VA WIDOW SHARON ANDERSON AKA SCARRELLA HEREBY STATE AND ALLEGE, LOYAL TRUMP SUPPORTER TO EXPOSE GOVERNMENT CORRUPTION.
BETTER TO BE A DEFENDANT AS REMOVAL TO FEDERAL COURTS.
Timbs v. Indiana
Docket Number: 17-1091 https://pacificlegal.org/supreme-court-vindicates-all-americans-right-to-be-free-from-excessive-fines/
Court: US Supreme Court
Date: February 20, 2019
Justia Opinion Summary: Timbs pleaded guilty in Indiana state court to dealing in a controlled substance and conspiracy to commit theft. The police seized a Land Rover SUV Timbs had purchased with money he received from an insurance policy when ...
shari.moore@ci.stpaul.mn.us, Melvin.Carter@ci.stpaul.mn.us, todd.d.axtell@ci.stpaul.mn.us
Sent: 2/20/2019 6:18:53 AM Central Standard Time
Subject: Microsoft Word - 13460020.docxCalvsTrumpBorderWall
Wed 20Feb2019
To the Above Named specifically City Council President Amy Brendmoen aka
Neske aka Hahn
Attached Served Affiant VA Widow Candidate is duly Concerned that Muslin MNAG Ellison who received major funding for his Campaign from George Soros.
Has overreached his Authority/Jurisdiction without proper complaints of Citizenery to join with the Cal Gover Newsom Nephew of Nancy Pelosi.
FURTHER the wilful neglect of former AG Mike Hatch and Lori Swanson to Brief USSC 103-1032 .titled M
House Committee on Oversight and Government Reform
House Committee on Oversight and Government Reform
Magner vs. Gallagher
Further the Wording of the Calif vs. Trump Border Wall is used vs. City St. Paul,MN in their Ponzi use of Excessive Inspections aka Consumption to Steal Realestate. re Separation of Powers.
Due to Weather Concerns http://sharon4council.blogspot.com
Microsoft Word - 13460020.docxsierra_club_and_southern_border_communities_coalition_v._trump_et_al.pdf
1. The States of California, Colorado, Connecticut, Delaware, Hawaii, Illinois, Maine, Maryland, Minnesota, Nevada, New Jersey, New Mexico, New York, Oregon, the Commonwealth of Virginia, and Attorney General Dana Nessel on behalf of the People of Michigan (collectively, “Plaintiff States”), bring this action to protect their residents, natural resources, and economic interests from President Donald J. Trump’s flagrant disregard of fundamental separation of powers principles engrained in the United States Constitution.
PLAINTIFF STATE OF MINNESOTA 72. The State of Minnesota, represented by and through its Attorney General, is a sovereign state of the United States of America
. 73. Attorney General Keith Ellison is the chief legal officer of the State of Minnesota and his powers and duties include acting in federal court in matters of State concern and to protect Minnesota residents. Minn. Stat. § 8.01.
This action is brought to protect Minnesota’s sovereign, quasi-sovereign, and proprietary interests.
74. Governor Tim Walz is the chief executive officer of the State of Minnesota, custodian of state property and federal funds made available to the State, and the Commander-inChief of the state military. Minn. Const., art. V, § 3; Minn. Stat. §§ 4.01 & .07. As the chief executive officer and Commander-in-Chief of the State of Minnesota, Governor Walz leads executive branch agencies injured by the actions described in this Complaint.
75. The Minnesota National Guard has over 13,000 soldiers and airmen, employs more than 2,000 people on a full-time basis, and operates over 60 facilities in the state. The Minnesota National Guard receives more than 96% of its funding from the federal government. It performs missions training and prepares citizen soldiers and airmen to respond to, among other things, the Governor of Minnesota for state emergency response, military support, and protection of local communities. Loss of funding negatively impacts this vital service for the State of Minnesota.
