceptable anywhere. And I will ask both of you to remind your witnesses that there are certain laws that require a certain level of decorum. And I understand emotions and tempers run high in this case, but that's no excuse for this sort of confrontation. It's just unnecessary. And I will ask both counsel to advise your witnesses to ignore witnesses for the other side. It's just unnecessary. It sounds as if this may have risen to the level of a disorderly conduct, and nothing more. Fortunately, there was no physical confrontation. But, obviously, that's what we<br />want to avoid I will simply leave it at that at this point. Are we ready to bring in the jury? Page 632-634. Jury Trial Volume IV File No. 08-CR-21-272 State of Minnesota v. Candi Jolene Lemarr<br />Q: Jill Jensen, Assistant Brown County Attorney<br />Q: James Kuettner, Attorney for Defendant</i></p><p><i>2. Rules a) Peace officers shall not knowingly exceed their authority in the enforcement of the law.<br />b) Peace officers shall not knowingly disobey the law or rules of criminal procedure in such areas as interrogation, arrest, detention, searches, seizures, use of informants, and preservation of evidence, except where permitted in the performance of duty under proper authority. Professional Conduct Of Peace Officers Model Policy MN STAT 626.8457 MN POST Professional Conduct of Peace Officers Model Policy.pdf – 616 Brown County Sheriff's Office Brown Cnty SO Policy Manual</i></p><p><i>2. Rules a) Peace officers shall carry out their duties with integrity, fairness and impartiality. b) Peace officers shall not knowingly make false accusations of any criminal, ordinance, traffic or other law violation. This provision shall not prohibit the use of deception during criminal investigations or interrogations as permitted under law. c) Peace officers shall truthfully, completely, and impartially report, testify and present evidence, including exculpatory evidence, in all matters of an official nature. Professional Conduct Of Peace Officers Model Policy MN STAT 626.8457 MN POST Professional Conduct of Peace Officers Model Policy.pdf – 617 Brown County Sheriff's Office Brown Cnty SO Policy Manual</i><br /></p><p></p><p>More to come ...</p><p>Related links:</p><p><a href="http://lionnews00.blogspot.com/2022/03/who-wants-to-toss-another-batch-of.html">Who Wants To Toss Another Batch Of Monkey Wrenches Into Rigged Case No. 08-CR-21-272 State Of Minnesota Vs Candi Jolene Lemarr? Chapter 13 Data Request For Candi Lemarr Related Data? Rogue Nonprofits (Minnesota Federated Humane Societies & Minnesota Hooved Animal Rescue, Right?) Involved In Rigged Investigation Willfully Refuse To Cough Up Form 990's? Trained Observers Can't See Surveillance Video? Witness Friesen's Middle Finger? Vets Not Asked About All Possible Diagnostic Tests On Stand?</a> </p><p><a href="https://lionnews00.blogspot.com/2021/11/how-about-we-tell-new-ulm-journal-about.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/11/how-about-we-toss-monkey-wrench-into.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/11/who-wants-to-toss-monkey-wrench-into.html">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?</a></p><p><a href="https://lionnews00.blogspot.com/2021/02/nemmers-asks-brown-co-commissioners.html">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? </a></p><p><a href="https://lionnews00.blogspot.com/2021/08/who-wants-to-toss-monkey-wrench-into.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/08/transcripts-for-case-no-46-cv-19-1224.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/06/lets-ask-joseph-gangi-attorney-for.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/05/lets-ask-martin-county-sheriff.html">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?</a> <br /></p><a href="http://lionnews00.blogspot.com/2021/05/armed-minnesota-animal-humane-society.html">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</a><p></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-30606173547582660822022-04-03T04:33:00.014-07:002022-04-03T08:51:09.494-07:00Who Wants To Read The ICR Reports For Former High-Profile U.S. House Of Representatives Fugitive Candidate Danielle Sheridan AKA Danielle Stella? It's ICR BP21010810, Isn't It? Sheridan Thought It Was More Important To Be A Fugitive Then To Expose How Shoplifting Suspects Are Treated By Loss Prevention Personnel, Right? That's Right, Isn't It?<p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhT8-C4ZQeOP3cCYZBDtdHbxlylzI_6jpG59crXNsnaGZjmKYWquwvZCB2M1H578YaGhk-W4QO2x0U_8fTpFSo4ABA_7CRS-FtckyRNX2oyzzhW602KADIkT77UWVjxnPtdztdzsUWA25pfKd-3vRWXrRZ8dFZz9gkE8jGd6eu_sdVCO3PB-OOP5Q7OSg/s1100/ICR21010810Sheridan_01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhT8-C4ZQeOP3cCYZBDtdHbxlylzI_6jpG59crXNsnaGZjmKYWquwvZCB2M1H578YaGhk-W4QO2x0U_8fTpFSo4ABA_7CRS-FtckyRNX2oyzzhW602KADIkT77UWVjxnPtdztdzsUWA25pfKd-3vRWXrRZ8dFZz9gkE8jGd6eu_sdVCO3PB-OOP5Q7OSg/w494-h640/ICR21010810Sheridan_01.jpg" width="494" /></a></div><p></p><p>__________________________________________________________________________<br /></p><p><i><b>FYI:</b> Case Number: 27-MH-PR-08-569 Case Title:In the Matter of the Civil Commitment of Danielle Sheridan, Respondent In the Matter of the Civil Commitment of Danielle Sheridan, Respondent Case Type: Commitment - Chemically Dependent Date Filed:06/10/2008June 10 2008 Location: Hennepin Probate Mental Health Case Status:Closed Respondent Sheridan, Danielle Date of birth, April 14 1988 DOB: 04/14/1988 Inver Grove Heights, MN 55077 Alias: Also Known As Sheridan, Danielle Marie</i><br /></p><p>__________________________________________________________________________</p><p></p><p><i>Bloomington Police Department<br />1800 W Old Shakopee Rd Bloomington, MN 55431<br />(952) 563-4900<br />Case #:BP21010810<br />Incident #: BP21010810<br />Event<br />700 AMERICAN BLVD E BLOOMINGTON, MINNESOTA 55420<br />Self-Initiated: No<br />Citizen or Dispatch Initiated: Yes<br />Description of Incident: THEFT<br />Reported Date (F3 Set to Now): 11/23/2021 23:50:00<br />Occurred Start Date: 11/23/2021 22:42:15<br />Occurred End Date: 11/23/2021 23:50:00<br />Suspects (1)<br />Sheridan, Danielle Marie<br /></i></p><p><i>Arrested? (Yes or No): Yes<br />Fingerprints? (Yes or No): Yes<br />Related Offenses: 609.52.2(a)(1) Theft-Take/Use/Transfer Movable Prop-No Consent; 588.20.1(a) Felony Contempt of Court -<br />Disobey Subpoena-Crime of Violence<br />Age: 33<br />Race: White<br />Ethnicity: NON-HISPANIC<br />Sex: FEMALE<br />Height: 503<br />Weight: 110<br />Eye Color: Brown<br />Hair Color: Brown<br />Hair Length: 02<br />Hair Style: 15<br />Skin Type/Tone: LIGHT<br />Address:<br />City:<br />State:<br />Zip Code:<br />Country:<br />USA (UNITED STATES OF AMERICA)<br />Cell Phone:<br /></i></p><p><i>Victim (1)<br />Walmart<br />If the business is a victim, enter type:<br />Related Offenses: BUSINESS<br />Address: 700 AMERICAN BLVD E<br />City: BLOOMINGTON<br />State: Minnesota<br />Zip Code: 55420<br />County: Hennepin<br />Business phone: (952)-854-5600<br />609.52.2(a)(1) Theft-Take/Use/Transfer Movable Prop-No Consent<br />Page 1 of 7</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjUbSvQ5wLXhCuFcnj2NTYzxIzJl4MReU67CBeu3OuaoZv3QMsyYRZ8Zk23b-2m-IXubbeBkz5Yk1i5dGYwlV_ti732aMbOxovKeWIYqtKf0d0eJ22dyl-fyIuIfQ1ow1pzFjWhQRpJxgTu4i5WBbSEpvDYN9phm6EpYZHK-10Q97zfli0R4OgcWlTykQ/s1100/ICR21010810Sheridan_02.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjUbSvQ5wLXhCuFcnj2NTYzxIzJl4MReU67CBeu3OuaoZv3QMsyYRZ8Zk23b-2m-IXubbeBkz5Yk1i5dGYwlV_ti732aMbOxovKeWIYqtKf0d0eJ22dyl-fyIuIfQ1ow1pzFjWhQRpJxgTu4i5WBbSEpvDYN9phm6EpYZHK-10Q97zfli0R4OgcWlTykQ/w494-h640/ICR21010810Sheridan_02.jpg" width="494" /></a></div><br /><p><i>Bloomington Police Department<br />1800 W Old Shakopee Rd Bloomington, MN 55431<br />(952) 563-4900<br />Case #:BP21010810<br />Incident #: BP21010810<br />Person Reporting Incident Data (1)<br />Kraemer, Timothy Lee<br />DOB:<br />Age: 38<br />Race: White<br />Ethnicity: NON-HISPANIC<br />Sex: MALE<br />Address: 700 AMERICAN BLVD E<br />City: BLOOMINGTON<br />State: Minnesota<br />Zip Code: 55420<br />Country: USA (UNITED STATES OF AMERICA)<br />County: Hennepin<br />Work Phone: 952-854-5600<br /></i></p><p><i>Offenses (2)<br />609.52.2(a)(1) Theft-Take/Use/Transfer Movable Prop-No Consent<br />Severity Level: FELONY<br />Description of Where Offense Occurred: DEPARTMENT/DISCOUNT STORE<br />Offense Attempted/Completed: Completed<br />Offense Status: ARREST OF ADULT/ADULT AND JUVENILE<br />Bias Motivation: NONE<br />Offender Suspected of Using: Not Applicable<br /><br />588.20.1(a) Felony Contempt of Court - Disobey Subpoena-Crime of Violence<br />Severity Level: FELONY<br />Description of Where Offense Occurred: DEPARTMENT/DISCOUNT STORE<br />Offense Attempted/Completed: Completed<br />Offense Status: ARREST OF ADULT/ADULT AND JUVENILE<br />Bias Motivation: NONE<br />Offender Suspected of Using: Not Applicable</i></p><p><i>Page 2 of 7</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEimiDkDC-HBQ0GwmXMct-6tUefja8EB1yuTYq59gEzorRgLbCp0N43mU9ABUV3S27ZnV0VkeUjtIe1it7yhLNkcu_hZnu7-i459I_cxWigYyGE4lxp6X9MDk9updEeZAWb-LoJ7UfCR4eWP6goNmuUKniAGJupf4A9bP19-_afbb4G1Zjyf6J2k5NrDDQ/s1100/ICR21010810Sheridan_03.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEimiDkDC-HBQ0GwmXMct-6tUefja8EB1yuTYq59gEzorRgLbCp0N43mU9ABUV3S27ZnV0VkeUjtIe1it7yhLNkcu_hZnu7-i459I_cxWigYyGE4lxp6X9MDk9updEeZAWb-LoJ7UfCR4eWP6goNmuUKniAGJupf4A9bP19-_afbb4G1Zjyf6J2k5NrDDQ/w494-h640/ICR21010810Sheridan_03.jpg" width="494" /></a></div><p><i>Bloomington Police Department<br />1800 W Old Shakopee Rd Bloomington, MN 55431<br />(952) 563-4900<br />Case #:BP21010810<br />Incident #: BP21010810</i></p><p><i>Property (2)<br />MISC RETAIL ITEMS - STOLEN<br />Related Offense: 609.52.2(a)(1) Theft-Take/Use/Transfer Movable Prop-No Consent<br />Property Status: Stolen<br />Property Classification: Consumable Goods<br />Quantity: 1.0000<br />Property Value: 1209.65<br />Make/Brand: N/A<br />Model: N /A<br />Serial Number: N /A<br />Date Of Theft: 11/23/2021<br />Property Owned By?: Walmart<br />MISC RETAIL ITEMS - RECOVERED<br />Related Offense: 609.52.2(a)(1) Theft-Take/Use/Transfer Movable Prop-No Consent<br />Property Status: Recovered<br />Property Classification: Consumable Goods<br />Quantity: 1.0000<br />Property Value: 1209.65<br />Make/Brand: N/A<br />Model: N /A<br />Serial Number: N /A<br />Date Of Theft: 11/23/2021<br />Date of Recovery: 11/23/2021 22:42:00<br />Property Owned By?: Walmart</i></p><p><i>Narrative (2)<br />Arrest of Sheridan - #325<br />STIER, ADAM 325<br />11/23/2021<br />Offense Report: On 11/23/2021 at approximately 2242 hours, Officer Saari #235, and I, Officer Stier #325, were working a contractual overtime detail at the Bloomington Walmart store (700 E American Blvd).</i></p><p><i>We were alerted to a possibly theft in progress by the on-duty Asset Protection (AP) Associate, listed party Timothy Kraemer.</i></p><p><i>Kraemer had been watching a female customer at the self checkout that had an extremely large amount of merchandise.</i></p><p><i>This female was later identified via her MN picture driver's license as listed party Sheridan.</i></p><p><i>Sheridan scanned numerous items and paid for them, but failed to scan and pay for a very large amount of other merchandise.<br />Page 3 of 7</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjBwFi5H9Ji91hvFy8hgc6HbQN_CY8NOqIoiBHju_Y7JMf04cxDw0-m6tczohxeqNTHznwX8K-544o4vgEQ_KH9NL6bB1IW9-UIVy8uz4WOXGtvNduYHxc8hqRtYA-ZndkW9ELWesHVUDS1WHGEjq0j6ruIyTqUNPstHTgC_Up25Kt9qp5S26mjuMB6Uw/s1100/ICR21010810Sheridan_04.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjBwFi5H9Ji91hvFy8hgc6HbQN_CY8NOqIoiBHju_Y7JMf04cxDw0-m6tczohxeqNTHznwX8K-544o4vgEQ_KH9NL6bB1IW9-UIVy8uz4WOXGtvNduYHxc8hqRtYA-ZndkW9ELWesHVUDS1WHGEjq0j6ruIyTqUNPstHTgC_Up25Kt9qp5S26mjuMB6Uw/w494-h640/ICR21010810Sheridan_04.jpg" width="494" /></a></div><p>Bloomington Police Department<br />1800 W Old Shakopee Rd Bloomington, MN 55431<br />(952) 563-4900<br />Case #:BP21010810<br />Incident #: BP21010810</p><p>Sheridan then made her way to the store's exit, passing by Officer Saari who was seated at the Bloomington Police Department (BPD) podium.</p><p>Sheridan passed all points of sale without paying for or forfeiting the unpaid for merchandise and was confronted in the vestibule of Kraemer, Officer Saari, and I.<br />I grabbed onto Sheridan's right wrist/arm, identified myself as the police (I was wearing full police uniform), and advised her that she was under arrest.<br />She began to tense her arms up and stated "no" while trying to pull her arm free of my grip.</p><p>Officer Saari grabbed Sheridan's left wrist/arm, and we were able to detain her in handcuffs without any further incident.</p><p>Sheridan was led into the nearby AP office for processing.</p><p>Checks on Sheridan showed that she had two active warrants for her arrest out of Hennepin County that were confirmed (place a hold):</p><p>• WT #19425773 - FELONY THEFT - $5000 BOND OR CASH - COURT REQUIRED<br />• WT #19425774 - MISDEMEANOR THEFT - BAIL COVERED BY WT #19725773</p><p>I was also informed by AP Kraemer that the total value of the stolen property was $1209.65.</p><p>Kraemer will complete a Retail Crime Report and submit video via AXON Capture for this case. At the time this report is being submitted, the Retail Crime Report has not yet been completed. I will submit a copy of the Retail Crime Report upon it being received from Kraemer.</p><p>Due to the warrants and level of new crime, Sheridan would be taken into custody. The food items that she had paid for could not be taken with her, and she stated that she did not have anyone that could pick them up.</p><p>Kraemer stated that he would refund the items to a Walmart gift card and it would be turned over with the Retail Crime Report to be provided to Sheridan.<br />I later received a phone call from Kraemer indicating that the managers were not able to complete the return right away due to the store being closed and a problem with their computer system. He indicated that he would pull up an itemized receipt on 11/24/2021 and get the return completed.</p><p>I will retrieve the gift card during my shift on 11/26/2021 and property inventory the card for safe keeping.</p><p>Sheridan's large pink bag was property inventoried at BPD for safekeeping. Several important items were removed and left in her jail property prior to the bag being inventoried.</p><p>Sheridan was transported to the BPD Jail for booking.</p><p>NOTE: During the arrest/booking process, Sheridan kept asking officers about her house keys that were<br />Page 4 of 7<br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjQ9ba6UEPPX8WY3HMTTJoCyZPzQ5Ns-5n32k5hNTBt3iGEk0R6s6tkkyHXA2Zt2z7BnqR3_Xo6KjdUOSxxkbEA7WkmleZuD8OWZrWRgSVRo3iQ7GRpxgcVIEAwMFP7Vzk8C-CVypxnJ20lSBQcXmBcNAWLP5-bjp24XvkiGjLz_lzn6zhWOW-JqiqVlg/s1100/ICR21010810Sheridan_05.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjQ9ba6UEPPX8WY3HMTTJoCyZPzQ5Ns-5n32k5hNTBt3iGEk0R6s6tkkyHXA2Zt2z7BnqR3_Xo6KjdUOSxxkbEA7WkmleZuD8OWZrWRgSVRo3iQ7GRpxgcVIEAwMFP7Vzk8C-CVypxnJ20lSBQcXmBcNAWLP5-bjp24XvkiGjLz_lzn6zhWOW-JqiqVlg/w494-h640/ICR21010810Sheridan_05.jpg" width="494" /></a></div><p><i>Bloomington Police Department<br />1800 W Old Shakopee Rd Bloomington, MN 55431<br />(952) 563-4900<br />Case #:BP21010810<br />Incident #: BP21010810</i></p><p><i>attached to a "My Little Pony" keychain. Officers looked through her property, and Kramer checked the shopping carts. The keys were not located.</i></p><p><i>Disposition: Sheridan was booked at BPD for the following:<br />• (Felony)Theft<br />• (Felony)Hennepin County Warrant<br />• (Misdemeanor)Hennepin County Warrant<br /><br />AXON body worn camera was activated during the incident.<br />-End of Report-<br />!cat</i></p><p><i>CHARGING SUPPLEMENTAL - RUSH WARRANT #237 NOLDEN, KERRI 237<br />11/26/2021 </i></p><p><i>Case Overview</i></p><p><i>Your complainant, Kerri Nolden, is a Detective with the Investigations Unit serving the Bloomington Police Department and in that capacity has investigated the following criminal activity:<br />Felony Theft – MN SS# 609.52</i></p><p><i>This investigation has established the following:</i></p><p><i>Danielle Sheridan selected multiple Walmart merchandise items, concealed them in her cart and brought them to the self checkout lane. She failed to pay for all items during her self checkout.</i></p><p><i>She exited the store, passing all points of sale with the unpaid for Walmart merchandise and was stopped by store Loss Prevention and Bloomington Police.<br />All unpaid for merchandise recovered totaled $1209.65. Sheridan had 2 active Hennepin County warrants for Felony Theft and MS Theft. She was transported and booked at the Bloomington Police Department for Felony Theft and the 2 warrants.</i></p><p><i>She later declined to provide a post Miranda statement and was sent to HCADC on her warrants. She is still in custody at HCADC pending court on 11-29-21. Requesting RUSH</i></p><p><i>Warrant for this Felony Theft.</i></p><p><i>Investigative Action</i></p><p><i>I have reviewed the reports, see those for details. See store CCTV footage and Axon footage for details.</i></p><p><i>On 11/23/2021 at approximately 2242 hours, Officer Saari #235 and Officer Stier #325, were<br />Page 5 of 7</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi8K_T_27SMkkCNdHYJEcpbwLJMOlOu6iETa0Rz8aUW4r8DAz9XY3MQHt3yQ_6Yya03s_XM4NpPKCMzfQ1_cMk8BV_ShS-Ygeycmb6UVokeg-nezS6SWa2Df9Xd9u5LnWCu7z1J8I31Z8QZnsW-ZKFP1CQYDG5D1RtP59SD3Co3aV85YyuSxO1QCEYfdg/s1100/ICR21010810Sheridan_06.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi8K_T_27SMkkCNdHYJEcpbwLJMOlOu6iETa0Rz8aUW4r8DAz9XY3MQHt3yQ_6Yya03s_XM4NpPKCMzfQ1_cMk8BV_ShS-Ygeycmb6UVokeg-nezS6SWa2Df9Xd9u5LnWCu7z1J8I31Z8QZnsW-ZKFP1CQYDG5D1RtP59SD3Co3aV85YyuSxO1QCEYfdg/w494-h640/ICR21010810Sheridan_06.jpg" width="494" /></a></div><br /><p><i>Bloomington Police Department<br />1800 W Old Shakopee Rd Bloomington, MN 55431<br />(952) 563-4900<br />Case #:BP21010810<br />Incident #: BP21010810</i></p><p><i>working a contractual overtime detail at the Bloomington Walmart store (700 E American Blvd).</i></p><p><i>They were alerted to a theft in progress by the on-duty Asset Protection (AP) Associate, T. Kraemer. Kraemer had been watching a female customer at the self checkout that had an extremely large amount of merchandise. This female was later identified via her MN picture driver's license as Danielle Marie Sheridan.</i></p><p><i>Sheridan scanned numerous items and paid for them, but failed to scan and pay for a very large amount of other merchandise in her cart. Sheridan then made her way to the store's exit, passing by Officer Saari who was seated at the Bloomington Police Department (BPD) podium. Sheridan passed all points of sale without paying for or forfeiting the unpaid for merchandise and was confronted in the vestibule by Kraemer, Officer Saari, and Officer Stier.</i></p><p><i>Officer Stier grabbed onto Sheridan's right wrist/arm, identified himself as the police (he was wearing full police uniform), and advised her that she was under arrest. Sheridan tensed her arms up and stated "no" while trying to pull her arm free from Officer Stier’s grip. Officer Saari grabbed Sheridan's left wrist/arm, and they were able to detain her in handcuffs without any<br />further incident.</i></p><p><i>Sheridan was led into the nearby AP office for processing. Checks on Sheridan showed that she had two active warrants for her arrest out of Hennepin County which were confirmed (place a hold): l WT #19425773 - FELONY THEFT - $5000 BOND OR CASH - COURT REQUIRED l WT #19425774 - MISDEMEANOR THEFT - BAIL COVERED BY WT #19725773.</i></p><p><i>All unpaid for Walmart merchandise was recovered, which totaled $1209.65.<br /></i></p><p><i>The food items that Sheridan had paid for could not be taken with her, and she stated that she did not have anyone that could pick them up. Those items were later refunded by Walmart to a gift card and inventoried.</i></p><p><i>On 11-24-21 Sheridan declined to provide a post Miranda statement. She was sent to HCADC pending case review for in custody charging, but missed the charging deadline and remains in custody on her 2 Hennepin County warrants with court scheduled 11-29-21. Requesting a RUSH Warrant for this Felony Theft charge.</i></p><p><i>Conclusion</i></p><p><i>I am submitting this case for review to the Hennepin County Attorney’s Office for a RUSH</i></p><p><i>Warrant for the charge of Felony Theft – MN SS# 609.52 against Danielle Marie Sheridan.</i></p><p><i>!lnt</i></p><p><i>Officer (4)<br />Approving Officer: PAUL, AARON (203)<br />Reporting Officer: STIER, ADAM (325)<br />Assisting Officer: SAARI, SPENCER (235)<br />Page 6 of 7</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEimpoWcpTyUxKS5rF0DQxZJlsSypWBzh34xLwF8eFneW9bW_BzME4rVX8ie93kbHRCtfry06KN9nELK242aSyn85HtvyNEFaWdBYWb6jEQ2C9DvABTWA06-US33WHLSa8dU8IWsqpQVNk3eag6KtCyyMvrKCD8IRUDAT7hDcqUZSwB8w5S3uJRMV159fA/s1100/ICR21010810Sheridan_07.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEimpoWcpTyUxKS5rF0DQxZJlsSypWBzh34xLwF8eFneW9bW_BzME4rVX8ie93kbHRCtfry06KN9nELK242aSyn85HtvyNEFaWdBYWb6jEQ2C9DvABTWA06-US33WHLSa8dU8IWsqpQVNk3eag6KtCyyMvrKCD8IRUDAT7hDcqUZSwB8w5S3uJRMV159fA/w494-h640/ICR21010810Sheridan_07.jpg" width="494" /></a></div><br /><p><i>Bloomington Police Department<br />1800 W Old Shakopee Rd Bloomington, MN 55431<br />(952) 563-4900<br />Case #:BP21010810 </i><br /><i><i><i></i>Incident #: BP21010810<br /></i>Supplementing Officer: </i><i><i>NOLDEN, KERRI (237) </i><br />Page 7 of 7</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgpEc4GnljN7HAArhv7lzEhKz6QFDqkkx5PYIcPPW2Lh89ZZXI_Qzg_d6Z2_sVIAvJdCpkzs5iho1wQccanoc5Pl07Q8noi6MSMmy1Wct9QVyh6ymkIeCEpe02PLiR5bCRuih9hgia8A4gaR_7V96JsTHXom9KibjP6c1KS65NUFmmFY3GGRpCHPEFNmw/s1100/21010810CADSheridan.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgpEc4GnljN7HAArhv7lzEhKz6QFDqkkx5PYIcPPW2Lh89ZZXI_Qzg_d6Z2_sVIAvJdCpkzs5iho1wQccanoc5Pl07Q8noi6MSMmy1Wct9QVyh6ymkIeCEpe02PLiR5bCRuih9hgia8A4gaR_7V96JsTHXom9KibjP6c1KS65NUFmmFY3GGRpCHPEFNmw/s16000/21010810CADSheridan.jpg" /></a></div><br /><p><br /></p><p>Bloomington Police Department<br />Total CAD Incidents: 1<br />CAD Incident Report<br />BP211123-058609<br />Case #: BP21010810<br />Shoplifter<br />700 American Blvd E<br />Total Cases: 1<br />11/23/2021 10:42:15 PM<br />WALMART (700)<br />Disposition:Report - BPRPT<br />Response Area:BP01<br />Primary Officer: Stier, Adam-BP<br />[1] BP7325 ONE DETAINED<br />[2] NAM/SHERIDAN, DANIELLE MARIE.*RECORD DISSEMINATION RESTRICTED*<br />[3] [Query] BP7325, PowerLine NameDOB Check: MN,SHERIDAN,DANIELLE,MARIE<br />[4] Requested Case Number(s) issued for Incident #[BP211123-058609], Jurisdiction: Bloomington PD. Case Number(s): BP21010810. requested by<br />7325.<br />[5] Secondary Location for BP7325: BLOOMINGTON POLICE - HQ, 1800 OLD SHAKOPEE RD W,BLOOMINGTON, MN 55431.<br />Page 1 of 1<br />BP - CAD - Incident Report - By Incident Number<br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgCgmZ43eiQlgBXfk3mNJLDBlx14iDgKD4jaaIxyQuRf0Dpd1nhofziNKzp6M1a095eHq-Td3vqR-f_U-B_sKcrScuqcX9fs7En7Ku9AXy7rB1xJoMbeOu4n1WEzhQtcqgW_N6vX-xWlL6n8D6P-eScOiA4WP9HmLVkDXC_h6vsSxdErRyIv3lizg5SGQ/s1099/ICR21010810Sheridan_08.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1099" data-original-width="849" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgCgmZ43eiQlgBXfk3mNJLDBlx14iDgKD4jaaIxyQuRf0Dpd1nhofziNKzp6M1a095eHq-Td3vqR-f_U-B_sKcrScuqcX9fs7En7Ku9AXy7rB1xJoMbeOu4n1WEzhQtcqgW_N6vX-xWlL6n8D6P-eScOiA4WP9HmLVkDXC_h6vsSxdErRyIv3lizg5SGQ/w494-h640/ICR21010810Sheridan_08.jpg" width="494" /></a></div><p><i>City of Bloomington<br />POLICE DEPARTMENT<br />1800 West Old Shakopee Road<br />Bloomington MN55431-3096<br />952-563-4900 (TTY: 952-563-8740)<br />FAX: 952-563-4936</i></p><p><i>Initial Report RETAIL CRIME REPORT Narrative<br /></i></p><p><i>Summary / Witness Statements / Accused Statements</i></p><p><i>On (11/23/2021), I, Asset Protection Associate (APA) Timothy Lee Kraemer, was working for Wal-Mart Store #02 l 98's Asset Protection located in Bloomington, MN, when I observed the following theft actions by a customer who has been<br />identified as Danielle Marie Sheridan.</i></p><p><i>While conducting routine surveillance of the sales floor, I witnessed Sheridan selecting clothing, health, foods, pets and cleaning merchandise. Sheridan selected multiple purses, removed the filler contents from the purses and placed selected clothing merchandise inside the selected purses. Sheridan was placing smaller selected items inside the middle of her cart and surrounding those items with foods merchandise, attempting to hide the smaller selected merchandise. I continued to observe via PTZ (pan/tilt/zoom) cameras.</i></p><p><i>Sheridan discarded the purses with the concealed merchandise while in the health department. Sheridan then went to the front end of the store to make a purchase, going to self checkout register number 37 with the cart of selected merchandise. Sheridan made no attempt to purchase or forfeit 185 of the selected merchandise. Sheridan scanned several foods merchandise, placed the selected merchandise into a Wal-Mart shopping bag and piled the bags onto the unscanned<br />merchandise attempting to hide the items. An intervention was attempted but unsuccessful in stopping the theft actions. After the transaction was complete, Sheridan passed all points of sale, and exited the store with the selected and unpaid merchandise still in her possession.<br /></i></p><p><i>Once in the vestibule, Sheridan was approached by Officer Stier #325, Officer Saari #235 of the Bloomington Police Department, Myself, and escorted to the apprehension office for processing. All merchandise was recovered and Sheridan<br />was trespassed. Sheridan was charged for felony theft before Sheridan was taken into the custody of the Bloomington Police Department.</i></p><p><i>Total Value $1,209.65</i></p><p><i>END OF REPORT</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjQdWPqrbaM2k6KGHB1-ez-uIvjiaprLgqsF0wpHq-zkL08ZGr4SCM97NiZ0BkQU-oIHVLVXPcabA4HjOGEIXZjt56TaqCXPmUT2eyngD8DeVHu2lH1Lez_pkxUNWJC64FxuG3PphAAa4nweJhGx4jrAKf-Ux_sbW9B0TZ4ditlH1AUkwRXSvomW0VJfQ/s1099/ICR21010810Sheridan_09.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1099" data-original-width="849" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjQdWPqrbaM2k6KGHB1-ez-uIvjiaprLgqsF0wpHq-zkL08ZGr4SCM97NiZ0BkQU-oIHVLVXPcabA4HjOGEIXZjt56TaqCXPmUT2eyngD8DeVHu2lH1Lez_pkxUNWJC64FxuG3PphAAa4nweJhGx4jrAKf-Ux_sbW9B0TZ4ditlH1AUkwRXSvomW0VJfQ/w494-h640/ICR21010810Sheridan_09.jpg" width="494" /></a></div><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjDXmx49dN4sMDof3P1IhQM471PgIa39CycXQ08WHBukLLp3r26C4UxDWfyOy6ykrpbwNuJ6ZuNCXdnBWA1LKah7yHJADe7Rfq6l73bIZg1xhS78JyLJCzdIk2bxUGMN0dHhkzTe9-D69pICt7uX-I0r-jZf34Q8WkNAiZ44YFNvi6KDte0Ccfw-baeVQ/s1100/ICR21010810Sheridan_10.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjDXmx49dN4sMDof3P1IhQM471PgIa39CycXQ08WHBukLLp3r26C4UxDWfyOy6ykrpbwNuJ6ZuNCXdnBWA1LKah7yHJADe7Rfq6l73bIZg1xhS78JyLJCzdIk2bxUGMN0dHhkzTe9-D69pICt7uX-I0r-jZf34Q8WkNAiZ44YFNvi6KDte0Ccfw-baeVQ/w494-h640/ICR21010810Sheridan_10.jpg" width="494" /></a></div><br /><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEg777As35y4H9D0IuDQp1VYvyxQ9kePT1ywIJf9TiFzHwLVbLhfnNDt1kYrWsaXxbD8PiaNdvIyxc4h_sHyw4o2Cd2cTbQhMsc9Q4YgZ7ZXfEbDszV3TtcRb03h_cYtP5pvOvWZ4gktav2UnVPPO5xwpBGb7vM_AoAy_H_TTy5VegxLwbc91jj5jNuvVQ/s1100/ICR21010810Sheridan_11.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEg777As35y4H9D0IuDQp1VYvyxQ9kePT1ywIJf9TiFzHwLVbLhfnNDt1kYrWsaXxbD8PiaNdvIyxc4h_sHyw4o2Cd2cTbQhMsc9Q4YgZ7ZXfEbDszV3TtcRb03h_cYtP5pvOvWZ4gktav2UnVPPO5xwpBGb7vM_AoAy_H_TTy5VegxLwbc91jj5jNuvVQ/w494-h640/ICR21010810Sheridan_11.jpg" width="494" /></a></div><br /><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi7GyZBjhjdk2oh9HgGm3mAnYLN9SPSIFylPuC-2yfWW6fSqn1kGyH0UeZ9ji-b_Z9tfKWP5-ed0zF_n_S4IfOhU1ilf7E1YdNQg9Mi1ZQnaTp4Wmxsyqm4bp8MZXkUuzb0YH6HecMX8ZD3irchgCaMaxHbXBYyyi20DBYJ3zDgh2lXAj_G9Jpzm0Xj1Q/s1100/ICR21010810Sheridan_12.jpg" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi7GyZBjhjdk2oh9HgGm3mAnYLN9SPSIFylPuC-2yfWW6fSqn1kGyH0UeZ9ji-b_Z9tfKWP5-ed0zF_n_S4IfOhU1ilf7E1YdNQg9Mi1ZQnaTp4Wmxsyqm4bp8MZXkUuzb0YH6HecMX8ZD3irchgCaMaxHbXBYyyi20DBYJ3zDgh2lXAj_G9Jpzm0Xj1Q/w494-h640/ICR21010810Sheridan_12.jpg" width="494" /></a></div><br /><p><br /></p><p><br /></p><p><br /></p><p><br /></p><p>More to come ...</p><p>Related Links:<br /></p><p><a href="https://lionnews00.blogspot.com/2020/05/missing-evidence-for-high-profile-us.html">Missing Evidence For High-Profile U.S. House Of Representatives Candidate Danielle Sheridan's AKA Danielle Stella's Case 27-CR-19-5525? Harassment Over Chapter 13 Data Request For Data On Hennepin County Sheriff’s Deputy Shane Kemper? Is Hennepin Co. Attorney Michael Freeman Conspiring With Target LLC To Illegally Withhold Evidence From Sheridan/Stella?</a></p><p>
<a href="http://lionnews00.blogspot.com/2020/05/edina-police-chief-dave-nelson-angry-at.html">Edina
Police Chief Dave Nelson Angry At Nemmers For Trying To Figure Out If
What Happen To Danielle Sheridan AKA Danielle Stella In Target's Booking
Room - Security Office Happen To Heidi Ann Finnerud? Retaliation For
Chapter 13 Data Request For Heidi Ann Finnerud Data? Edina Chief Of
Police David Nelson Sicced City Clerk Sharon Allison After Nemmers For
Figuring Out The Little Conspiracy Edina Police Have With Target Loss
Prevention Personnel?? Is Or Isn't City Pages Editor Emily Cassel
Interested In The Conspiracy Or Not?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/04/did-what-happen-to-danielle-sheridan.html">Did
What Happen To Danielle Sheridan AKA Danielle Stella In Target's
Booking Room - Security Office Happen To Heidi Ann Finnerud? Chapter 13
Data - Heidi Ann Finnerud Data? Is Edina Chief Of Police David Nelson
Retaliating Against Nemmers For Figuring Out The Little Conspiracy Edina
Police Have With Target Loss Prevention Personnel?? Is City Pages
Editor Emily Cassel Interested In The Conspiracy Or Not?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/04/hennepin-sheriff-hutchinson-retaliates.html">Hennepin
Sheriff Hutchinson Retaliates Against Nemmers For Exposing Deputy
Kemper & His Prohibited Website Danielle-Stella.Com? Sheriff
Hutchinson Willfully Refuses To Comply With Minnesota Government Data
Practices Act Yet Again?riff-hutchinson-retaliates.html</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/03/osceola-wisconsin-police-chief-ron.html">Osceola
Wisconsin Police Chief Ron Pedrys Harassment? Pedrys Harassing Nemmers
Over Data For Incident Involving Daniella Sheridan AKA Danielle Stella?
Pedrys Covering Up For Florida Celebrity Attorney Kim "The Perjurer"
Picazio & Her Gang-Stalkers Alexandria "Smear Campaign" Goddard And
Ashley "Useful Idiot" (Cooper) Brown? "The Perjurer" Picazio, "Smear
Campaign" Goddard And "Useful Idiot" (Cooper) Brown Were Filing False
Police Reports Against U.S. House Candidate Danielle Stella AKA Danielle
Sheridan, Weren't They?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/03/florida-celebrity-attorney-kim-perjurer.html">Florida
Celebrity Attorney Kim "The Perjurer" Picazio & Her Gang-Stalkers
Alexandria "Smear Campaign" Goddard And Ashley "Useful Idiot" (Cooper)
Brown Filing False Police Reports Against U.S. House Candidate Danielle
Stella AKA Danielle Sheridan?</a><br />
<br />
<br />
</p><div class="separator" style="clear: both; text-align: left;">
</div>
<div class="separator" style="clear: both; text-align: left;">
<a href="http://lionnews00.blogspot.com/2020/03/what-another-e-fail-for-e-incompetent-e.html">What?
Another E-Fail For E-Incompetent E-Clowns AKA E-Clause's Scam Artist
Chris "Know-It-All-Know-Nothing" Hallett & Fellow Scam Artist Kirk
"Know-It-All-Know-Nothing" Pendergrass? E-Clause Client/Dupe Jason Scott
Youngstrand Has 02-12-20 Warrant Served On 03-09-20? Bungled Case No.
