Tuesday, January 18, 2022

Prosecutor James Kennedy Flat Out Lies, Check the Chronology, the Emails Clearly Contradict what he says at a Trial to STEAL a Homeless Man's Dog. Sara did participate in Stalking, Setting Up, Lying about Michael Allmain and she did this to her own unjust enrichment.

 "And what the City, at least, recalls hearing in

evidence was that she expressed interest in helping

investigate animal cruelty cases -- not that any of that

pertained to Mr. Allmain. The City does not recall

Mr. Allmain’s name coming up at all -- or Moses’s with her

interest and willingness to assist and investigate in animal

cruelty cases."

Click Below to Read Full Transcript, Page 374 is Above LIE, as Sara's emails with Officer Wendy Davis do say she will help make a case SPECIFICALLY against Michael Allmain. 

https://drive.google.com/file/d/10V5T4foytZJFhr6eAOLPXMf9OT90K9zj/view?usp=sharing

Michael Allmain Trial. Sara Penhallegon, in my Opinion is a Malicious, Bully who does not tell the Truth under Oath.

 Penhallegon Page 62


MR. JACOB: So, Your Honor, at this point in time, I’m going to renew my objection to you of the characterization that Ms. Penhallegon made moments ago of the animal being chronically neglected. Not only does it call for a medical conclusion that I don’t believe she’s qualified to give, but also it calls for a legal conclusion that is outside of any witness’s purview and only in the sole province of Your Honor as fact finder to make.

Click Below for Full Trial Transcript




Q So now having assessed that animal, how would you categorize him amongst the animals that you receive and care for in Center Valley? Dogs? MR. JACOB: And I’m going to object at this point
because I don’t think that there was a foundation for there being a specific categorization system. I remember Counsel asking earlier in direct testimony and not receiving an answer. THE COURT: I’m going to overrule. MR. KENNEDY: For the record, I do believe I received that answer.
BY MR. KENNEDY:
Q So how would you categorize him? A Chronic neglect. MR. JACOB: So I’m going to object to that characterization again. And if the Court is inclined to say the foundation has been laid, I’d like the opportunity to voir dire the Witness. THE COURT: You may, but I am overruling the objection. But you may. MR. JACOB: May I voir dire the Witness before you make your final decision on that? THE COURT: You may. MR. JACOB: Thank you, Your Honor. So, Ms. Penhallegon, you’re a vet tech, right? THE WITNESS: Correct. MR. JACOB: And that means you’re not a licensed veterinarian, right? THE WITNESS: Correct.

MR. JACOB: And there are certain rules that vet techs have to abide by under the Washington Administrative Code, right? THE WITNESS: Correct. MR. JACOB: And there are certain things that you can’t do as a vet tech that a veterinarian would be able to do, right? THE WITNESS: Correct. MR. JACOB: And so one of those things is you cannot provide any sort of diagnosis of an animal, right? THE WITNESS: Correct. MR. JACOB: And that’s because you don’t have the specialized training and experience to be able to make that diagnosis under the law? THE WITNESS: Correct. MR. JACOB: And you also are not allowed to do things like prescribe medication on your own, right? THE WITNESS: Correct. MR. JACOB: And your not allowed to take samples on your own or analyze those samples or be able to indeed testify to the results of those examples without direct supervision of a veterinarian, right? THE WITNESS: I can take samples, as long as the doctor has ordered them. MR. JACOB: So you don’t have to actually be
directly supervised in order for to take samples? THE WITNESS: Correct.
MR. JACOB: But if you were to be asked to analyze samples, that’s not something you can do as a veterinary technician, right? THE WITNESS: I do analyze samples and I give the results to the doctor. MR. JACOB: But as far as the actual conclusion that you draw, that’s ultimately up to the vet, right? THE WITNESS: The diagnosis is through the veterinarian. MR. JACOB: And your training and experience doesn’t allow you to perform activities like surgery, for instance? THE WITNESS: Correct. MR. JACOB: You’re not to initiate treatment without prior instruction by a veterinarian, correct? THE WITNESS: Correct. MR. JACOB: And at the time that you’re testifying about -- when you had your first contact with Moses on the 24th, you hadn’t done anything like take samples or analyze those samples, right? Skin cytology, etc. THE WITNESS: That was once the doctor showed up. MR. JACOB: So you didn’t -- THE WITNESS: The only sample I drew before the doctor got there was the lab work, which she had ordered. MR. JACOB: So you didn’t know, for instance, at that time, whether there was a chronic infection? THE WITNESS: Correct to a point. MR. JACOB: Okay. And certainly, as you testified, you didn’t know Mr. Allmain at that point? THE WITNESS: Correct. MR. JACOB: And so you had no idea what he had or hadn’t been doing to take care of his dog at that point in time, right? THE WITNESS: Correct. MR. JACOB: So, Your Honor, at this point in time, I’m going to renew my objection to you of the characterization that Ms. Penhallegon made moments ago of the animal being chronically neglected. Not only does it call for a medical conclusion that I don’t believe she’s qualified to give, but also it calls for a legal conclusion that is outside of any witness’s purview and only in the sole province of Your Honor as fact finder to make.