BaltimorePolice

THIS IS A MUST READ!  Apologies for the delay… Trying to catch up, this was released and I got bogged down in something else.

DOJ Report – Baltimore_Police_Department


baltimore-maryland

It’s grim.  For those questioning all the complaints regarding Baltimore police, just a scan of the table of contents is enlightening:

  • BPD MAKES UNCONSTITUTIONAL STOPS, SEARCHES, AND ARRESTS
  • BPD DISCRIMINATES AGAINST AFRICAN AMERICANS IN ITS ENFORCEMENT ACTIVITIES
  • BPD USES UNREASONABLE FORCE
  • BPD UNLAWFULLY RESTRICTS PROTECTED SPEECH
  • BPD’S HANDLING OF SEXUAL ASSAULT INVESTIGATIONS RAISES SERIOUS CONCERNS OF GENDER-BIASED POLICING

And the conclusion:

  • SYSTEMIC DEFICIENCIES IN BPD’S PRACTICES CONTRIBUTE TO CONSTITUTIONAL VIOLATIONS, ERODE COMMUNITY TRUST, AND INHIBIT EFFECTIVE POLICING

From the report:

The constitutional violations described in our findings result in part from critical deficiencies in BPD’s systems to train, equip, supervise, and hold officers accountable, and to build relationships with the broader Baltimore community. First, BPD fails to adequately supervise its officers. This lack of supervision manifests itself in multiple ways, including a failure to guide officer activity through effective policies and training; a failure to collect and analyze reliable data to supervise officer enforcement activities; and the lack of a meaningful early intervention system (EIS) to identify officers who may benefit from additional training or other guidance to ensure that they do not commit constitutional violations. Second, BPD lacks meaningful accountability systems to deter misconduct. BPD does not consistently classify, investigate, adjudicate, and document complaints of misconduct according to its own policies and accepted law enforcement standards. Indeed, we found that BPD personnel sometimes discourage complaints from being filed and frequently conduct little or no investigation—even of serious misconduct allegations. As a result, a culture resistant to accountability persists throughout much of BPD, and many officers are reluctant to report misconduct for fear that doing so is fruitless and may provoke retaliation. Third, BPD fails to have proper agreements in place to coordinate its activities with other agencies that are operating within its jurisdiction. Fourth, BPD fails to adequately support its officers through effective strategies for recruitment, retention, and staffing patterns, and does not provide them with appropriate technology and equipment. Fifth, BPD does not engage effectively with the community it polices. BPD’s failure to use accepted community policing strategies and transparency mechanisms erodes the community trust that is central to productive law enforcement.

  • BPD FAILS TO ADEQUATELY SUPERVISE ITS OFFICERS’ ENFORCEMENT ACTIVITIES
  • BPD FAILS TO ADEQUATELY SUPPORT ITS OFFICERS
  • BPD FAILS TO HOLD OFFICERS ACCOUNTABLE FOR MISCONDUCT
  • BPD DOES NOT COORDINATE WITH OTHER AGENCIES APPROPRIATELY
  • BPD FAILS TO ENGAGE IN EFFECTIVE COMMUNITY POLICING

And the conclusion?

For the foregoing reasons, the Department of Justice concludes that there is reasonable cause to believe that BPD engages in a pattern or practice of conduct that violates the Constitution or federal law. The pattern or practice includes: (1) making unconstitutional stops, searches, and arrests; (2) using enforcement strategies that produce severe and unjustified disparities in the rates of stops, searches and arrests of African Americans; (3) using excessive force; and (4) retaliating against people engaging in constitutionally-protected expression. We also identified concerns regarding BPD’s transport of individuals and investigation of sexual assaults. BPD’s failings result from deficient policies, training, oversight, and accountability, and policing strategies that do not engage effectively with the community the Department serves. We are heartened to find both widespread recognition of these challenges and strong interest in reform. We look forward to working with the Department, City leadership, and Baltimore’s diverse communities to create lasting reforms that rebuild trust in BPD and ensure that it provides effective, constitutional police services to the people of Baltimore.

So what’s going to happen?  Oh, Baltimore…

 

Other Department of Justice investigations of law enforcement HERE

chickadees2Bird Clan

Chickadees, in Bird Clan, a print of oil by Daniel Milton HorseChief, are now framed and ready for its new home in my office, next to my inspirational Jerry Garcia “You can pursue that goal and feed the dog at the same time, it just takes a little extra effort” photo.  I haven’t had a splurge like this in a while, and it feels good!

HorseChief is both a painter and sculptor, living on the Oklahoma end of the Plains & Eastern Clean Line transmission project.

HorsechiefSculpture

HorseChief creates art based on Cherokee history, culture

Prints are available of his work, and he can be reached via facebook.

Horsechief-LittleBighornBattlefieldCuster’s Knoll, The Battle of the Little Bighorn 1976

GoingSnake'sTrailGoing Snake’s Trail

LonghairClan MotherLonghairClan Mother

 

turbine2close2house

It’s been a problem for so long.  Minnesota needs respectful wind turbine siting standards, and a part of that is that Minnesota needs wind turbine noise rules.

Way back in 2009, the Minnesota Dept. of Health wrote a report entitled “The Public Health Impact of Wind Turbines” and the PUC opened a docket (PUC Docket 09-845).

In 2016, it’s still an issue, because it’s not been addressed in any meaningful way. Check the Bent Tree docket, starting at 58:36:

Watch video of 7/29/2016 meeting HERE!

So I sent this today, a Rulemaking Petition to the MPCA, and then notice to the PUC that it was sent and that Minn. R. Ch. 7854, the wind siting rules, need work:

Overland – MPCA_Petition for Rulemaking

Overland – PUC Coerespondence re: Petition for Rulemaking

20160727_190207[1]

Last night’s Xcel Energy Rate Case public hearing was the largest crowd of the ones I attended.  There were also more public comments than at any hearing I’d attended.

To look at the docket, which includes testimony, go HERE and search for PUC Docket 15-826.  The testimony, particularly that of the OAG-RUD, Commerce DER, and AARP are worth a look.

Now, it’s time to get to writing comments.  Probably the Rebuttal Testimony won’t be filed in time to read and comment on, grrrrrrrrrrrrr.

Notice_CommentsAARP work on notice and turnout seems to have helped, and a couple of folks commented that they’d read my Letter to the Editor in the Republican bEagle:

Letter: Speak up at Xcel rate case hearing

Muller_RateCaseRW

 

Videos of Ken & Krie

July 23rd, 2016

Found some videos hiding of my dear departed Kenya and Krie, and I’ve posted here to archive:

MOV00315 – Chasing Wubbas at Frontenac Beach

MOV00314 – Krie heads to Wisconsin

MOV00312 – More Fetching Wubbas

MOV00166 – At Delaware City Park

MOV00165 – At Delaware City Park

MOV00164 – At Delaware City Park

MOV00163 – At Delaware City Park

MOV00162 – At Delaware City Park – check Ken running!

MOV00161 – At Delaware City Park – Look at them go!