02-CR-19-7136?</a> </div>
<br />
<div class="separator" style="clear: both; text-align: center;">
</div>
<a href="http://lionnews00.blogspot.com/2020/02/e-fail-for-e-incompetent-e-clowns-aka-e.html">E-Fail
For E-Incompetent E-Clowns AKA E-Clause's Scam Artist Chris
"Know-It-All-Know-Nothing" Hallett & Fellow Scam Artist Kirk
"Know-It-All-Know-Nothing" Pendergrass? Active Warrant For E-Clause
Client/Dupe Jason Scott Youngstrand? Bungled Case No. 02-CR-19-7136?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/02/denise-mcconnell-tosses-monkey-wrench.html">Denise
McConnell Tosses Monkey Wrench Into Florida Celebrity Attorney Kim "The
Perjurer" Picazio's Plans By Filing A Criminal Complaint Against "The
Perjurer" Picazio For "The Perjurer" Picazio Filing False Police Reports
Against Husband Field "Conspiracy Theorist" McConnell?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/02/are-pierce-co-wisconsin-board-of.html">Are
The Pierce Co. Wisconsin Board Of Supervisors Conspiring To Cover Up
Pierce Co. Sheriff Nancy Hove's Willfull Refusal To Comply With
Wisconsin Open Records Laws? Let's Ask RFPD Deputy Chief Of
Police/Pierce County Supervisor Jonathan Aubart, Shall We? Let's Drop A
Copy Of The Boles Complaint In Aubart's Lap With An Open Records
Request, Shall We? Will This Be Yet Another Monkey Wrench Tossed Into
The Rigged Extradition Hearing For Field "Conspiracy Theorist"
McConnell?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/02/nemmers-request-for-investigation-into.html">Nemmers'
Request For Investigation Into Pierce Co. Circuit Court Judicial
Officer Joseph D. Boles - Pierce County Case Number 2019CF000226 State
Of Wisconsin Vs. Field "Conspiracy Theorist" McConnell? </a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/02/wisconsin-tony-evers-send-nemmers.html">Wisconsin's
Tony Evers Sends Nemmers Governor's Warrant For Wisconsin's Field
"Conspiracy Theorist" McConnell? Yet Magically & Mysteriously
Florida Governor Ron D. DeSantis Doesn't? Maybe DeSantis Will Convince
Pierce Co. Sheriff Nancy Hove To Stop Illegally Withholding Data For
Field "Conspiracy Theorist" McConnell & For Florida Celebrity
Attorney Kim "The Perjurer" Picazio? Naughty Hove Knows Or Should Know
"The Perjurer" Picazio Loves To File False Police Reports, Right?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/01/e-clause-clowns-chris-know-it-all-know.html">E-Clause
Clowns Chris "Know-It-All-Know-Nothing" Hallett & Kirk
"Know-It-All-Know-Nothing" Pendergrass Bungle Field "Conspiracy
Theorist" McConnell's Extradition? "Know-It-All-Know-Nothing" Hallett
& "Know-It-All-Know-Nothing" Pendergrass Previously Bungled
"Conspiracy Theorist" McConnell's SLAPP Suit Filed By Florida Celebrity
Attorney Kim "The Perjurer" Picazio, Didn't They? Didn't These Bunglers
Also Bungle E-Clause Client/Fugitive Timothy "Conspiracy Theorist"
Holmseth's (60-CR-18-2074) Case & E-Clause Clients/Dupes Grover's
(02-CR-19-7135) & Youngstrand's (02-CR-19-7136) Cases, Also?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2020/01/pierce-co-sheriff-hove-reported-yet.html">Pierce
Co. Sheriff Hove Reported Yet Again For Willfully Refusing To Comply
With Wisconsin Open Records Laws In High-Profile Field "Conspiracy
Theorist" McConnell Case? Pierce Co. Supervisor Find Out About Naughty
Sheriff Hove & Florida Celebrity Attorney Kim "The Perjurer"
Picazio's History Of Filing False Police Reports In Florida, Minnesota
& Wisconsin?? "The Perjurer" Picazio Is Still Gang-Stalking Both
"Conspiracy Theorist" McConnell & E-Clause Client/Fugitive Timothy
"Conspiracy Theorist" Holmseth, Isn't She?</a><br />
<br />
<a href="https://lionnews00.blogspot.com/2020/01/pierce-co-sheriff-hove-reported-again.html">Pierce
Co. Sheriff Hove Reported Again For Willfully Refusing To Comply With
Wisconsin Open Records Laws In High-Profile Field "Conspiracy Theorist"
McConnell Case? Nemmers Reports Cover-Up In Field "Conspiracy Theorist"
McConnell's Case To Pierce Co. Judicial Officer Joseph Boles? Boles
Learns About Florida Celebrity Attorney Kim "The Perjurer" Picazio's
History Of Filing False Police Reports In Florida, Minnesota &
Wisconsin? Pierce Co. Sheriff Nancy Hove & Pierce Co. District
Attorney David Olson Still Conspiring To Violate Wisconsin Open Records
Laws In Regard To "Conspiracy Theorist" McConnell's Case? "The Perjurer"
Picazio Is Still Gang-Stalking Both "Conspiracy Theorist" McConnell
& E-Clause Client/Fugitive Timothy "Conspiracy Theorist" Holmseth,
Isn't She? Hey Let's Contact Florida Governor Ron D. DeSantis, Shall We?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/12/nemmers-reports-cover-up-in-field.html">Nemmers
Reports Cover-Up In Field "Conspiracy Theorist" McConnell's Case To
Plum City's Local Media Outlet? News Director Anne Jacobson &
Regional Editor Jake Pfeifer Learn About Florida Celebrity Attorney Kim
"The Perjurer" Picazio's History Of Filing False Police Reports In
Florida, Minnesota & Wisconsin? Deputy Wisconsin Attorney General
Eric Wilson - Pierce Co. Sheriff Nancy Hove - Pierce Co. District
Attorney David Olson Conspire To Violate Wisconsin Open Records Laws In
Regard To "Conspiracy Theorist" McConnell's Case? "The Perjurer" Picazio
Is Gang-Stalking Both "Conspiracy Theorist" McConnell & E-Clause
Client/Fugitive Timothy "Conspiracy Theorist" Holmseth, Isn't She?
Nemmers Had A Good Time Speaking With Jacobson, Didn't He?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/12/e-clause-clientsdupes-melissa-grover-02.html">E-Clause
Clients/Dupes Melissa Grover (02-CR-19-7135) & Jason Youngstrand
(02-CR-19-7136) Fail To Appear At 12-11-19 Hearing? Even More Idiotic
Legal Advice From E-Clause Scam Artist Kirk "Know-It-All-Know-Nothing"
Pendergrass & Fellow E-Clause Scam Artist Chris
"Know-It-All-Know-Nothing" Hallet Lands Grover & Youngstrand Even
Deeper Into Trouble? You Remember That Florida Celebrity Attorney Kim
"The Perjurer" Picazio Has Her Gang-Stalking Crew Gang-Stalking E-Clause
Client/Fugitive Timothy "Conspiracy Theorist" Holmseth, Don't You?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/11/obstruction-of-legal-process-charges.html">Obstruction
Of Legal Process Charges For E-Clause, LLC Dupes Melissa Grover
(02-CR-19-7135) & Jason Youngstrand (02-CR-19-7136)? Idiotic Legal
Advice From Scam Artist Kirk Pendergrass Lands Dupes Grover &
Youngstrand Deeper Into Trouble? Celebrity Florida Attorney Kim "The
Perjurer" Picazio's Gang-Stalking Crew Have A Good Laugh? You Remember
That "The Perjurer" Picazio Has Her Gang-Stalking Crew Gang-Stalking
E-Clause Client/Fugitive Timothy "Conspiracy Theorist" Holmseth, Don't
You?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/12/ooooops-did-nemmers-just-toss-another.html">Ooooops!
Did Nemmers Just Toss Another Couple Of Huge Monkey Wrenches Into
Pierce County Case Number 2019CF000226 State Of Wisconsin Vs. Field
"Conspiracy Theorist" McConnell? Hey Did You See That The Wisconsin
Department Of Justice IP Address 69.161.201.4 Is Lurking & Skulking
On Lion News Again? Did I Upset Pierce County District Attorney David
Olson & Pierce County Sheriff Nancy Hove With My Open Records
Request Complaints? Or Olson & Hove Upset By Damning Info About
Florida Celebrity Attorney Kim "The Perjurer" Picazio's Gang-Stalking
Field "Conspiracy Theorist" McConnell? "Conspiracy Theorist" McConnell
& E-Clause Client/Fugitive Timothy "Conspiracy Theorist" Holmseth?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/12/ooooops-did-nemmers-just-toss-couple-of.html">Ooooops!
Did Nemmers Just Toss A Couple Of Huge Monkey Wrenches Into Pierce
County Case Number 2019CF000226 State Of Wisconsin Vs. Field "Conspiracy
Theorist" McConnell? "Conspiracy Theorist" McConnell Is Haboring
E-Clause Client/Fugitive Timothy "Conspiracy Theorist" Holmseth, Isn't
He? Both "Conspiracy Theorist" McConnell & "Conspiracy Theorist"
Holmseth Are Being Gang-Stalked By Florida Celebrity Attorney Kim "The
Perjurer" Picazio's Gang-Stalking Crew, Aren't They? Pierce County
District Attorney David Olson Gets Notified Of Nemmers' Criminal
Complaint And Magically & Mysteriously Missing Charging Decision For
Criminal Case Against Florida Celebrity Attorney Kim "The Perjurer"
Picazio? Broward County State Attorney Michael Satz Gets Notified Of
Possible Service Of Process Violations? Wisconsin Department Of Justice
IP Address 69.161.201.4 Lurking & Skulking On Lion News?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/11/internet-gang-stalker-ashley-reagan.html">Internet
Gang-Stalker Ashley Reagan Early AKA Reagan Early AKA @JustBeingReagan
Receives Florida Fish & Wildife Commission Warning? Did You Know
That "Reagan" Was Too Busy Gang-Stalking For Florida Celebrity Attorney
Kim "The Perjurer" Picazio To Get A Rehab Permit For Squirrel Lulu?
"Reagan" Has Been Gang-Stalking Timothy "Conspiracy Theorist" Holmseth,
Hasn't She? She Has, Hasn't She?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/11/constitutional-handbook-waiving-guru.html">Constitutional
Handbook Waiving Guru Field "Conspiracy Theorist" McConnell Lands In
Pierce Co. Wisconsin Jail? "Conspiracy Theorist" McConnell Learned The
Hard Way That Lies - "Patriot Paperwork" - Threats Were No Match For
Florida Celebrity Attorney Kim "The Perjurer" Picazio's Perjury, Didn't
He? Can You Say "FAIL!"? The Gang-Stalkers For "The Perjurer" Picazio
Are Overjoyed, Aren't They? Don't Forget That "The Perjurer" Picazio's
Gang-Stalking Crew Is Gang-Stalking Minnesota's Own E-Clause
Client/Fugitive Timonthy "Conspiracy Theorist" Holmseth, Okay? Psst:
It's Pierce Co. Case No. 2019CF000226 State Of Wisconsin Vs. Field
McConnell, Isn't It?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/09/alachua-county-sheriff-sadie-darnell.html">Alachua
County Sheriff Sadie Darnell Misusing Public Resources To Illegally
Withhold Readily Available, Free, Electronic, Public Data From Nemmers
Because Your Alachua County Employee Susan Curry Made False Police
Reports & Perjured Statements Against Timothy "Conspiracy Theorist"
Holmseth? Alachua County's Susan "The Perjurer" Curry Is Celebrity
Florida Attorney Kim "The Perjurer" Picazio's Partner in Crime, Isn't
She? Alachua County Board of County Commissioners Lurking & Skulking
On Lion News With IP Address 216.194.144.254? Corrupt Darnell
Retaliates With Fraudulent & Retaliatory Bill For $25.13?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/09/status-on-nemmers-east-grand-forks.html">Status
On Nemmers' East Grand Forks Informed Consent Data? Where Oh Where Is
Nemmers' East Grand Forks Subject Data? Corrupt Galstad Didn't Bring
Phony Dating Violence Complaint For Corrupt Alachua County Employee
Susan "The Perjurer" Curry? Why Oh Why Would Corrupt Galstad Bring
Malicious Charges Against Timothy "Conspiracy Theorist" Holmseth For
Celebrity Florida Attorney Kim "The Perjurer" Picazio But Not Perjurer
Curry? New: Nemmers' Audio Recorded Conversations With Celebrity Florida
Attorney Kim "The Perjurer" Picazio?</a><br />
<br />
<i>Lion News: Nemmers’ 03-29-19 Call From Florida Celebrity Attorney Kim “The Perjurer” Picazio? <a href="https://www.bitchute.com/video/ULGSHXl17NxZ/">https://www.bitchute.com/video/ULGSHXl17NxZ/</a></i><br />
<i>Lion News: Nemmers’ 03-30-19 Call From Florida Celebrity Attorney Kim “The Perjurer” Picazio? <a href="https://www.bitchute.com/video/QLpc7hlocqHE/">https://www.bitchute.com/video/QLpc7hlocqHE/</a></i><br />
<i>Lion News: Nemmers’ 04-05-19 Call From Florida Celebrity Attorney Kim “The Perjurer” Picazio? <a href="https://www.bitchute.com/video/HUADImcY5iQa/">https://www.bitchute.com/video/HUADImcY5iQa/</a></i><br />
<i>Lion News: East Grand Forks Administrator Murphy Aiding & Abetting Perjurer Attorney Kim Picazio? <a href="https://www.bitchute.com/video/OC2MdcW16xc0/">https://www.bitchute.com/video/OC2MdcW16xc0/</a></i><br />
<i>Lion New: Inver Grove Heights PD Withholds Recorded Line Data For Celebrity Attorney Kim Picazio?</i><br />
<i><a href="https://www.bitchute.com/video/ucJigAUrIWpM/">https://www.bitchute.com/video/ucJigAUrIWpM/</a></i><br />
<i>Lion News: Celebrity Attorney Kim Picazio Falsely Reporting Death Threats By Timothy Holmseth? <a href="https://www.bitchute.com/video/CAjj2EmNZvQG/">https://www.bitchute.com/video/CAjj2EmNZvQG/</a><br />Lion News: Celebrity Attorney Kim Picazio’s Affair With Regan Exposed By Investigation Into Westall? <a href="https://www.bitchute.com/video/mUscvhB1lCnb/">https://www.bitchute.com/video/mUscvhB1lCnb/</a> </i><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/09/nemmers-informed-consent-for-east-grand.html">Nemmers'
Informed Consent For East Grand Forks Subject Data? Corrupt Galstad
Using "Connected" Celebrity Florida Attorney Kim "The Perjurer" Picazio
& Picazio Flunkies To Try Timothy "Conspiracy Theorist" Holmseth
Case In Court Of Public Opinion? FYI: Dede "Conspiracy Theorist" Evavold
Sighted At 08-26-19 Fail For Fugitive Timothy "Conspiracy Theorist"
Holmseth? </a><br />
<br />
<a href="https://lionnews00.blogspot.com/2019/05/fort-lauderdale-florida-police-reports.html">Fort
Lauderdale Florida Police Reports Filed By Celebrity Attorney Kim "The
Perjurer" Picazio Make No Mention Of Death Threats By Conspiracy
Theorist Timothy Charles Holmseth, Do They? Picazio Screwed Up By Giving
Nemmers A Copy Of ICR: 11-064252-PR, Didn't She? Fort Lauderdale PD
Forced To Cough Up 11-064252-PR, Right?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/04/celebrity-attorney-kim-picazio-huff.html">Celebrity
Attorney Kim Picazio Huffs & Puffs But Fails To Blow Conspiracy
Theorist Sarah Westall's Audio Recordings Of Kim Picazio's &
Jeremiah Regan's Affair Off Of Westall's Social Media Accounts? Picazio
Magically & Mysteriously Intentionally Forgets To Provide East Grand
Forks Detective Lieutenant Rod Hajicek Evidence That Conspiracy
Theorist Timothy Charles Holmseth Was Prosecuted & Convicted Of
Making Death Threats To Celebrity Attorney Kim Picazio?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/04/celebrity-attorney-and-false-accuser.html">UPDATE:
AFTER A WEEK A VERY ANGRY LPPD BEGRUDGINGLY TOOK A FORMAL STATEMENT
FROM NEMMERS, RIGHT? Celebrity Attorney And False Accuser Kim Picazio
Turns On Her Buddies At Inver Grove Height Police Department (IGHPD)?
Picazio Magically & Mysteriously Changes Story And Now Says That
Conspiracy Theorist Timothy Charles Holmseth Never Made Death Threats To
Her? Picazio Accuses Her Cop Buddies At IGHPD Of Falsifying Report? Is
That Because Celebrity Attorney And False Accuser Kim Picazio Can't
Produce Any Proof That Conspiracy Theorist Holmseth Was Ever Prosecuted
Or Convicted Of Making Death Threats? IGHPD Is Still Illegally
Withholding Preliminary Audio Statements Of Picazio And Conspiracy
Theorist Sarah Westall From Nemmers, Aren't They?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/04/celebrity-florida-attorney-kim-picazio.html">Update:
Did You Hear That I Was Forced To Report Celebrity Florida Attorney Kim
Picazio To Law Enforcement On 04-11-19? Celebrity Florida Attorney Kim
Picazio Reported To Florida Bar Association? Celebrity Florida Attorney
Kim Picazio Reported For SLAPP Suit Against Conspiracy Theorist Timothy
Charles Holmseth?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2019/04/why-is-celebrity-floriida-attorney-kim.html">Why
Is Celebrity Florida Attorney Kim Picazio Filing False Police Reports
With The Inver Grove Heights Police Department Against Conspiracy
Theorist Sarah Westall? It's To Cover Up Picazio's Affair With Jeremiah
Regan, Isn't It? It Is, Isn't It? Picazio Has Been Conspiring With The
Corrupt East Grand Forks Police To Harass & Maliciously Prosecute
Westall's Conspiracy Theorist Buddy Timothy Charles Holmseth For Years,
Hasn't She? Picazio Maliciously SLAPPed Holmseth, Didn't She? (Note:
Dede Evavold Is A Consumer Of Holmseth's Conspiracy Theories, Isn't
She?)</a> <br />Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-79077839312287006612022-03-29T09:09:00.003-07:002022-03-30T04:32:57.269-07:00Who Wants To Toss Another Batch Of Monkey Wrenches Into Rigged Case No. 08-CR-21-272 State Of Minnesota Vs Candi Jolene Lemarr? Chapter 13 Data Request For Candi Lemarr Related Data? Rogue Nonprofits (Minnesota Federated Humane Societies & Minnesota Hooved Animal Rescue, Right?) Involved In Rigged Investigation Willfully Refuse To Cough Up Form 990's? Trained Observers Can't See Surveillance Video? Witness Friesen's Middle Finger? Vets Not Asked About All Possible Diagnostic Tests On Stand?<p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEje1m-KDf6sMOGKEXMqj1ffWQ_JBO_3K5LwjPs1nEEupa2y1soxlwZULau7IIGJUqRxctflqf8eTPvUlKY7PdPomXnoeESrTbAg7I3ljpdfg_Ek1SlJCavOd4Q4csa01wR9z0iB6LQsjRAFqB2LJzTEVQR23eRwIWhZ2pTrjw70lV5LgkPLJnXGc9r7_g/s1100/Ch13Brown032922a.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEje1m-KDf6sMOGKEXMqj1ffWQ_JBO_3K5LwjPs1nEEupa2y1soxlwZULau7IIGJUqRxctflqf8eTPvUlKY7PdPomXnoeESrTbAg7I3ljpdfg_Ek1SlJCavOd4Q4csa01wR9z0iB6LQsjRAFqB2LJzTEVQR23eRwIWhZ2pTrjw70lV5LgkPLJnXGc9r7_g/w494-h640/Ch13Brown032922a.jpg" width="494" /></a></div><br /><p></p><p> </p><p><i>from: Lion News lionnews00@gmail.com<br />to: fbusch@nujournal.com,<br />Kevin Sweeney ksweeney@nujournal.com,<br />gorear@nujournal.com,<br />sam.hansen@co.brown.mn.us,<br />Jason Seidl Jason.Seidl@co.brown.mn.us,<br />district2@co.brown.mn.us,<br />kelly.hotovec@co.brown.mn.us,<br />Charles Hanson Charles.Hanson@co.brown.mn.us<br />date: Mar 29, 2022, 10:01 AM<br />subject: Chapter 13 Data Request For Candi Lemarr Related Data - Rogue Nonprofits Involved In Rigged Investigation? Trained Observers Can't See Surveillance Video? Witness Friesen's Middle Finger? Vets Not Asked About All Possible Diagnostic Tests On Stand?<br />mailed-by: gmail.com</i></p><p><i>Greg Orear, Publisher New Ulm Journal, Kevin Sweeney, Editor, Fritz Busch, Staff Writer 507-359-2911:</i></p><p><i>Hey, aren't you going to send your buddy Fritz to cover the high-profile Candi Lemarr case (08-CR-21-272 State of Minnesota vs Candi Jolene Lemarr)? Or did you decide it was too much of an embarrassment? You’d agree that this trial and the criminal investigation into Lemarr should have had a laugh track attached to it, right? Are you still waiting, like I’m still waiting, for either Assistant Brown County Attorney Jill Jensen or Lemarr’s laughable attorney James Kuettner to ask Dr. Nancy Lynn Peterson, Dr. Zachariah Loppnow, and Dr. Amanda Elston to testify as to what subjective and objective tests that a competent veterinarian should be performing in a suspected equine starvation case? And how is it possible every single one of the trained observers on Lemarr farm failed to notice the surveillance cameras? How is it possible that Peterson, Brown County Deputy Randee Murphy, Deputy Derek Shaw, Chief Deputy/Detective Jeremy Reed and former Chief Deputy Steve Depew couldn’t fall back onto their expensive and time-consuming work-related continuing education to secure the Lemarr surveillance footage? Aren’t neutral and unbiased criminal investigations supposed to seek out potentially exculpatory evidence to clear the suspect from suspicion of a crime? Sounds like a severe case of group think and tunnel vision, doesn’t it? It does, doesn’t it?</i></p><p><i>Did you know that neither one of the nonprofits associated with the Lemar case, Minnesota Federated Humane Societies or Minnesota Hooved Animal Rescue wants to provide me with their Form 990? Federal law makes it clear that nonprofits have to provide the Form 990 the same day the Form 990 is requested, doesn’t it? Why would Brown County involve either of one these rogue nonprofits in the Lemarr criminal investigation? Maybe Brown County needs rogue nonprofits to be involved in their rigged animal cruelty investigations? See attached, okay?</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. Oh, did you know that the overpaid criminal you pass off as the Brown County Attorney, Chuck Hanson, (Convicted thief, right?) is still illegally withholding his general policy manual and his prosecutor’s policy manual from me? The revelation about the Lemarr surveillance video magically and mysteriously not being collected and preserved is another motive for Hanson to not release his Brady policies, isn’t it? Must be why Hanson wanted to use the body camera video to dispel rumors while at the same time not releasing the damning/embarrassing videos to the public in violation of Chapter 13.82 Subd. 15. Public benefit data, right?</i></p><p><i>hu [Note: Oooops!]<br /></i></p><p><i>Tunnel vision may have already led investigators at this point to prematurely but confidently conclude that the innocent suspect is guilty. Confirmation bias then leads investigators to seek out information and evidence that affirms this belief and to reject or discount information and evidence that does not. Richard A. Leo, Police Interrogation and American Justice, (Cambridge: 2008), Page 264.</i></p><p><i>A I received a phone call from the Federated --<br />Q Actually, I apologize, let me just ask you this. Did you have any contact with Minnesota Hooved Animal Rescue?<br />A Yes.<br />Q And what was the purpose of that contact?<br />A I was requested to get photos from Minnesota Hooved Animal Rescue from -- as soon as the horses were surrendered, that they had pictures of, and current photos of any of the horses that they had on file.<br />Q And did you have any other involvement in this case?<br />A I received some of the pictures from Minnesota Hooved Animal Rescue, and, no. Page 461-462. Jury Trial Volume III File No. 08-CR-21-272 State of Minnesota v. Candi Jolene Lemarr<br />Q: Jill Jensen, Assistant Brown County Attorney</i></p><p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEh1BiI9mj5JUQ4bJxwUvSCuKfERGh9Kc_VQoUg8SD-cH0jqIVSYISf1ZDQ7HgVeaTtCy5IxVrVdgpsqTnABlCWdm0OQy6QnfoTTDT3diDCYiXWj-WEozN-_WCHghLUE5XyI-IoUNloeUvm8XxqJHDiwy2-90sLKCntg_gyYwNUKABDjjSHbu-uAm2J8mw/s1100/Ch13Brown032922b.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEh1BiI9mj5JUQ4bJxwUvSCuKfERGh9Kc_VQoUg8SD-cH0jqIVSYISf1ZDQ7HgVeaTtCy5IxVrVdgpsqTnABlCWdm0OQy6QnfoTTDT3diDCYiXWj-WEozN-_WCHghLUE5XyI-IoUNloeUvm8XxqJHDiwy2-90sLKCntg_gyYwNUKABDjjSHbu-uAm2J8mw/w494-h640/Ch13Brown032922b.jpg" width="494" /></a></div><br /><p></p><p><i>A: Dr. Nancy Lynn Peterson</i></p><p><i><a href="https://www.mnfedhs.org/state-humane-agents.html">https://www.mnfedhs.org/state-humane-agents.html</a> State Humane Agents The appointed state humane agents of Minnesota Federated Humane Societies play a vital role in ensuring all animals in our state are cared for as mandated under federal and state law. Our state humane agents are trained to know and interpret the Minnesota state statutes pertaining to animals and carry out investigations into reports of suspected animal cruelty, abuse and neglect.<br />While carrying out their duties, state humane agents have many duties. The state humane agents:<br />Partner with law enforcement to investigate potential cruelty, abuse, neglect and torture crimes against animals.</i></p><p><i>Sam Hansen, Brown County Administrator 507-233-6600 & Jason Seidl, Sheriff 507-233-6713 & Kelly Hotovec, Auditor-Treasurer 507-233-6613 & Anton Berg, Board Chair 507-359-7844:</i></p><p><i>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:<br />1. Incident report and surveillance video of Eryn Friesen giving the middle finger during the high-profile Candi Lemarr trial.<br />2. Signed confidentiality agreement with Minnesota Federated Humane Societies and emails with attachments to/from MFHS for the Candi Lemarr equine abuse investigation.<br />3. Final outcome of internal affairs investigation into how Brown County Deputy Randee Murphy, Deputy Derek Shaw, Chief Deputy/Detective Jeremy Reed and former Chief Deputy Steve Depew all failed to secure surveillance video aka potentially exculpatory evidence in the high-profile Candi Lemarr equine abuse investigation. [Gross salary for Jeremy Reed: $75,774.40 (2020), Gross salary for Steve Depew: $77,480.00 (2020), Gross salary for Steve Depew: $70,636.80 (2020) and Gross salary for Randee Murphy: $65,915.20 (2020)]<br />4. Payments to Nancy Lynn Peterson, DVM for services rendered in the high-profile Candi Lemarr equine abuse investigation and trial.<br />5. Payments to the nonprofit Minnesota Hooved Animal Rescue for services rendered in the high-profile Candi Lemarr equine abuse investigation and trial.<br />6. Payments to Anoka Equine Veterinary Services for services rendered in the high-profile Candi Lemarr equine abuse investigation and trial.<br />7. Payments to Zachariah Loppnow, DVM for services rendered in the high-profile Candi Lemarr equine abuse investigation and trial.<br />8. Body camera videos for high-profile Candi Lemarr equine abuse investigation, pursuant to Chapter 3.82 Subd. 15. Public benefit data.</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. Have your deputies aka trained observers had their listening ears checked lately? It would seem that your trained observers are only capable of hearing but not listening during criminal investigations, wouldn't it?<br />P.S.S. Maybe your trained observers shouldn't have relied on the really bad advice from rogue nonprofits and spent more time reading books on animal abuse investigations? Have you ever read: Chapter 1: The Legal System and the Veterinarian’s Role Veterinary Forensics: Animal Cruelty Investigations 1st Edition by Melinda D. Merck? Hmm? Inquiring minds want to know, don’t they?</i></p><p><i><a href="https://www.mnfedhs.org/mfhs-team-members1.html">https://www.mnfedhs.org/mfhs-team-members1.html</a><br />State Humane Agents<br />MFHS Agent Annual Renewal Documents<br />MHFS Policy Manual <a href="https://www.mnfedhs.org/mhfs-policy-manual.html">https://www.mnfedhs.org/mhfs-policy-manual.html</a></i></p><p><i>Regulations Pursuant to Approved Humane Investigators<br />I. Introduction.<br />It is imperative to stress here that every effort be made to correct a situation before prosecution is attempted. More than 80 percent of all cruelty complaints are due to owner ignorance, (Many are unjustified complaints to begin with, being neighborhood disputes or over-zealousness; still, every complaint must be verified.) The key to a successful investigation is common sense, and professionalism How To Conduct A Successful Animal Cruelty Investigation</i></p><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi8ITA87nRzT8vb_CXYFPGZ0ikS5GS3UHsoJ-itXOEHOQJRoL5U8DRC4NlBGoNhbi4UYJZu8UEgUPT_NQ9F5vfPkVuKN89gwVfgR3e0X10VKYZE1P7zwXJpXI8XeccQd88RuNmJnHJR6aGx1aYZ76hd1rRcQ7kenrB7YPwsdhvuIRxakiYFA0Kna8SYcA/s1100/Ch13Brown032922c.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi8ITA87nRzT8vb_CXYFPGZ0ikS5GS3UHsoJ-itXOEHOQJRoL5U8DRC4NlBGoNhbi4UYJZu8UEgUPT_NQ9F5vfPkVuKN89gwVfgR3e0X10VKYZE1P7zwXJpXI8XeccQd88RuNmJnHJR6aGx1aYZ76hd1rRcQ7kenrB7YPwsdhvuIRxakiYFA0Kna8SYcA/w494-h640/Ch13Brown032922c.jpg" width="494" /></a></div><p><br /><i>Complied By The Minnesota Humane Society This document is made available electronically by the Minnesota Legislative Reference Library as part of an ongoing digital archiving project. http:/www/leg.state.mn.us/lrl/lrl.asp<br /><a href="https://www.leg.mn.gov/docs/pre2003/other/811123.pdf">https://www.leg.mn.gov/docs/pre2003/other/811123.pdf</a></i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/343.01">https://www.revisor.mn.gov/statutes/cite/343.01</a> 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.</i></p><p><i>BY MS. JENSEN:<br />Q Officer Reed, without talking about that day, did anyone inform you there was surveillance<br />footage on the property?<br />A Yes. (Note: Trained observer failed to notice surveillance cameras)<br />Q Who was that?<br />A Mr. Kuettner. And, prior to that, there was another call where deputies had received some SD cards, and things on it, on a loodprevious – previous call where Ms. Lemarr's – unrelated.<br />Q Do you recall if Ms. Lemarr talked with you about surveillance footage on the date that you were there?<br />A Yes. In reviewing my body camera, she does talk about having surveillance footage and her<br />cameras. (Note: Trained observer failed to listener to suspect about presence of surveillance cameras)<br />Q And what -- do you recall what she said about her surveillance footage?<br />A That they would show that she -- how she cares for the animals and feeds the animals.<br />Q So you drafted a search warrant for the surveillance footage. Did you obtain that footage?<br />A Yes. It was an automatic delete after seven days, so we had seven day's images.<br />Q And were any of them the surveillance footage for the time period that you went out there on November 23rd?<br />A No. Page 537-538. Jury Trial Volume III File No. 08-CR-21-272 State of Minnesota v. Candi Jolene Lemarr<br />Q: Jill Jensen, Assistant Brown County Attorney<br />A: Chief Deputy Jeremy Reed.</i></p><p><i>2. Rules a) Peace officers shall not knowingly exceed their authority in the enforcement of the law.<br />b) Peace officers shall not knowingly disobey the law or rules of criminal procedure in such areas as interrogation, arrest, detention, searches, seizures, use of informants, and preservation of evidence, except where permitted in the performance of duty under proper authority. Professional Conduct Of Peace Officers Model Policy MN STAT 626.8457 MN POST Professional Conduct of Peace<br />Officers Model Policy.pdf – 616 Brown County Sheriff's Office Brown Cnty SO Policy Manual</i></p><p><i>2. Rules a) Peace officers shall carry out their duties with integrity, fairness and impartiality. b) Peace officers shall not knowingly make false accusations of any criminal, ordinance, traffic or other law violation. This provision shall not prohibit the use of deception during criminal investigations or interrogations as permitted under law. c) Peace officers shall truthfully, completely, and impartially report, testify and present evidence, including exculpatory evidence, in all matters of an official nature. Professional Conduct Of Peace Officers Model Policy MN STAT 626.8457 MN POST Professional Conduct of Peace Officers Model Policy.pdf – 617 Brown County Sheriff's Office Brown Cnty SO Policy Manual</i></p><p><i>But I can tell the Court it is, essentially, this, the witnesses walked by a truck with several people in it. One of the people in the truck was a younger, eighteens, early twenties, they couldn't tell, blonde girl, woman, who seemed to be staring at my witnesses. One of my witnesses responded by showing her the middle finger. That witness is Eryn Friesen. So Eryn Friesen showed the person in the truck the<br />middle finger. There was a phrase, fuck you, in response. There was something responded to that, by Eryn Friesen, about, "Come back to me when you have a truck that the bank doesn't own," and, again, that's not the exact wording. I'm looking for that in my e-mail inbox. This was relayed to me by Eryn Friesen's mother, Rachel Friesen, their version of the events. Eryn Friesen was instructed -- or at least her mother tells me she instructed Eryn Friesen to contact my office with what happened from Eryn Friesen's perspective, when Eryn Friesen wakes up. I haven't received that yet.<br />THE COURT: Ms. Jensen, is this why you were asking for surveillance cameras outside?<br />MS. JENSEN: It is, Your Honor. And I did have a chance to review it. I did request a copy of it. Within seconds of exiting the building, Eryn Friesen gave the people in the vehicle the middle finger, which colloquially means fuck you. So I'm not surprised somebody said it back. She held it in midair walking, for several seconds, did it again,</i></p><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjvdboNETzVlbJFY4795KkEFO6SJgj3gbR-wP8ti3Xkgb2NUYGc-gOienwAhKkEfg6e6dwMJ74_a7pLyp1yr1YwJhFrootoYIQ82x7lbqGfVnvP6uLhAHemIuaacnavcE170JjHS5BO_CvS4ivTMTsHRS7jQBLj7tUVTOu9auhz9RPV-qnIdpT_OMu_bQ/s1100/Ch13Brown032922d.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjvdboNETzVlbJFY4795KkEFO6SJgj3gbR-wP8ti3Xkgb2NUYGc-gOienwAhKkEfg6e6dwMJ74_a7pLyp1yr1YwJhFrootoYIQ82x7lbqGfVnvP6uLhAHemIuaacnavcE170JjHS5BO_CvS4ivTMTsHRS7jQBLj7tUVTOu9auhz9RPV-qnIdpT_OMu_bQ/w494-h640/Ch13Brown032922d.jpg" width="494" /></a></div><br /><p><br /></p><p><i>and then when she got down near the truck, she can be seen verbally indicating, and then her mother pulls her away. I've asked for a copy of that, but I'm not able to see the people in the truck. More or less, what Mr. Kuettner has said is accurate, except for I don't know if someone in the truck said fuck you. But it's very clear that Ms. Friesen initiated the altercation, so.