from: Lion News lionnews00@gmail.com
to: ngrimmius@co.nobles.mn.us,
tsmith@co.murray.mn.us,
Ryan McGaughey RmcGaughey@dglobe.com
date: Wed, Apr 11, 2018 at 8:43 AM
subject: Chapter 13 data request - Rock Nobles Community Corrections Supervised Probation Agent Rebecca Barraza Court File No. 53-CR-18-291
mailed-by: gmail.com
Nate Grimmius, Buffalo Ridge Drug Task Force Commander 507-295-5279 & Travis Smith, Murray County Attorney 507-836-6541:
Chapter 13 data request - Please email/file share me the following readily available, free, electronic, public data in its original searchable pdf format pursuant to 13.03 Subd 3(e):
1. Any and all Subd. 7. Criminal investigative data for Rock Nobles Community Corrections Supervised Probation Agent Rebecca Barraza. Including incident and CAD reports, warrants, audio and video statements, transcripts of audio/video statements, dash camera video, digital images, test results, dispatch traffic and dispatch logs, etc. https://www.revisor.mn.gov/statutes/?id=13.82 https://www.revisor.mn.gov/statutes/?id=13.03 (FYI: I'm submitting this prior to what I suspect is a super-duper plea deal on 04-18-18, aren't I?)
2. Names and contact information for outside agency investigating July 28, 2016 Anthony Promvongsa incident involving excessive force and destruction of evidence.
Terry Dean, Nemmers (320) 283-5713
P.S. You're planning on giving your buddy Barraza a super-duper plead deal, aren't you? One like Promvongsa got, right? That nasty felony charge and that nasty gross misdemeanor charge are going to be magically & mysteriously dropped, aren't they? That's why the contested omnibus hearing was magically and mysteriously dropped, right? By the way, what competent attorney requests a contested omnibus hearing before receiving all the evidence, huh? Would you like to see the court transcript that discusses the competence of an attorney who requested a contested omnibus hearing before receiving all the evidence?
P.S.S. Nate, why aren't you returning my phone calls, hmm? Lawyer got your tongue? Inquiring minds want to know, don't they?
As Riley pulled into the lot in his marked squad, Barraza got out of the driver’s seat and walked to the rear of her car. Grimmius saw that when Barraza noticed Riley’s arrival, she quickly locked her vehicle with her remote lock. Riley approached the vehicle, shined his flashlight into the back seat and recognized Thavixay. Riley instructed Barraza to unlock the doors. Barraza complied, and Riley arrested Thavixay on the warrant. ... Grimmius then contacted Minnesota State Trooper Kenny Willers, a drug recognition evaluator, and asked him to evaluate Barraza for signs of drug impairment. Willers evaluated Barraza and noticed that her tongue was green, her pupils were dilated in both normal light and near total darkness, she exhibited eyelid tremors, body sway, elevated pulse, and bloodshot eyes. Additionally, Barraza’s ability to estimate time was impaired and she was unable to follow simple directions. ... At approximately 6:06 AM, Grimmius recorded an interview of Barraza. Grimmius advised Barraza of her Miranda rights. She said that she understood her rights and agreed to speak with Grimmius. Barraza told Grimmius that she and Thavixay had been friends for a long time. She said that she did not know that there was a warrant for Thavixay’s arrest. She denied knowing about the cocaine that had been found in her car. Barraza said that her relationship with Thavixay had become more involved recently because he had been sticking up for her. She also told Grimmius that she knew she had “f****d up,” and that she should not have stayed at the house knowing that Thavixay was there. Barraza was then turned over to jail staff. ... Grimmius informed Benegas that she was not under arrest and that the door to the interview room was open. In a recorded interview, Benegas said that she and Barraza had been spending a great deal of time together, but she felt that they had been partying and drinking too much. Benegas said that the parties typically started at a bar, and that they would eventually move to J.Z.’s house. COMPLAINT Summons Prosecutor File No. 051-0000220 Court File No. 53-CR-18-291. State of Minnesota,Plaintiff, vs. REBECCA BARRAZA DOB: 04/21/1992 2218 Castlewood Drive Worthington, MN 56187 Defendant. Complainant Nathan Grimmius Sergeant 1530 Airport Road Suite 300 Worthington, MN 56187 Badge: 104 Electronically Signed: 03/28/2018 06:21 PM Nobles County, MN. Prosecuting Attorney Travis J. Smith Special Assistant County Attorney 1530 Airport Road Suite 400, PO Box 337 Worthington, MN 56187 (507) 295-5298 6 Electronically Signed: 03/28/2018 06:05 PM.
