Tuesday, April 17, 2018
Will Chapter 13 Data Request Toss Monkey Wrench Into Super-Duper Secret Plea Deal 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? Bingo! Magically & Mysteriously All Cases All Continued To 05/21/2018?
from: Lion News lionnews00@gmail.com
to: msoldo@soldoconsulting.com,
ngrimmius@co.nobles.mn.us,
Ryan McGaughey RmcGaughey@dglobe.com,
tsmith@co.murray.mn.us,
srobinson@ci.worthington.mn.us,
tappel@co.nobles.mn.us
date: Tue, Apr 17, 2018 at 11:00 AM
subject: Chapter 13 Data Requests - Signed Contract, Invoices & Payments For Investigation Into Anthony Promvongsa July 28, 2016 Incident
mailed-by: gmail.com
Michelle M. Soldo, Soldo Consulting PC Inc, (651) 238-3748:
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. Signed contract, any and all invoices and payments for investigation into July 28, 2016 Anthony Promvongsa incident.
2. What is the name and contact information for the Private Investigator and/or law enforcement agency that you have retained for the investigation into July 28, 2016 Anthony Promvongsa incident.
Terry Dean, Nemmers (320) 283-5713
P.S. Do you have a reasonable suspicion that there are all sorts of conflicts of interests with Buffalo Ridge Drug Task Force Attorney Travis Smith being the special prosecutor for Rock Nobles Community Corrections Pre-Trial/Unsupervised Probation Agent Cynthia Margarita Benegas'/Cordova's case 53-CR-18-325 & Rock Nobles Community Corrections Supervised Probation Agent Rebecca Barraza's cases 53-CR-18-291 and 53-CR-18-326? Hmm? Inquiring minds want to know, don't they?
P.S.S. Why do you suppose that Worthington City Administrator Steve Robinson (507) 372-8622 http://www.ci.worthington.mn.us/city-administrator would give me your contact information? Shouldn't either BRDTF Commander Nate Grimmius 507-295-5279 or BRDTF attorney Travis J. Smith be giving me that data? Hmm? Inquiring minds really want to know, don't they?
P.S.S.S. Do you investigate cases of public official willfully refusing to comply with the MNGDPA https://www.revisor.mn.gov/statutes/?id=13.09 ? Did you know that neither the City of Worthing nor the County of Nobles, who are parties to Promvongsa v. Joswiak et al Case #: 0:17-cv-05116, want to email me the readily available, free, electronic, public pleadings data for that case? First Kusz made the wild and outrageous claim that they weren't in her possession, didn't she? And then Kusz made the wild and outrageous claim that she isn't representing the City of Worthington, didn't she? And Worthington City Administrator Steve Robinson just willfully refused to respond, didn't he? So do you investigate those types of blatant violations or not? Hmm? Inquiring minds really, really want to know, don't they?
My response to your request regarding the civil case in federal district court entitled Promvongsa v. Joswiak for Case #: 0:17-cv-05116, was accurate. The Nobles County Attorney’s Office does not represent the City of Worthington in that civil law suit. Kathleen A. Kusz Nobles County Attorney Date; Fri, Apr 13, 2018 at 1:01 PM; Subject: 2017 NCAO Office Policy.pdf; From: Kathleen Kusz kkusz@co.nobles.mn.us; To: "lionnews00@gmail.com" lionnews00@gmail.com
5. Members The parties of this Agreement shall consist of units of government, which contribute resources and assistance to the Task Force. At present, the participating agencies consists of: The Minnesota counties of Nobles, Murray, and Pipestone; The Minnesota cities of: Worthington, Fulda, Slayton, and Adrian. The County Attorney for the Minnesota County of Murray. Amended Joint Powers Agreement of the Buffalo Ridge Drug Task Force 01-09-15 2015 Amended BRDTF JPA with Full Signatures (2).pdf
https://mn.gov/admin/data-practices/data/types/contracting/
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).
