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SECTION 1 STATEMENT OF CLAIMS AND EVIDENCE FINANCIAL DAMAGES

 


WALLS OF SILENCE

SECTION 1 STATEMENT OF CLAIMS AND EVIDENCE FINANCIAL DAMAGES

 

INTRODUCTION

 

This section of the exposé presents a detailed ledger alongside photographic and videography evidence documenting the financial losses and damages I have incurred due to violations associated with the Residential Property. These violations include breaches of the implied covenant of habitability, instances of gender-based discriminationfailure to uphold the terms of the Residential Lease Agreement, and the creation of a hostile living environment.

Subpart 1. Purpose

I am seeking full reimbursement for the losses and damages substantiated in this section. 

Subpart 2. Expert Support For Financial Claims

Section 6 Title 6.1: is an expert guide, complied from professionals sources, which speaks to destruction of property due to roach infestation—including electronics—and  has been prepared to provide further support of why this “totaled property” cannot travel with me.

Subpart 3. Section 6 Covers Property Conditions. Smoking Gun Updates.

Section 6 of this exposé extensively catalogs the uninhabitable conditions of this property in graphic video, photo and affidavit in multiple sections. 

Subpart 4. About Me Demonstrates How Beautifully I Maintained The Unit

Section 2 “about me” catalogs my process for maintaining the rental apartment before and during infestation. This section is extremely important to demonstrating I played no part in the infestation or conditions; to the contrary I am the one who made and Animal Control call which led to the beginning of extermination eight days later, which has never stopped due to the severity of infestation the owner and staff allowed the property to fall into and the deplorable conditions the property continues to be kept in despite extermination efforts and disingenuous City Inspection involvement.

Subpart 5. Section 3.3 Provides Residential Lease Agreement

Section 3 Title 3.3 features the signed Residential Lease Agreement demonstrating that the condition of the property and units are in violation of the contract—and yet, corrections were not made, leases were not terminated and my rent was not reduced to reflect the undue burden and emotional distress of these external lease violations and breach of contract with real estate owner Don Klyberg, by way of property management team Anthony Anderson and Rick Newmann. This supports my case of discrimination. 

Subpart 6. Compromise In Built-In to Move The Process Quickly

It is important to note that I am not requesting compensation for the entirety of my losses; rather, I am limiting my claim to those damages that are essential to replace as I transition to a new residence, as well as costs directly associated with the move. 

Subpart 7. Same Similar Comparable Compensation

In each case, I have identified and provided comparable replacements for the items. Where applicable, I have ‘pre-accepted’ the further loses which I incur for listed sale prices on exact items and comparable items in this section. In instances where identical items were unavailable, I have selected alternatives that are substantially similar in quality and function, specification and price.

Subpart 8. Additional Evidence

Additional videos and evidence can be found on the accompanying website www.wallsofsilence.drr.ac

Subpart 9. Total Losses Demanded

The total amount of financial damages, exclusive of moving costs, property removal waiver and emotional distress, is $18,638.37.

Subpart 10. Why This Case Is Important for The Public

The owner of this property has a history of keeping tenants in condemnable conditions and disregarding city orders to repair resulting in termination of all his licenses in a case that included six rental properties in majorly Soulaani, low-come people neighborhoods where people are vulnerable and less likely to afford legal representation. This history preceded my lease by five years; exactly when apartment manager Rick Newmann revealed the property team and owner came here. They moved their operation and changed nothing. Most of the tenants on this property are disabled, low-income vulnerably unlikely to afford representation.

According to Officer Carter Cook who intercepted my Animal Control call August 20, 2024 but did not come to the property or provide police report as requested-so that I could move early in August not stick around for extermination which clearly who be unsuccessful due to discriminatory refusal to enforce the lease and negligent (NIED) intentional (IIED) maintenance of the property demonstrated in overwhelming evidence in this expose and the accompanying website-this is a property which the city has given up on.

Subpart 11. Predatory Practices

Well I didn’t know that when I became a renter; I highly doubt that any of the renter’s in Don Klyberg’s properties knew that when they entered lease contracts. Paying hundred’s and thousands from each unit in each property. I was presented with a clean building and nearly pleasant atmosphere. The building was maintained as such until all the vacant units were full.

Subpart 12. Sexual Violence, Violence & Illness Through Real Estate

Finally, I have been a victim of brutal grooming turned stalking because of rejection BY THE PROPERTY MANAGER I have communicated this on a weekly basis in video therapy session since move in December, 2023; even showing the therapist around the unit several times to see the devastation first-hand. It completely destroyed my health. I have been non-functional since April 2024 following a threatening sexual advance by the property manager Rick Newmann in the rental office.

When I thought of leaving, I knew by history that I could not without legal protection or money would simply be stolen from me and I may be placed in conditions I cannot survive due to my medical fragility. So I stayed being failed by all I reached out to.