Case No. 53-CR-16-683 State of Minnesota vs ANTHONY PROMVONGSA
Charges: PROMVONGSA, ANTHONY Statute Level Date Disposition Level of Sentence
1. Assault-5th Degree-Fear of Bodily Harm or Death 609.224.1(1) Misdemeanor 07/28/2016 08/10/2017 Convicted 08/10/2017 Convicted of a Misdemeanor
2. Assault-5th Degree-Fear of Bodily Harm or Death 609.224.1(1) Misdemeanor 07/28/2016 08/10/2017 Convicted 08/10/2017 Convicted of a Misdemeanor
3. Fleeing a Peace Officer in a Motor Vehicle (Not applicable - GOC) 609.487.3 Felony 07/28/2016 08/10/2017 Dismissed
4. Possess Small Amount of Marijuana - No Remuneration (Not applicable - GOC) 152.027.4(a) Petty Misdemeanor 07/28/2016 08/10/2017 Dismissed
5. Traffic-Drivers License-Driving After Revocation (Not applicable - GOC) 171.24.2 Misdemeanor 07/28/2016 08/10/2017 Convicted 08/10/2017 Convicted of a Misdemeanor
Case No. 53-CR-18-291 State of Minnesota vs REBECCA BARRAZA
Charges: BARRAZA, REBECCA Statute Level Date Disposition Level of Sentence
1. Aiding an Offender to Avoid Arrest-Harbor/Conceal (Accessory After the Fact - GOC) 609.495.1(a) Felony 03/18/2018
2. Misconduct of Public Employee (Not applicable - GOC) 609.43(1) Gross Misdemeanor 03/18/2018
3. Obstruct Legal Process-Lawful Execution Legal Process (Not applicable - GOC) 609.50.1(1) Misdemeanor 03/18/2018
4. 4th Degree DWI - Under the Influence of a Controlled Substance (Not applicable - GOC) 169A.20.1(2) Misdemeanor 03/18/2018
04/12/2018 CANCELED First Appearance (11:30 AM) (Judicial Officer Bush, Leland) Other 04/06/2018 Reset by Court to 04/12/2018
04/18/2018 First Appearance (1:30 PM) (Judicial Officer Trushenski,Michael D ,)
04/18/2018 First Appearance (1:30 PM) (Judicial Officer Trushenski,Michael D ,)
05/04/2018 CANCELED Contested Omnibus (11:00 AM) (Judicial Officer Bush, Leland) Other
Case No. 53-FA-15-686 REBECCA BARRAZA vs RAUL AVILA 04/13/2018 Hearing (11:00 AM) (Judicial Officer Nelson, Jan Craig)
Joint Release from the Buffalo Ridge Drug Task Force, Worthington Police Department, and the Nobles County Attorney’s Office Contact: Chief Troy Appel Worthington Police Department 507-295-5400 tappel@co.nobles.mn.us The July 28, 2016 video released by ACLU is one piece of evidence in a pending criminal case. Release and discussion of evidence in pending criminal cases is limited by the data practices law and criminal court procedural rules. The video, viewed in a vacuum, shows only a short segment of the incident that is the basis of the criminal charges. ... BRDTF Commander Nate Grimmius Worthington Chief of Police Troy Appel Nobles County Attorney Kathleen A. Kusz https://mcpa.memberclicks.net/assets/joint%20release%20from%20the%20buffalo%20ridge%20drug%20task%20force.pdf
https://coms.doc.state.mn.us/ComSrvDirNew/CSD_Detail.aspx?CSD=4746
Name Rebecca Barraza Address PO Box 547 City Worthington State MN Zip 56187 County Rock, Nobles
Office Phone 507-295-5307 Mobile Phone Fax Pager Email rbarraza@co.nobles.mn.us Position Title
Agent Office Supervisor Department CCA District -
https://coms.doc.state.mn.us/ComSrvDirNew/CSD_Detail.aspx?CSD=4132
Name Cynthia Cordova Address Rock Nobles Community Corrections Prairie Justice Center, 1530 Airport
Road, PO Box 547 City Worthington State MN Zip 56187 County Rock, Nobles Office Phone 507-295-5309
