State v. Rindfleisch

2014 WI App 121, 857 N.W.2d 456, 359 Wis. 2d 147, 2014 Wisc. App. LEXIS 929
CourtCourt of Appeals of Wisconsin
DecidedNovember 12, 2014
DocketNo. 2013AP362-CR
StatusPublished
Cited by8 cases

This text of 2014 WI App 121 (State v. Rindfleisch) is published on Counsel Stack Legal Research, covering Court of Appeals of Wisconsin primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
State v. Rindfleisch, 2014 WI App 121, 857 N.W.2d 456, 359 Wis. 2d 147, 2014 Wisc. App. LEXIS 929 (Wis. Ct. App. 2014).

Opinions

KESSLER. J.

¶ 1. At issue in this appeal is whether the circuit court erred in denying Kelly M. Rindfleisch's motion to suppress all evidence resulting from a search warrant ordering Internet Service Providers (ISPs) Google and Yahoo to produce emails from Rindfleisch's email accounts with them from January 1, 2009, until October 10, 2010, together with the account ownership identifying data. Rindfleisch claims the warrants lacked sufficient particularity and thus were "general warrants" in violation of her Fourth Amendment rights. We affirm.

BACKGROUND

¶ 2. Rindfleisch was charged with four counts of misconduct in public office, in violation of Wis. Stat. § 946.12(3) (2009-10),1 based on a complaint alleging that she engaged in partisan campaign activities, in-[151]*151eluding political fundraising, during working hours while she was simultaneously a Milwaukee County employee working for then-County Executive Scott Walker. The criminal complaint alleged that during her County work hours, Rindfleisch campaigned for Walker's 2010 gubernatorial campaign, along with the campaign for Lieutenant Governor Candidate Bret Davis.

¶ 3. The complaint states that Rindfleisch was hired by the County Executive's Chief of Staff, Tim Russell, as a policy advisor for the County Executive in early 2010. Rindfleisch was promoted to Deputy Chief of Staff in March 2010. As a Milwaukee County employee, Rindfleisch was issued a laptop and a County email account. According to the complaint, Rindfleisch used a "non-County issued, personal laptop computer and a non-County, private wireless Internet connection supplied by Tim Russell," to work on "projects assigned to her by Russell." Rindfleisch also had two personal email accounts: rellyk_us@yahoo.com and kmrindfleisch@gmail.com. Information found in the emails subject to the warrants showed that both of Rindfleisch's personal email accounts were used for political purposes during County work hours.

¶ 4. On August 11, 2010, Milwaukee County District Attorney Chief Investigator David Budde submitted an affidavit requesting multiple search warrants relating to political activity conducted by Darlene Wink, the Constituent Services Coordinator for Walker. The affidavit incorporated by reference both an affidavit dated May 14, 2010, in support of a petition to enlarge [152]*152the scope of the John Doe proceedings2 investigating various potentially prohibited activities conducted by Walker's aides or appointees during his time as Milwaukee County Executive, and an affidavit dated July 1, 2010, "in support of a Search Warrant for the Yahoo Mail accounts of Darlene Wink." According to the August 11, 2010 affidavit, both of the incorporated affidavits tended to establish that Wink conducted partisan political activity while engaged in her official position as an employee within the Office of Milwaukee County.3

¶ 5. Shortly thereafter, the John Doe proceedings expanded to include Russell.4 On August 20, 2010, Budde submitted another affidavit, "principally to [153]*153search and seize records and information in the form of digital evidence contained on computer workstations issued by Milwaukee County for Tim Russell's use." The affidavit did not refer to, or implicate, Rindfleisch. However, an exhibit to the affidavit included an email from Russell to Rindfleisch, including the email chain to which Russell's email related. The chain included various emails discussing political matters. The email addresses in the chain included Russell's email address, "JillB@ scottwalker.org," Rindfleisch's Milwaukee County email account and her Google email account.5

¶ 6. Two months later, on October 20, 2010, Budde submitted another affidavit supporting a search warrant application to require emails between January 1, 2009, and October 20, 2010, from Rindfleisch's Google and Yahoo accounts, and from the email accounts for Russell, Brian Pierick, and "ScottForGov." The affidavit explained that Budde believed the email accounts would contain evidence of Russell's misconduct in public office because emails deleted from Russell's Google account may have remained in Rindfleisch's accounts. Budde explained why Rindfleisch's email accounts would probably contain evidence of Russell's misconduct:

[154]*154While e-mail accounts will often contain many e-mails dating back over months or even years, it is entirely probable that... over time a user can delete 'without a trace' some e-mails held in accounts that are hosted by a provider of electronic communications services. That is to say that e-mails may not be found in the timrussellwi@gmail.com because they have been deleted, but such e-mails may remain in the Rindfleisch [account].
A review of the e-mail threads in this investigation suggest that a number of potentially relevant e-mails have been deleted from the timrussellwi[@]gmail in-box. Evidence from the Rindfleisch accounts will either tend to establish the completeness of the e-mail evidence thus far collected, or it will provide additional evidence of otherwise deleted e-mails. In either event, the evidence from these e-mail accounts will be relevant and valuable.

¶ 7. The warrants issued to Google and Yahoo on October 20, 2010,6 were substantially similar. Both contained information identifying the statutory authority of the investigation (the John Doe proceeding), and the identifying email account information for the ISPs. Both warrants required:

RECORDS TO BE PRODUCED: For the time period of January 1, 2009, to the present, this warrant applies to information associated with the account identified as ... stored at premises owned, maintained, controlled, or operated by [the ISP at their respective headquarters address]. This warrant requires, ON OR BEFORE NOVEMBER 22, 2010 the production of:
[155]*155a. The contents of all communications stored in the [ISP] accounts for the subscriber(s) identified above, including all emails stored in the account, whether sent from or received in the account as well as e-mails held in a "Deleted" status;
b. All records or other information regarding the identification of the accounts, including full name, physical address, telephone numbers and other identifiers, records of session times and durations, the date on which the accounts were created, the length of service, the types of service utilized, the IP address used to register the accounts, log-in IP addresses associated with session times and dates, account statuses, alternative email addresses provided during registration, methods of connecting, log files, and means and source of payment (including any credit or bank account number);
c. All records pertaining to communications between [the ISP] and any person regarding the accounts,, including contacts with support services and records of action taken.

¶ 8. The warrant issued to Google additionally included the following production request:

All address books, contact lists, friendsf] lists, buddy lists, or any other similar compilations of personal contact information associated with the accounts;

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Bluebook (online)
2014 WI App 121, 857 N.W.2d 456, 359 Wis. 2d 147, 2014 Wisc. App. LEXIS 929, Counsel Stack Legal Research, https://law.counselstack.com/opinion/state-v-rindfleisch-wisctapp-2014.