<br />THE COURT: Okay. Regardless of who initiated it, it should go without saying, but, apparently it doesn't, that that sort of behavior is not acceptable anywhere. And I will ask both of you to remind your witnesses that there are certain laws that require a certain level of decorum. And I understand emotions and tempers run high in this case, but that's no excuse for this sort of confrontation. It's just unnecessary. And I will ask both counsel to advise your witnesses to ignore witnesses for the other side. It's just unnecessary. It sounds as if this may have risen to the level of a disorderly conduct, and nothing more. Fortunately, there was no physical confrontation. But, obviously, that's what we<br />want to avoid I will simply leave it at that at this point. Are we ready to bring in the jury? Page 632-634. Jury Trial Volume IV File No. 08-CR-21-272 State of Minnesota v. Candi Jolene Lemarr</i></p><p><i>Q: Jill Jensen, Assistant Brown County Attorney<br />Q: James Kuettner, Attorney for Defendant<br />Salary Compliance Notice - 2022<br />Brown County is the employer of 224 full-time and 46 part-time employees. The 2021<br />budget adopted by the County Board on 12-15-2020 totals $41,868,265. For 2021, the<br />following information is provided pursuant to MS 471.701:<br />County Administrator $130,106<br />County Highway Engineer $129,430<br />County Attorney $128,982<br /><a href="https://www.co.brown.mn.us/images/Department/Administration/SalaryData.pdf">https://www.co.brown.mn.us/images/Department/Administration/SalaryData.pdf</a> <br /></i></p><p><i>3 Attachments: Final Notice For Form 990 For Minnesota Hooved Animal Rescue Foundation030822_1020am.pdf, Final Notice For Minnesota Federated Humane Societies Form 990032622_1146am.pdf, Form 990 For Pet Haven032822_1002am.pdf</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjniA4lL5XRbbxnKXwVoQrSYNW74eNHaqP5jW70dsFaclt_V8UvE2_79u98G18CC2Qjkr9sRlI5k_kVl9FsGT_ZE5gtvTrRLMtfSMqkXIaL2yNnXUBFwraqTzPNjzs46FBANbmlcQp1OqTBnS_o-qcjcRWjwmIR7ooHmwuAuUWfIGEBYn18neNuCYUxhA/s1100/Sweeney01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjniA4lL5XRbbxnKXwVoQrSYNW74eNHaqP5jW70dsFaclt_V8UvE2_79u98G18CC2Qjkr9sRlI5k_kVl9FsGT_ZE5gtvTrRLMtfSMqkXIaL2yNnXUBFwraqTzPNjzs46FBANbmlcQp1OqTBnS_o-qcjcRWjwmIR7ooHmwuAuUWfIGEBYn18neNuCYUxhA/w494-h640/Sweeney01.jpg" width="494" /></a></div><i>from: Kevin Sweeney ksweeney@nujournal.com via ogdennewspapers.onmicrosoft.com <br />to: Lion News lionnews00@gmail.com<br />date: Mar 29, 2022, 10:01 AM<br />subject: Automatic reply: Chapter 13 Data Request For Candi Lemarr Related Data - Rogue Nonprofits Involved In Rigged Investigation? Trained Observers Can't See Surveillance Video? Witness Friesen's Middle Finger? Vets Not Asked About All Possible Diagnostic Te...<br />mailed-by: nam12-bn8-obe.outbound.protection.outlook.com<br />signed-by: OgdenNewspapers.onmicrosoft.com<br />security: Standard encryption (TLS) Learn more<br />: Important according to Google magic.<br /></i><p><i>Thank you for your email.</i></p><p><i><br />I will be retiring as editor of The Journal on March 31, 2022. The new newsroom contact will be Craig Peterson. Please change your contact for The Journal from ksweeney@nujournal.com or editor@nujournal.com to cpeterson@nujournal.com. You can also send news items and obituaries to news@nujournal.com.</i></p><p><i>Thank you.</i></p><p><i>Kevin Sweeney<br />Managing Editor<br />The Journal, New Ulm.</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgKJhEl5no-Jd1kV8qQreto2tUQQtcSPc5ukVwF5-Tf9XlwnW97-rJznjlylBP17GGNZ_F49kQ_JINJ9Jh4MiLbfvG1DE_nvZcPsM6U5LHTJSbVK5AuSG0ThqS6htU0CX2K4Zw7SFRPMjWt3b-dPjU8DzNPN28d-kmsvYHr4EX3dadI2MhzrBVk50roRg/s1100/Form990MHAR01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgKJhEl5no-Jd1kV8qQreto2tUQQtcSPc5ukVwF5-Tf9XlwnW97-rJznjlylBP17GGNZ_F49kQ_JINJ9Jh4MiLbfvG1DE_nvZcPsM6U5LHTJSbVK5AuSG0ThqS6htU0CX2K4Zw7SFRPMjWt3b-dPjU8DzNPN28d-kmsvYHr4EX3dadI2MhzrBVk50roRg/w494-h640/Form990MHAR01.jpg" width="494" /></a></div><br /><p><span style="background-color: black;"><span style="color: #fcff01;"><b>Attachments - Request for Form 880's right?</b></span></span></p><p>Minnesota Hooved Animal Rescue</p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEizicinnWiCE2oS8md7H-yfGJMOM9_YC0n7bDuqqKkz6aU8zjNf0kKomCGgUJS93yegw_NdaIAAZ0iWDpK0KKyfI7iFr2Nf0EhQ47aKvy_If9Eb0bXT2c7BbTSg07DzuQkQKgSB1WZrdQuLQfEOMscmzxcqfzlYNqE6B0tLhgF5ko8gy2_JacyZlBrx8A/s1100/Form990MHAR01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEizicinnWiCE2oS8md7H-yfGJMOM9_YC0n7bDuqqKkz6aU8zjNf0kKomCGgUJS93yegw_NdaIAAZ0iWDpK0KKyfI7iFr2Nf0EhQ47aKvy_If9Eb0bXT2c7BbTSg07DzuQkQKgSB1WZrdQuLQfEOMscmzxcqfzlYNqE6B0tLhgF5ko8gy2_JacyZlBrx8A/w494-h640/Form990MHAR01.jpg" width="494" /></a></div><br /><p><i>from: Lion News lionnews00@gmail.com<br />to: drew@mnhoovedanimalrescue.org,<br />MN Hooved Animal Rescue Foundation info@mnhoovedanimalrescue.org<br />date: Mar 8, 2022, 10:20 AM<br />subject: Final Notice For Form 990 For Minnesota Hooved Animal Rescue Foundation<br />mailed-by: gmail.com</i></p><p><i>Drew Fitzpatrick, Minnesota Hooved Animal Rescue Foundation (763) 856-3119:</i></p><p><i>You were put on notice on January 27, 2021 at 9:55 PM that a request for your Minnesota Hooved Animal Rescue Foundation's Form 990 was made by me, weren't you? Yet, you have willfully refused to comply with that simple request, haven't you? You aren't going to be upset if I file a complaint with the Better Business Bureau of Minnesota, are you? You would agree that the public needs to be aware of your business practices, wouldn't you?</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>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 <a href="https://www.stayexempt.irs.gov/se/files/downloads/Required">https://www.stayexempt.irs.gov/se/files/downloads/Required</a>_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. <a href="https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures">https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures</a> <a href="https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf">https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf</a></i></p><p><i><a href="https://www.facebook.com/thefirstbbb/about/?ref=page_internal">https://www.facebook.com/thefirstbbb/about/?ref=page_internal</a> Better Business Bureau of Minnesota & North Dakota @thefirstbbb · Nonprofit organization Additional contact Website: info http://www.BBB.org/Minnesota Phone: (651) 699-1111 Email: ask@thefirstbbb.org<br /><a href="https://www.bbb.org/local-bbb/bbb-of-minnesota-and-north-dakota">https://www.bbb.org/local-bbb/bbb-of-minnesota-and-north-dakota</a> Contact Us 220 S. River Ridge Cir. Burnsville, MN 55337 ph: (651) 699-1111 fax: (651) 699-7665 text: 612-255-6565 9 a.m. - 4 p.m. Monday - Friday Phone hours: 9 a.m. - 4 p.m. Monday – Friday<br /><a href="https://www.bbb.org/process-of-complaints-and-reviews">https://www.bbb.org/process-of-complaints-and-reviews</a> Process of Complaints & Reviews Your consumer experiences matter to Better Business Bureau, other consumers and businesses! Consumers have told us that additional information such as complaints and reviews from other customers helps them choose a trustworthy business. BBB makes it easy for people to file complaints. BBB handles complaints regarding any business, whether or not the business is a BBB Accredited Business. BBB also accepts complaints against charities and non-profit organizations. BBB primarily handles complaints relating to marketplace transactions for customers who want a resolution, such as a refund, a repair, or a replacement. This process is free to consumers and businesses. Read more about how complaints are handled here. <a href="https://www.bbb.org/process-of-complaints-and-reviews/complaints">https://www.bbb.org/process-of-complaints-and-reviews/complaints</a> BBB customer reviews allow customers to rate their marketplace experiences with businesses using a star scale. Just like our complaints, reviews are sent to the business before they are published online. Consumers, upon request of BBB and businesses, must be able to provide substantiation of the marketplace interactions. Read more about the review process here. <a href="https://www.bbb.org/process-of-complaints-and-reviews/reviews">https://www.bbb.org/process-of-complaints-and-reviews/reviews</a></i></p><p><i>Dawn Rose is entitled to judgment against Mn Hooved Animal Rescue for the sum of $1200, plus fees of $ ---, disbursements of $ ---, and conditional costs of $ ---, for a total amount of 1200.--. Order for Judgment on Claim and Counterclaim Dated: 06-28-21 Signed: Walter M. Kaminsky Case No. 71-CO-21-200 Dawn Rose vs Drew Fitzpatrick, MN Hooved Animal Rescue DISPOSITIONS 06/30/2021 Judgment (Judicial Officer: Kaminsky, Walter)</i></p><p><i>[x] The Defendant has the following property that belongs to me (list property): I adopted a horse AKA Badlass from Def. Of MN HAR for $2,000.00 Agreeing not to ever sell, must be returned for a horse of equal value. It physically attacked me while riding friends horse in arena. I received a concussion. 2 broken bones. I returned horse & made</i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiUipbfQcFLfCXJLnO57YI1H98oEGTJX2_JnJuvR9bpm6oRxOoMAYYxqlKK0kYPKmNXXebP9tKlr3SUuoaDfX65J--o_odPnBZdz0_Tx4nKfcs4CGdjVGiJQmRa82BY6Aa38bhPtMbN9LlZlNq8QFguDI57EIwKvP2XAfmsgkCdnXWg4BZ49Sqp8DHjXQ/s1100/Form990MHAR02.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiUipbfQcFLfCXJLnO57YI1H98oEGTJX2_JnJuvR9bpm6oRxOoMAYYxqlKK0kYPKmNXXebP9tKlr3SUuoaDfX65J--o_odPnBZdz0_Tx4nKfcs4CGdjVGiJQmRa82BY6Aa38bhPtMbN9LlZlNq8QFguDI57EIwKvP2XAfmsgkCdnXWg4BZ49Sqp8DHjXQ/w494-h640/Form990MHAR02.jpg" width="494" /></a></div><br /><p><i>many attempts to call & email def. Finally she answered and took my address vowing to mail me a $2,000 check. She ignored it & resold horse to another. The horse had several owners. People returned her before. Plaintiff’s Statement of Claim Dated: 03-18-21 Plaintiff: Dawn Rose. Case No. 71-CO-21-200 Dawn Rose vs Drew Fitzpatrick, MN Hooved Animal Rescue. ASIN: 0470961627 Publisher: Wiley-Blackwell; 2nd edition (December 26, 2012)</i></p><p><i>CONFIDENTIALITY Regardless of whether the veterinarian is working for the prosecution or the defense, it is important to be aware of the confidential nature of the relationship. The veterinarian’s photographs, videos, and records belong to the agency that brought them into the case. Only specifically assigned personnel may collect evidence or take still or video photographs at the scene or of the animals. The use of private cameras (including cell phones) must be strictly prohibited. In addition, personnel associated with the case may not tweet, text, post, or in any other manner share information gained, and this includes family members and friends. Caution should be taken to communicate only with authorized personnel. A careless mistake could result in sanctions against the veterinarian or against the inviting agency. Page 8. The Legal System: The Veterinarian’s Role and Responsibilities Diane E. Balkin, Laura A. Janssen, and Melinda D. Merck from Veterinary Forensics: Animal Cruelty Investigations.</i></p><p><i>Q And who is Drew Fitzpatrick?<br />A She owns and operates the Minnesota Ho – Down Rescue Foundation.<br />A She was present on the August 31st, search warrant and then again in November; is that right?<br />A That's correct.<br />O What was the purpose of her presence?<br />A We utilized Drew as a contractor to help us load, transport over to the University of Minnesota.<br />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.<br />Q You’ve used her in the past then for seizure of horses?<br />A I have used her for many, many years.<br />Q Did Mr. Friday question her presence on the property?<br />A Yes.<br />Q What was the nature of that conversation?<br />A It is my understanding that Mr. Friday does not get along with Ms. Fitzpatrick.<br />Q Tell me what the conversation was rather than your impression?<br />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</i></p><p><i>Q When you did your search on November 16th, did you go to the second property, the one south of the main farm?<br />A I don't know.<br />Q There was a horse that you had trouble loading, correct?<br />A Yes.<br />Q And that was a horse that had not been halter broken, correct?<br />A I don’t know.<br />Q Well, that was a horse that refused to get onto the trailer, correct?<br />A Yes.<br />Q And in your And in your experience when a horse is not familiar with being loaded, onto a trailer, is that sort of a situation that can scare a horse?<br />A Absolutely, which is why we had individuals that are very well-skilled in equine management in handling of animals. I did not specific assistant and do what f could at their request to mount those horses. I left that to the veterinarian on the scene. so, to answer your question, I wasn't directly in charge of that loading of that horse.<br />Q And how much time did those individuals trying to load this horse onto the trailer?<br />MS. NODES: Objection, Your Honor. Relevance.<br />THE COURT: Overruled.<br />THE WITNESS: I don't think it was an excessive amount of time, but it took the better part of it must have been an hour.<br />MR RICHMAN:<br />Q And this horse was refusing to 1oad, correct?<br />A That would be a good term, Yes.<br />Q And how many people were pushing or pulling this horse trying to get it onto the ramp?<br />A There was always one person on the rope and we had individuals – at any one given time there was always one to three individuals attempting to get the horse onto the trailer.<br />Q Okay. So when you say one person on the rope,<br />you're talking about the lead of the horse?</i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjPInKJCCVc5QLF3e-P7hO8Lg57lOXJ3FdzO6y6Mp7XjhKnPkPrxsu6azyyMd3YajJRWWegdqrwcAh94uy8aYYBW8g0QwiGY3XfhRLSaYVoWnULaxuGYEZ6aIhqnbWZkkv61f10-J-fKybzjn9FGruZ9JSu4ZyU4ubVmHpjBWDzCqWHC5tuI_1T3pwP5Q/s1100/Form990MHAR03.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjPInKJCCVc5QLF3e-P7hO8Lg57lOXJ3FdzO6y6Mp7XjhKnPkPrxsu6azyyMd3YajJRWWegdqrwcAh94uy8aYYBW8g0QwiGY3XfhRLSaYVoWnULaxuGYEZ6aIhqnbWZkkv61f10-J-fKybzjn9FGruZ9JSu4ZyU4ubVmHpjBWDzCqWHC5tuI_1T3pwP5Q/w494-h640/Form990MHAR03.jpg" width="494" /></a></div><br /><p><i>A The alter, yes.<br />Q And wasn't there also a rope put around the back of the horse so that they could push it from behind?<br />A And not around the entire horse, but across the back end, so we applied pressure which is a common procedure for horse loading.<br />Q Okay. So there was someone on the lead and someone else applying pressure from behind, correct?<br />A Yes,<br />Q And so when the horse started to back up, the horse collapsed, correct?<br />A Yes.<br />Q And ultimately the way that the horse loaded was that Mr. Friday loaded the horse, correct?<br />A Mr. Friday did assist with the loading of that one horse eventually, yes. He refused to early on.<br />Q Well, was he invited to early on?<br />A Yes.<br />Q In fact, isn't it true that what Mr. Friday did is simply cover the horse's head with a jacket, lead the horse around in a circle and then up onto the van?<br />A I don't know if it necessarily went that easy, but Mr. Friday's help did assist us in getting that<br />horse into the trailer, yes.<br />Q Well, when you say his help, he did it, correct? It wasn't his help. He just loaded it himself, correct?<br />A Well, we were all there and in a crowd. And I mean that horse utilizes that it's not going to hold on<br />in that particular herd. And so if you assume that him having the rope by himself is alone, without us helping there, I guess, yes. Page 88-91 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: Robert Richman, attorney for defendant Lowell Friday.</i><br /></p><p><span style="background-color: black;"><span style="color: #fcff01;"><b>Attachments - Request for Form 880's right?</b></span></span></p><p>Minnesota Federated Humane Societies<br /></p><p></p><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgU4M9no7Wyuv5GDprswO26dtMfc3Pbm7A1-8mYs2PJt4S6Cd9PWuy1H-POcFMSyK4KhF_d4cW01MniI6FFUc2mO13hynKpcmquCAg9Oj_A5Henrq7FFtsNF99avUp6Up-9yYtISAnw4SRZ90KgHspCJenPdtXzXr1pMSZxjVqDXLGW3m_BX05woRzdJw/s1100/Form990MFHS01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgU4M9no7Wyuv5GDprswO26dtMfc3Pbm7A1-8mYs2PJt4S6Cd9PWuy1H-POcFMSyK4KhF_d4cW01MniI6FFUc2mO13hynKpcmquCAg9Oj_A5Henrq7FFtsNF99avUp6Up-9yYtISAnw4SRZ90KgHspCJenPdtXzXr1pMSZxjVqDXLGW3m_BX05woRzdJw/w494-h640/Form990MFHS01.jpg" width="494" /></a></div><br /> <p></p><p><i>from: Lion News lionnews00@gmail.com<br />to: MFHS@mnfedhs.org,<br />maria.dewolf@ci.stpaul.mn.us,<br />jena.wasche@minneapolismn.gov,<br />timothy.baskin@minneapolismn.gov<br />date: Mar 26, 2022, 11:46 AM<br />subject: Final Notice For Minnesota Federated Humane Societies Form 990<br />mailed-by: gmail.com</i></p><p><i>Elisa Johnson, MHFS Executive Director 612.866.8663:</i></p><p><i>You were put on notice on January 27, 2021 at 9:55 PM that a request for your Minnesota Federated Humane Societies Form 990 was made by me, weren't you? Yet, you have willfully refused to comply with that simple request, haven't you? You aren't going to be upset if I file a complaint with the Better Business Bureau of Minnesota, are you? You would agree that the public needs to be aware of your business practices, wouldn't you?</i></p><p><i>Why oh why is your MHFS Policy Manual for your state humane agents password protected? Why isn't your MHFS Policy Manual for your state humane agents open for public review? Isn't it true that some of your humane agents are licensed peace officers? ISn't it true that law enforcement agencies like the Minneapolis and St. Paul Police Departments have the police policy manual online for transparency and accountability reasons? If the MHFS was a legitimate, transparent and accountable organization, then wouldn't all of your MFHS Agent Work Documents forms and policy manuals be open to the public? Or does Minnesota Federated Humane Societies have a hidden agenda that they want to keep from the public?</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>P.S. Do or don't your Humane Agent sign confidentiality agreements when they are "investigating or otherwise assisting lawfully empowered officials in the prosecution of persons charged with cruelty to animals"?</i></p><p><i><a href="https://www.facebook.com/humanesocieties/about/?ref=page_internal">https://www.facebook.com/humanesocieties/about/?ref=page_internal</a> Minnesota Federated Humane Societies @humanesocieties · Nonprofit organization About General 4,042 people like this 4,128 people follow this Nonprofit Organization · Charity Organization Additional contact info <a href="http://www.mnfedhs.org/">http://www.mnfedhs.org/</a> (612) 866-8663 mfhs@mnfedhs.org More info About MFHS is the only non-profit 501(c)3 organization authorized under Minnesota state statute to investigate reports of animal abuse, cruelty and neglect in all 87 counties.</i></p><p><i>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. <a href="https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures">https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures</a> <a href="https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf">https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf</a><br /></i></p><p><i>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. <a href="https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures">https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures</a> <a href="https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf">https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf</a></i></p><p><i>Transparency and Accountability: Nonprofits have a legal and ethical obligation to their constituents and the public to conduct their activities with accountability and transparency. Non-profits should regularly and openly convey information to the public about their mission, activities, finances, accomplishments and decision-making processes. Information from a nonprofit organization should be easily accessible to the public. It should establish external visibility and build public understanding and trust in the organization. Principles & Practices for Nonprofit Excellence – A guide for nonprofit staff and board members. The Minnesota Council of Nonprofits. Page 8. <a href="https://www.minnesotanonprofits.org/docs/default-source/publications/principles-and-practices---full-publication.pdf?sfvrsn=93531894_4">https://www.minnesotanonprofits.org/docs/default-source/publications/principles-and-practices---full-publication.pdf?sfvrsn=93531894_4</a></i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgSuskR9ExjRe9WrUxdy6mNFh5CT9AjY_LnxkeA0oAhD_99AidLhzVFQFjipa_alWPwzR1rc1YCkM-v9AjCPZu3Blvwp5pER-aY4wWZbsekV2HEltzRNN3PlKWFZ0MTHBUe71o_W4EXMJgyR1KnqGRTfFnOHDBTqac3zB_HIntf_TGOrqrxf-cQmjAO3A/s1100/Form990MFHS02.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgSuskR9ExjRe9WrUxdy6mNFh5CT9AjY_LnxkeA0oAhD_99AidLhzVFQFjipa_alWPwzR1rc1YCkM-v9AjCPZu3Blvwp5pER-aY4wWZbsekV2HEltzRNN3PlKWFZ0MTHBUe71o_W4EXMJgyR1KnqGRTfFnOHDBTqac3zB_HIntf_TGOrqrxf-cQmjAO3A/w494-h640/Form990MFHS02.jpg" width="494" /></a></div><br /><p><i><a href="https://www.facebook.com/thefirstbbb/about/?ref=page">https://www.facebook.com/thefirstbbb/about/?ref=page</a>_internal Better Business Bureau of Minnesota & North Dakota @thefirstbbb · Nonprofit organization Additional contact Website: info http://www.BBB.org/Minnesota Phone: (651) 699-1111 Email: ask@thefirstbbb.org<br /><a href="https://www.bbb.org/local-bbb/bbb-of-minnesota-and-north-dakot">https://www.bbb.org/local-bbb/bbb-of-minnesota-and-north-dakot</a>a Contact Us 220 S. River Ridge Cir. Burnsville, MN 55337 ph: (651) 699-1111 fax: (651) 699-7665 text: 612-255-6565 9 a.m. - 4 p.m. Monday - Friday Phone hours: 9 a.m. - 4 p.m. Monday – Friday<br /><a href="https://www.bbb.org/process-of-complaints-and-reviews">https://www.bbb.org/process-of-complaints-and-reviews</a> Process of Complaints & Reviews Your consumer experiences matter to Better Business Bureau, other consumers and businesses! Consumers have told us that additional information such as complaints and reviews from other customers helps them choose a trustworthy business. BBB makes it easy for people to file complaints. BBB handles complaints regarding any business, whether or not the business is a BBB Accredited Business. BBB also accepts complaints against charities and non-profit organizations. BBB primarily handles complaints relating to marketplace transactions for customers who want a resolution, such as a refund, a repair, or a replacement. This process is free to consumers and businesses. Read more about how complaints are handled here. <a href="https://www.bbb.org/process-of-complaints-and-reviews/complaints">https://www.bbb.org/process-of-complaints-and-reviews/complaints</a> BBB customer reviews allow customers to rate their marketplace experiences with businesses using a star scale. Just like our complaints, reviews are sent to the business before they are published online. Consumers, upon request of BBB and businesses, must be able to provide substantiation of the marketplace interactions. Read more about the review process here. <a href="https://www.bbb.org/process-of-complaints-and-reviews/reviews">https://www.bbb.org/process-of-complaints-and-reviews/reviews</a><br /></i></p><p><i><a href="https://www.stpaul.gov/departments/police/saint-paul-police-manual">https://www.stpaul.gov/departments/police/saint-paul-police-manual</a> The Saint Paul Police Department has published this online policy manual as part of our commitment to transparency. The online manual should be used for informational purposes only. Certain not public data have been redacted according to the Minnesota Government Data Practices Act, including sections 13.82 and 13.37. The Saint Paul Police Department manual is a living document that is updated and amended as needed, and the online manual will be updated to reflect current official policy. If there are differences between the online and official versions of department policies, the official version will take priority. Please contact the department for official versions of department policies. Thank you for viewing. If you wish to provide feedback on the online version of this manual, please see our feedback form.</i></p><p><i><a href="https://www.minneapolismn.gov/government/departments/police/mpd-policy-procedure-manual/policy-manual/">https://www.minneapolismn.gov/government/departments/police/mpd-policy-procedure-manual/policy-manual/</a> Policy manual You can read the Minneapolis Police Department (MPD) policy and procedure manual. Policy manual PDF, 3,187KB <a href="https://www.minneapolismn.gov/media/-www-content-assets/documents/MPD-Policy-and-Procedure-Manual.pdf">https://www.minneapolismn.gov/media/-www-content-assets/documents/MPD-Policy-and-Procedure-Manual.pdf</a><br /></i></p><p><i>Elisa Soper-Johnson, Executive Director of the Minnesota Federated Humane Societies (MFHS), introduced herself and the MFHS mission and goals. She was joined by President Jeff Dow and Treasurer Mario Lee, who is also a Ramsey County animal control officer. Mr. Dow explained the background of the MFHS, which is designated in state statute to certify and train humane agents, work with law enforcement to investigate animal cruelty and neglect and enforce animal welfare laws. He said a lot of investigations are educational efforts to teach people how to treat their animals. Ms. Soper-Johnson wanted to highlight the MFHS as a collaborator and resource for the Board. She said they are often contacted by the public and police regarding animal welfare issues. MFHS also receives hoarding cases, kennel complaints, calls from the DNR, and contact from Board staff when they come across humane issues in their day-to-day work. She used an example of collaboration when the MFHS works with the Board to investigate alleged issues at a commercial breeding facility. She said the Board supports her agents’ ability to make sure the organizations are compliant. In turn, humane agents work to make sure people are following Board statutes. Dr. Wheeler asked Ms. Soper-Johnson how many humane agents there are in Minnesota. Ms. Soper-Johnson said there are more than 40 trained agents covering the entire state. MFHS has also increased training for those agents to make sure there is a certification in process for agents to adhere to procedures and protocols. The MFHS also spends time training law enforcement on animal welfare issues. Minnesota Board of Animal Health Quarterly Meeting – January 15, 2020 Page 13-14. <a href="https://www.bah.state.mn.us/media/BoardMinutes_0120.pdf">https://www.bah.state.mn.us/media/BoardMinutes_0120.pdf</a></i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/343.01">https://www.revisor.mn.gov/statutes/cite/343.01</a> 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.</i></p><p><i><a href="https://www.mnfedhs.org/mfhs-team-members1.html">https://www.mnfedhs.org/mfhs-team-members1.html</a> MFHS Team Members</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi-KKO5TFcAiV_SWjaNGI4kyhRsN9H9fcrnCmoXsPYMWewoWdJUlbequcldKp6ji-AT6SgweYnHfoMJ923Kkl-_dB1CpdU7VFvF1RISe_d6RVo5zZPnhFcOj1b3FbEGjw-iZ-ZK8CZNghHNUO0w4L39XaMwyZsJUIgY07EW5TNjJFroTwg-KD-KFEXSYw/s1100/Form990MFHS03.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi-KKO5TFcAiV_SWjaNGI4kyhRsN9H9fcrnCmoXsPYMWewoWdJUlbequcldKp6ji-AT6SgweYnHfoMJ923Kkl-_dB1CpdU7VFvF1RISe_d6RVo5zZPnhFcOj1b3FbEGjw-iZ-ZK8CZNghHNUO0w4L39XaMwyZsJUIgY07EW5TNjJFroTwg-KD-KFEXSYw/w495-h640/Form990MFHS03.jpg" width="495" /></a></div><br /><p><i>For our state humane agents, we have compiled on this page <a href="https://www.mnfedhs.org/state-and-federal-animal-welfare-laws.html">https://www.mnfedhs.org/state-and-federal-animal-welfare-laws.html</a> of state and federal animal welfare laws that you can reference as you are carrying out your investigations or as you prepare for an investigation. For questions to which you can't find the answer in the statutes or rules, or for any other question, contact MFHS mfhs@mnfedhs.org.<br />You will also find below links to all the forms that you need as you carry out your work. The pages are password protected; if you have forgotten the password please contact MFHS mfhs@mnfedhs.org and the password will be provided to </i></p><p><i>MFHS Agent Annual Renewal Documents<br />MHFS Agent Background Check Form <a href="https://www.mnfedhs.org/mhfs-agent-background-check-form.html">https://www.mnfedhs.org/mhfs-agent-background-check-form.html</a><br />MHFS Agent Consent Form <a href="https://www.mnfedhs.org/mhfs-agent-consent-form.html">https://www.mnfedhs.org/mhfs-agent-consent-form.html</a><br />MHFS Policy Manual <a href="https://www.mnfedhs.org/mhfs-policy-manual.html">https://www.mnfedhs.org/mhfs-policy-manual.html</a><br />Team Roles & Responsibilities Contract <a href="https://www.mnfedhs.org/team-roles--responsibilities-contract.html">https://www.mnfedhs.org/team-roles--responsibilities-contract.html</a></i><br /></p><p><span style="background-color: black;"><span style="color: #fcff01;"><b>Attachments - Request for Form 880's right?</b></span></span></p>Pet Haven<p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEg556QL-GkO3cUGbMHyWUFMQFZ2QeeEKskg7UhRC-ReaOZBtiLCcNGPtqgTD2bXml09JkJ24vHpUxxf9Izx_7f_3vIDE0ZJnIbkxhk19y9dmpG98iqrZ1LDha1drFgO1vZsmO0qDriAs5slCfZPi5kuzMd9GRd2s4ujZE6--v1GLYhurZVY1D2P96e7YQ/s1100/Form990PetHaven01.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEg556QL-GkO3cUGbMHyWUFMQFZ2QeeEKskg7UhRC-ReaOZBtiLCcNGPtqgTD2bXml09JkJ24vHpUxxf9Izx_7f_3vIDE0ZJnIbkxhk19y9dmpG98iqrZ1LDha1drFgO1vZsmO0qDriAs5slCfZPi5kuzMd9GRd2s4ujZE6--v1GLYhurZVY1D2P96e7YQ/w494-h640/Form990PetHaven01.jpg" width="494" /></a></div><p></p><p><i>from: Lion News lionnews00@gmail.com<br />to: director@pethavenmn.org,<br />operations@pethavenmn.org,<br />Skeer@pethavenmn.org,<br />MFHS@mnfedhs.org<br />date: Mar 28, 2022, 10:02 AM<br />subject: Form 990 For Pet Haven<br />mailed-by: gmail.com<br /></i></p><p><i>Kerry D'Amato, Executive Director 952-831-3825:</i></p><p><i>Please provide with me your most current Form 990 for Pet Haven. Can you think of any reason why the nonprofit Minnesota Federated Humane Societies would willfully refuse to comply with the IRS Required Disclosures and willfully refuse to provide me with their most recent Form 990? Is the Minnesota Federated Humane Societies some rogue operation that aids and abet corrupt law enforcement agencies to steal animals from their rightful owners? Is that why the Minnesota Federated Humane Societies willfully refuses to make their Animal Abuse investigation policy manual (MHFS Policy Manual) open to the public? Does the Minnesota Federated Humane Societies recruit rogue cops as their State Humane Agents? Hmm? Inquiring minds want to know, don't they?</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>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. <a href="https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures">https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures</a> <a href="https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf">https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf</a></i></p><p><i>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. <a href="https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures">https://www.stayexempt.irs.gov/home/existing-organizations/required-disclosures</a> <a href="https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf">https://www.stayexempt.irs.gov/se/files/downloads/Required_Disclosures_Print_for_PDF.pdf</a></i></p><p><i>Transparency and Accountability: Nonprofits have a legal and ethical obligation to their constituents and the public to conduct their activities with accountability and transparency. Non-profits should regularly and openly convey information to the public about their mission, activities, finances, accomplishments and decision-making processes. Information from a nonprofit organization should be easily accessible to the public. It should establish external visibility and build public understanding and trust in the organization. Principles & Practices for Nonprofit Excellence – A guide for nonprofit staff and board members. The Minnesota Council of Nonprofits. Page 8. <a href="https://www.minnesotanonprofits.org/docs/default-source/publications/principles-and-practices---full-publication.pdf?sfvrsn=93531894_4">https://www.minnesotanonprofits.org/docs/default-source/publications/principles-and-practices---full-publication.pdf?sfvrsn=93531894_4</a></i></p><p><i><a href="https://www.facebook.com/thefirstbbb/about/?ref=page_internal">https://www.facebook.com/thefirstbbb/about/?ref=page_internal</a> Better Business Bureau of Minnesota & North Dakota @thefirstbbb · Nonprofit organization Additional contact Website: info http://www.BBB.org/Minnesota Phone: (651) 699-1111 Email: ask@thefirstbbb.org<br /><a href="https://www.bbb.org/local-bbb/bbb-of-minnesota-and-north-dakota">https://www.bbb.org/local-bbb/bbb-of-minnesota-and-north-dakota</a> Contact Us 220 S. River Ridge Cir. Burnsville, MN 55337 ph: (651) 699-1111 fax: (651) 699-7665 text: 612-255-6565 9 a.m. - 4 p.m. Monday - Friday Phone hours: 9 a.m. - 4 p.m. Monday – Friday<br /><a href="https://www.bbb.org/process-of-complaints-and-reviews">https://www.bbb.org/process-of-complaints-and-reviews</a> Process of Complaints & Reviews Your consumer experiences matter to Better Business Bureau, other consumers and businesses! Consumers have told us that additional information such as complaints and reviews from other customers helps them choose a trustworthy business. BBB makes it easy for people to file complaints. BBB handles complaints regarding any business, whether or not the business is a BBB Accredited Business. BBB also accepts complaints against charities and non-profit organizations. BBB primarily handles complaints relating to marketplace transactions for customers who want a resolution, such as a refund, a repair, or a replacement. This process is free to consumers and businesses. Read more about how complaints are handled here. https://www.bbb.org/process-of-complaints-and-reviews/complaints BBB customer reviews allow customers to rate their marketplace experiences with businesses using a star scale. just</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEicOlFO_WVjbiYEYmS8uMEZYK_js8We14BbOJJOfWBZv7oiDyYHwfR9ASmQ9iW_mJGJHk583rTXx7rJ-Xj3PlK5a6kaHbtA3k76fSstc9xtnCdwnsptEmteb0qplbM-NqsC_a00tKUd2PYRd0erU_FbCIv11v8JwZtMpJdQFQeFNcjMrWfSIkPsgloVFA/s1100/Form990PetHaven02.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEicOlFO_WVjbiYEYmS8uMEZYK_js8We14BbOJJOfWBZv7oiDyYHwfR9ASmQ9iW_mJGJHk583rTXx7rJ-Xj3PlK5a6kaHbtA3k76fSstc9xtnCdwnsptEmteb0qplbM-NqsC_a00tKUd2PYRd0erU_FbCIv11v8JwZtMpJdQFQeFNcjMrWfSIkPsgloVFA/w494-h640/Form990PetHaven02.jpg" width="494" /></a></div><i>like our complaints, reviews are sent to the business before they
are published online. Consumers, upon request of BBB and businesses,
must be able to provide substantiation of the marketplace interactions.