Mobile Phone - Fax 507-372-8393 Pager Email ccordova@co.nobles.mn.us Position Title Agent Office
Supervisor Ramlo, John Department CCA District Region -1
Field Services Pre-Trial Supervision: At Rock Nobles Community Corrections we provide pre-trial supervision services, in order to monitor offenders release conditions, such as abstaining from possession or use of chemical substances and providing breath or urinalysis samples to verify compliance.
Pre-Trial Agents: Cynthia Cordova, Jolene Ennenga, and Christopher Zix Supervised Probation: Supervised probation requires regular contact from the adult to his/her probation agent.
Supervised probation also has stricter guidelines, contact plan, and case plan that the individual must follow in order to be successful in the program.
Supervised Probation Agents: Rebecca Barraza, Jeff Stuckenbroker, and Christopher Zix ...
Unsupervised Probation: Unsupervised probation is used for first time or low risk adult offenders. The guidelines that the individual must follow are not as intensive as supervised probation (i.e. he/she does not need to make regular contact with the agency, submit to random testing), but does have to follow general rules and regulations which are required of probation.
Unsupervised Probation Agents: Cynthia Cordova, Jolene Ennenga, and Christopher Zix
http://www.co.nobles.mn.us/departments/corrections/adult-services/field-services/
from: Lion News lionnews00@gmail.com
to: brad.odegard@state.mn.us,
jason.purrington@co.cottonwood.mn.us,
cari.gerlicher@state.mn.us,
jramlo@co.nobles.mn.us,
Ryan McGaughey RmcGaughey@dglobe.com,
asobotka@dglobe.com,
kkusz@co.nobles.mn.us,
cityadmin@slayton.govoffice.com,
tsmith@co.murray.mn.us,
stelkamp@co.murray.mn.us,
kwilkening@co.nobles.mn.us,
aheard@co.murray.mn.us,
ngrimmius@co.nobles.mn.us
date: Fri, Apr 13, 2018 at 11:53 AM
subject: Chapter 13 data request - Rock Nobles Community Corrections Supervised Probation Agent Rebecca Barraza Court File No. 53-CR-18-291 & 53-CR-18-326 - Cynthia Margarita Benegas/Cordova 53-CR-18-325
mailed-by: gmail.com
Brad Odegard, DOC District Supervisor 507-476-4339:
What is the status of my 03-25-18 Chapter 13 data request? Why do I keep getting those harassing emails from your boss https://coms.doc.state.mn.us/ComSrvDirNew/CSD_Detail.aspx?CSD=799 Al Godfrey? You and Godfrey are pulling the same retarded scam that you concocted with Midge Christianson, 6W Community Corrections https://coms.doc.state.mn.us/comsrvdirnew/CSD_Detail.aspx?CSD=821 , aren't you? You are, aren't you? Boy, how did I solve that problem the last time? Oh, wait! I remember, don't I? I reported you, Godfrey and Midge Christianson to Cari Gerlicher, Chief Minnesota Department of Corrections Office of Special Investigations 651-361-7217/Cell Phone: 651-775-3174, didn't I? I did, didn't I? Godfrey coughed up that illegally withheld redacted Sentencing to Service Client Intake Forms data for Lacey Cameron Washington real quick after that, didn't he? Hey, how did you like the email that I sent to the prosecutors for the rigged prosecution for your Chippewa, Lac qui Parle, Yellow Medicine Sentencing To Service Crew Leader Michael Martin http://coms.doc.state.mn.us/comsrvdirnew/CSD_Detail.aspx?CSD=2268 ? Hmm? Inquiring minds want to know, don't they?