http://lprb.mncourts.gov/LawyerSearch/pages/LawyerSearchResults.aspx?k=0251409
Minnesota Lawyer Record of Public Discipline and/or Disability Information: Lawyer License No: 0251409 Full Licensed Name: MICHELLE MARIA SOLDO City, State: WOODBURY, MN Date Admitted to Minnesota Bar: 10/28/1994 Authorized to Practice?: YES
https://mblsportal.sos.state.mn.us/Business/SearchDetails?filingGuid=1c57c4d9-3728-e611-816a-00155d01c56d
Soldo Consulting PC Inc. Registered Office Address 8163 Galway Circle Woodbury, MN 55125 USA. Chief Executive Officer Michelle M.Soldo 8163 Galway Circle Woodbury, MN 55125 USA. Principal Executive Office Address 8163 Galway Circle Woodbury, MN 55125 USA
http://soldoconsulting.com/about_us
ABOUT US Business Objective Soldo Consulting, P.C. is a legal consulting firm that provides labor and employment law representation, consulting and professional training and development services to public and private sector employers. ... Core Values Integrity. We are honest in all interactions. We earn our reputation by adhering to the highest ethical standards and conduct.
http://soldoconsulting.com/contact_us
ph: (651) 238-3748 fax: (651) 389-9276 msoldo@soldoconsulting.com
76. Upon information and belief, the WPD, BRDTF, and their employees have been sued before for excessive force violations, and the WPD and BRDTF failed to investigate or take corrective action to prevent these excessive force violations from happening again. 77. … The WPD and BRDTF do not enforce their excessive force policies, they do not properly document incidents of force, they do not investigate allegations of excessive force, and they engage in a policy, pattern of practice, or custom of failing to reprimand or discipline any officer for excessive force. Defendants’ failure to address excessive force by WPD and BRDTF officers amounted to tacit approval of the use of excessive force. Anthony Promvongsa, Plaintiff, v. Joe Joswiak; Tim Gaul; Dan Brouillet; Troy Appel; Nathan Grimmius; Worthington Police Department; City of Worthington Buffalo Ridge Drug Task Force; all individuals being sued in their individual and official capacity. Defendants. CASE 0:17-cv-05116 Document 1 Filed 11/15/17 Pages 10-11 of 19 https://www.aclu-mn.org/sites/default/files/promvongsa_-_complaint.pdf
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.
Bingo! Magically & Mysteriously All Cases All Continued To 05/21/2018?
Case No. 53-CR-18-325 State of Minnesota vs Cynthia Margarita Benegas
05/21/2018 First Appearance (3:00 PM) (Judicial Officer Trushenski,Michael D ,) 04/18/2018 Reset by Court to 05/21/2018
05/21/2018 First Appearance (3:00 PM) (Judicial Officer Trushenski,Michael D ,)
04/18/2018 Reset by Court to 05/21/2018
Case No. 53-CR-18-325 State of Minnesota vs Cynthia Margarita Benegas
05/21/2018 First Appearance (3:00 PM) (Judicial Officer Trushenski,Michael D ,) 04/18/2018 Reset by Court to 05/21/2018
05/21/2018 First Appearance (3:00 PM) (Judicial Officer Trushenski,Michael D ,)
04/18/2018 Reset by Court to 05/21/2018
Case No. 53-CR-18-326 State of Minnesota vs Rebecca Barraza
05/21/2018 First Appearance (3:00 PM) (Judicial Officer Trushenski,Michael D ,) 04/18/2018 Reset by Court to 05/21/2018
05/21/2018 First Appearance (3:00 PM) (Judicial Officer Trushenski,Michael D ,)
04/18/2018 Reset by Court to 05/21/2018
Case No. 53-CR-18-326 State of Minnesota vs Rebecca Barraza
05/21/2018 First Appearance (3:00 PM) (Judicial Officer Trushenski,Michael D ,) 04/18/2018 Reset by Court to 05/21/2018
05/21/2018 First Appearance (3:00 PM) (Judicial Officer Trushenski,Michael D ,)
04/18/2018 Reset by Court to 05/21/2018
More to come . . .
Related links:
Super-Duper Secret Plea Deal 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?
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?