Read more about the review process here. <a data-saferedirecturl="https://www.google.com/url?q=https://www.bbb.org/process-of-complaints-and-reviews/reviews&source=gmail&ust=1648655687274000&usg=AOvVaw3ZqE2NfyEBgpjKhJoSr0o-" href="https://www.bbb.org/process-of-complaints-and-reviews/reviews" target="_blank">https://www.bbb.org/process-<wbr></wbr>of-complaints-and-reviews/<wbr></wbr>reviews</a></i><div><i><br /></i></div><div><i><a data-saferedirecturl="https://www.google.com/url?q=https://www.mnfedhs.org/leadership.html&source=gmail&ust=1648655687274000&usg=AOvVaw3TCXhHr0oaA1NzBmNzWSO-" href="https://www.mnfedhs.org/leadership.html" target="_blank">https://www.mnfedhs.org/<wbr></wbr>leadership.html</a>
Minnesota Federated Humane Societies Leadership Gene Marault Picture
President, Board of Directors State Humane Agent Maria DeWolf Picture
Vice President, Board of Directors Jena Wasche Picture Secretary,
Board of Directors State Humane Agent/Investigator Amon Johnson Picture
Treasurer, Board of Directors State Humane Agent Tim Baskin Picture
Member, Board of Directors State Humane Agent Jeff Dow Picture Member,
Board of Directors Founder Elisa Johnson Picture Executive Director,
Director of Investigations State Humane Agent/Investigator EX OFFICIO
MEMBERS Kathleen Zweber State Humane Agent Mike Frye State Humane
Agent Kerry D'Amato</i></div><div><i><br /></i></div><div><i>A I received a phone call from the Federated --<br />Q Actually, I apologize, let me just ask you this. Did you have any contact with Minnesota Hooved<br />Animal Rescue?<br />A Yes.<br />Q And what was the purpose of that contact?<br />A
I was requested to get photos from Minnesota Hooved Animal Rescue from
-- as soon as the horses were surrendered, that they had pictures of,
and current photos of any of the horses that they had on file.<br />Q And did you have any other involvement in this case?<br />A
I received some of the pictures from Minnesota Hooved Animal Rescue,
and, no. Page 461-462. Jury Trial Volume III File No. 08-CR-21-272<br />Q: Jill Jensen, Assistant Brown County Attorney<br />A: Deputy Randee Murphy</i></div><div><i><br /></i></div><div><i>BY MS. JENSEN:<br />Q Officer Reed, without talking about that day, did anyone inform you there was surveillance<br />footage on the property?<br />A Yes. (Note: Trained observer failed to notice surveillance cameras)<br />Q Who was that?<br />A
Mr. Kuettner. And, prior to that, there was another call where deputies
had received some SD cards, and things on it, on a previous – previous
call where Ms. Lemarr's – unrelated.<br />Q Do you recall if Ms. Lemarr talked with you about surveillance footage on the date that you were there?<br />A Yes. In reviewing my body camera, she does talk about having surveillance footage and her<br />cameras. (Note: Trained observer failed to listener to suspect about presence of surveillance cameras)<br />Q And what -- do you recall what she said about her surveillance footage?<br />A That they would show that she -- how she cares for the animals and feeds the animals.<br />Q So you drafted a search warrant for the surveillance footage. Did you obtain that footage?<br />A Yes. It was an automatic delete after seven days, so we had seven day's images.<br />Q And were any of them the surveillance footage for the time period that you went out there on November 23rd? <br />A No. Page 537-538. Jury Trial Volume III File No. 08-CR-21-272<br />Q: Jill Jensen, Assistant Brown County Attorney<br />A: Chief Deputy Jeremy Reed.</i></div><div><i><br /></i></div><div><i>CROSS-EXAMINATION<br />BY MR. KUETTNER:<br />Q
So, Dr. Elston, your first time viewing these horses was November 20th,
for the first two, and November 21st, both of 2020, respectively,
right?<br />A I may have seen them in passing, just if they were on the
farm when I was looking at other horse, but to see them specifically,
yeah, those were the first days.<br />Q Right. So this was the first time you went up, identified, and – okay.<br />A To be honest, I don't know.<br />Q Did you do blood work on the horses to double check?<br />A No, I did not.<br />Q So they had no issues eating?<br />A No.<br />Q But you didn't do a full oral?<br />Page 257. Jury Trial Volume II File No. 08-CR-21-272<br />Q: James Kuettner, Attorney for Defendant<br />A: Dr. Amanda Elston</i></div><div><i><br /></i></div><p><i>2. A BCS of less than 3 is not cause for automatic seizure. The animals in question must exhibit altered metabolism</i></p><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjiKrYpZxdbobHeWilJ-CQZP8MWobTaSfv4eMKUC1a2Eyn9sWpJ_ijKNTWQnTbX_wthSl2Mb2QsOqD1kanmti8ZdrwvzHVoPHG44w_C2zRJIgDW3dEPeVi8xxhCideoaF10vyHXHFNHAP77axOFDcXBjEwfzfn7KAP3oQorm-pAo7x9pMh8MGd9I96P2w/s1100/Form990PetHaven03.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjiKrYpZxdbobHeWilJ-CQZP8MWobTaSfv4eMKUC1a2Eyn9sWpJ_ijKNTWQnTbX_wthSl2Mb2QsOqD1kanmti8ZdrwvzHVoPHG44w_C2zRJIgDW3dEPeVi8xxhCideoaF10vyHXHFNHAP77axOFDcXBjEwfzfn7KAP3oQorm-pAo7x9pMh8MGd9I96P2w/w494-h640/Form990PetHaven03.jpg" width="494" /></a></div><br /> <p></p><p><br /></p><p><i>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. 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. (MIS)USE OF THE BCS IN ALLEGED NEGLECT Author’s Information: 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.</i></p><p><i>Regulations Pursuant to Approved Humane Investigators<br />I. Introduction.<br />It is imperative to stress here that every effort be made to correct a situation before prosecution is attempted. More than 80 percent of all cruelty complaints are due to owner ignorance, (Many are unjustified complaints to begin with, being neighborhood disputes or over-zealousness; still, every complaint must be verified.) The key to a successful investigation is common sense, and professionalism How To Conduct A Successful Animal Cruelty Investigation Complied By The Minnesota Humane Society This document is made available electronically by the Minnesota Legislative Reference Library as part of an ongoing digital archiving project. http:/www/leg.state.mn.us/lrl/lrl.asp<br /><a href="https://www.leg.mn.gov/docs/pre2003/other/811123.pdf">https://www.leg.mn.gov/docs/pre2003/other/811123.pdf</a></i></p><p><i>How To Conduct A Successful Animal Cruelty Investigation<br />III. The Complaint.<br />B. Complaint Form: Accurate, detailed record keeping of complaints and case histories is vitally important. Some sort of coding order may be helpful. You might also consult your local law enforcement agency to see how they keep records – also a good excuse for you to introduce yourself to them as the county society investigator. If someone other than the investigator receives complaints, that individual must be thoroughly briefed on your methods, and procedures. Ideally, all information, both past and present, should be presented to the investigating officer along with current complaint. How To Conduct A Successful Animal Cruelty Investigation Complied By The Minnesota Humane Society This document is made available electronically by the Minnesota Legislative Reference Library as part of an ongoing digital archiving project. http:/www/leg.state.mn.us/lrl/lrl.asp<br /><a href="https://www.leg.mn.gov/docs/pre2003/other/811123.pdf">https://www.leg.mn.gov/docs/pre2003/other/811123.pdf</a><br /></i></p><p><i><a href="https://www.mnfedhs.org/mfhs-team-members1.html">https://www.mnfedhs.org/mfhs-team-members1.html</a> MFHS Team Members<br />For our state humane agents, we have compiled on this page https://www.mnfedhs.org/state-and-federal-animal-welfare-laws.html of state and federal animal welfare laws that you can reference as you are carrying out your investigations or as you prepare for an investigation. For questions to which you can't find the answer in the statutes or rules, or for any other question, contact MFHS mfhs@mnfedhs.org.<br />You will also find below links to all the forms that you need as you carry out your work. The pages are password protected; if you have forgotten the password please contact MFHS mfhs@mnfedhs.org and the password will be provided to you.<br />MHFS Policy Manual <a href="https://www.mnfedhs.org/mhfs-policy-manual.html">https://www.mnfedhs.org/mhfs-policy-manual.html</a><br /></i></p><p><i>Attachment: Final Notice For Minnesota Federated Humane Societies Form 990032622_1146am.pdf</i></p><p>More to come ...</p><p>Related Links:<br /></p><p><a href="https://lionnews00.blogspot.com/2021/11/how-about-we-tell-new-ulm-journal-about.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/11/how-about-we-toss-monkey-wrench-into.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/11/who-wants-to-toss-monkey-wrench-into.html">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?</a></p><p><a href="https://lionnews00.blogspot.com/2021/02/nemmers-asks-brown-co-commissioners.html">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? </a></p><p><a href="https://lionnews00.blogspot.com/2021/08/who-wants-to-toss-monkey-wrench-into.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/08/transcripts-for-case-no-46-cv-19-1224.html">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?</a><br /></p><p><a href="http://lionnews00.blogspot.com/2021/06/lets-ask-joseph-gangi-attorney-for.html">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?</a></p><p><a href="http://lionnews00.blogspot.com/2021/05/lets-ask-martin-county-sheriff.html">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?</a> <br /></p><a href="http://lionnews00.blogspot.com/2021/05/armed-minnesota-animal-humane-society.html">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</a><p> </p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-48555005670946978532022-02-18T09:54:00.003-08:002022-02-19T07:40:48.857-08:00DNR Commissioner Sarah Strommen Sics Operations Services Division Acting Director Greg Kruse After Nemmers? Kruse Attempts To Harass & Intimidate Nemmers Into Silence About Illegally Released Data With Retarded Script? It's Still The Cover-up For The Illegal Release Of Confidential 13.82 Subd. 7. Criminal Investigative Data For State Of MN VS Michael Sysa 39-VB-21-468, David Sysa 39-VB-21-469 And Yevgeniy Simonovich 39-VB-21-470, Isn't It?<div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEg4dC6jrZo9Yl1sfbeSCcH49o-f8cINW-jRAq9OfG__KzLsRqXCROML5GXiPm5nUVcN5LNJB5HwBV9dHE7jcPdF50WdlmIbPgjwCn4dgz__ikRzwgTBO-bz6cVq58xz0Kdw_pPfcWBADTkCNbuYfgvgLM9-G7kX5vf-eU1nqvSrqkXptZ6qz3G_1zkXAQ=s1100" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEg4dC6jrZo9Yl1sfbeSCcH49o-f8cINW-jRAq9OfG__KzLsRqXCROML5GXiPm5nUVcN5LNJB5HwBV9dHE7jcPdF50WdlmIbPgjwCn4dgz__ikRzwgTBO-bz6cVq58xz0Kdw_pPfcWBADTkCNbuYfgvgLM9-G7kX5vf-eU1nqvSrqkXptZ6qz3G_1zkXAQ=w494-h640" width="494" /></a></div><br /><p><i>from: Kruse, Greg A (DNR) greg.kruse@state.mn.us<br />to: "lionnews00@gmail.com" lionnews00@gmail.com<br />date: Feb 17, 2022, 1:41 PM<br />subject: Data practices requests<br />mailed-by: state.mn.us<br />signed-by: state.mn.us<br />security: Standard encryption (TLS) Learn more<br />: Important according to Google magic.<br /></i></p><p><i>Dear Mr. Nemmers,<br /> <br />I am responding to your email of January 4, 2022, to Commissioner Strommen and others regarding the data practices requests you submitted to the Minnesota Department of Natural Resources (DNR) on November 14, and November 18, 2021.<br /> <br />In your email you indicate that the DNR has not responded to data requests you made in November. However, the DNR did respond to your requests in a timely manner, as indicated in the following paragraphs. You also state in your January 4, 2022, email that DNR released not public data to you in response to your requests. As described below, that assertion is not correct.<br /> <br />In your November 14, 2021 request, you asked for copies of citations of the three individuals named in a November 12, 2021 Pioneer Press article as well as a press release sent to the Bemidji Pioneer regarding a news article that appeared in that paper. Additionally, on November 18, 2021, you requested a redacted copy of the warning given the minor referenced in the article, as well as “the DNR policy and procedure manual”.<br /> <br />On November 15, 2021, DNR staff notified you that there was no press release related to the Bemidji Pioneer news article and therefore no data to provide regarding that request. On this date, DNR staff also emailed you copies of incident reports that were redacted pursuant to Minnesota Statutes section 13.82, subdivision 6. On November 22, 2021, DNR staff emailed you a copy of the three citations that you requested as well as a copy of the verbal warning issued to the minor. The citations were redacted pursuant to Minnesota Statutes section 13.82, subdivision 2 and the data on the verbal warning issued to a minor was redacted pursuant to Minnesota Statutes section 84.0873.<br /> <br />The redacted incident reports, citations and verbal warning are not criminal investigative data as defined in statute. Minnesota Statutes section 13.82, subdivision 2, classifies “data created or collected by law enforcement agencies which document any actions taken by them to cite, arrest, incarcerate or otherwise substantially deprive an adult individual of liberty” as public data. Minnesota Statutes section 13.82, subdivision 6 classifies “data collected or created by law enforcement agencies which document the agency’s response to a request for service” as public data. DNR redacted information that is not classified as public under subdivisions 2 and 6 of section 13.82, but the remainder of this data is public. Arrest data under subdivision 2 and response data under subdivision 6 of section 13.82 is excluded from the definition of “criminal investigative data” in subdivision 7 of section 13.82. Further, a warning is not “criminal investigative data” because it is not data collected in order to “prepare a case against a person . . . for the commission of a crime.” Minnesota Statutes 13.82, subdivision 7.<br /> <br />On November 19, 2021, in response to your inquiry about a “DNR policy and procedure manual,” staff noted the breadth of options and sought clarification of your request, which you did not provide in your subsequent communications. In an effort to be as responsive as possible, on November 29, 2021, staff provided you with the two DNR operational orders most closely associated with the nature of your request (data practices). Staff subsequently provided you with the entirety of DNR’s operational orders over the course of multiple emails sent to you on December 1, 2021.<br /> <br />As indicated above, DNR staff have promptly provided the data you requested in accordance with the Minnesota Government Data Practices Act; staff also promptly responded to your requests for data that did not exist (i.e., a press release) by indicating that such data did not exist.<br /> <br />You can always request other data from this agency at https://www.dnr.state.mn.us/aboutdnr/dataaccess/index.html. Thank you for your correspondence.<br /> <br />Sincerely,<br /> <br />Greg Kruse<br />Acting Director<br />Operations Services Division<br /> <br />Minnesota Department of Natural Resource<br />500 Lafayette Road St. Paul, MN 55155<br />651-259-5718<br />greg.kruse@state.mn.us</i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEjvS5WlBbAvwujyHDqRplSCLLUhoFkqXUuxYvntCr3h2ul-NFcDPVYYrd4XzUXKag-4gBIbk8E9CS79i372li1Rs3l1sbqZUVf8PeWkMAzDMCIXRMS1_4K1x6p1kc7SIMwMoZ3g7WhJF_p2VJY1iYmibQ9ms2pzgzW4J_GPd8EM8UVHK7STbhpSBUny8g=s1100" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEjvS5WlBbAvwujyHDqRplSCLLUhoFkqXUuxYvntCr3h2ul-NFcDPVYYrd4XzUXKag-4gBIbk8E9CS79i372li1Rs3l1sbqZUVf8PeWkMAzDMCIXRMS1_4K1x6p1kc7SIMwMoZ3g7WhJF_p2VJY1iYmibQ9ms2pzgzW4J_GPd8EM8UVHK7STbhpSBUny8g=w494-h640" width="494" /></a></div><br /><p><br /></p><p><i>from: Lion News lionnews00@gmail.com<br />to: "Kruse, Greg A (DNR)" greg.kruse@state.mn.us,<br />Barb.Naramore@state.mn.us,<br />Sarah.Strommen@state.mn.us,<br />"Alongi, Anthony (DNR)" anthony.alongi@state.mn.us,<br />"MN_Data Request (DNR)" datarequest.dnr@state.mn.us<br />date: Feb 17, 2022, 2:46 PM<br />subject: Re: Data practices requests<br />mailed-by: gmail.com</i></p><p><i>Sarah Strommen, DNR Commissioner & Barb Naramore, Deputy DNR Commissioner 651-259-5033:</i></p><p><i>Is your Acting Director Greg Kruse drunk as a skunk? Or is Kruse high as a kite on prescription or illicit drugs? Maybe Kruse had a traumatic brain injury or a stroke? Or is Kruse just continuing with the same harassment script that I have been receiving from your other corrupt DNR personnel?</i></p><p><i>1, Have or haven't I received the current Minnesota Department Of Natural Resources Division Of Enforcement Directives? Answer: No. Why not?<br />2. Do or don't I want the entire current Minnesota Department Of Natural Resources Division Of Enforcement Directives emailed to me? Answer: Yes. Why haven't that data been emailed to me?<br />2. DId or didn't the DNR receive authorization from Lake of the Woods County Attorney James Carl Austad 218-634-1190? Where is my data that indicates that you received proper authorization from Lake of the Woods County Attorney James Carl Austad of confidential 13.82 Subd. 7. Criminal investigative data for Michael A Sysa (Case No. 39-VB-21-468 State Of Minnesota vs Michael A Sysa) David Alekseevich Sysa (Case No. 39-VB-21-469 State Of Minnesota vs David Alekseevich Sysa) and Yevgeniy Sergeyevich Simonovich (Case No. 39-VB-21-470 State Of Minnesota vs Yevgeniy Sergeyevich Simonovich) to members of the media?</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>CO Huener and I discussed with the group that [Redacted] as a juvenile, would not be charged for possessing an over limit of walleye/sauger. We told Michael, David, and Yevgenity that they would each be charged for possessing over limit of walleye/sauger, and that the restitution for the 48 fish over the legal limit would be divided amongst the three of them- 16 fish each. The three agreed to this. Michael, David and Yevgenity were each charged/cited for possessing over limit of walleye/sauger, as well as restitution for 16 walleye per person. All walleye/sauger (72 total) were seized, as well as both coolers. A seizure receipt was issued. A warning was documented for [Redacted] for possessing over limit of walleye/sauger. End of Report. C. Sura 648. Department of Natural Resources Incident Report ICR# 21026876. Reported: 11-08-2021 0958. Officer Assigned: Sura, Cory Badge No. 648 Primary: Yes. Officer Assigned: Huener, Ben Badge No: 538 Primary: No.</i></p><p><i>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.<br />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.<br />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.<br />The Court: Mr. Hochsprung?<br />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.</i></p><p><i>VII. STORAGE OF PHOTOGRAPHS AND RECORDINGS A. Media containing recordings and photos shall be marked for identification, guarded against degradation and overwriting, and stored in a secure location. B. Officers taking digital images for evidentiary purposes shall download the images onto the officer’s computer and shall immediately copy the images to a write once CD-ROM. This CD-ROM shall be known and labeled as the “archive copy”. 1. Officers shall not release archive copies (or original video or audio tape recordings) from their custody. Officers shall honor legitimate requests for access to evidentiary media by making and providing a copy of the media to the prosecuting attorney or the division’s data practices responsible authorities. 2. The existence of evidentiary photos or recordings shall be disclosed in any citation notes or reports prepared about the incident. O-11-06, PROPERTY AND EVIDENCE STANDARDS Page 4</i></p><p><i>VIII. PRINCIPLE FIVE Conservation Officers shall treat all members of the public courteously and with respect. A. Rationale Conservation Officers are one of the most visible forms of state government. Therefore, Conservation Officers must make a positive impression when interacting with the public and each other. B. Rules 3. No Conservation Officer shall ridicule, mock, deride, taunt, belittle, willfully embarrass, humiliate, or shame a person, or do anything reasonably calculated to incite a person to violence. A-4-99, CONDUCT UNBECOMING A CONSERVATION OFFICER Page 6. MINNESOTA DEPARTMENT OF NATURAL RESOURCES DIVISION OF ENFORCEMENT DIRECTIVE DIRECTIVE NUMBER: A-4-99 SUBJECT: CONDUCT UNBECOMING A CONSERVATION OFFICER EFFECTIVE DATE: March 30, 1999 SPECIAL INSTRUCTIONS: Rescinds Directive 61-96 REFERENCE: Minnesota Statute Sec 626.8457, 43A.38, 43A.39; Directive A-3-98; C.L.E.A. 26.1; State Electronic Mail and Internet Policy; POST Model Conduct Policy DISTRIBUTION: All Division Employees NUMBER OF PAGES: 31</i><br /></p><p>More to come ...</p><p>Related Links:</p><p><a href="http://lionnews00.blogspot.com/2022/01/who-wants-to-ask-dnr-commissioner-sarah.html">Who Wants To Ask DNR Commissioner Sarah Strommen Why DNR Personnel Harassing Are Nemmers For Exposing Illegal Release Of Confidential 13.82 Subd. 7. Criminal Investigative Data For State Of MN VS Michael Sysa 39-VB-21-468, David Sysa 39-VB-21-469 And Yevgeniy Simonovich 39-VB-21-470? Why Don't We Ask Lake of the Woods County Attorney Jim Austad If He AUthorized The Data Breach?</a></p><p><a href="http://lionnews00.blogspot.com/2021/11/dnr-data-practices-compliance-official.html">DNR
Data Practices Compliance Official Barbara Damchik-Dykes 651.259.5345
Reported To MN Department Of Natural Resources Policy And Planning
Section Manager Anthony Alongi After Damchik-Dykes Harasses Nemmers Over
Request For Entire DNR Policy & Procedure Manual & After
Damchik-Dykes Illegally Releases Confidential 13.82 Subd. 7. Criminal
Investigative Data For High-Profile Case No. 39-VB-21-468 State Of
Minnesota Vs Michael A Sysa; Case No. 39-VB-21-469 State Of Minnesota Vs
David Alekseevich Sysa And Case No. 39-VB-21-470 State Of Minnesota Vs
Yevgeniy Sergeyevich Simonovich To Media Outlets And To Nemmers?</a></p><p><a href="https://lionnews00.blogspot.com/2019/02/update-formal-criminal-complaint.html">Update:
Formal Criminal Complaint Against Your Corrupt City Of Mountain Lake
City Administrator/Clerk Michael Schulte, Your Corrupt Chief Of Police
Douglas Bristol, & Your Corrupt City Attorney Maryellen Shrhoff?
Corrupt DNR Again Caught Illegally Releasing Confidential 13.82 Subd. 7.
Criminal Investigative Data In High-Profile Cases: Chanhthone Phongsim
17-VB-18-491 & Isouvahn Xayachack 17-VB-18-492? Public Portion Of
Initial Criminal Complaint Arrives? Case SO19020069?</a> </p><p>
<a href="http://lionnews00.blogspot.com/2019/02/formal-criminal-complaint-against-your.html">Formal
Criminal Complaint Against Your Corrupt City Of Mountain Lake City
Administrator/Clerk Michael Schulte, Your Corrupt Chief Of Police
Douglas Bristol, & Your Corrupt City Attorney Maryellen Shrhoff?
Corrupt DNR Again Caught Illegally Releasing Confidential 13.82 Subd. 7.
Criminal Investigative Data In High-Profile Cases: Chanhthone Phongsim
17-VB-18-491 & Isouvahn Xayachack 17-VB-18-492?</a><br />
<br />
<a href="https://lionnews00.blogspot.com/2018/08/witness-intimidation-harassment-by.html">Witness
Intimidation & Harassment By Judicial Officer Rachel C. Sullivan?
Judicial Officer Sullivan & St Louis County Personnel Conspire To
Provoke Witness Rick Kottom In Hopes Of Inciting Kottom To Violence?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2018/07/kottom-tosses-another-monkey-wrench.html">Kottom
Tosses Another Monkey Wrench Into Rigged 69DU-CR-17-900? Kottom's
07-01-18 Complaint To Chief Judicial Officer Sally L. Tarnowski?</a><br />
<br />
<a href="https://lionnews00.blogspot.com/2018/04/kottom-criminal-complaint-toss-huge.html">Kottom
Criminal Complaint Tosses Huge Monkey Wrench Into 69DU-CR-17-900 Trial?
St. Louis Co. Attorney Mark S. Rubin, St. Louis Co. Attorney Criminal
Division Head Gary W. Bjorklund, St. Louis Co. Assistant County Attorney
Christopher Pinkert, Dept Of Natural Resources (DNR) Colonel Rodmen
Smith, DNR Administrative Manager Captain Alex Gutierrez & MN DNR
Data Practices Compliance Official Sheila Deyo All Named In Kottom
Complaint? DNR & Corrupt Prosecutors Have Well-Documented History Of
Trying Cases In Court Of Public Opinion, Don't They?
Confidential/Nonpublic Criminal Investigative Data Illegally Released To
Lap-Dog Media, Right?</a><br />
<br />
<a href="https://lionnews00.blogspot.com/2015/09/update-on-dnrs-illegal-search-seizure.html">Update
On DNR's Illegal Search & Seizure At Indiana Fisherman's Upper
Cormorant Lake Cabin? David Deckard, Oklahoma, Chair Interstate Wildlife
Violator Compact Notified Of Corrupt MN DNR's History Of Obstructing
Justice? Does the Interstate Wildlife Violator Compact Encourage Or
Discourage Due Process Violations? Inquiring Minds Want To Know, Don't
They? Anthony Emmons (CASE NO. 03-CR-15-1798) Clifford Emmons (CASE NO.
03-CR-15-1800) & Ryan Emmons (CASE NO. 03-CR-15-1802) Exposing CO
Joseph Stattelman's Breaking & Entering Of Cabin?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2017/06/corrupt-dnr-conspires-with-hacks-at.html">Corrupt
DNR Conspires With Hacks At KARE 11 TV To Rig Case No. 69DU-CR-17-901
State Of Mn VS Douglas Anthony Marana & Case No. 69DU-CR-17-900
State Of MN VS Roderick Robert Kottom? DNR Illegally Releases
Confidential Data Yet Again, Right? Do You Remember Former DNR Col
Rodmen Illegally Releasing 03-CR-15-1798, 03-CR-15-1800, 03-CR-15-1801,
03-CR-15-1802, 03-CR-15-1803 & 03-CR-15-1804 Confidential Data To
WCCO-TV Hack Bill Hudson?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2015/12/dnrs-major-salto-not-fazed-by-co.html">DNR's
Major Greg Salo Not Fazed By CO Osborne's Coercive Invasion Of
Johnson's Home? Case No. 21-CR-13-51 State of Minnesota vs Ronald Wayne
Johnson Still Maliciously Prosecuted By Former Pope Co. Assistant
Attorney/Douglas Co. Attorney Chad "The Felon" Larson? Larson And DNR
Have A Well-Documented History Of Home Invasion, Don't They?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2015/09/update-on-dnrs-illegal-search-seizure.html">Update
On DNR's Illegal Search & Seizure At Indiana Fisherman's Upper
Cormorant Lake Cabin? David Deckard, Oklahoma, Chair Interstate Wildlife
Violator Compact Notified Of Corrupt MN DNR's History Of Obstructing
Justice? Does the Interstate Wildlife Violator Compact Encourage Or
Discourage Due Process Violations? Inquiring Minds Want To Know, Don't
They? Anthony Emmons (CASE NO. 03-CR-15-1798) Clifford Emmons (CASE NO.
03-CR-15-1800) & Ryan Emmons (CASE NO. 03-CR-15-1802) Exposing CO
Joseph Stattelman's Breaking & Entering Of Cabin?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2015/08/dnr-caught-sending-confidential.html">DNR
Caught Sending Confidential Criminal Investigative Data To Brainerd
Dispatch (Forum Communication Company)? Indiana Fisherman Victims Of
Illegal Search & Seizure? Missing Audio? Nemmers' Call To Detroit
Lakes Newspaper Editor Nathan Bowe (Forum Communication Company) Forces
08/31/2015 Arraignment To Be Reset By Court To 09/28/2015? (Nemmers
Threw A Monkey Wrench Into 03-CR-15-1798, 03-CR-15-1800, 03-CR-15-1801,
03-CR-15-1802, 03-CR-15-1803, 03-CR-15-1804, Didn't He? Thank You,
Jesus!) Sounds Like Ronald Johnson's Rigged Case No. 21-CR-13-51,
Doesn't It?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2015/06/echo-presss-forum-communications.html">Echo
Press Editor (Forum Communications Company, Right?) Al Edenloff
Conspired With Corrupt DNR Officer Shane Osborne To Rig Case No.
21-CR-13-51 State of Minnesota vs Ronald Wayne Johnson? Court Documents
Reveal Corrupt Editor Edenloff Knowingly Willingly & Intentionally
Published Confidential Chapter 13.82 Criminal Investigative Data? Former
Corrupt Douglas Co. Attorney & Current Corrupt Defense Attorney
Chris Karpan Filing A Loony Appeal That Doesn't Address Illegal Search
By His Buddy DNR Officer Osborne? No Surprise, Right?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2014/09/dnr-invades-ronald-wayne-johnson.html">DNR
Invades Ronald Wayne Johnson's Home Without Probable Cause? Johnson Is A
Victim Of DNR Home Invasion, Isn't He? Case No. 21-CR-13-51 State of
Minnesota vs Ronald Wayne Johnson Maliciously Prosecuted By Chad "The
Felon" Larson? "The Felon" Larson Has A Well-Documented History Of
Covering Up Illegal Home Invasions, Doesn't He? Sounds Like Pope Co Home
Invasion Of Nemmers' Home, Doesn't It? DNR's CO Shane Osborne Tampered
With Audio To Cover Up Home Invasion?</a></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-54347184301707446992022-02-16T08:58:00.007-08:002022-02-16T08:58:52.873-08:00What Is The Status Of My Chapter 13 Data Request For Data That Stacy Schoon Alleged Was Illegally Withheld From Her In Case No. 56-CR-20-926 State Of Minnesota Vs Stacy Joy Schoon? Nemmers' Chapter 13 Data Request Triggers Motion For Missing Booking Photo & Fingerprints?<div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEh5WpxXhcR30dRQuqTzTCRAFkbZ_3PugzSQw86C0bMcqNs5054rSbksTdbmy6OgW2uz5Z0CJqYdQjRrTONp7qA-MhcUtAP0yEfqSSGCzHjfUjkkyjQ6nybFohlpE5wvGDhmNKFW4SlNWzNEo46Bf7FmIT_4LP5eR1fyZAonSJ0XyH6WJaaogXxu_aFU6A=s1169" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1169" data-original-width="826" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEh5WpxXhcR30dRQuqTzTCRAFkbZ_3PugzSQw86C0bMcqNs5054rSbksTdbmy6OgW2uz5Z0CJqYdQjRrTONp7qA-MhcUtAP0yEfqSSGCzHjfUjkkyjQ6nybFohlpE5wvGDhmNKFW4SlNWzNEo46Bf7FmIT_4LP5eR1fyZAonSJ0XyH6WJaaogXxu_aFU6A=w452-h640" width="452" /></a></div><br /><p><i>from: Lion News lionnews00@gmail.com<br />to: dbucholz@co.ottertail.mn.us,<br />WayneJohnsonOTC@outlook.com,<br />leerogness@yahoo.com,<br />kmortens@co.ottertail.mn.us,<br />bmurphy@co.otter-tail.mn.us,<br />bfitzgib@co.ottertail.mn.us,<br />Michelle Eldien meldien@co.ottertail.mn.us<br />date: Feb 16, 2022, 10:51 AM<br />subject: What Is The Status Of My Chapter 13 Data Request For Data That Stacy Schoon Alleged Was Illegally Withheld From Her In Case No. 56-CR-20-926 State Of Minnesota Vs Stacy Joy Schoon?<br />mailed-by: gmail.com<br /></i></p><p><i>Dan Bucholz District 1 Commissioner 218-849-2143/218-346-3575, Wayne D. Johnson District 2 Commissioner (Vice Chair) 218-863-7500, Kurt Mortenson District 3 Commissioner 218-205-2415, Betty Murphy District 4 Commissioner (Chair) 218-640-1706, Leland (Lee) Rogness District 5 Commissioner 218-770-7066:</i></p><p><i>Why oh why Otter Tail County Sheriff Barry Fitzgibbons 218-998-8534 and Otter Tail County Attorney Michelle Eldien 218-998-8400 both willfully refused to respond to my Chapter 13 Data Request for 13.82 Subd. 7. Criminal investigative data that Stacy Schoon alleged that was illegally withheld from her? Are both Fitzgibbons and Eldien mad at me because I pointed out the obvious fact that they had not obtained fingerprints nor mugshots from Stacy? Are both Fitzgibbons and Eldien mad at me because the fingerprints and the mugshots might convince Stacy to withdraw her guilty plea or appeal her criminal conviction? Do you think that might be a motive for both Fitzgibbons and Eldien to willfully refuse to respond to me?</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/13.03">https://www.revisor.mn.gov/statutes/cite/13.03</a> 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.<br />56-CR-20-926 Filed in District Court State of Minnesota 2/14/2022 8:41 AM STATE OF MINNESOTA IN DISTRICT COURT COUNTY OF OTTER SEVENTH JUDICIAL DISTRICT State of Minnesota, MOTION FOR FINGERPRINTING Plaintiff, vs. Court File No. 56-CR-20-926 Atty. File No. 20F-119V Stacy Joy Schoon, Defendant. TO: Stacy Joy Schoon: Pursuant to Minn. Stat. 299C.10, subd. 1(a), the State requests that pursuant to a request by the Otter Tail County Sheriff’s Department that the Court order that the above-named Defendant, be fingerprinted for her arrest of April 13, 2019 for Financial Card Fraud Use – No Consent. The State would request an in-person hearing date so that Defendant may appear for fingerprinting. Date: February 14, 2022 /s/Matthew C. Spielman Matthew C. Spielman: 0398760 Assistant County Attorney 121 W. Junius Fergus Falls, MN 56537 (218) 998-8400 mspielma@co.ottertail.mn.us 1</i></p><p><i>Barry Fitzgibbons, Sheriff 218-998-8534 & Michelle Eldien, County Attorney, 218-998-8400:</i></p><p><i>What is the status on my Chapter 13 Data Request for the hoarder Stacy Schoon?</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. How many people with mental problems do you take advantage of in a single week?</i></p><p><i>Government entities should respond in one of three ways 1. Provide access to the data (and copies when requested) 2. Inform you the data are classified as not public (must give statute section) 3. Inform you the data do not exist • Not responding is not a proper response. Minnesota Department of Administration - Information Policy Analysis Division - Can I ask for that? Government Data Practices Minnesota Statutes, Chapter 13 page 12.</i></p><p><i>A response five weeks later is neither prompt nor reasonable. Although the Department did not provide information about its data practices policies and procedures, in instances like this one, those procedures ought to provide for a response within a matter of days, not weeks. Advisory Opinion 95-042. October 31, 1995; Minnesota Department of Children, Families and Learning. October 31, 1995 | Inspection, Response to data requests, Statutory construction (Ch. 645)<br /><a href="https://mn.gov/admin/data-practices/opinions/library/?id=36-267796">https://mn.gov/admin/data-practices/opinions/library/?id=36-267796</a></i></p><p><i>It should be noted that Stacy Wilde and Jeff Wilde do not currently reside in the same residence, but they share a joint checking accont. Page 2. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX Throughout the investigation, I made contact with Security State Bank Customer Service Specialist Carla Ahrends. Ahrends explained to me that after receiving the report of fraudulent activity, she was only able to file charge backs on no more than 35 transactions in the last 90 days. As there were more than 35 transactions within the last 90 days, she was only able to attempt charge backs for an approximate amount of $3371. Page 2. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX A few days after initially speaking with Carla Ahrends, I visited with her again. Page 3. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX</i></p><p><i>I have spoken with Jeff Wilde. Jeff Wilde stated that he has known Stacy Schoon for the last six or seven years and has known her through friends. Jeff stated that Stacy Schoon used to bartend in Underwood. Jeff stated a couple years ago he used to hang around her. In a later conversation, Jeff told me that he never did date Stacy Schoon although Stacy Schoon would tell people that she was dating Jeff. Jeff Wilde suspected that Stacy got his credit card information when they were in Mazatlán in March 2019. She would have been in his hotel room, and he kept his debit card in the hotel room. Page 3. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX Jeff Wilde stated that Stacy Schoon had no permission to use his credit card information. Jeff reiterated this upon me re-contacting him after I had interviewed Stacy Schoon. Page 3. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX</i></p><p><i>On 12/17/19 at approximately 1315 hours, the search warrant was executed at Stacy Schoon’s residence. I was assisted by Detective Eric Lien, Det. Sgt. Robert Huckeby and Deputy Colby Palmersheim. Deputy Keith Rogal was involved for a short time also. Page 3. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX</i></p><p><i>Prior to the search, I visited with Stacy Schoon alone at her residence. Page 3. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX EVIDENCE / RECORDINGS: Recorded interview with Stacy Schoon Recovered items as noted and entered into evidence Financial records from Security State Bank Cellebrite report (copies provided to records) Page 5 Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX<br />On Monday, October 28, 2019, at 1456 hours, I Officer Estep, was dispatched to the Fergus Falls Police Department at the address of 122 West Junius Avenue to meet with a party who had came to report a theft. When I arrived at the police department minutes later, I met with Stacy Wilde. Stacy had informed me that she has had money taken from her checking account via online purchases on Amazon. While speaking with Stacy I learned the following: Stacy and her husband share a checking account. They noticed that charges had been showing up in their account since July of 2019. Page 1. Fergus Falls Police Department Incident Report Incident Number: 19035893 Offense Category: Theft Location Of Offense: 128 East Washington Avenue Fergus Falls, MN 56537 Date/Time Reported: 10/28/2019 Officer(S) Assigned: Officer Matthew Estep #105 Additional Officers: Detective Andy Renner #128 SUBJECT: Stacy Ellen Wilde DOB: 06/10/1971 24796 County Highway 88 Fergus Falls, MN 56537 Phone: 218-205-112. Report of Estep.DOCX</i></p><p><i>When speaking to Stacy on November 1, 2019, she informed me that they now believe it is closer to $7,000.00 and that the bank was reimbursing them for approximately 30 of the transactions, with an approximate value of $3,300.00. Stacy believes there is approximately 60 fraudulent transactions total. Page 2. Fergus Falls Police Department Incident Report Incident Number: 19035893 Offense Category: Theft Location Of Offense: 128 East Washington Avenue Fergus Falls, MN 56537 Date/Time Reported: 10/28/2019 Officer(S) Assigned: Officer Matthew Estep #105 Additional Officers: Detective Andy Renner #128 SUBJECT: Stacy Ellen Wilde DOB: 06/10/1971 24796 County Highway 88 Fergus Falls, MN 56537 Phone: 218-205-112. Report of Estep.DOCX</i></p><p><i>On Wednesday, November 6, 2019, I spoke with Stacey Wilde who had more information for me pertaining to this case. Stacey informed me that an Amazon employee disclosed to her husband that the last package from the fraudulent account was sent to the address of 27875 County Road 124. The package was addressed to “Stacey Schoon.” Stacy did inform me that Stacey Schoon went to Mexico in March with a group of people, including her husband. Stacy stated that she believes Schoon stole her husband’s card information while in Mexico. Page 2. Fergus Falls Police Department Incident Report Incident Number: 19035893 Offense Category: Theft Location Of Offense: 128 East Washington Avenue Fergus Falls, MN 56537 Date/Time Reported: 10/28/2019 Officer(S) Assigned: Officer Matthew Estep #105 Additional Officers: Detective Andy Renner #128 SUBJECT: Stacy Ellen Wilde DOB: 06/10/1971 24796 County Highway 88 Fergus Falls, MN 56537 Phone: 218-205-112. Report of Estep.DOCX</i></p><p><i>Details: On 12/17/2019, I, Sergeant Robert Huckeby #308, assisted Detective Jon Karger #325 in executing a search warrant at the residence of Stacy Schoon. Part of my participation in the execution of the warrant was collecting the magnetic cell phone holder in the Ford F150 pickup and taking photographs that item as well as the F150 pickup. Stolen Property/Estimate Of Damages To Property Section Description Serial Number Make/Model/Brand Value Evidence / Recordings: Digital Photographs Magnetic cellphone holder was given to #325 Status: Forward with Detective Karger’s reports Detective Sergeant Robert Huckeby #308 Otter Tail County Sheriff’s Office RH: asl 12/20/19@1100hours ADM1 Job#66356. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Theft Incident Number: Complainant: Deputy: Detective Sergeant Robert Huckeby #308 Report of Huckeby.DOCX</i></p><p>More to come ...</p><p>Related links:</p><p><a href="http://lionnews00.blogspot.com/2022/02/who-want-to-submit-chapter-13-data.html">Who Wants To Submit A Chapter 13 Data Request For The 13.82 Subdiv. 7 Criminal Investigative Data That Stacy Schoon Alleged That Otter Tail County Attorney Michelle Eldien Was Illegally Withholding From Her? Restitution Affidavit Amount Starts At $10,835.72? After Schoon Filed Complaint Against Public Defender Porter Amount Drops To $5,837.07? Final Amount Is $2,466.07? Did The So-Called Victims Perjure Themselves Over $8,369.65 Or More? </a></p><p><a href="https://lionnews00.blogspot.com/2022/02/is-stacy-schoon-being-coerced-into.html">Is
Stacy Schoon Being Coerced Into Pleading Guilty? Will Judicial Officer
Judd Ask Schoon Specific Questions About Schoon's Complaint Against
Public Defender Porter Prior To Take Her Guilty? Who Wants To Watch The
Zoom Hearing Today For Case No. 56-CR-20-926 State Of Minnesota Vs Stacy
Joy Schoon??</a> </p><p><a href="https://lionnews00.blogspot.com/2021/09/schoon-reports-backstabbing-public.html">Schoon
Reports Backstabbing Public Defender (Pretender, Right?) Matthew Porter
To Seventh Judicial District Chief Judicial Officer Sarah E. Hennesy
For Sabotaging Case No. 56-CR-20-926 State Of Minnesota Vs Stacy Joy
Schoon? Corrupt Otter Tail County Attorney Michelle Eldien Illegally
Withholding Preliminary Audio Recorded Statements? Corrupt City Of
Fergus Falls Chief Of Public Safety Director Kile Bergren & Corrupt
Otter Tail Co. Sheriff Barry Fitzgibbons Aiding & Abetting
Backstabber Porter?</a></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-50543635508555120492022-02-09T08:57:00.010-08:002022-02-09T09:32:58.960-08:00Who Wants To Submit A Chapter 13 Data Request For The 13.82 Subdiv. 7 Criminal Investigative Data That Stacy Schoon Alleged That Otter Tail County Attorney Michelle Eldien Was Illegally Withholding From Her? Restitution Affidavit Amount Starts At $10,835.72? After Schoon Filed Complaint Against Public Defender Porter Amount Drops To $5,837.07? Final Amount Is $2,466.07? Did The So-Called Victims Perjure Themselves Over $8,369.65 Or More?<div class="separator" style="clear: both;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEhoNdFThh3W6-2gc59M0KACbFfeEd8Eeo3eT_vSRrvzQky2coJKQjSEqm1nvABkYG8K7WiRHfKnYXbB5Z4yJSY2ymJ0Nl_ml3FG5cLFPvSlCrwbaTdhSOEv7RevpfQNNMg6NIkAzsiersYpRvR4zcZI5WPptbewz16Gd-BRzr_ZcUZaC_210mTMklcL3A=s1169" style="display: block; padding: 1em 0px; text-align: center;"><img alt="" border="0" data-original-height="1169" data-original-width="826" height="600" src="https://blogger.googleusercontent.com/img/a/AVvXsEhoNdFThh3W6-2gc59M0KACbFfeEd8Eeo3eT_vSRrvzQky2coJKQjSEqm1nvABkYG8K7WiRHfKnYXbB5Z4yJSY2ymJ0Nl_ml3FG5cLFPvSlCrwbaTdhSOEv7RevpfQNNMg6NIkAzsiersYpRvR4zcZI5WPptbewz16Gd-BRzr_ZcUZaC_210mTMklcL3A=s600" /></a></div><p>
<i>from: Lion News lionnews00@gmail.com
to: dbucholz@co.ottertail.mn.us,
WayneJohnsonOTC@outlook.com,
leerogness@yahoo.com,
kmortens@co.ottertail.mn.us,
bmurphy@co.otter-tail.mn.us,
Michelle Eldien meldien@co.ottertail.mn.us,
bfitzgib@co.ottertail.mn.us
date: Feb 9, 2022, 10:40 AM
subject: Chapter 13 Data Request For Data That Stacy Schoon Alleged Was Illegally Withheld From Her In Case No. 56-CR-20-926 State Of Minnesota Vs Stacy Joy Schoon
mailed-by: gmail.com</i></p><p><i>Dan Bucholz District 1 Commissioner 218-849-2143/218-346-3575, Wayne D. Johnson District 2 Commissioner (Vice Chair) 218-863-7500, Kurt Mortenson District 3 Commissioner 218-205-2415, Betty Murphy District 4 Commissioner (Chair) 218-640-1706, Leland (Lee) Rogness District 5 Commissioner 218-770-7066:</i></p><p><i>Hey do you remember that complaint that Stacy Schoon signed against her backstabbing public defender Matthew Porter? You know the one where Schoon was allegeding that Porter was conspiring with Otter Tail County Attorney Michelle Eldien to illegally withhold her evidence from her Case No. 56-CR-20-926 State Of Minnesota Vs Stacy Joy Schoon? Did you know that I am going to request the data that Schoon was alleging that Eldien was illegally withholding from her? Do you know what I am thinking? I'm thinking that Eldien and Otter Tail County Sheriff Barry Fitzgibbons with all sorts of wild and crazy excuses why they can't email/file share that readily available, free, electronic public data to me, aren't I?</i></p><p><i>Do you remember me telling you about Jessica Hartger and Jeremy Boles filing their complaints against their public defenders in the court's Register of Actions in their respective cases in the First Judicial District? You remember that Both Hartger and Boles were allegeding similar misconduct by their public defenders as Schoon was allegeding against her public defender? Did you know that both Hartger and Boles were able to get new public defenders? Maybe that explains why your corrupt judicial officer Johnathan R. Judd willfully refused to allow Schoon to file her complaint against Porter into her Register of Actions?</i></p><p><i>Do you find it troubling that magically and mysteriously absolutely no mention of Schoon's admitted Hoarding disorder was ever mentioned during her plea hearing(s)? Maybe that explains why oh why Schoon was never required to undergo a psych evaluation? Because during the pysch eval Schoon might let it slip about her valid complaint against Porter? That would be pretty embarrassing for Eldien that Stacy was forced to take a plea deal because her evidence was being illegally withheld from her, correct? Plus, Schoon probably would have balked at the plea deal if a psych evaluation was part of the deal, right? Maybe that explains why oh why no mention of Schoon getting fingerprints or a mughsot was mentioned during Schoon's plea hearings?</i></p><p><i>Did you know that the amount on the Restitution affidavit for Schoon's case was originally $10,835.72? Oh, and then after Schoon filed her complaint it magically and mysteriously went down to $5,837.07? Can you guess the amount of restitution at the time of Schoon's Plea Hearings? If you guessed $2,466.07, then you are correct, aren't you? Doesn't that sound like the so-called victims made false claims of at least $8,369.65 in their Restitution affidavit? Wouldn't that be perjury on the part of the so-called victims? So you can see why both Otter Tail County Attorney Michelle Eldien and Otter Tail County Sheriff Barry Fitzgibbons would have a motive to illegally withhold this data from me, can't you? I'll keep you updated, okay?</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>Minnesota Judicial Branch Logo Minnesota Judicial Branch Minnesota Court Records Online (MCRO)
<a href="https://publicaccess.courts.state.mn.us/DocumentSearch">https://publicaccess.courts.state.mn.us/DocumentSearch</a>
Case Details Case Number: 72-CR-20-85 Case Title: State of Minnesota vs JEREMY JAMES BOLES 08/10/2021 Correspondence 15 pages 07-09-21 Jeremy Boles signed complaint to First Judicial District Chief Judicial Officer Kathryn Messerich
Case Details Case Number: 19HA-CR-19-2768 Case Title: State of Minnesota vs Jessica Danielle Hartger 06/22/2021 Correspondence 8 pages 06-01-21 Jessica Hartger’s signed complaint to First Judicial District Chief Judicial Officer Kathryn Messerich</i></p><p><i>My attorney has told me and I understand that a judge generally will not accept a plea of guilty from someone who claims to be innocent. However, I understand that the judge may accept my Alford guilty plea despite my claim of innocence, so long as I agree the state’s
evidence is sufficient for a jury to find me guilty, beyond a reasonable doubt, if I have a trial. With this principle in mind, I acknowledge that: ... d. I may be required to successfully complete treatment for my conduct underlying the offense to which I am pleading. If I am required to successfully complete such treatment and I refuse to admit my guilt in treatment, I may be discharged from treatment. Failure to complete such treatment may result in my incarceration, civil commitment for treatment, or both. Alford Addendum to Petition to Enter Plea of Guilty Pursuant to Rule 15 <a href="https://www.mncourts.gov/mncourtsgov/media/Appellate/Supreme%20Court/Rules%20of%20Crim%20Proc%20Forms%20Appendix/15-appendixG.pdf">https://www.mncourts.gov/mncourtsgov/media/Appellate/Supreme%20Court/Rules%20of%20Crim%20Proc%20Forms%20Appendix/15-appendixG.pdf</a> </i></p><p><i> 6. I have / I have never been a patient in a mental hospital.