Terry Dean, Nemmers (320) 283-5713
Cari Gerlicher, Chief Minnesota Department of Corrections Office of Special Investigations 651-361-7217/Cell Phone: 651-775-3174:
What is the status of my 03-25-18 Chapter 13 data request? You remember when I reported Brad Odegard, Al Godfrey, Midge Christianson for willfully refusing to comply with the Minnesota Data Practices Act? I explained all this in my 12-14-17 audio recorded phone conversation with your Deputy Director Jeff Dansky 651-361-7111, didn't I? (Why didn't you take me up on my offer for you to listen to the recorded conversation, huh?) I have reason to suspect that Brad Odegard, Al Godfrey are conspiring with Jon Ramlo, Rock Nobles Community Corrections Director (507) 295-5310 https://coms.doc.state.mn.us/ComSrvDirNew/CSD_Detail.aspx?CSD=738 to illegally withhold data for Rock, Nobles Community Corrections Agent Cynthia Margarita Banegas/Cordova And Agent Rebecca Barraza from me, haven't I? Oh, I just wanted to let you know that Godfrey vomited up the data for Beth Borstad's https://coms.doc.state.mn.us/ComSrvDirNew/CSD_Detail.aspx?CSD=3419 client Lacey Cameron Washington on Thursday, Dec 21, 2017 at 1:51 PM, didn't I? By the way, is your rigged administrative investigation into your convicted Chippewa, Lac qui Parle, Yellow Medicine Sentencing To Service Crew Leader Michael Martin going to be done before or after he gets his sweet-heart 05/03/2018 sentencing for rigged cases 12-CR-17-367 and 87-CR-17-264? Hmm? Inquiring minds want to know, don't they?
Terry Dean, Nemmers (320) 283-5713
Jason Purrington, Cottonwood County Sheriff Phone: 507-831-1375:
I got a great big kick out your March 30, 2018 "Go to hell!" snail mail letter that was postmarked 04-04-18, didn't I? I did, didn't I? I need a clarification, don't I? Exactly where in my 03-25-18 Chapter 13 data request did I request summary data? [Requests for Summary Data Summary data are statistical records or reports created by removing identifying information about individuals from entirely private or confidential data. Commissioner of the Dept of Administration's Model Data Practices Policy For the Public Minnesota Statutes, sections 13.025 and 13.03 require this policy. https://mn.gov/admin/assets/2017%20Public%20Access%20Policy%20for%20Website-2017_tcm36-309298.docx ] Hmm? Inquiring minds want to know, don't they? I also got a great big kick out of your loony clarifications, didn't I? You just want to me harass me and waste my valuable time and scant resources by making me answering questions you already the answer to, don't you? [Common Objections: Argumentative/Badgering the witness; Asked and Answered https://c.ymcdn.com/sites/www.ksbar.org/resource/resmgr/mocktrial/objections_and_processes.pdf ]
But, I'll humor your malicious delaying questions anyway, won't I? I want the data that proves youwere running the same catch and release program for Rock, Nobles Community Corrections Agent Cynthia Margarita Banegas/Cordova And Agent Rebecca Barraza that Blue Earth County Sheriff Brad Peterson was running for Hennepin County Sheriff Rich Stanek's sonnyboy RYAN JAMES STANEK, don't I? [Court File No. 07-CR-17-2058, DOB: 12/21/1992 14890 91st Ave. N Maple Grove, MN 55369 Defendant. https://mss.blueearthcountymn.gov/criminal%20complaints/uploads/c14405c2-f93b-4cbd-9982-3a60769dafae.pdf] [FYI: He was charged by summons and was ordered to appear in court June 22. Hennepin County sheriff's son charged with soliciting child for sex and possessing child porn Ryan Stanek, 24, has been charged in Blue Earth County. By Pat Pheifer Star Tribune MAY 31, 2017 — 8:32PM]
Chapter 13 data request - Please email/file share me the following readily available, free, electronic, public data in its original searchable pdf format pursuant to 13.03 Subd 3(e):
1. Actual gross salary, work-related continuing education (years: 2010-2018) for Cottonwood County Sheriff Jason Purrington, Cottonwood County Jail Administrator Kristi Sell and Cottonwood County Attorney Nicolas A. Anderson. https://www.revisor.mn.gov/statutes/?id=13.43
2. Data on billable time for Cottonwood County Jail Administrator Kristi Sell to transfer readily available, free, electronic data from Cottonwood County Jail's Zuercher (https://www.zuerchertech.com/downloads/Jail_5-1.pdf https://www.zuerchertech.com/downloads/Jail_Extend.pdf ) software to "Go to Hell!" summary document.