Subpart 13. Motive and Modus Operandi

I could have been protected before ever walking through the door. I could have been assisted in relocating with support due to my health and limited income because of that health. It is my strong position, based on 25 years or state rental history that such real estate owners and property’s are being intentionally left like bait and legally sheltered by the powers that be like traps, intending to ensnare and destroy any poor and unsuspecting victim that would walk through the door—at a very lucrative income for the owners, the cities, the police, the jails, the coroners, courts etc. “Real Estate Trafficking.” Using real estate to move bodies from freedom and health to injury, captivity and death in hospitals, morgues and incarceration facilities under the cover of Plausible Deniability.

Subpart 14. Reality and Reputation

No one knows what drives an individual to seek affordable housing. For instance I am a victim of a 21-year medical insurance battle with a state that has been caught abusing the eligible enrollee’s, enrollee’s and  funneling billions of healthcare into general funds several times over. I cannot afford medical cost because I am being systematically too sick to sustain traditional gainful employment. They’re controlling my body to control my income—and no one cares despite people collecting payroll checks to care.

Subpart 15. Moral Questions

Is abuse in one system truly enough to justify intentionally having me seeped in animal waste, infestation, brutal abuse and constant defense of my womanly virtue from the concentrated number of sexual predators in these real estate trafficking communities and schemes which state and federal governments—have by history, been participating in also?   What exactly is my crime or character flaw that death by way of real estate has been systematically charged to me as a sentence I must execute for life?

Subpart 16. Eugenics Yay or Nay

In a place such as Minnesota where there is a 90% racial wealth gap with whites maintaining roughly $171,000.00 annually and blacks roughly 10% of that at $17,600.00 Don Klyberg’s real estate company added roughly $151,200.00 to his bottom line in the same time that the Criminal Conduct of and within Don Klyberg’s real estate company deducted more than $18,638.37 dollars  of wealth which I walked through the doors with. We have something called ‘The Minnesota Paradox’ which has existed my entire lifetime through plausible deniability coining the racial wealth gap as paradoxical (unexplainable).  This expose leave nothing to paradox. Section by section. Exhibit by exhibit. Ledger of damages caused.

Subpart 17. Exit Before The Exodus

From the roughly $151,200.00 Don Klyberg generated from the criminality of Cedar Manor Apartments in 2024, I would like $18,638.37 in addition to emotional distress (punitive damages) relocation cost returned to me and to conclude our business.

URGENT UPDATE

Subpart 18. I Am Not Alone. There Are More Victims!

On November 28, 2024 a tenant fled Rick Newmann screaming he tied to **** me! Confessed her and her sister have been sexual victims for improvement in their housing (basic repairs) for years inside Cedar Manor Apartments. I got video.

There are sexual predators in these real estate residences and schemes. Sex Trafficking forced me to the location, tenant and employee property manager of Don Kylbergsexual predator Rick Newmann has made staying alive a daily task while hereover medical insurance I have been put through all of this. Look at this. Please help me demand justice; I cannot rely on the system which drove me here to help get me out. I genuinely feel I’m at risk of losing my life. I need physical and financial help to leave.


LEGAL CLAIMS AND DEMAND FOR DAMAGES

Year: 2024
Amount: $18,638.37

Additional: Emotional Distress, Punitive Damages and Relocation Asssitance.

1.      Property Owner: Don Klyberg

2.      Property Management: Rick Newmann

3.      Property Management: Anthony Anderson

 

CAUSES OF ACTION

1.     Intentional Infliction of Emotional Distress (IIED)

o    Allegation: Don Klyberg’s Tenants, Staff and Invitee engaged in extreme and outrageous conduct, including sexual harassment, stalking, intimidation, destruction of property and retaliatory refusal to make repairs with the intent to cause severe emotional harm or with reckless disregard for the harm caused.

o    Result: Subjet suffered severe emotional distress, including but not limited to anxiety, fear, mental anguish, and psychological trauma.

2.     Punitive Damages

o    Allegation: Don Klyberg and Property Management conduct was willful, malicious, and in reckless disregard of the subjets’s rights, warranting an award of punitive damages to deter such behavior in the future.

o    Claimed Amount: To be determined by the court based on the egregiousness of Don Klyberg and Property Management actions.

3.     Breach of Contract: Residential Lease Agreement

o    Allegation: Don Klyberg and Property Management failed to uphold their contractual obligations under the lease agreement, including failing to provide habitable conditions, adequate privacy, and protection of Subject’s property.

o    Result: Subject suffered financial loss, property damage, and emotional distress.

4.     Breach of Implied Covenant of Habitability

o    Allegation: Don Klyberg and Property Management failed to maintain the property in a safe and habitable condition, including refusal to make necessary repairs and address hazardous living conditions.

o    Result: Subject endured unsafe living conditions, emotional harm, and financial damages.