7. I have / have not talked with or been treated by a psychiatrist or other person for a nervous or mental condition. Petition To Enter Plea of Guilty In Felony Case Pursuant To Rule 15 <a href="https://www.mncourts.gov/mncourtsgov/media/Appellate/Supreme%20Court/Rules%20of%20Crim%20Proc%20Forms%20Appendix/15-appendixA.pdf">https://www.mncourts.gov/mncourtsgov/media/Appellate/Supreme%20Court/Rules%20of%20Crim%20Proc%20Forms%20Appendix/15-appendixA.pdf</a></i></p><p><i>I then explained to Stacy that I had a search warrant to search the contents of her residence. Stacy stated that she is a hoarder and her house is full of items. She stated that there was no room to stand near the front door of the residence and that is why she met with me outside. I did explain that we still would need to search her residence. At that time, I requested assistance from other officers in the search. While inside the residence, I provided Stacy Schoon a copy of the search warrant. It appeared she reviewed the search warrant for several minutes and stated that the items listed in the search warrant were or had been at her residence. Upon being inside the residence, it was extremely difficult to walk from one side of the room to another due to the amount of hoarding that had taken place inside the residence. Involved officers rummaging through extreme amount of debris, requested that Stacy Schoon retrieve the items listed in the search warrant. There were a number of items that were disposed of, mostly used or had been consumed that we were not able to retrieve. As mentioned earlier, a number of these items were consumables or grocery items. Stacy Schoon stated that the prepaid Visa gift cards listed in the search warrant were used for vehicle gas and groceries and there’s no balance remaining. OTTER TAIL COUNTY SHERIFF’S OFFICE FOLLOW UP INVESTIGATION REPORT INCIDENT NUMBER: 19035893 OFFENSE CATEGORY: Financial Transaction Card Fraud-609.821 subd 2 (1) COMPLAINANT: Stacy Ellen Wilde DEPUTY: Detective Jon Karger #325</i></p><p><i><a href="https://www.mayoclinic.org/diseases-conditions/hoarding-disorder/symptoms-causes/syc-20356056">https://www.mayoclinic.org/diseases-conditions/hoarding-disorder/symptoms-causes/syc-20356056</a> Hoarding disorder Overview Signs and symptoms may include: Excessively acquiring items that are not needed or for which there's no space Persistent difficulty throwing out or parting with your things, regardless of actual value Feeling a need to save these items, and being upset by the thought of discarding them Building up of clutter to the point where rooms become unusable Having a tendency toward indecisiveness, perfectionism, avoidance, procrastination, and problems with planning and organizing. Risk factors include: Personality. Many people who have hoarding disorder have a temperament that includes indecisiveness. Family history. There is a strong association between having a family member who has hoarding disorder and having the disorder yourself. Stressful life events. Some people develop hoarding disorder after experiencing a stressful life event that they had difficulty coping with, such as the death of a loved one, divorce, eviction or losing possessions in a fire.</i></p><p><i>Discrimination, Harassment and Retaliation Policy Statement It is the policy of the Board of Public Defense that discrimination, harassment, and retaliation in the workplace be prohibited. Discrimination or harassment based on sex, race, color, creed, religion, national origin, age, veteran status, marital status, sexual orientation, disability, or status with regard to public assistance will not be tolerated. It is the responsibility of Board of Public Defense employees to strive to create an environment free of harassment, discrimination, and retaliation. All Board employees are expected to treat other employees and the public with dignity, and respect and to comply with this policy. ... 4. Retaliation Retaliation includes, but is not limited to, intentionally engaging in any form of intimidation, reprisal or harassment against an individual because he or she made a complaint under this policy or assisted or participated in any manner in an investigation, or process under this policy, regardless of whether a claim of discrimination or harassment is substantiated; or associated with a person or group of persons who are disabled or are of a different race, color, creed, religion, sexual orientation or national origin. Retaliation may occur whether or not there is a power or authority differential between the individuals involved. State of Minnesota Board of Public Defense General Office Policies –Revised May 2019</i></p><p><i>D. The defense does not have to request the information, the prosecutor has the obligation to turn it over. United States v. Agurs, 427 U.S. 97 (1976).
E. “Under Brady, the suppression by the State, whether intentional or not, of material evidence favorable to the defendant violates the constitutional guarantee of due process." Walen v. State, 777 N.W.2d 213, 216 (Minn. 2010). Brady/Giglio Policy Office Of The Otter Tail County Attorney Date Issued/Revised: July 20, 2020</i></p><p><i>Barry Fitzgibbons, Sheriff 218-998-8534 & Michelle Eldien, County Attorney, 218-998-8400:</i></p><p><i>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:</i></p><p><i>1. Audio/video recorded statements and associated transcripts of Stacy Wilde, Jeff Wilde and Carla Ahrends for Case No. 56-CR-20-926 State of Minnesota vs Stacy Joy Schoon DOB: 10/04/1979</i></p><p><i>2. Data indicating that Stacy Joy Schoon and or her public defender Matthew Porter received the audio/video recorded statements and associated transcripts of Stacy Wilde, Jeff Wilde and Carla Ahrends for Case No. 56-CR-20-926 State of Minnesota vs Stacy Joy Schoon DOB: 10/04/1979.</i></p><p><i>3. Pleadings - 09/09/2020 Discovery Disclosure Index # 12 and 03/04/2021 Discovery Disclosure Index # 20 for Case No. 56-CR-20-926 State of Minnesota vs Stacy Joy Schoon DOB: 10/04/1979.</i></p><p><i>4. Pleadings - 8/24/2021 Discovery Disclosure Index # 10, 09/23/2021 Discovery Disclosure Index # 11, 09/29/2021 Discovery Disclosure Index # 12, 10/08/2021 Discovery Disclosure Index # 14 for Case No. 56-CR-21-1817 State of Minnesota vs Heather Leah Morris DOB: 11/09/1982.</i></p><p><i>5 . Pleadings - 02/08/2022 Petition to Enter Guilty Plea Index # 43 (Judicial Officer: Judd, Johnathan R ) for Case No. 56-CR-20-926 State of Minnesota vs Stacy Joy Schoon DOB: 10/04/1979.</i></p><p><i>6. Data indicating that Stacy Schoon was ordered to turned herself in to the Otter Tail County Sheriff's Office or other law enforcement agency for mugshot and fingerprints for Case No. 56-CR-20-926 State of Minnesota vs Stacy Joy Schoon DOB: 10/04/1979</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>Tunnel vision may have already led investigators at this point to prematurely but confidently conclude that the innocent suspect is guilty. Confirmation bias then leads investigators to seek out information and evidence that affirms this belief and to reject or discount information and evidence that does not. Richard A. Leo, Police Interrogation and American Justice, (Cambridge: 2008), Page 264.</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/13.03">https://www.revisor.mn.gov/statutes/cite/13.03</a> 13.03 Access To Government Data. Subd. 12. Pleadings. Pleadings, as defined by court rule, served by or on a government entity, are public data to the same extent that the data would be public if filed with the court.</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/13.82">https://www.revisor.mn.gov/statutes/cite/13.82</a> Subd. 7. Criminal investigative data. Except for the data defined in subdivisions 2, 3, and 6, investigative data collected or created by a law enforcement agency in order to prepare a case against a person, whether known or unknown, for the commission of a crime or other offense for which the agency has primary investigative responsibility are confidential or protected nonpublic while the investigation is active. Inactive investigative data are public unless the release of the data would jeopardize another ongoing investigation or would reveal the identity of individuals protected under subdivision 17. Images and recordings, including photographs, video, and audio records, which are part of inactive investigative files and which are clearly offensive to common sensibilities are classified as private or nonpublic data, provided that the existence of the images and recordings shall be disclosed to any person requesting access to the inactive investigative file. An investigation becomes inactive upon the occurrence of any of the following events: ... Subd. 15. Public benefit data. Any law enforcement agency may make any data classified as confidential or protected nonpublic pursuant to subdivision 7 or as private or nonpublic under section 13.825 or 626.19 accessible to any person, agency, or the public if the agency determines that the access will aid the law enforcement process, promote public safety, or dispel widespread rumor or unrest.</i></p><p><i>It should be noted that Stacy Wilde and Jeff Wilde do not currently reside in the same residence, but they share a joint checking accont. Page 2. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX
Throughout the investigation, I made contact with Security State Bank Customer Service Specialist Carla Ahrends. Ahrends explained to me that after receiving the report of fraudulent activity, she was only able to file charge backs on no more than 35 transactions in the last 90 days. As there were more than 35 transactions within the last 90 days, she was only able to attempt charge backs for an approximate amount of $3371. Page 2. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX
A few days after initially speaking with Carla Ahrends, I visited with her again. Page 3. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX</i></p><p><i>I have spoken with Jeff Wilde. Jeff Wilde stated that he has known Stacy Schoon for the last six or seven years and has known her through friends. Jeff stated that Stacy Schoon used to bartend in Underwood. Jeff stated a couple years ago he used to hang around her. In a later conversation, Jeff told me that he never did date Stacy Schoon although Stacy Schoon would tell people that she was dating Jeff. Jeff Wilde suspected that Stacy got his credit card information when they were in Mazatlán in March 2019. She would have been in his hotel room, and he kept his debit card in the hotel room. Page 3. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX
Jeff Wilde stated that Stacy Schoon had no permission to use his credit card information. Jeff reiterated this upon me re-contacting him after I had interviewed Stacy Schoon. Page 3. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX</i></p><p><i>On 12/17/19 at approximately 1315 hours, the search warrant was executed at Stacy Schoon’s residence. I was assisted by Detective Eric Lien, Det. Sgt. Robert Huckeby and Deputy Colby Palmersheim. Deputy Keith Rogal was involved for a short time also. Page 3. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX</i></p><p><i>Prior to the search, I visited with Stacy Schoon alone at her residence. Page 3. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX
EVIDENCE / RECORDINGS: Recorded interview with Stacy Schoon Recovered items as noted and entered into evidence Financial records from Security State Bank Cellebrite report (copies provided to records) Page 5 Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Financial Transaction Card Fraud-609.821 subd 2 (1) Complainant: Stacy Ellen Wilde Deputy: Detective Jon Karger #325. Report of Karger.DOCX</i></p><p><i>On Monday, October 28, 2019, at 1456 hours, I Officer Estep, was dispatched to the Fergus Falls Police Department at the address of 122 West Junius Avenue to meet with a party who had came to report a theft. When I arrived at the police department minutes later, I met with Stacy Wilde. Stacy had informed me that she has had money taken from her checking account via online purchases on Amazon. While speaking with Stacy I learned the following: Stacy and her husband share a checking account. They noticed that charges had been showing up in their account since July of 2019. Page 1. Fergus Falls Police Department Incident Report Incident Number: 19035893 Offense Category: Theft Location Of Offense: 128 East Washington Avenue Fergus Falls, MN 56537 Date/Time Reported: 10/28/2019 Officer(S) Assigned: Officer Matthew Estep #105 Additional Officers: Detective Andy Renner #128 SUBJECT: Stacy Ellen Wilde DOB: 06/10/1971 24796 County Highway 88 Fergus Falls, MN 56537 Phone: 218-205-112. Report of Estep.DOCX</i></p><p><i>When speaking to Stacy on November 1, 2019, she informed me that they now believe it is closer to $7,000.00 and that the bank was reimbursing them for approximately 30 of the transactions, with an approximate value of $3,300.00. Stacy believes there is approximately 60 fraudulent transactions total. Page 2. Fergus Falls Police Department Incident Report Incident Number: 19035893 Offense Category: Theft Location Of Offense: 128 East Washington Avenue Fergus Falls, MN 56537 Date/Time Reported: 10/28/2019 Officer(S) Assigned: Officer Matthew Estep #105 Additional Officers: Detective Andy Renner #128 SUBJECT: Stacy Ellen Wilde DOB: 06/10/1971 24796 County Highway 88 Fergus Falls, MN 56537 Phone: 218-205-112. Report of Estep.DOCX</i></p><p><i>On Wednesday, November 6, 2019, I spoke with Stacey Wilde who had more information for me pertaining to this case. Stacey informed me that an Amazon employee disclosed to her husband that the last package from the fraudulent account was sent to the address of 27875 County Road 124. The package was addressed to “Stacey Schoon.” Stacy did inform me that Stacey Schoon went to Mexico in March with a group of people, including her husband. Stacy stated that she believes Schoon stole her husband’s card information while in Mexico. Page 2. Fergus Falls Police Department Incident Report Incident Number: 19035893 Offense Category: Theft Location Of Offense: 128 East Washington Avenue Fergus Falls, MN 56537 Date/Time Reported: 10/28/2019 Officer(S) Assigned: Officer Matthew Estep #105 Additional Officers: Detective Andy Renner #128 SUBJECT: Stacy Ellen Wilde DOB: 06/10/1971 24796 County Highway 88 Fergus Falls, MN 56537 Phone: 218-205-112. Report of Estep.DOCX</i></p><p><i>Details: On 12/17/2019, I, Sergeant Robert Huckeby #308, assisted Detective Jon Karger #325 in executing a search warrant at the residence of Stacy Schoon. Part of my participation in the execution of the warrant was collecting the magnetic cell phone holder in the Ford F150 pickup and taking photographs that item as well as the F150 pickup. Stolen Property/Estimate Of Damages To Property Section Description Serial Number Make/Model/Brand Value Evidence / Recordings: Digital Photographs Magnetic cellphone holder was given to #325 Status: Forward with Detective Karger’s reports Detective Sergeant Robert Huckeby #308 Otter Tail County Sheriff’s Office RH: asl 12/20/19@1100hours ADM1 Job#66356. Otter Tail County Sheriff’s Office Follow Up Investigation Report 19035893 Offense Category: Theft Incident Number: Complainant: Deputy: Detective Sergeant Robert Huckeby #308 Report of Huckeby.DOCX</i></p><p>More to come ... </p><p>Related links:</p><p><a href="https://lionnews00.blogspot.com/2022/02/is-stacy-schoon-being-coerced-into.html">Is Stacy Schoon Being Coerced Into Pleading Guilty? Will Judicial Officer Judd Ask Schoon Specific Questions About Schoon's Complaint Against Public Defender Porter Prior To Take Her Guilty? Who Wants To Watch The Zoom Hearing Today For Case No. 56-CR-20-926 State Of Minnesota Vs Stacy Joy Schoon??</a> </p><p><a href="https://lionnews00.blogspot.com/2021/09/schoon-reports-backstabbing-public.html">Schoon Reports Backstabbing Public Defender (Pretender, Right?) Matthew Porter To Seventh Judicial District Chief Judicial Officer Sarah E. Hennesy For Sabotaging Case No. 56-CR-20-926 State Of Minnesota Vs Stacy Joy Schoon? Corrupt Otter Tail County Attorney Michelle Eldien Illegally Withholding Preliminary Audio Recorded Statements? Corrupt City Of Fergus Falls Chief Of Public Safety Director Kile Bergren & Corrupt Otter Tail Co. Sheriff Barry Fitzgibbons Aiding & Abetting Backstabber Porter?</a></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-41279527945223823082022-02-07T10:43:00.001-08:002022-02-07T10:43:37.674-08:00Is Stacy Schoon Being Coerced Into Pleading Guilty? Will Judicial Officer Judd Ask Schoon Specific Questions About Schoon's Complaint Against Public Defender Porter Prior To Take Her Guilty? Who Wants To Watch The Zoom Hearing Today For Case No. 56-CR-20-926 State Of Minnesota Vs Stacy Joy Schoon??<p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEg0WRh4TPfjkFmUF-X_LXj6oC09ijjVWBZQZIchJ8Y-Ehx6Vb00TDe7x82ZJnY1hnLsJMMrJW40qDWCYOvz65JGcNChZBJJb89ydxYIu0MZ6qk8u2tElSqu0qKQjcDNnYM--zF3gQmJqvZBRtvTSlCUq3FSfbcMIDTqNRuEgEz8AOA74-QNGlWPbR5OQA=s1169" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1169" data-original-width="826" height="400" src="https://blogger.googleusercontent.com/img/a/AVvXsEg0WRh4TPfjkFmUF-X_LXj6oC09ijjVWBZQZIchJ8Y-Ehx6Vb00TDe7x82ZJnY1hnLsJMMrJW40qDWCYOvz65JGcNChZBJJb89ydxYIu0MZ6qk8u2tElSqu0qKQjcDNnYM--zF3gQmJqvZBRtvTSlCUq3FSfbcMIDTqNRuEgEz8AOA74-QNGlWPbR5OQA=w283-h400" width="283" /></a></div>from: Lion News lionnews00@gmail.com<br />to: kenh@fergusfallsjournal.com,<br />zach.stich@fergusfallsjournal.com,<br />mary.pat.maher@state.mn.us,<br />debra.mueske@courts.state.mn.us,<br />OttertailCourt OttertailCourt@courts.state.mn.us,<br />Kathryn.Ouren@courts.state.mn.us,<br />sjschoon sjschoon@gmail.com<br />date: Feb 7, 2022, 12:36 PM<br />subject: Is Stacy Schoon Being Coerced Into Pleading Guilty? Will Judicial Officer Judd Ask Schoon Specific Questions About Schoon's Complaint Against Public Defender Porter Prior To Take Her Guilty?<br />mailed-by: gmail.com<p></p><p></p><div dir="ltr"><div>Ken Harty, Publisher 218-739-7019 & Zach Stich, Editor - Daily Journal 218-739-7030:</div><div><br /></div><div>Are
you attending the Zoom Sentencing hearing for Case No. 56-CR-20-926
State of Minnesota vs Stacy Joy Schoon? The Zoom instruction are below,
aren't they? Do you remember that complaint that I sent you that was
signed by Stacy Schoon against her backstabbing public defender Matthew
Porter? Did you ever contact Stacy and ask her if she was coerced into
dropping her complaint? Did you ever contact Seventh Judicial District
Court Administrator Debra Mueske to see if and when she ever responded
to Schoon's valid complaint? You remember don't you that Porters' bosses
were coming up with crazy excuses not to investigate Schoon's
complaint? Porter's bosses were claiming that they weren't sure if the
signature on Schoon's complaint was valid while at the same time not
contacting Schoon to verify the signature on the complaint, right? Did
you ask Mueske if she used the same crazy excuse to avoid investigating
Schoon's valid complaint? Did you know that Mueske never returned my
emails nor my phone calls? Sounds like a cover-up, doesn't it? Oh, did
you know that Schoon admitted to being a hoarder? Do you think that
Porter is using Schoon's condition to manipulate and coerce her into
pleading guilty? You remember that judicial officer Johnathan R Judd
aided and abetted Porter by not allowing Schoon to place her valid
complaint into the court record, don't you? If Judd was actually doing
his job and had a fair court, then he would make sure that he asked
Schoon specific questions about the allegations that she raised in her
complaint prior to her pleading guilty, right? Are you going to watch
Schoon's hearing to see that Judd asks Schoon if she has been coerced
into dropping her complaint against Porter or not? Hmm? Inquiring minds
want to know, don't they?<br /></div><div><br /></div><div>Terry Dean, Nemmers 320-283-5713</div><div><br /></div><div><a data-saferedirecturl="https://www.google.com/url?q=https://www.spj.org/ethicscode.asp&source=gmail&ust=1644345570824000&usg=AOvVaw3kwM4M9PJ5GA1FbMeiCBJ3" href="https://www.spj.org/ethicscode.asp" target="_blank">https://www.spj.org/<wbr></wbr>ethicscode.asp</a>
SPJ Code of Ethics Seek Truth and Report It Ethical journalism should
be accurate and fair. Journalists should be honest and courageous in
gathering, reporting and interpreting information. Journalists should:
Be vigilant and courageous about holding those with power accountable.
Give voice to the voiceless.<br /></div><div><br /></div><div>Minnesota Judicial Branch Logo Minnesota Judicial Branch Minnesota Court Records Online (MCRO)<br /><a data-saferedirecturl="https://www.google.com/url?q=https://publicaccess.courts.state.mn.us/DocumentSearch&source=gmail&ust=1644345570824000&usg=AOvVaw0AFL6BT9enTfvTZnMqY3j6" href="https://publicaccess.courts.state.mn.us/DocumentSearch" target="_blank">https://publicaccess.courts.<wbr></wbr>state.mn.us/DocumentSearch</a><br />Case
Details Case Number: 72-CR-20-85 Case Title: State of Minnesota vs
JEREMY JAMES BOLES 08/10/2021 Correspondence 15 pages 07-09-21 Jeremy
Boles signed complaint to First Judicial District Chief Judicial Officer
Kathryn Messerich<br />Case Details Case Number: 19HA-CR-19-2768 Case
Title: State of Minnesota vs Jessica Danielle Hartger 06/22/2021
Correspondence 8 pages 06-01-21 Jessica Hartger’s signed complaint to
First Judicial District Chief Judicial Officer Kathryn Messerich</div><div><br /></div><div>I
then explained to Stacy that I had a search warrant to search the
contents of her residence. Stacy stated that she is a hoarder and her
house is full of items. She stated that there was no room to stand near
the front door of the residence and that is why she met with me outside.
I did explain that we still would need to search her residence. At that
time, I requested assistance from other officers in the search. While
inside the residence, I provided Stacy Schoon a copy of the search
warrant. It appeared she reviewed the search warrant for several minutes
and stated that the items listed in the search warrant were or had been
at her residence. Upon being inside the residence, it was extremely
difficult to walk from one side of the room to another due to the amount
of hoarding that had taken place inside the residence. Involved
officers rummaging through extreme amount of debris, requested that
Stacy Schoon retrieve the items listed in the search warrant. There were
a number of items that were disposed of, mostly used or had been
consumed that we were not able to retrieve. As mentioned earlier, a
number of these items were consumables or grocery items. Stacy Schoon
stated that the prepaid Visa gift cards listed in the search warrant
were used for vehicle gas and groceries and there’s no balance
remaining. OTTER TAIL COUNTY SHERIFF’S OFFICE FOLLOW UP INVESTIGATION
REPORT INCIDENT NUMBER: 19035893 OFFENSE CATEGORY: Financial Transaction
Card Fraud-609.821 subd 2 (1) COMPLAINANT: Stacy Ellen Wilde DEPUTY:
Detective Jon Karger #325</div><div><br /></div><div>Filed in District
Court State of Minnesota 12/6/2021 State of Minnesota Otter Tail County
District Court Seventh Judicial District Court File Number: 56-CR-20-926
Case Type: Crim/Traf Mandatory Notice of Remote Zoom Hearing FILE COPY
State of Minnesota vs Stacy Joy Schoon You are notified this matter is
set for a remote hearing. This hearing will not be in person at the
courthouse. Hearing Information February 07, 2022 Plea Hearing 2:30 PM
The hearing will be held via Zoom and appearance shall be by video and
audio unless otherwise directed with Judicial Officer Johnathan R Judd,
Otter Tail County District Court. If you fail to appear a warrant may be
issued for your arrest. The Minnesota Judicial Branch uses strict
security controls for all remote technology when conducting remote
hearings. You must: • Notify the court if your address, email, or phone
number changes. • Be fully prepared for the remote hearing. If you have
exhibits you want the court to see, you must give them to the court
before the hearing. Visit <a data-saferedirecturl="https://www.google.com/url?q=https://www.mncourts.gov/Remote-Hearings.aspx&source=gmail&ust=1644345570824000&usg=AOvVaw23OVmsEzf32wWoYVAjjF5K" href="https://www.mncourts.gov/Remote-Hearings.aspx" target="_blank">https://www.mncourts.gov/<wbr></wbr>Remote-Hearings.aspx</a>
for more information and options for joining remote hearings, including
how to submit exhibits. • Contact the court at 218-560-7045 if you do
not have access to the internet, or are unable to connect by video and
audio. • If you cannot afford to hire a lawyer and would like to apply
for a court-appointed attorney before this appearance visit <a data-saferedirecturl="https://www.google.com/url?q=https://pdapplication.courts.state.mn.us&source=gmail&ust=1644345570824000&usg=AOvVaw04jUKbNhqnTgz4XAsDYnwd" href="https://pdapplication.courts.state.mn.us" target="_blank">https://pdapplication.courts.<wbr></wbr>state.mn.us</a> or scan the QR code to start the application. To join by internet: 1. Type <a data-saferedirecturl="https://www.google.com/url?q=https://zoomgov.com/join&source=gmail&ust=1644345570824000&usg=AOvVaw1tYIP5c18PhqMNlBjP9n12" href="https://zoomgov.com/join" target="_blank">https://zoomgov.com/join</a>
in your browser’s address bar. 2. Enter the Meeting ID and Meeting
Passcode (if asked): MNCIS-PAN-104 STATE Notice of Remote Zoom Hearing
4/21Meeting ID: 160 2905 5649 Passcode: 790939 3. Update your name by
clicking on your profile picture. If you are representing a party, add
your role to your name, for example, John Smith, Attorney for Defendant.
4. Click the Join Audio icon in the lower left-hand corner of your
screen. 5. Click Share Video. To join by telephone (if you are unable to
join by internet): Be sure you know how to mute your phone when you are
not speaking and unmute it again to speak. 1. Call Toll-Free:
1-833-568-8864 2. Enter the Meeting ID and Meeting Passcode: Meeting ID:
160 2905 5649 Passcode: 790939 Para obtener más información y conocer
las opciones para participar en audiencias remotas, incluido cómo enviar
pruebas, visite <a data-saferedirecturl="https://www.google.com/url?q=http://www.mncourts.gov/Remote-Hearings&source=gmail&ust=1644345570824000&usg=AOvVaw1hLA6VV990URkeExPZydlR" href="http://www.mncourts.gov/Remote-Hearings" target="_blank">www.mncourts.gov/Remote-<wbr></wbr>Hearings</a>. Booqo <a data-saferedirecturl="https://www.google.com/url?q=http://www.mncourts.gov/Remote-Hearings&source=gmail&ust=1644345570824000&usg=AOvVaw1hLA6VV990URkeExPZydlR" href="http://www.mncourts.gov/Remote-Hearings" target="_blank">www.mncourts.gov/Remote-<wbr></wbr>Hearings</a>
oo ka eego faahfaahin iyo siyaabaha aad uga qeybgeli karto
dacwad-dhageysi ah fogaan-arag, iyo sida aad u soo gudbineyso wixii
caddeymo ah. To receive an eReminder for future court dates via e-mail
or text, visit <a data-saferedirecturl="https://www.google.com/url?q=http://www.mncourts.gov/Hearing-eReminders.aspx&source=gmail&ust=1644345570824000&usg=AOvVaw0Y4OgqRDLGicakCwOzKcEx" href="http://www.mncourts.gov/Hearing-eReminders.aspx" target="_blank">www.mncourts.gov/Hearing-<wbr></wbr>eReminders.aspx</a>
or scan the QR code to enroll. Dated: December 6, 2021 cc: Kathryn A.
Ouren Otter Tail County Court Administrator 121 W. Junius Ave. Fergus
Falls MN 56537 218-560-7045 Matthew Spielman Matthew Calvin Porter
MNCIS-PAN-104 STATE Notice</div><div><br /></div><div>Mary Pat Maher Executive Assistant Minnesota Board on Judicial Standards 651- 296-3999:</div><div><br /></div><div>Is
it or isn't it a judicial officer's job to take advantage of people
with mental conditions in their court? Is that why Otter Tail County
Judicial Officer Johnathan R Judd willfully refused to allow Stacy
Schoon to file her complaint against her public defender Matthew Porter
into the Register of Actions for Case No. 56-CR-20-926 State of
Minnesota vs Stacy Joy Schoon? Judd is taking advantage of Schoon's
tendencies of indecisiveness, perfectionism, avoidance, procrastination,
isn't he? Judd knows or should know that Schoon proclaimed her
innocence in her complaint, right? So Judd should be asking a lot of
specific question of why Schoon suddenly wants to plead guilty,
shouldn't he?</div><div><br /></div><div>Terry Dean, Nemmers 320-283-5713<br /></div><div><br /></div><div><div><a data-saferedirecturl="https://www.google.com/url?q=https://www.mayoclinic.org/diseases-conditions/hoarding-disorder/symptoms-causes/syc-20356056&source=gmail&ust=1644345570824000&usg=AOvVaw3xKw-S_mQinXz87c2YgrCl" href="https://www.mayoclinic.org/diseases-conditions/hoarding-disorder/symptoms-causes/syc-20356056" target="_blank">https://www.mayoclinic.org/<wbr></wbr>diseases-conditions/hoarding-<wbr></wbr>disorder/symptoms-causes/syc-<wbr></wbr>20356056</a>
Hoarding disorder Overview Signs and symptoms may include: Excessively
acquiring items that are not needed or for which there's no space
Persistent difficulty throwing out or parting with your things,
regardless of actual value Feeling a need to save these items, and
being upset by the thought of discarding them Building up of clutter to
the point where rooms become unusable Having a tendency toward
indecisiveness, perfectionism, avoidance, procrastination, and problems
with planning and organizing. Risk factors include: Personality. Many
people who have hoarding disorder have a temperament that includes
indecisiveness. Family history. There is a strong association between
having a family member who has hoarding disorder and having the disorder
yourself. Stressful life events. Some people develop hoarding disorder
after experiencing a stressful life event that they had difficulty
coping with, such as the death of a loved one, divorce, eviction or
losing possessions in a fire.<br /></div><div><br /></div><div><a data-saferedirecturl="https://www.google.com/url?q=https://www.mncourts.gov/About-The-Courts/Overview/JudicialDirectory/Bio.aspx?jid%3D1890&source=gmail&ust=1644345570824000&usg=AOvVaw1hbYswTJo66OYzYbKUfG2p" href="https://www.mncourts.gov/About-The-Courts/Overview/JudicialDirectory/Bio.aspx?jid=1890" target="_blank">https://www.mncourts.gov/<wbr></wbr>About-The-Courts/Overview/<wbr></wbr>JudicialDirectory/Bio.aspx?<wbr></wbr>jid=1890</a>
Judge Johnathan Judd Otter Tail County Courthouse Seventh Judicial
District (218) 560-7045 Seventh Judicial District Judicial Officers
Judge Johnathan Judd Appointed/Elected: Appointed on Mar. 1, 2021, by
Governor Tim Walz. Current term expires Jan. 2023. Education: University
of North Dakota School of Law Political science and history degrees,
North Dakota State University Past Employment: Mayor City of Moorhead
Part-time contract, Minnesota Board of Public Defense Prosecutor, Clay
County Attorney’s office Private practice Assistant Public Defender,
Minnesota Board of Public Defense Director of Multicultural Affairs,
Concordia College Minnesota Department of Commerce Law clerk, Judge
Gerald J. Seibel, Morris, MN Professional and Community Activities:
Adjunct instructor, Criminal Justice Department, Minnesota State
University Moorhead Various City of Moorhead commissions and committees</div></div><div><br /></div><div>Kathryn Ouren, Court Administrator 218-560-7045 & Debra Mueske, District Administrator 320-656-3650:</div><div><br /></div><div>Is
or isn't judicial officer Johnathan R. Judd going to ask Stacy Schoon
if she was coerced into dropping her complaint against her backstabbing
public defender Matthew Porter? Why isn't Schoon's complaint against
Porter in the Register of Actions for Schoon's case Case No.
56-CR-20-926 State of Minnesota vs Stacy Joy Schoon? Why are similar
complaints found in the First Judicial District Registers of Actions for
72-CR-20-85 Case Title: State of Minnesota vs JEREMY JAMES BOLES and
State of Minnesota vs Jessica Danielle Hartger but not for Stacy Schoon?