3. Data on billable time for for creation and mailing of Cottonwood County Attorney Nicolas A. Anderson's March 30, 2018 "Go to hell!" snail mail letter that was postmarked 04-04-18.
Terry Dean, Nemmers (320) 283-5713
P.S. When are you going to me mail me that data that I acutally requested, huh? Inquiring minds want to know, don't they?
Jon Ramlo, Rock, Nobles Community Corrections Director (507) 295-5310:
What is the status of my 03-25-18 Chapter 13 data request? Hey it sure looks like your Rock, Nobles Community Corrections Agent Cynthia Margarita Banegas/Cordova And Agent Rebecca Barraza are going to get super-duper plea deals, doesn't it? It does, doesn't it? It helps to have your Buffalo Ridge Drug Task Force attorney Travis Smith as your special prosecutor for 53-CR-18-325, 53-CR-18-291, and 53-CR-18-291 http://www.mncourts.gov/Documents/Calendars/5/nobles/dailyCalendar.pdf , doesn't it? Say would you like to listen to my audio recorded conversation with Midge Christianson, 6W Community Corrections https://coms.doc.state.mn.us/comsrvdirnew/CSD_Detail.aspx?CSD=821 ? Hmm? Inquiring minds want to know, don't they?
Terry Dean, Nemmers (320) 283-5713
P.S. When am I going to get mey data, huh? Five (5) minutes from never?
Kathleen Kusz, County Attorney 507-295-5298 & Kent Wilkening, Sheriff 507-295-5400:
What is the status of my 03-25-18 Chapter 13 data request? Where oh where is the Nobles County Attorney's office Policy and procedure manual? If you want, then I can send you one of the many copies that I have in my possession, can't I? [Law Enforcement Officers. The presumption is that we will handle all cases involving law enforcement officers who allegedly commit crimes in Hennepin County over which the Office has jurisdiction except where the law enforcement officer(s) has a substantial connection with this Office. Substantial connection may include such factors as: 1. Regularly presents cases for review and charging to this Office. 2. Regularly appears as a prosecution witness in Office omnibus hearings or trials. Guidelines for Cases Involving a Conflict of Interest Revised Date: 04/2014 Hennepin County Attorney's Office Policy & Procedure manual.]