76. For example, diverting federal funding for the Minnesota National Guard’s counterdrug programs and domestic drug interdiction activities to construct a wall along the United States-Mexico border would harm Minnesota’s law enforcement agencies and Case 3:19-cv-00872 Document 1 Filed 02/18/19 Page 14 of 57 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 15
Complaint for Declaratory and Injunctive Relief compromise the health and safety of Minnesota residents.
77. In addition, diverting federal funding from necessary military construction projects in Minnesota, including National Guard projects, to construct a wall along the United StatesMexico border would also harm Minnesota, its economy, and its residents.
Unfortunately, as we explained in our amicus brief, despite the historical protection, many state governments today impose outrageous fines, amounting to tens of thousands of dollars, for small offenses—with the burden frequently falling on citizens who can least afford to pay. Consider the following examples:
- One Missouri city fined a homeowner $180,000 for choosing to plant flowers instead of grass.
- A Florida homeowner faced municipal fines of $58,000 for failing to register a burglar alarm with a local bureaucrat.
- PLF clients faced fines of $100 per day—exceeding $10,000 in just a short time—for their home’s Van Gogh style mural
- In California, PLF clients Henny and Warren Lent face over $4 million in fines for blocking an unusable public access easement.
Today’s Supreme Court decision is an important step toward ending the kind of fines presently imposed for even non-criminal offenses by many states. All Americans, especially our friends at Institute for Justice who fought this battle, should be proud.
From: sharon4anderson@aol.com
Sent: 2/19/2019 1:48:26 PM Central Standard Time
Subject: Check out Microsoft Word - 13460020.docxCalvsTrumpBorderWall
Tues.19Feb2019Hard finding this Suit 3-19-cv00873Constitutional Question17 18 19 20 21 22 23 24 25 26 27 28 1 Complaint for Declaratory and Injunctive Relief XAVIER BECERRA Attorney General of California ROBERT W. BYRNE SALLY MAGNANI MICHAEL L. NEWMAN Senior Assistant Attorneys General MICHAEL P. CAYABAN CHRISTINE CHUANG EDWARD H. OCHOA Supervising Deputy Attorneys General HEATHER C. LESLIE JANELLE M. SMITH JAMES F. ZAHRADKA II LEE I. SHERMAN (SBN 272271) Deputy Attorneys General 300 S. Spring St., Suite 1702 Los Angeles, CA 90013 Telephone: (213) 269-6404 Fax: (213) 897-7605 E-mail: Lee.Sherman@doj.ca.gov Attorneys for Plaintiff State of California
IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA STATE OF CALIFORNIA; STATE OF COLORADO; STATE OF CONNECTICUT; STATE OF DELAWARE; STATE OF HAWAII; STATE OF ILLINOIS; STATE OF MAINE; STATE OF MARYLAND; ATTORNEY GENERAL DANA NESSEL ON BEHALF OF THE PEOPLE OF MICHIGAN; STATE OF MINNESOTA; STATE OF NEVADA; STATE OF NEW JERSEY; STATE OF NEW MEXICO; STATE OF NEW YORK; STATE OF OREGON; and COMMONWEALTH OF VIRGINIA;Plaintiffs,v. DONALD J. TRUMP, in his official capacity as President of the United States of America; UNITED STATES OF AMERICA; U.S. Affiant duly concern re Sharia Law.On what Complaint or Authority has Muslin Keith Ellisonjoined with the Suit re Border Wall, Google the File no.Calif Border Wall vs Trump Separation Powers will useOn the Graves of Affiants Tenants in Commontracking best i can, Loyal Trump Supporter.Sharon Anderson aka Scarrella 651-776-5835 sharon4anderson@aol.comLEGAL NOTICE: /s/Sharon4Anderson@aol.com ECF_P165913Pacersa1299 telfx: 651-776-5835:
Attorney ProSe_InFact,Private Attorney General QuiTam Whistleblower, www.taxthemax.blogspot.com
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