Hmm? Inquiring minds want to know, don't they?</div><div><br /></div><div>Terry Dean, Nemmers 320-283-5713</div><div><br /></div><div>Discrimination,
Harassment and Retaliation Policy Statement It is the policy of the
Board of Public Defense that discrimination, harassment, and retaliation
in the workplace be prohibited. Discrimination or harassment based on
sex, race, color, creed, religion, national origin, age, veteran status,
marital status, sexual orientation, disability, or status with regard
to public assistance will not be tolerated. It is the responsibility of
Board of Public Defense employees to strive to create an environment
free of harassment, discrimination, and retaliation. All Board employees
are expected to treat other employees and the public with dignity, and
respect and to comply with this policy. ... 4. Retaliation Retaliation
includes, but is not limited to, intentionally engaging in any form of
intimidation, reprisal or harassment against an individual because he or
she made a complaint under this policy or assisted or participated in
any manner in an investigation, or process under this policy, regardless
of whether a claim of discrimination or harassment is substantiated; or
associated with a person or group of persons who are disabled or are of
a different race, color, creed, religion, sexual orientation or
national origin. Retaliation may occur whether or not there is a power
or authority differential between the individuals involved. State of
Minnesota Board of Public Defense General Office Policies –Revised May
2019</div><div> </div><div>More to come ...</div><div> </div><div>Related Links:</div><div> </div><div><a href="https://lionnews00.blogspot.com/2021/09/schoon-reports-backstabbing-public.html">Schoon Reports Backstabbing Public Defender (Pretender, Right?) Matthew Porter To Seventh Judicial District Chief Judicial Officer Sarah E. Hennesy For Sabotaging Case No. 56-CR-20-926 State Of Minnesota Vs Stacy Joy Schoon? Corrupt Otter Tail County Attorney Michelle Eldien Illegally Withholding Preliminary Audio Recorded Statements? Corrupt City Of Fergus Falls Chief Of Public Safety Director Kile Bergren & Corrupt Otter Tail Co. Sheriff Barry Fitzgibbons Aiding & Abetting Backstabber Porter? </a></div></div>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-66513712541256069192022-01-06T09:59:00.000-08:002022-01-06T09:59:04.985-08:00How About We Submit A Chapter 13 Data Request For The Steele Co. And The Freeborn Co. Contracts AKA Retainer Agreements With Koch & Garvis, LLC For Hanson V Thiele AKA Hanson V Freitag Et Al? Did Assistant Attorney General Ed Stackmeyer Engage In A Sanctionable Activity? Are Sheriff's Thiele & Freitag Worried They Might be Sued For Deisel Therapy? Let's Ask, Shall We? <p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEj52q6arTbUXhkyAy9Besx2qqspo2nB0qdnrJQZsWxz1ocrSbRHRkmqPiBMV0yyKW_DdEegEkJodnZuEbOJ7MB07kaw4HLnKGj8jdDw3FJY4H4aWi-kq40giC5biGFylKk_ZG_CDEsadUCjfhinKsajU_cwjty0PNBziq7MGUirfbUN1cMcmbpkxDh55A=s1323" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="699" data-original-width="1323" height="338" src="https://blogger.googleusercontent.com/img/a/AVvXsEj52q6arTbUXhkyAy9Besx2qqspo2nB0qdnrJQZsWxz1ocrSbRHRkmqPiBMV0yyKW_DdEegEkJodnZuEbOJ7MB07kaw4HLnKGj8jdDw3FJY4H4aWi-kq40giC5biGFylKk_ZG_CDEsadUCjfhinKsajU_cwjty0PNBziq7MGUirfbUN1cMcmbpkxDh55A=w640-h338" width="640" /></a></div><i>from: Lion News lionnews00@gmail.com<br />to: tom.jensen@co.freeborn.mn.us,<br />pat.martinson@co.freeborn.mn.us,<br />andrew@uptownlawyer.com,<br />Scott.Golberg@co.steele.mn.us,<br />catherine.piepho@co.steele.mn.us<br />date: Jan 6, 2022, 11:42 AM<br />subject: Chapter 13 Data Request For Steele Co. And Freeborn Co. Contracts AKA Retainer Agreements With Koch & Garvis, LLC For Hanson V Thiele AKA Hanson V Freitag Et Al<br />mailed-by: gmail.com</i><p></p><p><i>Andrew Stanton Garvis, attorney for Steele Co. Sheriff Lon Thiele & Freeborn Co. Sheriff Kurt Freitag 612-827-8101:</i></p><p><i>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:</i></p><p><i>1. Koch & Garvis, LLC signed contract/retainer agreement with Steele County for legal services for Hanson v. Thiele aka Hanson v. Freitag et al.<br />2. Koch & Garvis, LLC signed contract/retainer agreement with Freeborn County for legal services for Hanson v. Thiele aka Hanson v. Freitag et al.</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. Would it or wouldn't it be a sanctionable offense for Assistant Attorney General Ed Stackmeyer to waste the court's valuable time by filing frivolous filings in Hanson v. Thiele aka Hanson v. Freitag et al? Was it or wasn't it Stackmeyer's duty to notify the Steele & Freeborn County Attorneys instead of the City of Albert Lea City Attorney?<br />P.S.S. Are you or clients worried that Hanson v. Thiele aka Hanson v. Freitag et al would be amended or a separate action might be initiated to address the diesel therapy treatment that Melissa Hanson was allegedly subjected to by your clients? Hmm? Inquiring minds want to know, don't they?<br />P.S.S.S. Will it or won't it affect the credibility of your clients when they both have a well-documented history of willfully refusing to comply with the Minnesota Government Data Practices Act? Hmm? Inquiring minds really want to know, don't they?</i></p><p><i><a href="https://www.yourdictionary.com/diesel-therapy">https://www.yourdictionary.com/diesel-therapy</a> Diesel-therapy noun A form of punishment in which prisoners are shackled and transported long distances for days or weeks.</i></p><p><i><a href="https://mn.gov/admin/data-practices/data/types/contracting/">https://mn.gov/admin/data-practices/data/types/contracting/</a> Can requests for public data be made to the private contractor? Yes, if the public data are not available from the government entity or if it is specified in the contract that the private contractor will reply to data requests (Minnesota Statutes, section 13.05, subdivision 11(b)). The private party must fulfill data requests consistent with the time limits and copy cost requirements of the Data Practices Act (Advisory Opinion 10-024). The government entity continues to be responsible in making decisions about data classification. Unless the contract specifies otherwise, the government entity retains ultimate responsibility for responding even if the data are maintained by the private contractor (Advisory Opinions 09-022 and 09-003).<br /><a href="https://mn.gov/admin/data-practices/data/types/contracting/">https://mn.gov/admin/data-practices/data/types/contracting/</a></i></p><p><i>CASE 0:21-cv-02651-NEB-LIB Doc. 2 Filed 12/15/21 Page 1 of 1 The Office of Minnesota Attorney General Keith Ellison helping people afford their lives and live with dignity and respect • www.ag.state.mn.us December 15, 2021 U.S. Magistrate Judge Leo I. Brisbois United States District Court 515 West 1st Street Room 412 Duluth, MN 55802-1397 Re: United States District Court District of Minnesota Hanson v. Thiele Court File No. 21-CV-02651 (NEB/LIB) (Attorney Substitution) Dear Magistrate Judge Brisbois: Please find, as an attachment to this letter, a letter, dated December 15, 2021, to the Albert Lea City Attorney's Office, asking that office to file a Notice of Appearance in this case on behalf of Respondent. Sincerely, s/Ed Stockmeyer ED STOCKMEYER Assistant Attorney General (651) 757-1247 (Voice) ( 651) 297-4348 (Fax) ed.stockmeyer@ag.state.mn.us Attachment cc: Kelly Martinez, Albert Lea City Attorney (w/attachment) Melissa L. Hanson 445 Minnesota Street, Suite 1400, St. Paul, MN 55101-2131 Office: (651) 296-3353 • Toll Free: (800) 657-3787 • Minnesota Relay: (800) 627-3529 An Equal Opportunity Employer Who Values Diversity • Printed on 30% Post-Consumer Material Paper</i></p><p><i>CASE 0:21-cv-02651-NEB-LIB Doc. 2-1 Filed 12/15/21 Page 1 of 1 The Office of Minnesota Attorney General Keith Ellison helping people afford their lives and live with dignity and respect • www.ag.state.mn.us December 15, 2021 Kelly Martinez Albert Lea City Attorney City Hall 221 East Clark Street Albert Lea, MN 56007 Re: Hanson v. Thiele Court File No. 21-CV-02651 (NEB/LIB) Dear Ms. Martinez: Enclosed please find a federal Petition for Writ of Habeas Corpus and accompanying documents in a case handled by the Albert Lea City Attorney. Because your office has an interest in these prosecutions, we are forwarding this matter to you. We generally do not handle these cases. Accordingly, we ask that you file a Notice of Appearance, letting the United States District Court know that you are the attorney of record for Respondent. By copy of this letter I am advising the Court that the Attorney General's Office does not represent the Respondent in this matter. Please do not hesitate to contact me if you have any questions or would like any sample habeas motions or briefs. Sincerely, s/Ed Stockmeyer ED STOCKMEYER Assistant Attorney General (651) 757-1247 (Voice) (651) 297-4348 (Fax) ed.stockmeyer@ag.state.mn. us Enclosures cc: Magistrate Judge Leo I. Brisbois (w/o encl.) Melissa L. Hanson (w/o encl.) 445 Minnesota Street, Suite 1400, St. Paul, MN 55101-2131 Office: (651) 296-3353 • Toll Free: (800) 657-3787 • Minnesota Relay: (800) 627-3529 An Equal Opportunity Employer Who Values Diversity • Printed on 30% Post-Consumer Material Paper<br /></i></p><p><i>Thomas Jensen, Freeborn County Administrator 507-377-5115 & Pat Martinson, Freeborn Auditor - Treasurer 507-377-5121:</i></p><p><i>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:<br />1. Appointment of Freeborn County Minnesota Government Data Practice Act Responsible Authority and Compliance Official.<br />2. Signed contract/retainer agreement with Koch & Garvis, LLC for legal services for Hanson v. Thiele aka Hanson v. Freitag et al.</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. Does Freeborn County have any plans to illegally withhold Melissa Hanson's Chapter 13.04 Subject Data from her? Hanson's Chapter 13.04 Subject Data would substantiate allegation of diesel therapy aka torture being inflicted upon Hanson, correct?<br />P.S.S. Can you explain to me why oh why Freeborn Co. Sheriff Kurt Freitag is willfully refusing to respond to my most recent Chapter 13 Data Request? Can you also explain why Freeborn Co. Sheriff Kurt Freitag is illegally withholding data from me aka deputy data related to the 02-03-21 COVID-19 superspreader event hosted by City of Albert Lea City Attorney Kelly Martinez? (Agency ALPD Albert Lew PD Incident # 202100003681 Case# CALL FOR SERVICE Activity ALARM Alarm, Burlary Or Robber Priority 2 ASAP Common Place City Hall Blotter: city attorney office alarm 210 no bwc all 10-2 326 bwc 102 BWC 209bwc 211 BWC)</i></p><p><i>Government entities should respond in one of three ways 1. Provide access to the data (and copies when requested) 2. Inform you the data are classified as not public (must give statute section) 3. Inform you the data do not exist • Not responding is not a proper response. Minnesota Department of Administration - Information Policy Analysis Division - Can I ask for that? Government Data Practices Minnesota Statutes, Chapter 13 page 12.</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/13.03">https://www.revisor.mn.gov/statutes/cite/13.03</a> 13.03 ACCESS TO GOVERNMENT DATA. Subd. 3. Request for access to data. Subd. 12. Pleadings. Pleadings, as defined by court rule, served by or on a government entity, are public data to the same extent that the data would be public if filed with the court.</i></p><p><i>Hanson was initially booked into the Freeborn County Jail, but then was moved to the Steele County Jail the day after her sentencing. Monday morning, following obtaining her signature on a writ of habeas corpus, Hanson was moved back to Freeborn County Jail, which made the original writ of habeas corpus, filed for Steele County, invalid. A second was filed on Tuesday, involving both counties of Steele and Freeborn, rather than just Steele. The circumstances surrounding her transfer are unknown. The habeas corpus now lists both Sheriff Kurt Freitag, with Freeborn County, and Sheriff Lon Thiele, with Steele County. EXCLUSIVE: Lisa Hanson Files Writ of Habeas Corpus with United States District Court of Minnesota December 15, 2021 Hayley Feland<br /><a href="https://theminnesotasun.com/2021/12/15/exclusive-lisa-hanson-files-writ-of-habeas-corpus-with-united-states-district-court-of-minnesota/">https://theminnesotasun.com/2021/12/15/exclusive-lisa-hanson-files-writ-of-habeas-corpus-with-united-states-district-court-of-minnesota/</a></i></p><p><i>318.1.1 STANDARDS OF CONDUCT FOR PEACE OFFICERS The Freeborn County Sheriff's Office 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 office. See attachment: MN POST Professional Conduct of Peace Officers Model Policy.pdf The provisions of this policy are in addition to collective bargaining agreements or any other applicable law (see generally Minn. R. 6700.1500). The Office shall report annually to POST any data regarding the investigation and disposition of cases involving alleged misconduct of deputies (Minn. Stat. § 626.8457, Subd. 3). Page 154. Policy 318 Standard of Conduct Freeborn County Sheriff's Office Freeborn Cnty SO Policy Manual</i></p><p><i>A. PRINCIPLE ONE Peace officers shall conduct themselves, whether on or off duty, in accordance with the Constitution of the United States, the Minnesota Constitution, and all applicable laws, ordinances and rules enacted or established pursuant to legal authority. 1. Rationale: Peace officers conduct their duties pursuant to a grant of limited authority from the community. Therefore, officers must understand the laws defining the scope of their enforcement powers. Peace officers may only act in accordance with the powers granted to them. 2. Rules a) Peace officers shall not knowingly exceed their authority in the enforcement of the law. b) Peace officers shall not knowingly disobey the law or rules of criminal procedure in such areas as interrogation, arrest, detention, searches, seizures, use of informants, and preservation of evidence, except where permitted in the performance of duty under proper authority. c) Peace officers shall not knowingly restrict the freedom of individuals, whether by arrest or detention, in violation of the Constitutions and laws of the United States and the State of Minnesota. d) Peace officers, whether on or off duty, shall not knowingly commit any criminal offense under any laws of the United States or any state or local jurisdiction. Page 685. Attachment MN POST Professional Conduct of Peace Officers Model Policy.pdf Freeborn Cnty SO Policy Manual Freeborn Cnty SO Policy Manual</i></p><p><i>Scott Golberg, Steele Co. Administrator 507.444.7431 & Catherine Piepho, Treasurer 507-444-7420:</i></p><p><i>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:<br />1. Appointment of Steele County Minnesota Government Data Practice Act Responsible Authority and Compliance Official.<br />2. Signed contract/retainer agreement with Koch & Garvis, LLC for legal services for Hanson v. Thiele aka Hanson v. Freitag et al</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. Does Steele County have any plans to illegally withhold Melissa Hanson's Chapter 13.04 Subject Data from her? Hanson's Chapter 13.04 Subject Data would substantiate allegation of diesel therapy aka torture being inflicted upon Hanson, correct?<br />P.S.S. Can you explain to me why oh why your Steele Co. Sheriff Lon Thiele would illegally withhold the jail rosters from me that correspond to Melissa Hanson's stay at the Steele Co. jail?</i></p><p><i>A response five weeks later is neither prompt nor reasonable. Although the Department did not provide information about its data practices policies and procedures, in instances like this one, those procedures ought to provide for a response within a matter of days, not weeks. Advisory Opinion 95-042. October 31, 1995; Minnesota Department of Children, Families and Learning. October 31, 1995 | Inspection, Response to data requests, Statutory construction (Ch. 645)<br /><a href="https://mn.gov/admin/data-practices/opinions/library/?id=36-267796">https://mn.gov/admin/data-practices/opinions/library/?id=36-267796</a></i></p><p><i>321.1.1 STANDARDS OF CONDUCT FOR PEACE OFFICERS The Steele County Sheriff's Office 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 office. See attachment: MN POST Professional Conduct of Peace Officers Model Policy.pdf The provisions of this policy are in addition to collective bargaining agreements or any other applicable law (see generally Minn. R. 6700.1500). The Office shall report annually to POST any data regarding the investigation and disposition of cases involving alleged misconduct of deputies (Minn. Stat. § 626.8457, Subd. 3). Page 155. Policy 321 Steele County Sheriff's Office Steele County SO Policy Manual</i></p><p><i>A. PRINCIPLE ONE Peace officers shall conduct themselves, whether on or off duty, in accordance with the Constitution of the United States, the Minnesota Constitution, and all applicable laws, ordinances and rules enacted or established pursuant to legal authority. 1. Rationale: Peace officers conduct their duties pursuant to a grant of limited authority from the community. Therefore, officers must understand the laws defining the scope of their enforcement powers. Peace officers may only act in accordance with the powers granted to them. 2. Rules a) Peace officers shall not knowingly exceed their authority in the enforcement of the law. b) Peace officers shall not knowingly disobey the law or rules of criminal procedure in such areas as interrogation, arrest, detention, searches, seizures, use of informants, and preservation of evidence, except where permitted in the performance of duty under proper authority. c) Peace officers shall not knowingly restrict the freedom of individuals, whether by arrest or detention, in violation of the Constitutions and laws of the United States and the State of Minnesota. d) Peace officers, whether on or off duty, shall not knowingly commit any criminal offense under any laws of the United States or any state or local jurisdiction. Page 569. Attachment MN POST Professional Conduct of Peace Officers Model Policy.pdf Steele County SO Policy Manual Steele County SO Policy Manual</i></p><p><i><a href="https://www.pacermonitor.com/public/case/42939573/Hanson_v_Thiele">https://www.pacermonitor.com/public/case/42939573/Hanson_v_Thiele</a><br />Hanson v. Thiele<br />Minnesota District Court<br />Judge: Nancy E Brasel<br />Referred: Leo I Brisbois<br />Case #: 0:21-cv-02651<br />Nature of Suit 530 Prisoner Petitions - Habeas Corpus - General<br />Cause 28:2241 Petition for Writ of Habeas Corpus (federa<br />Case Filed: Dec 13, 2021<br />Docket<br />Docket last updated: 7 hours ago<br />Wednesday, January 05, 2022<br />4 notice Notice of Appearance Wed 01/05 11:15 AM<br />NOTICE of Appearance by Andrew S Garvis on behalf of All Defendants. (Garvis, Andrew)<br />Wednesday, December 15, 2021<br />2 misc Letter to Magistrate Judge Wed 12/15 9:33 AM<br />LETTER TO MAGISTRATE JUDGE by Lon Thiele Attorney Substitution .(Stockmeyer, Edwin)<br /> Att: 1 Cover Letter Attorney Substitution<br />Tuesday, December 14, 2021<br />3 cmp Amended Petition (in a Civil Case) Wed 12/15 12:08 PM<br />AMENDED PETITION for Writ of Habeas Corpus against Lon Thiele and Sheriff Kurt Freitag filed by Melissa Lynn Hanson. No summons requested. (MKB)<br /> Att: 1 Attachment,<br /> Att: 2 Exhibit(s) A,<br /> Att: 3 Exhibit(s) B,<br /> Att: 4 Exhibit(s) C,<br /> Att: 5 Exhibit(s) D,<br /> Att: 6 Exhibit(s) E,<br /> Att: 7 Exhibit(s) F<br />Monday, December 13, 2021<br />1 cmp Petition for Writ of Habeas Corpus Mon 12/13 12:48 PM<br />PETITION for Writ of Habeas Corpus (filing fee $5, receipt number 34641016375) filed by Melissa Lynn Hanson. Case assigned to Judge Nancy E. Brasel per 3rd/4th Prisoner list, referred to Magistrate Judge Leo I. Brisbois. (NAH)<br /> Att: 1 Exhibit(s) A,<br /> Att: 2 Exhibit(s) B,<br /> Att: 3 Exhibit(s) C,<br /> Att: 4 Exhibit(s) D,<br /> Att: 5 Exhibit(s) E,<br /> Att: 6 Exhibit(s) F,<br /> Att: 7 Civil Cover Sheet<br /></i></p><p><i>Attachments: Automatic reply Chapter 13 Data For Melissa Hanson Related Data Freitag Subjecting Prisoner Lisa Hanson To Diesel Therapy122921_1008am.pdf, Chapter 13 Data For Melissa Hanson Related Data Freitag Subjecting Prisoner Lisa Hanson To Diesel Therapy122921_1007am.pdf, Why Is Nemmers Still Being Harassed By Steele County Over Readily Available Free Electronic Data For Petition For Writ Of Habeas Corpus123021_729am.pdf</i> <br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEjDroNbZZ8Th8u_tR_IG97mVYr8ublnmhtasJPKIKrznHsbnfoJFFM5ryex7ROFxD6dg1-mLSUls9QbSPIH-Tdc46Rbe3rbCqoO5jDiJmujrkchFmOT331AkOjZvEPYQriwIZKh4A1Q8hhlO2qh4o0bnle8S-nzaahvCWFWKDEIaFnj298m4CbL0cP__A=s1323" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="699" data-original-width="1323" height="338" src="https://blogger.googleusercontent.com/img/a/AVvXsEjDroNbZZ8Th8u_tR_IG97mVYr8ublnmhtasJPKIKrznHsbnfoJFFM5ryex7ROFxD6dg1-mLSUls9QbSPIH-Tdc46Rbe3rbCqoO5jDiJmujrkchFmOT331AkOjZvEPYQriwIZKh4A1Q8hhlO2qh4o0bnle8S-nzaahvCWFWKDEIaFnj298m4CbL0cP__A=w640-h338" width="640" /></a></div><p></p><p>More to come ...</p><p>Related links:</p><p><a href="https://lionnews00.blogspot.com/2021/08/why-oh-why-arent-freeborn-co-sheriff.html">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?</a> <br /></p><p><a href="http://lionnews00.blogspot.com/2021/08/who-want-chapter-13-data-for-02-03-21.html">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?</a></p><p><a href="https://lionnews00.blogspot.com/2021/05/why-oh-why-is-city-of-albert-lea-city.html">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?</a></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-54214377516713190122022-01-04T09:21:00.002-08:002022-01-04T10:39:04.423-08:00Who Wants To Ask DNR Commissioner Sarah Strommen Why DNR Personnel Harassing Are Nemmers For Exposing Illegal Release Of Confidential 13.82 Subd. 7. Criminal Investigative Data For State Of MN VS Michael Sysa 39-VB-21-468, David Sysa 39-VB-21-469 And Yevgeniy Simonovich 39-VB-21-470? Why Don't We Ask Lake of the Woods County Attorney Jim Austad If He AUthorized The Data Breach?<p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEhEk14XQ63V5DbrF9JX9wuIILadNPP2vTPJXujM7ViSkpg0E1OAHl2psJty-M0d0P3iZW1tEzdMeTJqPtKdtmQH84REiWYX_L0fenUMrWr5qlGekeGkpwi-fF-BvwXOONS95-eQXhumqll4BXtlk7FNo8yq7sYW88xXDtA9T8sOmoB7v5Co-9PB3tdTXg=s1100" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEhEk14XQ63V5DbrF9JX9wuIILadNPP2vTPJXujM7ViSkpg0E1OAHl2psJty-M0d0P3iZW1tEzdMeTJqPtKdtmQH84REiWYX_L0fenUMrWr5qlGekeGkpwi-fF-BvwXOONS95-eQXhumqll4BXtlk7FNo8yq7sYW88xXDtA9T8sOmoB7v5Co-9PB3tdTXg=w494-h640" width="494" /></a></div><p></p><p><i>from: Lion News lionnews00@gmail.com<br />to: Barb.Naramore@state.mn.us,<br />Sarah.Strommen@state.mn.us,<br />jim_a@co.lotw.mn.us,<br />"Alongi, Anthony (DNR)" anthony.alongi@state.mn.us,<br />"MN_Data Request (DNR)" datarequest.dnr@state.mn.us<br />date: Jan 4, 2022, 10:37 AM<br />subject: Why Are DNR Personnel Harassing Nemmers For Exposing Illegal Release Of Confidential 13.82 Subd. 7. Criminal Investigative Data For State Of MN VS Michael Sysa 39-VB-21-468, David Sysa 39-VB-21-469 And Yevgeniy Simonovich 39-VB-21-470?<br />mailed-by: gmail.com</i></p><p><i>Sarah Strommen, DNR Commissioner & Barb Naramore, Deputy DNR Commissioner 651-259-5033:</i></p><p><i>Can you explain to me why oh why I am being harassed by your miscreant DNR Data Practices Compliance Official Barbara Damchik-Dykes 651.259.5345 and Policy and Planning MN Department of Natural Resources Section Manager Anthony Alongi 651.259.5556? Why are they retaliating against me for exposing a DNR data breach? When am I going to receive the current policy and procedure manual (You call them Directives, don't you?) that I requested way, way, way, way, way back in November? When is that data showing up in my email inbox? And when am I going to receive the DNR's data that indicates that you notified Michael A Sysa (Case No. 39-VB-21-468 State Of Minnesota vs Michael A Sysa) David Alekseevich Sysa (Case No. 39-VB-21-469 State Of Minnesota vs David Alekseevich Sysa) and Yevgeniy Sergeyevich Simonovich (Case No. 39-VB-21-470 State Of Minnesota vs Yevgeniy Sergeyevich Simonovich) of the DNR's illegal release of their confidential 13.82 Subd. 7. criminal investigative data to members of the media? Five (5) minutes from never?</i></p><p><i>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:</i></p><p><i>1. Data indicating that either Jim Austad, Lake of the Woods County Attorney or his office personnel authorized the MN DNR to illegally release Michael A Sysa's (Case No. 39-VB-21-468 State Of Minnesota vs Michael A Sysa) David Alekseevich Sysa's (Case No. 39-VB-21-469 State Of Minnesota vs David Alekseevich Sysa) and Yevgeniy Sergeyevich Simonovich's (Case No. 39-VB-21-470 State Of Minnesota vs Yevgeniy Sergeyevich Simonovich) confidential 13.82 Subd. 7. criminal investigative data to members of the media.</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>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.<br />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.<br />The Court: Mr. Hochsprung?<br />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.</i></p><p><i>VIII. PRINCIPLE FIVE Conservation Officers shall treat all members of the public courteously and with respect. A. Rationale Conservation Officers are one of the most visible forms of state government. Therefore, Conservation Officers must make a positive impression when interacting with the public and each other. B. Rules 3. No Conservation Officer shall ridicule, mock, deride, taunt, belittle, willfully embarrass, humiliate, or shame a person, or do anything reasonably calculated to incite a person to violence. A-4-99, CONDUCT UNBECOMING A CONSERVATION OFFICER Page 6. MINNESOTA DEPARTMENT OF NATURAL RESOURCES DIVISION OF ENFORCEMENT DIRECTIVE DIRECTIVE NUMBER: A-4-99 SUBJECT: CONDUCT UNBECOMING A CONSERVATION OFFICER EFFECTIVE DATE: March 30, 1999 SPECIAL INSTRUCTIONS: Rescinds Directive 61-96 REFERENCE: Minnesota Statute Sec 626.8457, 43A.38, 43A.39; Directive A-3-98; C.L.E.A. 26.1; State Electronic Mail and Internet Policy; POST Model Conduct Policy DISTRIBUTION: All Division Employees NUMBER OF PAGES: 31</i></p><p><i>Monday, November 22, 2021 DNR Data Practices Compliance Official Barbara Damchik-Dykes 651.259.5345 Reported To MN Department Of Natural Resources Policy And Planning Section Manager Anthony Alongi After Damchik-Dykes Harasses Nemmers Over Request For Entire DNR Policy & Procedure Manual & After Damchik-Dykes Illegally Releases Confidential 13.82 Subd. 7. Criminal Investigative Data For High-Profile Case No. 39-VB-21-468 State Of Minnesota Vs Michael A Sysa; Case No. 39-VB-21-469 State Of Minnesota Vs David Alekseevich Sysa And Case No. 39-VB-21-470 State Of Minnesota Vs Yevgeniy Sergeyevich Simonovich To Media Outlets And To Nemmers? <a href="http://lionnews00.blogspot.com/2021/11/dnr-data-practices-compliance-official.html">http://lionnews00.blogspot.com/2021/11/dnr-data-practices-compliance-official.html</a></i></p><p><i>h<a href="ttps://www.revisor.mn.gov/statutes/cite/13.055">ttps://www.revisor.mn.gov/statutes/cite/13.055</a> 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. (b) Notwithstanding section 13.15 or 13.37, upon completion of an investigation into any breach in the security of data and final disposition of any disciplinary action for purposes of section 13.43, including exhaustion of all rights of appeal under any applicable collective bargaining agreement, the responsible authority shall prepare a report on the facts and results of the investigation. If the breach involves unauthorized access to or acquisition of data by an employee, contractor, or agent of the government entity, the report must at a minimum include: (1) a description of the type of data that were accessed or acquired; (2) the number of individuals whose data was improperly accessed or acquired; (3) if there has been final disposition of disciplinary action for purposes of section 13.43, the name of each employee determined to be responsible for the unauthorized access or acquisition, unless the employee was performing duties under chapter 5B; and (4) the final disposition of any disciplinary action taken against each employee in response.</i></p><p><i>Jim Austad, Lake of the Woods County Attorney 218-634-1190:</i></p><p><i>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:</i></p><p><i>1. Your current Lake of the Woods County Attorney's office general policy and procedure manual and prosecutor's policy and procedure manual.<br />2. Data indicating that either you or your office personnel authorized the MN DNR to illegally release Michael A Sysa's (Case No. 39-VB-21-468 State Of Minnesota vs Michael A Sysa) David Alekseevich Sysa's (Case No. 39-VB-21-469 State Of Minnesota vs David Alekseevich Sysa) and Yevgeniy Sergeyevich Simonovich's (Case No. 39-VB-21-470 State Of Minnesota vs Yevgeniy Sergeyevich Simonovich) confidential 13.82 Subd. 7. criminal investigative data to members of the media.</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. Do you remember that the evidence of your willful refusal to comply with the Minnesota Government Data Practices Act was used by me to toss a huge monkey wrench into your failed 2016 attempt to be appointed as a judicial officer?<br />P.S.S. Are you going to harass me with snail mail, again? Or are you going to harass me with electronic communications this time?</i></p><p><i><a href="https://www.revisor.mn.gov/court_rules/pr/subtype/cond/id/3.8/">https://www.revisor.mn.gov/court_rules/pr/subtype/cond/id/3.8/</a> Minnesota Court Rules PROFESSIONAL RULES Minnesota Rules of Professional Conduct Rule 3.8 Special Responsibilities of a Prosecutor The prosecutor in a criminal case shall: (f) exercise reasonable care to prevent employees or other persons assisting or associated with the prosecutor in a criminal case and over whom the prosecutor has direct control from making an extrajudicial statement that the prosecutor would be prohibited from making under Rule 3.6.</i></p><p><i>IV. PRINCIPLE ONE Conservation Officers shall conduct themselves, whether on or off duty, in accordance with the Constitution of the United States, the Minnesota Constitution, and all applicable laws, ordinances, and rules enacted or established pursuant to legal authority. A. Rationale Conservation Officers conduct their duties pursuant to a grant of limited authority. Therefore, officers must understand the laws defining the scope of their enforcement powers. Conservation Officers may only act in accordance with powers granted to them. B. Rules 1. Conservation Officers shall not knowingly exceed their authority in the enforcement of the law. 2. Conservation Officers shall not knowingly disobey the law or rules of criminal procedure in such areas as interrogation, arrest, detention, searches, seizures, use of informants, preservation of evidence, and use of force. A-4-99, CONDUCT UNBECOMING A CONSERVATION OFFICER Page 2. MINNESOTA DEPARTMENT OF NATURAL RESOURCES DIVISION OF ENFORCEMENT DIRECTIVE DIRECTIVE NUMBER: A-4-99 SUBJECT: CONDUCT UNBECOMING A CONSERVATION OFFICER EFFECTIVE DATE: March 30, 1999 SPECIAL INSTRUCTIONS: Rescinds Directive 61-96 REFERENCE: Minnesota Statute Sec 626.8457, 43A.38, 43A.39; Directive A-3-98; C.L.E.A. 26.1; State Electronic Mail and Internet Policy; POST Model Conduct Policy DISTRIBUTION: All Division Employees NUMBER OF PAGES: 31</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/13.82">https://www.revisor.mn.gov/statutes/cite/13.82</a> 13.82 COMPREHENSIVE LAW ENFORCEMENT DATA. Subd. 7. Criminal investigative data. Except for the data defined in subdivisions 2, 3, and 6, investigative data collected or created by a law enforcement agency in order to prepare a case against a person, whether known or unknown, for the commission of a crime or other offense for which the agency has primary investigative responsibility are confidential or protected nonpublic while the investigation is active. Inactive investigative data are public unless the release of the data would jeopardize another ongoing investigation or would reveal the identity of individuals protected under subdivision 17. Images and recordings, including photographs, video, and audio records, which are part of inactive investigative files and which are clearly offensive to common sensibilities are classified as private or nonpublic data, provided that the existence of the images and recordings shall be disclosed to any person requesting access to the inactive investigative file. An investigation becomes inactive upon the occurrence of any of the following events: (a) a decision by the agency or appropriate prosecutorial authority not to pursue the case; (b) expiration of the time to bring a charge or file a complaint under the applicable statute of limitations, or 30 years after the commission of the offense, whichever comes earliest; or (c) exhaustion of or expiration of all rights of appeal by a person convicted on the basis of the investigative data. Any investigative data presented as evidence in court shall be public. Data determined to be inactive under clause (a) may become active if the agency or appropriate prosecutorial authority decides to renew the investigation.</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEinJ_tP_2-0tky4jpYGSy8c0fk_ScKAcqPbzSywXfGm6Nzlu_kyLllLrRHsqqkJ9XQcjrcDIhmaNKAf_DuNB-czj_XnfACWiSY8f1d4PurUXegVmUbd9Rg7euC-zd4j4oGFGbir9ZzQva0QJ2ONcd1V6rew3084lb3pPhLeBh5Qp11P1TPINFTNaomhVw=s1100" imageanchor="1" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEinJ_tP_2-0tky4jpYGSy8c0fk_ScKAcqPbzSywXfGm6Nzlu_kyLllLrRHsqqkJ9XQcjrcDIhmaNKAf_DuNB-czj_XnfACWiSY8f1d4PurUXegVmUbd9Rg7euC-zd4j4oGFGbir9ZzQva0QJ2ONcd1V6rew3084lb3pPhLeBh5Qp11P1TPINFTNaomhVw=w494-h640" width="494" /></a></div><br /><p></p><p><i>from: Lion News lionnews00@gmail.com<br />to: savanna_s@co.lotw.mn.us<br />date: Jan 4, 2022, 10:41 AM<br />subject: Fwd: Why Are DNR Personnel Harassing Nemmers For Exposing Illegal Release Of Confidential 13.82 Subd. 7. Criminal Investigative Data For State Of MN VS Michael Sysa 39-VB-21-468, David Sysa 39-VB-21-469 And Yevgeniy Simonovich 39-VB-21-470?<br />mailed-by: gmail.com</i> <br /></p><p></p><p>More to come ...</p><p>Related Links:</p><p><a href="http://lionnews00.blogspot.com/2021/11/dnr-data-practices-compliance-official.html">DNR Data Practices Compliance Official Barbara Damchik-Dykes 651.259.5345 Reported To MN Department Of Natural Resources Policy And Planning Section Manager Anthony Alongi After Damchik-Dykes Harasses Nemmers Over Request For Entire DNR Policy & Procedure Manual & After Damchik-Dykes Illegally Releases Confidential 13.82 Subd. 7. Criminal Investigative Data For High-Profile Case No. 39-VB-21-468 State Of Minnesota Vs Michael A Sysa; Case No. 39-VB-21-469 State Of Minnesota Vs David Alekseevich Sysa And Case No. 39-VB-21-470 State Of Minnesota Vs Yevgeniy Sergeyevich Simonovich To Media Outlets And To Nemmers?</a></p><p><a href="https://lionnews00.blogspot.com/2019/02/update-formal-criminal-complaint.html">Update:
Formal Criminal Complaint Against Your Corrupt City Of Mountain Lake
City Administrator/Clerk Michael Schulte, Your Corrupt Chief Of Police
Douglas Bristol, & Your Corrupt City Attorney Maryellen Shrhoff?
Corrupt DNR Again Caught Illegally Releasing Confidential 13.82 Subd. 7.
Criminal Investigative Data In High-Profile Cases: Chanhthone Phongsim
17-VB-18-491 & Isouvahn Xayachack 17-VB-18-492? Public Portion Of
Initial Criminal Complaint Arrives? Case SO19020069?</a> </p><p>
<a href="http://lionnews00.blogspot.com/2019/02/formal-criminal-complaint-against-your.html">Formal
Criminal Complaint Against Your Corrupt City Of Mountain Lake City
Administrator/Clerk Michael Schulte, Your Corrupt Chief Of Police
Douglas Bristol, & Your Corrupt City Attorney Maryellen Shrhoff?
Corrupt DNR Again Caught Illegally Releasing Confidential 13.82 Subd. 7.
Criminal Investigative Data In High-Profile Cases: Chanhthone Phongsim
17-VB-18-491 & Isouvahn Xayachack 17-VB-18-492?</a><br />
<br />
<a href="https://lionnews00.blogspot.com/2018/08/witness-intimidation-harassment-by.html">Witness
Intimidation & Harassment By Judicial Officer Rachel C. Sullivan?
Judicial Officer Sullivan & St Louis County Personnel Conspire To
Provoke Witness Rick Kottom In Hopes Of Inciting Kottom To Violence?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2018/07/kottom-tosses-another-monkey-wrench.html">Kottom
Tosses Another Monkey Wrench Into Rigged 69DU-CR-17-900? Kottom's
07-01-18 Complaint To Chief Judicial Officer Sally L. Tarnowski?</a><br />
<br />
<a href="https://lionnews00.blogspot.com/2018/04/kottom-criminal-complaint-toss-huge.html">Kottom
Criminal Complaint Tosses Huge Monkey Wrench Into 69DU-CR-17-900 Trial?
St. Louis Co. Attorney Mark S. Rubin, St. Louis Co. Attorney Criminal
Division Head Gary W. Bjorklund, St. Louis Co. Assistant County Attorney
Christopher Pinkert, Dept Of Natural Resources (DNR) Colonel Rodmen
Smith, DNR Administrative Manager Captain Alex Gutierrez & MN DNR
Data Practices Compliance Official Sheila Deyo All Named In Kottom
Complaint? DNR & Corrupt Prosecutors Have Well-Documented History Of
Trying Cases In Court Of Public Opinion, Don't They?
Confidential/Nonpublic Criminal Investigative Data Illegally Released To
Lap-Dog Media, Right?</a><br />
<br />
<a href="https://lionnews00.blogspot.com/2015/09/update-on-dnrs-illegal-search-seizure.html">Update
On DNR's Illegal Search & Seizure At Indiana Fisherman's Upper
Cormorant Lake Cabin? David Deckard, Oklahoma, Chair Interstate Wildlife
Violator Compact Notified Of Corrupt MN DNR's History Of Obstructing
Justice? Does the Interstate Wildlife Violator Compact Encourage Or
Discourage Due Process Violations? Inquiring Minds Want To Know, Don't
They? Anthony Emmons (CASE NO. 03-CR-15-1798) Clifford Emmons (CASE NO.
03-CR-15-1800) & Ryan Emmons (CASE NO. 03-CR-15-1802) Exposing CO
Joseph Stattelman's Breaking & Entering Of Cabin?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2017/06/corrupt-dnr-conspires-with-hacks-at.html">Corrupt
DNR Conspires With Hacks At KARE 11 TV To Rig Case No. 69DU-CR-17-901
State Of Mn VS Douglas Anthony Marana & Case No. 69DU-CR-17-900
State Of MN VS Roderick Robert Kottom? DNR Illegally Releases
Confidential Data Yet Again, Right? Do You Remember Former DNR Col
Rodmen Illegally Releasing 03-CR-15-1798, 03-CR-15-1800, 03-CR-15-1801,
03-CR-15-1802, 03-CR-15-1803 & 03-CR-15-1804 Confidential Data To
WCCO-TV Hack Bill Hudson?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2015/12/dnrs-major-salto-not-fazed-by-co.html">DNR's
Major Greg Salo Not Fazed By CO Osborne's Coercive Invasion Of
Johnson's Home? Case No. 21-CR-13-51 State of Minnesota vs Ronald Wayne
Johnson Still Maliciously Prosecuted By Former Pope Co. Assistant
Attorney/Douglas Co. Attorney Chad "The Felon" Larson? Larson And DNR
Have A Well-Documented History Of Home Invasion, Don't They?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2015/09/update-on-dnrs-illegal-search-seizure.html">Update
On DNR's Illegal Search & Seizure At Indiana Fisherman's Upper
Cormorant Lake Cabin? David Deckard, Oklahoma, Chair Interstate Wildlife
Violator Compact Notified Of Corrupt MN DNR's History Of Obstructing
Justice? Does the Interstate Wildlife Violator Compact Encourage Or
Discourage Due Process Violations? Inquiring Minds Want To Know, Don't
They? Anthony Emmons (CASE NO. 03-CR-15-1798) Clifford Emmons (CASE NO.
03-CR-15-1800) & Ryan Emmons (CASE NO. 03-CR-15-1802) Exposing CO
Joseph Stattelman's Breaking & Entering Of Cabin?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2015/08/dnr-caught-sending-confidential.html">DNR
Caught Sending Confidential Criminal Investigative Data To Brainerd
Dispatch (Forum Communication Company)? Indiana Fisherman Victims Of
Illegal Search & Seizure? Missing Audio? Nemmers' Call To Detroit
Lakes Newspaper Editor Nathan Bowe (Forum Communication Company) Forces
08/31/2015 Arraignment To Be Reset By Court To 09/28/2015? (Nemmers
Threw A Monkey Wrench Into 03-CR-15-1798, 03-CR-15-1800, 03-CR-15-1801,
03-CR-15-1802, 03-CR-15-1803, 03-CR-15-1804, Didn't He? Thank You,
Jesus!) Sounds Like Ronald Johnson's Rigged Case No. 21-CR-13-51,
Doesn't It?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2015/06/echo-presss-forum-communications.html">Echo
Press Editor (Forum Communications Company, Right?) Al Edenloff
Conspired With Corrupt DNR Officer Shane Osborne To Rig Case No.