By the way, why did you make the wild and outrageous claim that the Promvongsa v. Joswiak et al data for Case #: 0:17-cv-05116 was not in your possession? Have you lost control of them? Would you like to see the electronic data that Dodge County had in their possession for K.W. v. Gunderson CASE 0:10-cv-03593-PAM-JSM? Oh, was Sheriff Wilkening trying to provoke an incident with me by calling me "Mr. Nimmers" in his email? Hmm? [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. Professional Conduct Of Peace Officers Model Policy MN Statute 626.8457 https://dps.mn.gov/entity/post/model-policies-learning-objectives/Documents/Professional-Conduct-of-Peace-Officers-Model-Policy.doc ]
Terry Dean, Nemmers (320) 283-5713
Travis Smith, County Attorney 507-836-6541 & Steve Telkamp, Sheriff 507-836-6168:
What is the status of my 03-25-18 Chapter 13 data request? Where oh where is the Murray County Attorney's office Policy and procedure manual? And why did you send me the blizzard of data that I didn't request? And why would you email me data ( https://murraycountymn.com/wp-content/uploads/2016/01/Data-practices-for-data-subjects.pdf https://murraycountymn.com/wp-content/uploads/Data-Practices-Act.pdf ) that can be easily download from your website? Since Special Nobles county prosecutor/Murray County Attorney Travis Smith is the Buffalo Ridge Drug Task Force attorney then he should know Names and contact information for outside agency investigating July 28, 2016 Anthony Promvongsa incident involving excessive force and destruction of evidence, shouldn't he?
Terry Dean, Nemmers (320) 283-5713
P.S. Why did the audios come in wav. format and not the original DSS format?
Josh Malchow, Slayton City Clerk/Administrator (507) 836-8534:
What is the status of my 03-25-18 Chapter 13 data request? [FYI: 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.]
Terry Dean, Nemmers (320) 283-5713
Nate Grimmius, Buffalo Ridge Drug Task Force Commander 507-295-5279 & Travis Smith, BRDTF Attorney 507-836-6541:
1. Amended data request - Any and all Subd. 7. Criminal investigative data for Rock Nobles Community Corrections Supervised Probation Agent Rebecca Barraza Court File No. 53-CR-18-291 & 53-CR-18-326 - Cynthia Margarita Benegas/Cordova 53-CR-18-325. Including incident and CAD reports, warrants, audio and video statements, transcripts of audio/video statements, dash camera video, digital images, test results, dispatch traffic and dispatch logs, etc. https://www.revisor.mn.gov/statutes/?id=13.82 https://www.revisor.mn.gov/statutes/?id=13.03 (FYI: I'm submitting this prior to what I suspect is a super-duper plea deal on 04-18-18, aren't I?)
2. 04/10/2018 E-filed Comp-Summons Index # 1 for Case No. 53-CR-18-325 State of Minnesota vs Cynthia Margarita Benegas & Case No. 53-CR-18-326 State of Minnesota vs REBECCA BARRAZA
Terry Dean, Nemmers (320) 283-5713
P.S. My phone calls and data request put a virtual fire underneath your Worthington City Administrator Steve Robinson?
Steve Robinson, City Administrator (507) 372-8622 & Troy Appel, Police Chief (507) 295-5400:
I had a good laugh reading your "Go to hell! scanned pdf document that you emailed to me yesterday, didn't I? I did, didn't I? So where oh where is the public portion of my criminal complaint against your corrupt ISD 518 Superintendent John Landgaard, huh? Would you like to listen to the audio recorded messages that I left with the Moorhead Schoold board members about your criminal Landgaard? [A pool of five finalists was narrowed to three semifinalists over the weekend, including Lunak, Superintendent John Landgaard of Worthington, Minn., and Superintendent Randi Anderson of Pelican Rapids, Minn. Anderson also applied to lead the West Fargo school district. Interim superintendent Brandon Lunak selected to lead Moorhead Area Public Schools By Kim Hyatt, INFORUM and Forum Communications Company on Mar 28, 2018 at 9:56 p.m.]