5.     Mail Tampering, Mail Theft, and Mailbox Vandalism

o    Allegation: Don Klyberg and Property Management interfered with, damaged, or tampered with Plaintiff’s mail, violating federal and state laws regarding mail delivery and privacy.

o    Result: Subject suffered financial loss, loss of property, emotional distress and invasion of privacy.

6.     Chronic Violation of Tenant’s Right to Privacy

o    Allegation: Don Klyberg and Property Management repeatedly gave the tenants identifying information and private data to tenants and guest, failed to store private data correctly in rental office, opened, moved and stole tenants mail, gossiped about tenant through the city in disparaging character, used tenants phone number to send unsolicited sexually harassing text messages, used master key to leave sexually harassing and intimidating secreted notes in the mailbox, used police entry to threaten, intimidate and caused emotional distress, stalked tenant at windows, under the floor, at mailbox, at door, at phone, without authorization and exposed subjects personal information without consent chronically over a period of thirteen months.

o    Result: Subject suffered emotional distress, invasion of privacy, and harm to personal security.

7.     Negligence Resulting in Battery

o    Allegation: Don Klyberg and Property Management negligent conduct directly caused or contributed to physical harm or offensive contact against subject.

o    Result: Subject experienced physical injury, emotional distress, and financial costs.

8.     Hostile Living Environment

o    Allegation: Don Klyberg and Property Management created an abusive and hostile living environment through harassment, intimidation, and failure to address unsafe conditions.

o    Result: Subject suffered emotional and psychological harm, fear for safety, and financial hardship.

9.     Gender-Based Discrimination

o    Allegation: Don Klyberg and Property Management targeted Plaintiff for discriminatory treatment based on gender, in violation of applicable anti-discrimination laws.

o    Result: Subject suffered emotional harm, loss of housing security, and other damages.

10.                        Sexual Harassment

o    Allegation: Don Klyberg and Property Management engaged in unwelcome conduct of a sexual nature, including harassment and stalking, creating a hostile living environment.

o    Result: Subject experienced emotional distress, fear for safety, and mental anguish.

11.                        Cyberbullying

o    Allegation: Don Klyberg and Property Management engaged in electronic harassment, including inappropriate or threatening communications, constituting cyberbullying and sexual cyberbullying.

o    Result: Subject suffered severe emotional distress and mental harm.

12.                        Property Damage

o    Allegation: Don Klyberg and Property Management intentionally or negligently destroyed or damaged Plaintiff’s property.

o    Result: Subject incurred financial losses in the form of repair or replacement costs, loss of health and emotional distressed.

13.                        Property Theft

o    Allegation: Don Klyberg and Property Management stole Subjects property, including BBQ Grill causing financial loss.

o    Result: Subject suffered financial harm, loss of health and emotional distress.

14.                        Intimidation

o    Allegation: Don Klyberg and Property Management engaged in threats, harassment, and other intimidating behaviors to coerce or control the subject.

o    Result: Subject experienced fear, emotional distress, and loss of peaceful enjoyment of the premises.

15.                        Retaliation

o    Allegation: Don Klyberg and Property Management retaliated against Subject for asserting tenant rights or making complaints about the property condition, violating tenant protection laws.

o    Result: Subject suffered emotional distress, financial hardship, and property harm.

16. Stalking

o    Allegation: Don Klyberg and Property Management repeatedly followed, monitored, or harassed subject, causing subject to fear for personal safety and security.

o    Result: Subject experienced emotional trauma, anxiety, and loss of peace of mind.

17. “Smoking Gun” Evidence

o    Allegation: Subject possesses direct evidence (e.g., written communications, video, photos, witness statements) proving Don Klyberg and Property Management wrongful actions and intent.


RELIEF REQUESTED

Subject respectfully requests the following relief:

1.     Compensatory Damages:

o    Financial reimbursement for property loss, repair costs, and expenses related to relocation.

o    Claimed Amount: $18,638.37 (subject to adjustment based on additional losses).

2.     Punitive Damages:

o    To punish Don Klyberg and Property Management for willful, malicious, and reckless conduct.

3.     Relocation Costs:

o    Compensation for all costs incurred due to the need to relocate as a result of Don Klyberg and Property Management actions.

4.     Emotional Distress Damages:

o    Compensation for severe emotional distress, mental anguish, and psychological harm.

5.     Legal Fees and Costs:

o    Reimbursement of attorney’s fees, court filing costs, and other litigation expenses.*

6.     Additional Relief:

o    Any other relief the court deems just and proper, including injunctions to prevent further harassment or misconduct.


EVIDENCE TO SUPPORT CLAIMS

  • Photographic and video evidence of property damage, unsafe conditions, and harassment.
  • Written communications (texts, emails, notices).
  • Police reports or incident reports*
  • Medical records documenting emotional and physical injuries.
  • Witness statements.
  • Smoking Gun instant updates


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