21-CR-13-51 State of Minnesota vs Ronald Wayne Johnson? Court Documents
Reveal Corrupt Editor Edenloff Knowingly Willingly & Intentionally
Published Confidential Chapter 13.82 Criminal Investigative Data? Former
Corrupt Douglas Co. Attorney & Current Corrupt Defense Attorney
Chris Karpan Filing A Loony Appeal That Doesn't Address Illegal Search
By His Buddy DNR Officer Osborne? No Surprise, Right?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2014/09/dnr-invades-ronald-wayne-johnson.html">DNR
Invades Ronald Wayne Johnson's Home Without Probable Cause? Johnson Is A
Victim Of DNR Home Invasion, Isn't He? Case No. 21-CR-13-51 State of
Minnesota vs Ronald Wayne Johnson Maliciously Prosecuted By Chad "The
Felon" Larson? "The Felon" Larson Has A Well-Documented History Of
Covering Up Illegal Home Invasions, Doesn't He? Sounds Like Pope Co Home
Invasion Of Nemmers' Home, Doesn't It? DNR's CO Shane Osborne Tampered
With Audio To Cover Up Home Invasion?</a></p><p></p><p></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-67818665893789951222021-12-17T05:04:00.003-08:002021-12-17T05:04:29.432-08:00Who Wants A Copy Of The Public Portion Of Larvita McFarquhar's ICR 21-17510 For Her Criminal Complaint Against City Of Marshall City Attorney Dennis Simpson, Assistant City Of Marshall City Attorney Matthew Gross And Director Of Public Safety Jim Marshall? Let's Submit A Chapter 13 Data Quest, Shall We? It's Still Rigged Case No. 42-CR-21-98 State Of Minnesota Vs Larvita Maria Elen Mcfarquhar, Isn't It?<p><i>from: Lion News lionnews00@gmail.com<br />to: President@smsu.edu,<br />Kumara.jayasuriya@smsu.edu,<br />Ross.Wastvedt@smsu.edu,<br />Provost@smsu.edu,<br />jeffrey.w.bell@smsu.edu,<br />raphael.onyeaghala@smsu.edu,<br />bill.mulso@smsu.edu,<br />gorear@marshallindependent.com,<br />Rick Maes rickmaes@co.lyon.mn.us,<br />"Eric D. Wallen" ericwallen@co.lyon.mn.us,<br />lorenstomberg@co.lyon.mn.us,<br />mlamb@marshallindependent.com,<br />dgau@marshallindependent.com<br />date: Dec 17, 2021, 6:52 AM<br />subject: Chapter 13 Data Request For Public Portion Of ICR 21-17510 AKA Criminal Complaint Against City Of Marshall City Attorney Dennis Simpson, Assistant City Of Marshall City Attorney Matthew Gross And Director Of Public Safety Jim Marshall - Missing Data<br />mailed-by: gmail.com</i></p><p><i>Greg Orear, Publisher/General Manager, Marshall Independent 507 537-1551 ext. 107 & Mike Lamb, News Editor 507 537-1551 ext. 126 & Deb Gau, Reporter:</i></p><p><i>Hey, did you see the video of Larvita McFarquhar filing a criminal complaint against City of Marshall City Attorney Dennis Simpson, Assistant City Of Marshall City Attorney Matthew Gross and Director of Public Safety Jim Marshall? The link is below, isn't it? Did you ever get a copy of Larvita McFarquhar's ICR 21-17510? Do you think that Marshall City Attorney Dennis Simpson and Assistant City Of Marshall City Attorney Matthew Gross will get a special prosecutor assigned to Case No. 42-CR-21-98 State of Minnesota vs Larvita Maria Elen Mcfarquhar? Did you ever ask judicial officer Patrick Rohland how he could have misspelled both the middle and last name of Larvita McFarquhar in Case No. 42-CR-21-98 State of Minnesota vs Larvita Maria Elen Mcfarquhar? Did you ever ask Larvita McFarquhar if she plans on suing Lyon County, the City of Marshall and Southwest Minnesota State University for her missing Chapter 13.04 Subject Data? Maybe you could be a witness for Larvita McFarquhar, huh?</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i><a href="https://www.spj.org/ethicscode.asp">https://www.spj.org/ethicscode.asp</a> SPJ Code of Ethics Seek Truth and Report It Ethical journalism should be accurate and fair. Journalists should be honest and courageous in gathering, reporting and interpreting information. Journalists should: – Diligently seek subjects of news coverage to allow them to respond to criticism or allegations of wrongdoing. – Recognize a special obligation to serve as watchdogs over public affairs and government. Seek to ensure that the public’s business is conducted in the open, and that public records are open to all. – Provide access to source material when it is relevant and appropriate. – Be vigilant and courageous about holding those with power accountable. Give voice to the voiceless.</i></p><p><i>Before ICR 21-17510:<br />Case No. 42-CR-21-98 State of Minnesota vs Larvita Maria Elen Mcfarquhar<br />12/13/2021 Pre-trial (4:00 PM) (Judicial Officer Rohland, Patrick)<br />12/30/2021 Jury Trial (8:00 AM) (Judicial Officer Rohland, Patrick)<br />After ICR 21-17510:<br />Case No. 42-CR-21-98 State of Minnesota vs Larvita Maria Elen Mcfarquhar<br />04/18/2022 Pre-trial (2:00 PM) (Judicial Officer Rohland, Patrick) 12/13/2021 Reset by Court to 04/18/2022<br />05/04/2022 Jury Trial (8:00 AM) (Judicial Officer Rohland, Patrick)12/30/2021 Reset by Court to 05/04/2022<br />Video of Complaint<br />Filing My Criminal Complaint https://rumble.com/vqfr5p-filing-my-criminal-complaint.html<br />Filing My Formal Criminal Complaint https://rumble.com/vqdy8r-filing-my-formal-criminal-complaint.html<br />Lyon County Police Investigator Voicemail https://rumble.com/vqkc38-lyon-county-police-investigator-voicemail.html<br />McFarquhar Tosses A Monkey Wrench Into Rigged Case No. 42-CR-21-98 State Of Minnesota Vs Larvita Maria Elen Mcfarquhar By Filing A Criminal Complaint Against City Of Marshall City Attorney Dennis Simpson, Assistant City Of Marshall City Attorney Matthew Gross And Director Of Public Safety Jim Marshall? It's ICR 21-17510, Isn't It? 12-13-21 Pre-trial Gets Booted Way Way Way Back To 04-18-22?<br /><a href="http://lionnews00.blogspot.com/2021/12/mcfarquhar-tosses-monkey-wrench-into.html">http://lionnews00.blogspot.com/2021/12/mcfarquhar-tosses-monkey-wrench-into.html</a></i></p><p><i>Eric Wallen, Lyon County Sheriff (507) 537-7666, Loren Stomberg, Lyon County Administrator (507) 537-6980 and Rick Maes, Lyon County Attorney (507) 537-6755:</i></p><p><i>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:<br />1. Public portion of the Larvita McFarquhar's ICR 21-17510 aka criminal complaint against City of Marshall City Attorney Dennis Simpson, Assistant City Of Marshall City Attorney Matthew Gross and Director of Public Safety Jim Marshall. And if for some strange reason the case is no longer active then I want the entire incident report for ICR 21-17510.<br />2. Computer-aided dispatch reports Larvita McFarquhar's ICR 21-17510 DOB: 01/19/1975.<br />3. Gross salary, history of sustained complaints and work-related continuing education from date of first hire until today's date for Lyon County Sheriff's deputy Tony Rollings<br />4. Chapter 13 Data Requests submitted by Marshall Independent newspaper for Larvita McFarquhar's ICR 21-17510 or any unsolicited email(s) sent to Marshall Independent newspaper in regard to Larvita McFarquhar's ICR 21-17510.</i></p><p><i>Terry Dean, Nemmers 320-283-5713<br />P.S. Your deputy was video recording Larvita McFarquhar's victim's statement, wasn't he? And Deputy Rollins made a notation of that video recording of Larvita McFarquhar's victim's statement in Rollings' report, won't it?<br />P.S.S What is the status on all that readily available, free, electronic public data that you still owe me, huh?<br />P.S.S.S. Do you or don't you plan on correcting each and every instance of your misspelling Larvita McFarquhar's middle and last name in your records? Do you feel even the slightest amount of shame that your negligence has carried right through into Case No. 42-CR-21-98 State of Minnesota vs Larvita Maria Elen Mcfarquhar?</i></p><p><i>Kumara Jayasuriya, SMSU President (507) 537-6272:</i></p><p><i>What is the status on the 02/03/2021 and 02/04/2021 Public Safety incident reports for Larvita McFarquhar that you still owe me? Have you figured out how Southwest Minnesota State University could have a surveillance system but magically and mysteriously not have proof that you actually purchased the surveillance system?</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i><br /></p><p></p><p><b><span style="background-color: black;"><span style="color: #fcff01;">An Automatic Reply From SMSU's Bill Mulso?</span></span></b><br /></p><p><i>from: Mulso, Bill Bill.Mulso@smsu.edu to: Lion News lionnews00@gmail.com date: Dec 17, 2021, 6:53 AM subject: Automatic reply: Chapter 13 Data Request For Public Portion Of ICR 21-17510 AKA Criminal Complaint Against City Of Marshall City Attorney Dennis Simpson, Assistant City Of Marshall City Attorney Matthew Gross And Director Of Public Safety Jim Marshall ... mailed-by: nam04-bn8-obe.outbound.protection.outlook.com signed-by: SMSU.EDU security: Standard encryption (TLS) Learn more : Important according to Google magic.</i></p><p><i>I will be out of the office until Monday, December 20th. I will respond to emails upon my return. Thank you. </i> <br /></p><p>More to come ...</p><p>Related links:</p><p><a href="http://lionnews00.blogspot.com/2021/12/mcfarquhar-tosses-monkey-wrench-into.html">McFarquhar Tosses A Monkey Wrench Into Rigged Case No. 42-CR-21-98 State Of Minnesota Vs Larvita Maria Elen Mcfarquhar By Filing A Criminal Complaint Against City Of Marshall City Attorney Dennis Simpson, Assistant City Of Marshall City Attorney Matthew Gross And Director Of Public Safety Jim Marshall? It's ICR 21-17510, Isn't It? 12-13-21 Pre-trial Gets Booted Way Way Way Back To 04-18-22?</a> </p><p><a href="https://lionnews00.blogspot.com/2021/09/demand-for-sanctions-dismissal-in-case.html">Demand
For Sanctions & Dismissal In Rigged Case No. 42-CR-21-98 State Of
Minnesota Vs Larvita Maria Elen Mcfarquhar? Nemmers' Intervention Puts
An End To Ridiculous "Sovereign Citizen" Paperwork AKA "Patriot
Paperwork"? Nemmers' Intervention Also Turns The Tables On The Corrupt
City Of Marshall and Corrupt Southwest Minnesota State University
(SMSU), Doesn't It?</a></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-4301314377718614822021-12-10T19:11:00.009-08:002021-12-11T08:22:53.510-08:00McFarquhar Tosses A Monkey Wrench Into Rigged Case No. 42-CR-21-98 State Of Minnesota Vs Larvita Maria Elen Mcfarquhar By Filing A Criminal Complaint Against City Of Marshall City Attorney Dennis Simpson, Assistant City Of Marshall City Attorney Matthew Gross And Director Of Public Safety Jim Marshall? It's ICR 21-17510, Isn't It? 12-13-21 Pre-trial Gets Booted Way Way Way Back To 04-18-22?<p><span style="background-color: black;"><span style="color: #fcff01;"><b>Before ICR 21-17510: </b></span></span></p><p></p><p>Case No. 42-CR-21-98 State of Minnesota vs Larvita Maria Elen Mcfarquhar<br />12/13/2021 Pre-trial (4:00 PM) (Judicial Officer Rohland, Patrick)<br />12/30/2021 Jury Trial (8:00 AM) (Judicial Officer Rohland, Patrick)</p><p><b><span style="background-color: black;"><span style="color: #fcff01;">After ICR 21-17510:</span></span></b><br />Case No. 42-CR-21-98 State of Minnesota vs Larvita Maria Elen Mcfarquhar<br />04/18/2022 Pre-trial (2:00 PM) (Judicial Officer Rohland, Patrick) 12/13/2021 Reset by Court to 04/18/2022<br />05/04/2022 Jury Trial (8:00 AM) (Judicial Officer Rohland, Patrick)12/30/2021 Reset by Court to 05/04/2022</p><p><span style="background-color: black;"><span style="color: #04ff00;"><b>Video of Complaint</b></span></span></p><p>Filing My Criminal Complaint <a href="https://rumble.com/vqfr5p-filing-my-criminal-complaint.html">https://rumble.com/vqfr5p-filing-my-criminal-complaint.html</a></p><p>Filing My Formal Criminal Complaint <a href="https://rumble.com/vqdy8r-filing-my-formal-criminal-complaint.html">https://rumble.com/vqdy8r-filing-my-formal-criminal-complaint.html</a> <br /></p><p>Lyon County Police Investigator Voicemail <a href="https://rumble.com/vqkc38-lyon-county-police-investigator-voicemail.html">https://rumble.com/vqkc38-lyon-county-police-investigator-voicemail.html</a></p><p> <br /></p><p> </p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEhw2a1QUJoCOQ_LoSE7CnYCYjXj-S70MEXxdsO7NciBV5rBOzhrizongP0RZJplH44qeAQc8DnKms9GeFhJGdI_0H30wNaH1zP_EQMwbby4wJEYrpW4cY_MujvAHqMlZkgb7HfZocAsS4qChOmFKOQI1xBUMrcVF6TQUDMJA2CfWooyNJBS6XPFhjG1zw=s1100" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEhw2a1QUJoCOQ_LoSE7CnYCYjXj-S70MEXxdsO7NciBV5rBOzhrizongP0RZJplH44qeAQc8DnKms9GeFhJGdI_0H30wNaH1zP_EQMwbby4wJEYrpW4cY_MujvAHqMlZkgb7HfZocAsS4qChOmFKOQI1xBUMrcVF6TQUDMJA2CfWooyNJBS6XPFhjG1zw=w494-h640" width="494" /></a></div><br /><p><br /></p><p><i>42-CR-21-98 Filed in District Court State of Minnesota 12/6/2021 11:56 PM<br />Larvita McFarquhar’s Number ICR# 21-17510</i><br /><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEixkH51pPcdH0d7NxWx-yR1QBLTUZSTpdpnzMDwEcM_TMzr8YqmWksILWGMlmjmy8RXoKAO-u884YrrU7iSpr0R_xjbQqv7MfYupcFqXnYSBARcdU7Pr0PBZxBOzYUbDxooQ_bskTL5uG5DQAG26Htl1OSXCHfH4y_fM9r_kmST_6ZNb1qEIKGCsGRgwQ=s1100" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEixkH51pPcdH0d7NxWx-yR1QBLTUZSTpdpnzMDwEcM_TMzr8YqmWksILWGMlmjmy8RXoKAO-u884YrrU7iSpr0R_xjbQqv7MfYupcFqXnYSBARcdU7Pr0PBZxBOzYUbDxooQ_bskTL5uG5DQAG26Htl1OSXCHfH4y_fM9r_kmST_6ZNb1qEIKGCsGRgwQ=w494-h640" width="494" /></a></div><br /><p><i>42-CR-21-98 Filed in District Court State of Minnesota 12/6/2021 10:52 PM<br /></i></p><p><i>Eric Wallen, Lyon Co. Sheriff 12-06-21<br />611 West Main Street<br />Marshall, MN 56258<br />(507) 537-7666 Hand-delivered on 12-06-21<br />EricWallen@co.lyon.mn.us<br /><br />This is my formal criminal complaint against City of Marshall City Attorney Dennis Simpson, Assistant City of Marshall City Attorney Matthew Gross and Director of Public Safety Jim Marshall for illegally withholding my Chapter 13.04 Subject Data 1 aka evidence aka discovery from me in Case No. 42-CR-21-98 State of Minnesota vs Larvita Maria Elen Mcfarquhar pursuant to Mn Statute 609.43 Misconduct Of Public Officer Or Employee 2 . On 03-01-21 a Demand or Request for Discovery was submitted to City of Marshall City Attorney Dennis<br />Simpson and Assistant City of Marshall City Attorney Matthew Gross. As of today’s date I am missing the following data:</i></p><p><i>Pursuant to state statute Simpson, Gross and Marshall had ten (10) days 3,4 to provide me with my Chapter 13.04 Subject Data aka evidence aka discovery. It is my understanding that it is Simpson’s, Gross’ and Marshall’s known mandatory, nondiscretionary, ministerial duty of the office to provide me with my my Chapter 13.04 Subject Data aka evidence aka discovery. As of today’s date Simpson, Gross and Marshall have willfully refused to comply with the Minnesota Government Data Practices act by illegally with the following readily available, free, electronic, subject data:</i></p><p><i>1. SMSU 02/04/2021 911 call and corresponding verbatim transcript 5 .<br />2. SMSU surveillance video 6 of Larvita McFarquhar on 02/03/2021 and 02/04/2021.<br />3. SMSU 02/03/2021 and 02/04/2021 Public Safety incident reports 7 aka Initial Complaint<br />Reports (ICRs) regarding Larvita McFarquhar.<br />4. Larvita McFarquhar’s 02/04/2021 phone calls to City of Marshall Police dept. and Lyon Co. Sheriff’s Office of officer/deputy assist/escort 8 at SMSU.<br />5. Computer-aid dispatch reports and corresponding audio of 02/04/2021 incident involving Larvita McFarquhar.<br />6. Recorded witness statements 9,10 , names and contact information of students and faculty in classrooms or hallways who were witnesses to the 02/03/2021 and 02/04/2021 incidents<br />involving Larvita McFarquhar.<br />7. Electronic communications Bill Mulso, SMSU vice president for government relations, communications and marketing and Mike Munford, SMSU Public Safety Director engaged in with Marshall Independent Reporter Deb Gau 11 .<br />I have reason to suspect this Subject data/Discovery is in the possession of City of Marshall City Attorney Dennis Simpson, Assistant City of Marshall City Attorney Matthew Gross and Director of Public Safety Jim Marshall is because gathering evidence is part of their job description 12 for a Marshall police officer. According to The Marshall Police Department Brady policy 13 and Standard of Standards Of Conduct For Peace Officers 14,15,16 indicate that the type of evidence to be preserved is exculpatory evidence or evidence that tends to prove my innocence. The Marshall Policy Department Brady policies dictates that they are required to<br />provide me with my missing evidence. I have reason to suspect Simpson, Gross and Marshall are illegally withholding my evidence 17 from me is because the evidence will show my actions</i></p><p><i>Page 1 of 6</i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEgnZSPLFQJ2OBsaSKGJN3oNakh-vZCIzBmj-ry4tXQzjm5gdb1a1AqlgLKowMCqDuYxFNERJEGNSk2w38k1YpoAp2tnzUiOSGlbcYi7flQ576J-b8OnULT_xneu4STE2gvjOy0qAVrpbStt_EUqCJBF4od8lZuKq7HsgJqydUYVW2pMVfjzjexmdIdJAw=s1100" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEgnZSPLFQJ2OBsaSKGJN3oNakh-vZCIzBmj-ry4tXQzjm5gdb1a1AqlgLKowMCqDuYxFNERJEGNSk2w38k1YpoAp2tnzUiOSGlbcYi7flQ576J-b8OnULT_xneu4STE2gvjOy0qAVrpbStt_EUqCJBF4od8lZuKq7HsgJqydUYVW2pMVfjzjexmdIdJAw=w494-h640" width="494" /></a></div><p><i><i>42-CR-21-98 Filed in District Court State of Minnesota 12/6/2021 10:52 PM</i> <br /></i></p><p><i>at Southwest Minnesota State University (SMSU) were a result of being provoked 18 by SMSU personnel.</i></p><p><i>I have reason to suspect the motive for the criminal misconduct is to fivefold. First, I believe Simpson‘s, Gross’ and Marshall’s motive is to either force me to plead guilty without ever receiving all my evidence or force me to go to trial without ever receiving all my evidence. The second reason is to indoctrinate me into the idea that prosecutors and law enforcement can break the law in order the enforce the law. The third reason is to indoctrinate me into the idea that I should keep my mouth shut when I see local corruption. The sixth motive is an attempt<br />by Simpson, Gross and Marshall to provoke 19 me in order to incite me to violence. Finally, I believe the last part of the motive is to cover up the fact that SMSU President Kumara Jayasuriya forced my 16 year old daughter S.C.M out of SMSU without a court order after S.C.M obtained a doctor’s note pursuant to section 8. Exempt individuals of the Emergency Executive Order 20-81.<br />____________________________________________<br />Larvita McFarquhar<br />106 E. Railroad St.<br />Lynd, Minnesota 56157</i></p><p><i>Note: See attached February 22, 2021 Demand for Discovery signed by Larvita McFarquhar</i></p><p><i>Footnotes:<br />1. 13.04 Rights Of Subjects Of Data. Subd. 3. Access to data by individual. Upon request to a responsible authority or designee, an individual shall be informed whether the individual is the subject of stored data on individuals, and whether it is classified as public, private or confidential. ... The responsible authority or designee shall comply immediately, if possible, with any request made pursuant to this subdivision, or within ten days of the date of the request, excluding Saturdays, Sundays and legal holidays, if immediate compliance is not possible. <a href="https://www.revisor.mn.gov/statutes/cite/13.04">https://www.revisor.mn.gov/statutes/cite/13.04</a> </i></p><p><i>2. 609.43 Misconduct Of Public Officer Or Employee. A public officer or employee who does any of the following, for which no other sentence is specifically provided by law, may be sentenced to imprisonment for not more than one year or to payment of a fine of not more than $3,000, or both: (1) intentionally fails or refuses to perform a known mandatory, nondiscretionary, ministerial duty of the office or employment within the time or in the manner required by law; or <a href="https://www.revisor.mn.gov/statutes/cite/609.43">https://www.revisor.mn.gov/statutes/cite/609.43</a><br />3. However, notwithstanding the attorney conduct concerns, the County’s obligation under the Data Practices Act to comply immediately or in ten business day with a data subject’s request is clear. (The Commissioner has also previously opined that the existence of litigation between a data requester and an entity does not relieve the entity of its data practices responsibilities. See Advisory Opinions 96-038 and 97-005.) As the Commissioner noted in Advisory Opinion 03-030:. Advisory Opinion 18-005, May 21, 2018; Carver County,<br />May 22, 2018 | Data subjects, Response to data requests, Requests for data<br /><a href="https://mn.gov/admin/data-practices/opinions/library/?id=36-340460">https://mn.gov/admin/data-practices/opinions/library/?id=36-340460</a><br />4. Independent School District 709, Duluth Public Schools, did not respond appropriately to a</i></p><p><i>Page 2 of 6</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEhzGJjrOz6U2Q-_MVvYYqGqhMd63mc-T5QHHerwasEMUJKRsUQHAG7AnKs9Fuwr1nJ6PuJtefPhPhXaQij1gcF46hBGQfKC2LcsgbwUvDmHkzVM071tTFj4Q1isDWgQ4DUqjSlkXOoI0XOjouV14yjX31G-zs8GzOhUUa8ohdCxbZuFveUBmF40QV1xuQ=s1100" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEhzGJjrOz6U2Q-_MVvYYqGqhMd63mc-T5QHHerwasEMUJKRsUQHAG7AnKs9Fuwr1nJ6PuJtefPhPhXaQij1gcF46hBGQfKC2LcsgbwUvDmHkzVM071tTFj4Q1isDWgQ4DUqjSlkXOoI0XOjouV14yjX31G-zs8GzOhUUa8ohdCxbZuFveUBmF40QV1xuQ=w494-h640" width="494" /></a></div><p><i>42-CR-21-98 Filed in District Court State of Minnesota 12/6/2021 10:52 PM</i></p><p><i>March 2, 2018, data request from a data subject pursuant to Minnesota Statutes, section 13.04, because it did not provide any data to the requester in 10 business days. Advisory Opinion 18-010 <a href="https://mn.gov/admin/data-practices/opinions/library/#/detail/appId/1/id/347419">https://mn.gov/admin/data-practices/opinions/library/#/detail/appId/1/id/347419</a><br />5. Subd. 4. Audio recording of 911 call. The audio recording of a call placed to a 911 system for the purpose of requesting service from a law enforcement, fire, or medical agency is private data on individuals with respect to the individual making the call, except that a written transcript of the audio recording is public, unless it reveals the identity of an individual otherwise protected under subdivision 17. A transcript shall be prepared upon request. The person requesting the transcript shall pay the actual cost of transcribing the call,<br />in addition to any other applicable costs provided under section 13.03, subdivision 3. The audio recording may be disseminated to law enforcement agencies for investigative purposes. The audio recording may be used for public safety and emergency medical services training purposes. 13.82 Comprehensive Law Enforcement Data. <a href="https://www.revisor.mn.gov/statutes/cite/13.82">https://www.revisor.mn.gov/statutes/cite/13.82</a><br />6. Non-violent disruptive demonstrations A. In the event that a demonstration blocks access to University facilities or interferes with the operation of the University: ii. The Director will consider having a photographer or video camera<br />available for verification/documentation purposes and notify Marshall PD of the situation. Southwest Minnesota State University Training Bulletns 600-12 Civil Disturbance or Demonstrations.<br />7. II. Training Format b. Initial Training: d. Phase III: Advanced iv. ICR Writing / Simplex Alarm protocol. IV. Use of the Master Keys b. In the event that you discover misuse of the master keys, you should: iii. Fill out an ICR. 400-01 Employee Guidelines. Employee Guidelines and Performance Expectations. Southwest Minnesota State University Public Safety Policy Manual.<br />8. <a href="https://www.facebook.com/larvita.mcfarquhar/videos/4155977071096399/">https://www.facebook.com/larvita.mcfarquhar/videos/4155977071096399/</a> Larvita Mcfarquhar 351 Comments 102 Shares 7.4K Views · about 10 months ago Larvita Mcfarquhar February 3<br />9. 304.5.2 Special Deployment Considerations. The CED shall not be used to psychologically torment, elicit statements or to punish any individual. Policy 304. Conducted Energy Device Marshall Police Department Policy Manual<br />10. 305.6.2 Witness Identification And Interviews. Because potential witnesses to an officer-involved shooting or death may become unavailable or the integrity of their statements compromised with the passage of time, a supervisor should take reasonable steps to promptly coordinate with criminal investigators to utilize available law enforcement personnel for the following: 1. When feasible, a recorded statement should be obtained from those persons who claim not to have witnessed the incident but who were present at the time it occurred. Policy 304 Officer-Involved Shootings and Deaths. Marshall Police Department Policy Manual<br />11. Bill Mulso, vice president for government relations, communications and marketing at SMSU, confirmed there was an incident Wednesday morning when McFarquhar entered a classroom on campus. Mulso said McFarquhar disrupted a class in progress, and after a second classroom disruption later that morning, she was issued a trespassing notice. Lynd restaurant owner served with trespassing notice McFarquhar escorted from SMSU building after not wearing mask Local News Feb 4, 2021 Deb Gau Reporter </i></p><p><i>Page 3 of 6</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEj30Ls1Qr-gdYpx9tJyCWwkZRJ48v87tIWWxMqMDPSgpN1dx4CB1VxF_-h5dkrpujBggpKpI7Jyuvf8r6TnmM-tonQ9ZhQIkrH5ndkEJNwcRPyjkUiLYKeTSjrrPExDdrXZl61qOs-DL62Qk75Qb_x7n53XcmeUJdqiilh6c4j43iuFx-gZFYzdItqtBA=s1100" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEj30Ls1Qr-gdYpx9tJyCWwkZRJ48v87tIWWxMqMDPSgpN1dx4CB1VxF_-h5dkrpujBggpKpI7Jyuvf8r6TnmM-tonQ9ZhQIkrH5ndkEJNwcRPyjkUiLYKeTSjrrPExDdrXZl61qOs-DL62Qk75Qb_x7n53XcmeUJdqiilh6c4j43iuFx-gZFYzdItqtBA=w494-h640" width="494" /></a></div><p><i>42-CR-21-98 Filed in District Court State of Minnesota 12/6/2021 10:52 PM</i></p><p><i><a href="https://www.marshallindependent.com/news/local-news/2021/02/lynd-restaurant-owner-served-with-trespassing-notice/">https://www.marshallindependent.com/news/local-news/2021/02/lynd-restaurant-owner-served-with-trespassing-notice/</a><br />12. City of Marshall Job Description Position Title: Police Officer Date: December 2010 Division: Public Safety FLSA Status Non-exempt; Part-time Accountable to: Sergeant Union Status LELS Hay Points 317. ... Summary of Position To protect and promote public safety throughout the City through enforcement of all federal, state and local laws; the preservation of public peace; the protection of life and property; the prevention of crime; and the detection and apprehension of violators of the law. Assist in the judicial process by reporting the facts of the investigation to the prosecuting attorneys, and by testifying in court. ... Essential Duties<br />and Responsibilities ... 3. Gather information relating to the investigation of crime and non-criminal incidents. Prepare detailed written/typed reports for the use of prosecutors, Courts, Probation, Human Service, Detective’s Division, the State of MN, and other agencies. 4. Review Offense Reports, I.C.R.’s memos, e-mails, and other pertinent information to keep abreast of recent activity and complaints to assist in the prevention of future criminal activity. ... 7. Testify in court as to the facts and results of investigations.<br />13. 605.2 Policy The Marshall Police Department will conduct fair and impartial criminal investigations and will provide the prosecution with both incriminating and exculpatory evidence as well as information that may adversely affect the credibility of a witness. In addition to reporting all evidence of guilt, the Marshall Police Department will assist the prosecution by complying with its oblgation to disclose information that is both favorable and material to the defense. The Department will identify and disclose to the prosecution potentially exculpatory information as provided in this policy. Page 396. Policy<br />605 Brady Material Disclosure Marshall Police Department Policy Manual.<br />14. 320.1.1 Standards Of Conduct For Peace Officers. The Marshall Police Department adopts the Professional Conduct of Peace Officers model policy established and published by the Minnesota Board of Peace Officer Standards and Training Board (POST) (Minn. Stat. § 626.8457). This model policy applies to all peace officers of this department. See attachment: MN POST Professional Conduct of Peace Officers Model Policy.pdf The provisions of this policy are in addition to collective bargaining agreements or any other applicable law (see generally Minn. R. 6700.1500). The Department shall report to POST any data regarding the investigation and disposition of cases involving alleged misconduct of officers (Minn. Stat. § 626.8457, Subd. 3). Policy 320 Standards of Conduct<br />Marshall Police Department Policy Manual<br />15. A. Principle One Peace officers shall conduct themselves, whether on or off duty, in accordance with the Constitution of the United States, the Minnesota Constitution, and all applicable laws, ordinances and rules enacted or established pursuant to legal authority. 1. Rationale: Peace officers conduct their duties pursuant to a grant of limited authority from the community. Therefore, officers must understand the laws defining the scope of their enforcement powers. Peace officers may only act in accordance with the powers granted to them. 2. Rules a) Peace officers shall not knowingly exceed their authority in the enforcement of the law. b) Peace officers shall not knowingly disobey the law or rules of<br />criminal procedure in such areas as interrogation, arrest, detention, searches, seizures, use of informants, and preservation of evidence, except where permitted in the performance of duty under proper authority. Page 490. Professional Conduct Of Peace Officers Model Policy MN STAT 626.8457 Attachment MN POST Professional Conduct of Peace Officers Model Policy.pdf Marshall Minnesota Police Department Policy Manual Policy Manual.<br />16. B. Principle Two Peace officers shall refrain from any conduct in an official capacity that</i></p><p><i>Page 4 of 6</i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEgcC0rFdtnVKSbPvktX-PuJ_LkhrlOXdQ71nqnG1A8sRpIngbtQkzK2ILhqvCjpDnsgmD1_yt0v4itd45-RkKxZX5J97N8THqSiQJLj_CbexFO2X9fHvc3vB4TwBjQyJD4uieaUgScHO9rrEkJ4k54-paYp5xMSk0nqP1Am1TEFQc9kBM4TvvaQqOdvbg=s1100" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEgcC0rFdtnVKSbPvktX-PuJ_LkhrlOXdQ71nqnG1A8sRpIngbtQkzK2ILhqvCjpDnsgmD1_yt0v4itd45-RkKxZX5J97N8THqSiQJLj_CbexFO2X9fHvc3vB4TwBjQyJD4uieaUgScHO9rrEkJ4k54-paYp5xMSk0nqP1Am1TEFQc9kBM4TvvaQqOdvbg=w494-h640" width="494" /></a></div><i>42-CR-21-98 Filed in District Court State of Minnesota 12/6/2021 10:52 PM</i><p></p><p><i>detracts from the public’s faith in the integrity of the criminal justice system. 1. Rationale: Community cooperation with the police is a product of its trust that officers will act honestly and with impartiality. The peace officer, as the public’s initial contact with the criminal justice system, must act in a manner that instills such trust. 2. Rules a) Peace officers shall carry out their duties with integrity, fairness and impartiality. ... c) Peace officers shall truthfully, completely, and impartially report, testify and present evidence, including exculpatory evidence, in all matters of an official nature. d) Peace officers shall take no action knowing it will violate the constitutional rights of any person. Page 490, 491. Professional Conduct Of Peace Officers Model Policy MN STAT 626.8457 Attachment MN POST Professional Conduct of Peace Officers Model Policy.pdf Marshall Minnesota Police Department Policy Manual Policy Manual.<br />17. Spoliation Any erasure, interlineation, or other alteration made to Commercial Paper, such as a check or promissory note, by an individual who is not acting pursuant to the consent of the parties who have an interest in such instrument. A spoliator of evidence in a legal action is an individual who neglects to produce evidence that is in her possession or control. In such a situation, any inferences that might be drawn against the party are permitted, and the withholding of the evidence is attributed to the person's presumed knowledge that it would have served to operate against her. West's Encyclopedia of American Law, edition 2. Copyright 2008 The Gale Group, Inc. All rights reserved.<br /><a href="https://legal-dictionary.thefreedictionary.com/Spoliation+of+evidence">https://legal-dictionary.thefreedictionary.com/Spoliation+of+evidence</a><br />18. Since you, as a prosecutor, are a minister of justice and not an attorney for miscreant officers, you must develop a strategy for dealing with these occasional incidents of misbehavior. The ways that an officer can fall short of the highest standards of excellence are numberless, but excessive zeal in the performance of their duties is one way. A common subtype of the overzealous officer is the serial resisting arrest victim. Some officers can retire after and never make a case against anyone for resisting arrest. Other officers cannot get through a shift without making a case. Serial resisting arrest victims fall into three main types: those who lack interpersonal skills necessary to obtain suspect compliance, those who verbally bait suspects, and those who are so thin-skinned that they overreact to suspect noncompliance. Seldom should so encounter an officer who purposely set out falsely convict as suspect of resisting arrest. Sometimes an officer will have unintentionally mishandled a situation, and you are burdened with a case where the defendant is technically guilty of the crime, but the victim precipitation issues make a make a conviction unlikely. Quick-witted officers who always have a quip on the tip of their tongue frequently let fly with those quips at the most inopportune times, resulting in black eyes, bruises and a questionable case against a defendant who, again is technically guilty, but was goaded into acting out. Finally, there are officers who are so quick to take offense that they will arrest at the drop of a hat for the most inconsequential misbehavior. A certain degree of noncompliance comes with the officer's territory, and the officer should have sufficient judgment to decline to arrest at all in de minimis situations. These types of cases are relatively easy to spot, and when one of them comes across your desk, you must handle it appropriately. Rubber stamping the officer's decision can sometimes be appropriate, but more often you must make the unpleasant decisions to dismiss the charges, to file reduced charges, or to accept reduced pleas. George R. Dekle, Sr, Prosecution Principles: A Clinical Handbook<br />(Thompson/West:2007), Page 20-21.<br />19. E. Principle Five Peace officers shall treat all members of the public courteously and with respect. 1. Rationale: Peace officers are the most visible form of local government.</i></p><p><i>Page 5 of 6</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEjhlhJwIvoPnltdlduWTBwljdJted7KG1sZ_v_oACAIiCqQ0DslBnDyuyjjDGaBgm0tMOXWYEgwl6KHHp4ngUpyubtib5F9F5QS2PtRDOSSz9Y7gpQYuE0B8GyWjJNqPqdpKdBiXSVa9RFaTyCcfhNoOidX64jaZx8WDSeE-6L6dT-tSlHvYfMulvQJBA=s1100" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEjhlhJwIvoPnltdlduWTBwljdJted7KG1sZ_v_oACAIiCqQ0DslBnDyuyjjDGaBgm0tMOXWYEgwl6KHHp4ngUpyubtib5F9F5QS2PtRDOSSz9Y7gpQYuE0B8GyWjJNqPqdpKdBiXSVa9RFaTyCcfhNoOidX64jaZx8WDSeE-6L6dT-tSlHvYfMulvQJBA=w494-h640" width="494" /></a></div><i>42-CR-21-98 F</i><i><i>iled in District Court State of Minnesota 12/6/2021 10:52 PM</i></i><p><i>Therefore,
peace officers must make a positive impression when interacting with
the public and each other. 2. Rules a) Peace officers shall exercise
reasonable courtesy in their dealings with the public, other officers,
superiors and subordinates. b) No peace officer shall ridicule, mock,
deride, taunt, belittle, willfully embarrass, humiliate, or shame any
person to do anything reasonably calculated to incite a person to
violence. Page 492-493. Professional Conduct Of Peace Officers Model
Policy MN STAT 626.8457 Attachment MN POST Professional Conduct of Peace