I did have a good laugh when you admitted to willfully refusing to respond to my December 27, 2017 data request in a reasonable manner, didn't I? I didn't 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) https://mn.gov/admin/data-practices/opinions/library/?id=36-267796]
I need a clarification, don't I? Would you please tell me when I asked to inspect the data that I requested that you email/file share to me? Hmm? And I laughed the hardest when you kept on making those wild and outrageous claims that you couldn't send me data because you were too lazy and too corrupt to redact the data, didn't I? [However, it is clear that Chapter 13 requires agencies in that kind of circumstance to separate public from not public data and to make the public data accessible by the public. (See Minnesota Statutes Section 13.03, subdivisions 1 through 3.) The obligation of government entities to perform this separation of data has been recently upheld by the Minnesota Court of Appeals. (See Northwest Publications, Inc. v. City of Bloomington, 499 N.W.2d 509 (Minn. App. 1993).) Advisory Opinion 94-056 https://mn.gov/admin/data-practices/opinions/library/#/detail/appId/1/id/267348 It is also possible that for certain data requests, government entities may need a reasonable amount of time to separate public from not public data. In many instances it is to the entity's advantage to maintain government data in a fashion that makes it easy to separate public from not public data, and therefore more conveniently accessible. Advisory Opinion 95-006 https://mn.gov/admin/data-practices/opinions/library/#/detail/appId/1/id/267434 ]
When are you going to email me my requested data, hmm? Five (5) minutes from never?
Terry Dean, Nemmers (320) 283-5713
P.S. Would you like to listen to my 12-26-17 audio recording of you telling me to report your willful refusal to comply with the Minnesota Data Practice Act to Nobles County Attorney Kathleen Kusz or not? Inquiring minds want to know, don't they? You shouldn't rudely hang up the phone on people who record phone calls, should you?
"Go to hell!" snail mail from Cotton Wood County Attorney?
"Go to hell!" scanned email from City of Worthington Administrator Steve Robinson?
FYI: Michelle Soldo, ph: (651) 238-3748 fax: (651) 389-9276 msoldo@soldoconsulting.com "investigating" July 28, 2016 Anthony Promvongsa incident for excessive force and destruction of evidence?
More to come . . .
Related links:
March 25, 2018 Chapter 13 Data Request Gets Rock, Nobles Community Corrections Agents Cynthia Margarita Banegas And Agent Rebecca Barraza Fired? Super-Duper Special Treatment For Barraza In Case No. 53-CR-18-291? Friday News Dump Charges & Special Prosecutor Who Is Former Assistant Nobles County Attorney? Looks Like Another Team Effort For Criminal Personnel Of The Correct MN Dept Of Corrections, Doesn't it? IP Address 136.234.63.1 State Of Mn Ciity Worthington Lurking & Skulking On 03/26 & 03/27? IP Address 136.234.63.20 State Of Mn Ciity Luverne Lurking & Skulking On 03/26?
Chapter
13 Data Request - Rock, Nobles Community Corrections Agent Cynthia
Margarita Banegas And Agent Rebecca Barraza - More DOC Special
Treatment? Variation Off The Theme For Rigged Cases For Convicted Sex
Offender Chippewa, Lac qui Parle, Yellow Medicine Sentence to Service
Crew Leader Michael Martin (87-CR-17-264 & 12-CR-17-367)
After
Hints That Nemmers Will File Criminal Complaint Yellow Medicine Co.
Attorney Keith R. Helgeson Sends "Go To Hell" Snail Mail? Snail Mail
Contains Paper Copy Of Petition To Enter Guilty Plea For Rigged Case No.
87-CR-17-264 & Rigged Case No.12-CR-17-367 For Minnesota Department
Of Corrections Sentencing To Service Crew Leader Michael John Martin?
Nemmers Requested 13.03 Subd 3(e) Electronic Data, Didn't He?
Have
Conflicts Of Interests Been Recorded On The Court Record In Open Court
For Rigged Case No. 87-CR-17-264 & Rigged Case No.12-CR-17-367 For
Minnesota Department Of Corrections Sentencing To Service Crew Leader
Michael John Martin?
Will
Nemmers' 09-25-17 Email Toss Another Monkey Wrench Into Rigged Chippewa
Co., Lac Qui Parle Co., Yellow Medicine Co. Dept Of Correction Sentence
To Serve Crew Leader Michael John Martin's Rigged Case No. 87-CR-17-264
& Case No. 12-CR-17-367? Inquiring Minds Want To Know, Don't They?
Gilbertson's Go To Hell Response?
Candidates
For Eighth Judicial District Corrupt Judge Donald Spilseth Job Are The
Common Criminals: Helgeson, Jordan & Wentzell? 08-25-17 Automated
Reply?
Go
To Hell Response From Corrupt David M. Gilbertson Chippewa County
Attorney? Gilbertson Is Mad That Nemmers Tossed A Monkey Wrench Into
Rigged Chippewa Co & Yellow Medicine Co Prosecutions For Minnesota
Department Of Corrections Sentencing To Service Crew Leader (For Yellow
Medicine Co. Lac Qui Parle Co & Chippewa Co, Right?) Michael John
Martin - Rigged Case No. 87-CR-17-264 & 12-CR-17-367, Right?
Gilbertson Confesses To No Special Assistant Prosecutor? No Special
Prosecutor Is An Admission Of Willful & Blatant Conflict Of
Interest, Right?
Corrupt
Dept Of Corrections Coughs Up Chapter 13 Data For DOC Chippewa, Lac Qui
Parle, & Yellow Medicine Co. STS Crew Leader Michael Martin?
Contracts Don't Say Martin Is To Allowed To Rape Or Allowed Special
Treatment In Rigged Case No. 87-CR-17-264 & 12-CR-17-367, Do They?
Must Be The "Goes Without Saying" Part, Huh?
Update
On Rigged Rigged Yellow Medicine Co Prosecution For Minnesota
Department Of Corrections Sentencing To Service Crew Leader (For Yellow
Medicine Co., Right?) Michael John Martin - Case No. 87-CR-17-264? Hey
Did You Know That Martin Is Getting Special Treatment In Chippewa
County, Also? It's Rigged Case No. 12-CR-17-367 State Of Minnesota VS
MICHAEL JOHN MARTIN, Isn't it? Will Martin Get A Super-Duper Plea Deal
Before All His Victims Are Found? Are There Any In Lac qui Parle County?
Why Did Lac Qui Parle Former Deputy/Commissioner Maatz & Chippewa
County Attorney David Gilbertson Both Hang Up On Nemmers, Huh? Go To
Hell Snail Mail Responses From Corrupt Yellow Medicine Co. & Corrupt
City Of Granite Falls?
Rigged
Yellow Medicine Co Prosecution For Minnesota Department Of Corrections
Sentencing To Service Crew Leader (For Yellow Medicine Co., Right?)
Michael John Martin - Case No. 87-CR-17-264? Hey Let's Ask For That
Illegally Withheld Andrew Dikken & Kelly Jean Anderson Data, Okay?
Corrupt
MN DNR & Corrupt Lac Qui Parle Co. Attorney Richard G. Stulz Caught
Rigging Case No. 37-CR-15-22 State Of Minnesota VS Joshua Dwight
Liebl's? Corrupt DNR & Corrupt Stulz Illegally Releasing
Confidential Criminal Investigative Data To Corrupt Media? No Surprise,
Right? Sounds Like Rigged Cases: 03-CR-15-1798 State Of Minnesota VS
Anthony Emmons; 03-CR-15-1800 State Of Minnesota VS Clifford Emmons;
03-CR-15-1802 State Of Minnesota VS Ryan Emmons & 21-CR-13-51 State
Of Minnesota VS Ronald Wayne Johnson, Doesn't it? It Does, Doesn't it?
Corrupt Stulz Sends Nemmers Harassing Email But No Readily Available,
Free, Electronic, Searchable PDF Format, Public Data? Stulz Is
Retaliating Against Nemmers, Isn't He? He Is, Isn't He? You'll Want To
See Nemmers Slowly But Surely Discredit The Corrupt DNR And Corrupt Lac
Qui Parle County, Won't You? You Will, Won't You? Why Is Supposed
Interim Sheriff Kevin Monson, Badge 338 Harassing Nemmers?