Officers Model Policy.pdf Marshall Minnesota<br />Police Department Policy Manual Policy Manual.<br /></i></p><p><i>Page 6 of 6</i><br /></p><p></p><i><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/a/AVvXsEg43yTz9QnRqivDN-62updZ40ADitoRWP-cyeTA3ISWEVSecZV6WhDAzLHGB8ZMZCxisXM-udhitRwAPPTtBzRWj6EJntb3R_sth4kwIaiSlKw0AmnSxDLmECz58HwzQoAQS_95BeSQmO5HvB9ixR0Qhy9b_yc-jbwX-4PD0QzaKX16seM2X1s3Ml4BpA=s1100" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/a/AVvXsEg43yTz9QnRqivDN-62updZ40ADitoRWP-cyeTA3ISWEVSecZV6WhDAzLHGB8ZMZCxisXM-udhitRwAPPTtBzRWj6EJntb3R_sth4kwIaiSlKw0AmnSxDLmECz58HwzQoAQS_95BeSQmO5HvB9ixR0Qhy9b_yc-jbwX-4PD0QzaKX16seM2X1s3Ml4BpA=w494-h640" width="494" /></a></div></i>More to come...<p>Related Links: <br /></p><p><a href="https://lionnews00.blogspot.com/2021/09/demand-for-sanctions-dismissal-in-case.html">Demand For Sanctions & Dismissal In Rigged Case No. 42-CR-21-98 State Of Minnesota Vs Larvita Maria Elen Mcfarquhar? Nemmers' Intervention Puts An End To Ridiculous "Sovereign Citizen" Paperwork AKA "Patriot Paperwork"? Nemmers' Intervention Also Turns The Tables On The Corrupt City Of Marshall and Corrupt Southwest Minnesota State University (SMSU), Doesn't It?</a><br /></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.comtag:blogger.com,1999:blog-3992869803350110673.post-66980794158598359132021-11-22T13:49:00.013-08:002021-11-22T14:13:40.954-08:00DNR Data Practices Compliance Official Barbara Damchik-Dykes 651.259.5345 Reported To MN Department Of Natural Resources Policy And Planning Section Manager Anthony Alongi After Damchik-Dykes Harasses Nemmers Over Request For Entire DNR Policy & Procedure Manual & After Damchik-Dykes Illegally Releases Confidential 13.82 Subd. 7. Criminal Investigative Data For High-Profile Case No. 39-VB-21-468 State Of Minnesota Vs Michael A Sysa; Case No. 39-VB-21-469 State Of Minnesota Vs David Alekseevich Sysa And Case No. 39-VB-21-470 State Of Minnesota Vs Yevgeniy Sergeyevich Simonovich To Media Outlets And To Nemmers? <div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEg5SvpWZOId19999JTlFI-1U4N60QYcIDLRlSdIIsEPXsgFercECccE-ojx1q-EZwyHHUYTWDkyjiXKoeyDwrbFeZy5xu782599WAvHHpc2rjWwBQZqSH2OWM_ogyTz5e_MqnB6yoaaaSOv/s1100/DNRICR21026876g.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEg5SvpWZOId19999JTlFI-1U4N60QYcIDLRlSdIIsEPXsgFercECccE-ojx1q-EZwyHHUYTWDkyjiXKoeyDwrbFeZy5xu782599WAvHHpc2rjWwBQZqSH2OWM_ogyTz5e_MqnB6yoaaaSOv/w494-h640/DNRICR21026876g.jpg" width="494" /></a></div><br /><p><i>from: Lion News lionnews00@gmail.com<br />to: kristi.coughlon@state.mn.us<br />date: Nov 14, 2021, 1:02 PM<br />subject: Citations For Michael Sysa 22 Oak Grove Minnesota David Sysa 23 Oak Grove Yevgeniy Simonovich 29 Elk River<br />mailed-by: gmail.com</i></p><p><i>Kristi Coughlon Phone: 218-308-2647:</i></p><p><i>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:</i></p><p><i>1. Citations for Michael Sysa 22 Oak Grove Minnesota, David Sysa 23 Oak Grove and Yevgeniy Simonovich 29 Elk River.<br />2. Press releases that were sent "Courtesy of the Minnesota DNR" to the Bemidji Pioneer and/or Forum News Service for Citations for Michael Sysa 22 Oak Grove Minnesota, David Sysa 23 Oak Grove and Yevgeniy Simonovich 29 Elk River.<br />Terry Dean, Nemmers 320-283-5713</i></p><p><i><a href="https://www.dnr.state.mn.us/newsroom/media-contacts.html">https://www.dnr.state.mn.us/newsroom/media-contacts.html</a> DNR news media contacts Media Inquiries Northwest Region – Bemidji Kristi Coughlon Phone: 218-308-2647 Email: kristi.coughlon@state.mn.us (link sends email)</i></p><p><i>\BAUDETTE, Minn. — Three anglers have been charged for keeping too many walleyes and saugers on Lake of the Woods after conservation officers found them with 48 fish over their limit Sunday. Charged with possessing over their limit of walleyes and saugers were Michael Sysa, 22, Oak Grove, Minnesota; David Sysa, 23, Oak Grove; and Yevgeniy Simonovich, 29, Elk River, Minnesota.</i></p><p><i><a href="https://www.twincities.com/2021/11/12/mn-anglers-had-48-over-limit-in-lake-of-the-woods-fish-bust/">https://www.twincities.com/2021/11/12/mn-anglers-had-48-over-limit-in-lake-of-the-woods-fish-bust/</a> MN anglers had 48 over limit in Lake of the Woods fish bust Seventy-two walleyes and saugers confiscated Nov. 7, 2021, were donated to the Warroad Senior Living Center in Warroad, Minnesota. (Courtesy of the Minnesota DNR) By Brad Dokken | bdokken@gfherald.com | Forum News Service PUBLISHED: November 12, 2021 at 12:39 p.m. | UPDATED: November 14, 2021 at 9:03 a.m.</i></p><p><i><a href="https://www.bemidjipioneer.com/northland-outdoors/7278486-DNR-officers-seize-72-fish-in-Lake-of-the-Woods-walleye-and-sauger-bust">https://www.bemidjipioneer.com/northland-outdoors/7278486-DNR-officers-seize-72-fish-in-Lake-of-the-Woods-walleye-and-sauger-bust</a> DNR officers seize 72 fish in Lake of the Woods walleye and sauger bust – In addition to the 26 fish in the livewell, there were six walleyes and 10 saugers in the cooler with fish caught that day, and 17 walleyes and 13 saugers in the second cooler with fish the group had kept the previous day – 72 fish total. Written By: Brad Dokken | 2:30 pm, Nov. 11, 2021 The 72 walleyes and saugers were confiscated Sunday, Nov. 7, 2021, and donated to the Warroad Senior Living Center in Warroad, Minnesota, for residents' consumption. Contributed / Minnesota DNR Three anglers have been charged for keeping too many walleyes and saugers on Lake of the Woods after conservation officers found them with 48 fish over their limit Sunday, Nov. 7. Charged with possessing over their limit of walleyes and saugers were Michael Sysa, 22, Oak Grove, Minnesota; David Sysa, 23, Oak Grove; and Yevgeniy Simonovich, 29, Elk River, Minnesota.</i><br /></p><div style="text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEih0yelOavvPcbg2bHnYxwg9H-VT_R_XxPnwhdaMH8b9JtmfhVa5HN0vopHoEcwUbzeGbFHaCu7W894NIGEAGY7wAkwgBhu8-jy2bbKaesR7IRMA-JIakfdGlDCSoPTDdEvLOJIY3mNZSRC/s1100/DNRICR21026876a.jpg"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEih0yelOavvPcbg2bHnYxwg9H-VT_R_XxPnwhdaMH8b9JtmfhVa5HN0vopHoEcwUbzeGbFHaCu7W894NIGEAGY7wAkwgBhu8-jy2bbKaesR7IRMA-JIakfdGlDCSoPTDdEvLOJIY3mNZSRC/w494-h640/DNRICR21026876a.jpg" width="494" /></a></div><br /><p><i>from: MN_Data Request (DNR) datarequest.dnr@state.mn.us<br />to: "lionnews00@gmail.com" lionnews00@gmail.com<br />date: Nov 15, 2021, 11:41 AM<br />subject: data practices request<br />mailed-by: state.mn.us<br />signed-by: state.mn.us<br />security: Standard encryption (TLS) Learn more<br />: Important according to Google magic.<br /></i></p><p><i>Dear Mr. Nemmers,<br /> <br />Attached is the incident report you requested from the Minnesota Department of Natural Resources. The name of a juvenile has been redacted pursuant to Minnesota Statutes 84.0873.<br /> <br />Please note that there is no press release associated with this data. This completes your data practices request in full.<br /> <br />Kind Regards,<br /> <br />Barbara<br /> <br />Barbara Damchik-Dykes<br />Data Practices Compliance Official | OSD<br />Minnesota Department of Natural Resources<br />500 Lafayette Road<br />Saint Paul, MN 55155<br />Phone: 651.259.5345<br />Fax: 651.296.0902<br />mndnr.gov</i></p><p><i>Attachment: 21026876-R_Redacted.pdf</i> <br /></p><p> </p><p></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjVoPYfG6ZPJV78tJGQwYH7pq5ZKcOlB7H3G0PndzOajl778GaShIk8iqeot5qGmd43hSEh1wWHRnZmf0fkmZeSh23aq3eVjXcg_8Rn0yRibaJnJcrXnP0DtfB1_1-A0F41KbgUXYiSj1EQ/s1100/DNRICR21026876b.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjVoPYfG6ZPJV78tJGQwYH7pq5ZKcOlB7H3G0PndzOajl778GaShIk8iqeot5qGmd43hSEh1wWHRnZmf0fkmZeSh23aq3eVjXcg_8Rn0yRibaJnJcrXnP0DtfB1_1-A0F41KbgUXYiSj1EQ/w494-h640/DNRICR21026876b.jpg" width="494" /></a></div><br /><i>from: Lion News lionnews00@gmail.com<br />to: "MN_Data Request (DNR)" datarequest.dnr@state.mn.us<br />date: Nov 18, 2021, 6:55 AM<br />subject: Re: data practices request<br />mailed-by: gmail.com</i><p><i>Barbara Damchik-Dykes, Data Practices Compliance Official 651.259.5345:</i></p><p><i>Thanks for the incident reports. Where are the citations that I requested? </i></p><p><i>"Citations for Michael Sysa 22 Oak Grove Minnesota, David Sysa 23 Oak Grove and Yevgeniy Simonovich 29 Elk River."</i></p><p><i><br />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:<br />1. Current Minnesota Department of Natural Resources policy and procedure manual.<br />2. Redacted warning issued to the juvenile in ICR# 21026876.</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>CO Huener and I discussed with the group that [Redacted] as a juvenile, would not be charged for possessing an over limit of walleye/sauger. We told Michael, David, and Yevgenity that they would each be charged for possessing over limit of walleye/sauger, and that the restitution for the 48 fish over the legal limit would be divided amongst the three of them- 16 fish each. The three agreed to this. Michael, David and Yevgenity were each charged/cited for possessing over limit of walleye/sauger, as well as restitution for 16 walleye per person. All walleye/sauger (72 total) were seized, as well as both coolers. A seizure receipt was issued. A warning was documented for [Redacted] for possessing over limit of walleye/sauger. End of Report. C. Sura 648. Department of Natural Resources Incident Report ICR# 21026876. Reported: 11-08-2021 0958. Officer Assigned: Sura, Cory Badge No. 648 Primary: Yes. Officer Assigned: Huener, Ben Badge No: 538 Primary: No.</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhld8sMaAVLyglUlTPbvvn2_NoNTpkGlj12vMxitw1KT9S0F-QJ_cdTyNWoZ8vB5Nn3_5QiL-vx4UdutN8_SXap0iCLa6tKN1L85ipjvJA2Xi86XrZ4c5J97KKd_zpjg42oqvwQ3SblNGhC/s1100/DNRICR21026876c.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEhld8sMaAVLyglUlTPbvvn2_NoNTpkGlj12vMxitw1KT9S0F-QJ_cdTyNWoZ8vB5Nn3_5QiL-vx4UdutN8_SXap0iCLa6tKN1L85ipjvJA2Xi86XrZ4c5J97KKd_zpjg42oqvwQ3SblNGhC/w494-h640/DNRICR21026876c.jpg" width="494" /></a></div><br /><p></p><p><i>from: MN_Data Request (DNR) datarequest.dnr@state.mn.us<br />to: Lion News lionnews00@gmail.com<br />date: Nov 19, 2021, 10:08 AM<br />subject: RE: data practices request<br />mailed-by: state.mn.us<br />signed-by: state.mn.us<br />security: Standard encryption (TLS) Learn more<br />: Important mainly because you often read messages with this label. <br /></i></p><p><i>Good morning. We will work on getting the data you have requested, including citations and warning.<br /> <br />You have requested a current copy of the DNR policy and procedure manual. Are you looking for a particular policy or procedure? We don’t have a singular policy or procedure manual.<br /> <br />Barbara<br /> <br />Barbara Damchik-Dykes<br />Data Practices Compliance Official | OSD<br />Minnesota Department of Natural Resources<br />500 Lafayette Road<br />Saint Paul, MN 55155<br />Phone: 651.259.5345<br />Fax: 651.296.0902<br />mndnr.gov</i></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi6qowe8Kb0mwjHJbHM3EwlHJBjSchw-1zez9A-WK43EZMdymL_xTCaZAFrpkX7L-gO3ziBxg0QsSzcdKVpdTQuGnlKgGlhy1uf7FSeUWho1UmtV-hnHStFSZYzvgSMFQy7g7eQrJZEybWT/s1100/DNRICR21026876d.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi6qowe8Kb0mwjHJbHM3EwlHJBjSchw-1zez9A-WK43EZMdymL_xTCaZAFrpkX7L-gO3ziBxg0QsSzcdKVpdTQuGnlKgGlhy1uf7FSeUWho1UmtV-hnHStFSZYzvgSMFQy7g7eQrJZEybWT/w494-h640/DNRICR21026876d.jpg" width="494" /></a></div><br /><p><i>from: Lion News lionnews00@gmail.com<br />to: "MN_Data Request (DNR)" datarequest.dnr@state.mn.us<br />date: Nov 19, 2021, 10:28 AM<br />subject: Re: data practices request<br />mailed-by: gmail.com</i></p><p><i>Barbara Damchik-Dykes, Data Practices Compliance Official 651.259.5345:</i></p><p><i>I asked for the complete policy and procedure manual so I can compare it to the complete policy and procedure manual that I currently have in my possession.</i></p><p><i>Terry Dean, Nemmers 20-283-5713</i></p><p><i>VII. STORAGE OF PHOTOGRAPHS AND RECORDINGS A. Media containing recordings and photos shall be marked for identification, guarded against degradation and overwriting, and stored in a secure location. B. Officers taking digital images for evidentiary purposes shall download the images onto the officer’s computer and shall immediately copy the images to a write once CD-ROM. This CD-ROM shall be known and labeled as the “archive copy”. 1. Officers shall not release archive copies (or original video or audio tape recordings) from their custody. Officers shall honor legitimate requests for access to evidentiary media by making and providing a copy of the media to the prosecuting attorney or the division’s data practices responsible authorities. 2. The existence of evidentiary photos or recordings shall be disclosed in any citation notes or reports prepared about the incident. O-11-06, PROPERTY AND EVIDENCE STANDARDS Page 4 MINNESOTA DEPARTMENT OF NATURAL RESOURCES DIVISION OF ENFORCEMENT DIRECTIVE</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjOo-LdViQOUN0x5cEZJayFHHi3fZt5KlrMfOdIWHSxmUC9hZU1cYDKZura5qto-C1v-i9bLesvX-ASJzLomH5LiZo2UaLjLArVhSZ1HyVbQDlx1RiyMihb0AGUA0-BKHClQQE7m5Gv6wUK/s1100/DNRICR21026876e.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjOo-LdViQOUN0x5cEZJayFHHi3fZt5KlrMfOdIWHSxmUC9hZU1cYDKZura5qto-C1v-i9bLesvX-ASJzLomH5LiZo2UaLjLArVhSZ1HyVbQDlx1RiyMihb0AGUA0-BKHClQQE7m5Gv6wUK/w494-h640/DNRICR21026876e.jpg" width="494" /></a></div><br /><p><i>from: MN_Data Request (DNR) datarequest.dnr@state.mn.us<br />to: Lion News lionnews00@gmail.com<br />date: Nov 22, 2021, 9:49 AM<br />subject: RE: data practices request<br />mailed-by: state.mn.us<br />signed-by: state.mn.us<br />security: Standard encryption (TLS) Learn more<br />: Important mainly because you often read messages with this label.<br /></i></p><p><i>Dear Mr. Nemmers,<br /> <br />Attached are the citations you requested. Some data has been redacted pursuant to Minnesota Statutes 13.82. Data for the verbal warning involving a minor has been redacted pursuant to Minnesota Statutes 84.0873.<br /> <br />Again, can you be more specific regarding the policy and procedure that you are requesting? Are you seeking policy related to DNR Enforcement citations? If you are more specific, it would be helpful for me to provide the policy that you are seeking.<br /> <br />Thank you,<br /> <br />Barbara</i></p><p><i>Attachments: Citation-Number-89062021009812_Redacted.pdf, Citation-Number-89062021009813_Redacted.pdf, Citation-Number-Notes-89062021009814_Redacted.pdf, Citation-Number-Notes-89062021009815-Verbal_Redacted.pdf</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiZI8uZNY4fUdheh3bgr5fuIjNFCu0Lr2Be2fvfTA2CwhtV2comd6YGXxmK87Sg6n8SmEm7n9KldgbGhe7Kxi_IFRWEI4XrLvqzJcIhc3IZmmHD7cUfTl3Q_lT4anJUOoKGleRzAAn4HlAd/s1100/DNRICR21026876f.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiZI8uZNY4fUdheh3bgr5fuIjNFCu0Lr2Be2fvfTA2CwhtV2comd6YGXxmK87Sg6n8SmEm7n9KldgbGhe7Kxi_IFRWEI4XrLvqzJcIhc3IZmmHD7cUfTl3Q_lT4anJUOoKGleRzAAn4HlAd/w494-h640/DNRICR21026876f.jpg" width="494" /></a></div><br /><p><i>from: Lion News lionnews00@gmail.com<br />to: "MN_Data Request (DNR)" datarequest.dnr@state.mn.us<br />date: Nov 22, 2021, 10:32 AM<br />subject: Re: data practices request<br />mailed-by: gmail.com</i></p><p><i>Barbara Damchik-Dykes, Data Practices Compliance Official 651.259.5345:</i></p><p><i>Please provide me with the name and contact information of the individual in your chain of command who has direct supervisory powers over you. I want to discuss with them why you can't fall back onto your expensive and time-consuming work-related continuing education to provide me with the entire/complete current Minnesota Department of Natural Resources Directives aka policy and procedure manual.</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>VIII. PRINCIPLE FIVE Conservation Officers shall treat all members of the public courteously and with respect.3. No Conservation Officer shall ridicule, mock, deride, taunt, belittle, willfully embarrass, humiliate, or shame a person, or do anything reasonably calculated to incite a person to violence. A-4-99, CONDUCT UNBECOMING A CONSERVATION OFFICER Page 5. MINNESOTA DEPARTMENT OF NATURAL RESOURCES DIVISION OF ENFORCEMENT DIRECTIVE DIRECTIVE NUMBER: A-4-99 SUBJECT: CONDUCT UNBECOMING A CONSERVATION OFFICER EFFECTIVE DATE: March 30, 1999 SPECIAL INSTRUCTIONS: Rescinds Directive 61-96 REFERENCE: Minnesota Statute Sec 626.8457, 43A.38, 43A.39; Directive A-3-98; C.L.E.A. 26.1; State Electronic Mail and Internet Policy; POST Model Conduct Policy DISTRIBUTION: All Division Employees NUMBER OF PAGES: 31</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEge_XP_t5X23iAzbNfVY1dcIZjrKzyvdsalUg87VfrGhzwg8NghjPj5iDrKj_EpfuJ__Zm5ChKc91BewP-Cc-1PeHZvmIE69_ngbvRefxAa1Bz2luZwmnc3vYhZ9Qx5bv0Lv3xPniCee2hh/s1100/DNRICR21026876h.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEge_XP_t5X23iAzbNfVY1dcIZjrKzyvdsalUg87VfrGhzwg8NghjPj5iDrKj_EpfuJ__Zm5ChKc91BewP-Cc-1PeHZvmIE69_ngbvRefxAa1Bz2luZwmnc3vYhZ9Qx5bv0Lv3xPniCee2hh/w494-h640/DNRICR21026876h.jpg" width="494" /></a></div><br /><p>from: MN_Data Request (DNR) datarequest.dnr@state.mn.us<br /><i>to: Lion News lionnews00@gmail.com<br />cc: "Alongi, Anthony (DNR)" anthony.alongi@state.mn.us<br />date: Nov 22, 2021, 10:42 AM<br />subject: RE: data practices request<br />mailed-by: state.mn.us<br />signed-by: state.mn.us<br />security: Standard encryption (TLS) Learn more<br />: Important mainly because you often read messages with this label.</i></p><p><i><br />Dear Mr. Nemmers,<br /> <br />I am forwarding this email chain to my supervisor, Anthony Alongi, who is copied on this email. Please feel free to contact him directly about your concerns with my customer service.<br /> <br />Kind Regards,<br /> <br />Barbara</i><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEj168MK3bQhDZ-MLlDuQaJziuRpTCnuqHcYTCXIuPxLE9NKuZTpefz5Zc1ID40HvztijxauIMhoxRSp_CUKek9hRX9C_0AqrDVb0UjbMyaTSZHmTpj1qclm31TlKyI1ZpOLHd_b5Nfe-vRH/s1100/DNRICR21026876i.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEj168MK3bQhDZ-MLlDuQaJziuRpTCnuqHcYTCXIuPxLE9NKuZTpefz5Zc1ID40HvztijxauIMhoxRSp_CUKek9hRX9C_0AqrDVb0UjbMyaTSZHmTpj1qclm31TlKyI1ZpOLHd_b5Nfe-vRH/w494-h640/DNRICR21026876i.jpg" width="494" /></a></div><p><i>from: Alongi, Anthony (DNR) anthony.alongi@state.mn.us<br />to: Lion News lionnews00@gmail.com<br />date: Nov 22, 2021, 11:01 AM<br />subject: RE: data practices request<br />mailed-by: state.mn.us<br />signed-by: state.mn.us<br />security: Standard encryption (TLS) Learn more<br />: Important mainly because you often read messages with this label</i></p><p><i>Mr. Nemmers,<br /> <br />I’ve reviewed the communication chain below. When you have a moment, please reply with any additional information or concerns you may have regarding the services you’ve received, so that I can review as complete a picture of what is happening as possible. Thank you,<br /> <br />Anthony Alongi<br />Section Manager, Policy and Planning<br />MN Department of Natural Resources</i><br /></p><p><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiLGofTOaprShpfbA2fKX6aOGY6zLjgCIjihwn7VmX3F88uhrwvPC1i7eYGrX3HyZLbHG0BRWXITBeaW3bngYv4xllm7wiVa5xfljUVc8lKHso_irQ7l0QZKC9DeqI7PxhZuP4yTdRSl2hX/s1100/DNRICR21026876j.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEiLGofTOaprShpfbA2fKX6aOGY6zLjgCIjihwn7VmX3F88uhrwvPC1i7eYGrX3HyZLbHG0BRWXITBeaW3bngYv4xllm7wiVa5xfljUVc8lKHso_irQ7l0QZKC9DeqI7PxhZuP4yTdRSl2hX/w494-h640/DNRICR21026876j.jpg" width="494" /></a></div><p><i>from: Lion News lionnews00@gmail.com<br />to: "Alongi, Anthony (DNR)" anthony.alongi@state.mn.us<br />date: Nov 22, 2021, 11:20 AM<br />subject: Re: data practices request<br />mailed-by: gmail.com</i></p><p><i>Anthony Alongi, Section Manager, Policy and Planning MN Department of Natural Resources:</i></p><p><i>I actually have a couple of concerns. First of all, why am I being repeatedly harassed over my request for your entire/complete current Minnesota Department of Natural Resources Directives aka policy and procedure manual? Second, why is your Minnesota Department of Natural ResourcesBarbara Damchik-Dykes Data Practices Compliance Official Barbara Damchik-Dykes illegally releasing confidential 13.82 Subd. 7. Criminal investigative data to media outlets for Citation No. 89062021009812 Case No. 39-VB-21-468 State of Minnesota vs Michael A Sysa; Citation No. 89062021009813 Case No. 39-VB-21-469 State of Minnesota vs David Alekseevich Sysa and Citation No. 89062021009814 Case No. 39-VB-21-470 State of Minnesota vs Yevgeniy Sergeyevich Simonovich? Finally, will I be able to get a copy of your Notice to individuals 13.055 Subd. 2. Notice to individuals that are sent to Michael A Sysa, David Alekseevich Sysa and Yevgeniy Sergeyevich Simonovich?</i></p><p><i>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:<br />1. Names and contact information for DNR personnel who investigate DNR Data Breaches.<br />2. DNR policy and procedure for Internal Affairs/Administrative investigations.<br />3. Direct phone number for Anthony Alongi, Section Manager, Policy and Planning MN Department of Natural Resources.</i></p><p><i>Terry Dean, Nemmers 320-283-5713</i></p><p><i>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.<br />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.<br />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.<br />The Court: Mr. Hochsprung?<br />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.</i></p><p><i>VII. STORAGE OF PHOTOGRAPHS AND RECORDINGS A. Media containing recordings and photos shall be marked for identification, guarded against degradation and overwriting, and stored in a secure location. B. Officers taking digital images for evidentiary purposes shall download the images onto the officer’s computer and shall immediately copy the images to a write once CD-ROM. This CD-ROM shall be known and labeled as the “archive copy”. 1. Officers shall not release archive copies (or original video or audio tape recordings) from their custody. Officers shall honor legitimate requests for access to evidentiary media by making and providing a copy of the media to the prosecuting attorney or the division’s data practices responsible authorities. 2. The existence of evidentiary photos or recordings shall be disclosed in any citation notes or reports prepared about the incident. O-11-06, PROPERTY AND EVIDENCE STANDARDS Page 4 MINNESOTA DEPARTMENT OF NATURAL RESOURCES DIVISION OF ENFORCEMENT DIRECTIVE DIRECTIVE NUMBER: O-11-06 SUBJECT: PROPERTY AND EVIDENCE STANDARDS EFFECTIVE DATE: May 5, 2006 SPECIAL INSTRUCTIONS: Rescinds Directives 45-88, O-11-02 REFERENCE: Minnesota Statute Secs. 97A.221- .231; 626.04 13.82, Subd 20; Directives O-4, O-5 (pending) DISTRIBUTION: All Conservation Officers NUMBER OF PAGES: 8.</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/13.82">https://www.revisor.mn.gov/statutes/cite/13.82</a> 13.82 COMPREHENSIVE LAW ENFORCEMENT DATA. Subd. 7. Criminal investigative data. Except for the data defined in subdivisions 2, 3, and 6, investigative data collected or created by a law enforcement agency in order to prepare a case against a person, whether known or unknown, for the commission of a crime or other offense for which the agency has primary investigative responsibility are confidential or protected nonpublic while the investigation is active. Inactive investigative data are public unless the release of the data would jeopardize another ongoing investigation or would reveal the identity of individuals protected under subdivision 17. Images and recordings, including photographs, video, and audio records, which are part of inactive investigative files and which are clearly offensive to common sensibilities are classified as private or nonpublic data, provided that the existence of the images and recordings shall be disclosed to any person requesting access to the inactive investigative file. An investigation becomes inactive upon the occurrence of any of the following events:</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/13.43">https://www.revisor.mn.gov/statutes/cite/13.43</a> 13.43 PERSONNEL DATA. Subdivision 1.Definition. As used in this section, "personnel data" means government data on individuals maintained because the individual is or was an employee of or an applicant for employment by, performs services on a voluntary basis for, or acts as an independent contractor with a government entity. § Subd. 2.Public data. (a) Except for employees described in subdivision 5 and subject to the limitations described in subdivision 5a, the following personnel data on current and former employees, volunteers, and independent contractors of a government entity is public: (1) name; employee identification number, which must not be the employee's Social Security number; actual gross salary; salary range; terms and conditions of employment relationship; contract fees; actual gross pension; the value and nature of employer paid fringe benefits; and the basis for and the amount of any added remuneration, including expense reimbursement, in addition to salary; (2) job title and bargaining unit; job description; education and training background; and previous work experience; (3) date of first and last employment; (4) the existence and status of any complaints or charges against the employee, regardless of whether the complaint or charge resulted in a disciplinary action; (5) the final disposition of any disciplinary action together with the specific reasons for the action and data documenting the basis of the action, excluding data that would identify confidential sources who are employees of the public body; (6) the complete terms of any agreement settling any dispute arising out of an employment relationship, including a buyout agreement as defined in section 123B.143, subdivision 2, paragraph (a); except that the agreement must include specific reasons for the agreement if it involves the payment of more than $10,000 of public money; (7) work location; a work telephone number; badge number; work-related continuing education; and honors and awards received; and (8) payroll time sheets or other comparable data that are only used to account for employee's work time for payroll purposes, except to the extent that release of time sheet data would reveal the employee's reasons for the use of sick or other medical leave or other not public data.</i></p><p><i><a href="https://www.revisor.mn.gov/statutes/cite/13.055">https://www.revisor.mn.gov/statutes/cite/13.055</a> 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. (b) Notwithstanding section 13.15 or 13.37, upon completion of an investigation into any breach in the security of data and final disposition of any disciplinary action for purposes of section 13.43, including exhaustion of all rights of appeal under any applicable collective bargaining agreement, the responsible authority shall prepare a report on the facts and results of the investigation. If the breach involves unauthorized access to or acquisition of data by an employee, contractor, or agent of the government entity, the report must at a minimum include: (1) a description of the type of data that were accessed or acquired; (2) the number of individuals whose data was improperly accessed or acquired; (3) if there has been final disposition of disciplinary action for purposes of section 13.43, the name of each employee determined to be responsible for the unauthorized access or acquisition, unless the employee was performing duties under chapter 5B; and (4) the final disposition of any disciplinary action taken against each employee in response.</i><br /></p><p><br /></p><p><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi7-tsiWyUQZ5Tn43RMSUSfNDDKk6g-LSsIZRh3-52IgO_lFLR5OYRb_KUBXZVtWkheGNq7gM3O69lDMmpQXEGH5UAfp-9YCxydhpVTOCXziPJ_TL3248Jd3EChL5iotVfdoscN3yuuWpjM/s1100/DNRICR21026876k.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEi7-tsiWyUQZ5Tn43RMSUSfNDDKk6g-LSsIZRh3-52IgO_lFLR5OYRb_KUBXZVtWkheGNq7gM3O69lDMmpQXEGH5UAfp-9YCxydhpVTOCXziPJ_TL3248Jd3EChL5iotVfdoscN3yuuWpjM/w494-h640/DNRICR21026876k.jpg" width="494" /></a></div><p><i>from: Alongi, Anthony (DNR) anthony.alongi@state.mn.us<br />to: Lion News lionnews00@gmail.com<br />date: Nov 22, 2021, 12:08 PM<br />subject: RE: data practices request<br />mailed-by: state.mn.us<br />signed-by: state.mn.us<br />security: Standard encryption (TLS) Learn more<br />: Important mainly because you often read messages with this label.</i></p><p><i>Good morning,<br /> <br />Since your inquiry appears to relate to recent, current, and/or potential litigation, our team will engage the appropriate internal personnel and get back to you on a reasonable timeline. Meanwhile, with the understanding that I will not discuss such litigation over the phone, my direct phone number is 651.259.5556. I am available to discuss employee performance. That said, I believe I have the information I need regarding your assessment of the staff in question.<br /> <br />As noted, the other parts of your inquiry will get appropriate treatment, and either I or someone else from this agency will be in touch in the coming days to provide you with as much information as we can legally and practically provide. Thank you,<br /> <br />Anthony Alongi<br />Section Manager, Policy and Planning<br />MN Department of Natural Resources</i><br /></p><p><br /></p><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgMmF9Su-Gxeq8yGS_Dl2aiOfWnhzx8JwbsWmszD1UpV3Kj_fzJr10Y4W49g2Vz_rECYeTQ6hPj2NkuzkmSQsi1spEtFVvHntfqoW4rI2j8UABuKMpX_k3C3HUq6eATfCXALnU93rn-Ar0I/s1100/DNRICR21026876l.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgMmF9Su-Gxeq8yGS_Dl2aiOfWnhzx8JwbsWmszD1UpV3Kj_fzJr10Y4W49g2Vz_rECYeTQ6hPj2NkuzkmSQsi1spEtFVvHntfqoW4rI2j8UABuKMpX_k3C3HUq6eATfCXALnU93rn-Ar0I/w494-h640/DNRICR21026876l.jpg" width="494" /></a></div><br /><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgil-5CEu1WLArWOci3vSBmX9Wd_9cEzz2dQmQXvqP64Upr6f4mJT0XqEuxGdoS32p9jA0eA9L4gmV744hrtYeXAKv_6eQG9nBe_tm0i8UvxSVA_oOu7MmD2FC0kMAAf-6y6nAmfY8NRzD1/s1100/DNRICR21026876m.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="640" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEgil-5CEu1WLArWOci3vSBmX9Wd_9cEzz2dQmQXvqP64Upr6f4mJT0XqEuxGdoS32p9jA0eA9L4gmV744hrtYeXAKv_6eQG9nBe_tm0i8UvxSVA_oOu7MmD2FC0kMAAf-6y6nAmfY8NRzD1/w494-h640/DNRICR21026876m.jpg" width="494" /></a></div><br /><div class="separator" style="clear: both; text-align: center;"><a href="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjawbuww-PPVJasfowFeO3PwOS1SlPicOn5PQe9zlAIr34fEllPnZ29lYn2Xvou0LmfNJq2fpARy6IVpm0tFqS3iHrgB6IO86WAvkFMOK7gU4KnBFiHI5Fmc1Q68Gp19MJx2iwPJaW2LWfi/s1100/DNRICR21026876n.jpg" style="margin-left: 1em; margin-right: 1em;"><img border="0" data-original-height="1100" data-original-width="850" height="320" src="https://blogger.googleusercontent.com/img/b/R29vZ2xl/AVvXsEjawbuww-PPVJasfowFeO3PwOS1SlPicOn5PQe9zlAIr34fEllPnZ29lYn2Xvou0LmfNJq2fpARy6IVpm0tFqS3iHrgB6IO86WAvkFMOK7gU4KnBFiHI5Fmc1Q68Gp19MJx2iwPJaW2LWfi/s320/DNRICR21026876n.jpg" width="247" /></a></div><br /><p><br /></p><p><br /></p><p><br /></p><p><br /></p><p><br /></p><p>More to come ...</p><p>Related links:</p><p><a href="https://lionnews00.blogspot.com/2019/02/update-formal-criminal-complaint.html">Update: Formal Criminal Complaint Against Your Corrupt City Of Mountain Lake City Administrator/Clerk Michael Schulte, Your Corrupt Chief Of Police Douglas Bristol, & Your Corrupt City Attorney Maryellen Shrhoff? Corrupt DNR Again Caught Illegally Releasing Confidential 13.82 Subd. 7. Criminal Investigative Data In High-Profile Cases: Chanhthone Phongsim 17-VB-18-491 & Isouvahn Xayachack 17-VB-18-492? Public Portion Of Initial Criminal Complaint Arrives? Case SO19020069?</a> </p><p>
<a href="http://lionnews00.blogspot.com/2019/02/formal-criminal-complaint-against-your.html">Formal
Criminal Complaint Against Your Corrupt City Of Mountain Lake City
Administrator/Clerk Michael Schulte, Your Corrupt Chief Of Police
Douglas Bristol, & Your Corrupt City Attorney Maryellen Shrhoff?
Corrupt DNR Again Caught Illegally Releasing Confidential 13.82 Subd. 7.
Criminal Investigative Data In High-Profile Cases: Chanhthone Phongsim
17-VB-18-491 & Isouvahn Xayachack 17-VB-18-492?</a><br />
<br />
<a href="https://lionnews00.blogspot.com/2018/08/witness-intimidation-harassment-by.html">Witness
Intimidation & Harassment By Judicial Officer Rachel C. Sullivan?
Judicial Officer Sullivan & St Louis County Personnel Conspire To
Provoke Witness Rick Kottom In Hopes Of Inciting Kottom To Violence?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2018/07/kottom-tosses-another-monkey-wrench.html">Kottom
Tosses Another Monkey Wrench Into Rigged 69DU-CR-17-900? Kottom's
07-01-18 Complaint To Chief Judicial Officer Sally L. Tarnowski?</a><br />
<br />
<a href="https://lionnews00.blogspot.com/2018/04/kottom-criminal-complaint-toss-huge.html">Kottom
Criminal Complaint Tosses Huge Monkey Wrench Into 69DU-CR-17-900 Trial?
St. Louis Co. Attorney Mark S. Rubin, St. Louis Co. Attorney Criminal
Division Head Gary W. Bjorklund, St. Louis Co. Assistant County Attorney
Christopher Pinkert, Dept Of Natural Resources (DNR) Colonel Rodmen
Smith, DNR Administrative Manager Captain Alex Gutierrez & MN DNR
Data Practices Compliance Official Sheila Deyo All Named In Kottom
Complaint? DNR & Corrupt Prosecutors Have Well-Documented History Of
Trying Cases In Court Of Public Opinion, Don't They?
Confidential/Nonpublic Criminal Investigative Data Illegally Released To
Lap-Dog Media, Right?</a><br />
<br />
<a href="https://lionnews00.blogspot.com/2015/09/update-on-dnrs-illegal-search-seizure.html">Update
On DNR's Illegal Search & Seizure At Indiana Fisherman's Upper
Cormorant Lake Cabin? David Deckard, Oklahoma, Chair Interstate Wildlife
Violator Compact Notified Of Corrupt MN DNR's History Of Obstructing
Justice? Does the Interstate Wildlife Violator Compact Encourage Or
Discourage Due Process Violations? Inquiring Minds Want To Know, Don't
They? Anthony Emmons (CASE NO. 03-CR-15-1798) Clifford Emmons (CASE NO.
03-CR-15-1800) & Ryan Emmons (CASE NO. 03-CR-15-1802) Exposing CO
Joseph Stattelman's Breaking & Entering Of Cabin?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2017/06/corrupt-dnr-conspires-with-hacks-at.html">Corrupt
DNR Conspires With Hacks At KARE 11 TV To Rig Case No. 69DU-CR-17-901
State Of Mn VS Douglas Anthony Marana & Case No. 69DU-CR-17-900
State Of MN VS Roderick Robert Kottom? DNR Illegally Releases
Confidential Data Yet Again, Right? Do You Remember Former DNR Col
Rodmen Illegally Releasing 03-CR-15-1798, 03-CR-15-1800, 03-CR-15-1801,
03-CR-15-1802, 03-CR-15-1803 & 03-CR-15-1804 Confidential Data To
WCCO-TV Hack Bill Hudson?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2015/12/dnrs-major-salto-not-fazed-by-co.html">DNR's
Major Greg Salo Not Fazed By CO Osborne's Coercive Invasion Of
Johnson's Home? Case No. 21-CR-13-51 State of Minnesota vs Ronald Wayne
Johnson Still Maliciously Prosecuted By Former Pope Co. Assistant
Attorney/Douglas Co. Attorney Chad "The Felon" Larson? Larson And DNR
Have A Well-Documented History Of Home Invasion, Don't They?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2015/09/update-on-dnrs-illegal-search-seizure.html">Update
On DNR's Illegal Search & Seizure At Indiana Fisherman's Upper
Cormorant Lake Cabin? David Deckard, Oklahoma, Chair Interstate Wildlife
Violator Compact Notified Of Corrupt MN DNR's History Of Obstructing
Justice? Does the Interstate Wildlife Violator Compact Encourage Or
Discourage Due Process Violations? Inquiring Minds Want To Know, Don't
They? Anthony Emmons (CASE NO. 03-CR-15-1798) Clifford Emmons (CASE NO.
03-CR-15-1800) & Ryan Emmons (CASE NO. 03-CR-15-1802) Exposing CO
Joseph Stattelman's Breaking & Entering Of Cabin?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2015/08/dnr-caught-sending-confidential.html">DNR
Caught Sending Confidential Criminal Investigative Data To Brainerd
Dispatch (Forum Communication Company)? Indiana Fisherman Victims Of
Illegal Search & Seizure? Missing Audio? Nemmers' Call To Detroit
Lakes Newspaper Editor Nathan Bowe (Forum Communication Company) Forces
08/31/2015 Arraignment To Be Reset By Court To 09/28/2015? (Nemmers
Threw A Monkey Wrench Into 03-CR-15-1798, 03-CR-15-1800, 03-CR-15-1801,
03-CR-15-1802, 03-CR-15-1803, 03-CR-15-1804, Didn't He? Thank You,
Jesus!) Sounds Like Ronald Johnson's Rigged Case No. 21-CR-13-51,
Doesn't It?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2015/06/echo-presss-forum-communications.html">Echo
Press Editor (Forum Communications Company, Right?) Al Edenloff
Conspired With Corrupt DNR Officer Shane Osborne To Rig Case No.
21-CR-13-51 State of Minnesota vs Ronald Wayne Johnson? Court Documents
Reveal Corrupt Editor Edenloff Knowingly Willingly & Intentionally
Published Confidential Chapter 13.82 Criminal Investigative Data? Former
Corrupt Douglas Co. Attorney & Current Corrupt Defense Attorney
Chris Karpan Filing A Loony Appeal That Doesn't Address Illegal Search
By His Buddy DNR Officer Osborne? No Surprise, Right?</a><br />
<br />
<a href="http://lionnews00.blogspot.com/2014/09/dnr-invades-ronald-wayne-johnson.html">DNR
Invades Ronald Wayne Johnson's Home Without Probable Cause? Johnson Is A
Victim Of DNR Home Invasion, Isn't He? Case No. 21-CR-13-51 State of
Minnesota vs Ronald Wayne Johnson Maliciously Prosecuted By Chad "The
Felon" Larson? "The Felon" Larson Has A Well-Documented History Of
Covering Up Illegal Home Invasions, Doesn't He? Sounds Like Pope Co Home
Invasion Of Nemmers' Home, Doesn't It? DNR's CO Shane Osborne Tampered
With Audio To Cover Up Home Invasion?</a></p>Lion Newshttp://www.blogger.com/profile/18225797156412296999noreply@blogger.com