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- State v. Klapstein
State v. Klapstein
About this case
Filing year
2016
Status
Charges dismissed.
Geography
Docket number
15-CR-16-413, 15-CR-16-414, 15-CR-16-425, 15-CR-16-25
Court/admin entity
United States → State Courts → Minnesota District Court (Minn. Dist. Ct.)
Case category
Climate Change Protesters and Scientists (US) → Protesters (US)
Principal law
United States → Necessity/Justification DefenseUnited States → State Law—Criminal LawUnited States → State Law—Trespass
At issue
Criminal cases against climate protesters who turned pipeline valves.
Topics
Documents
Filing Date
Document
Type
Topics
Beta
10/09/2018
Charges dismissed.
A Minnesota trial court dismissed felony and misdemeanor charges against three climate change activists in connection with their participation in a “valve turner” pipeline protest in 2016. The Climate Defense Project, an organization assisting in the defense of the protesters, announced on October 9, 2018 that the judge dismissed the charges after the prosecution closed its case on the second day of trial. The court found that there was insufficient evidence that the defendants damaged the pipeline. The trial court had ruled in 2017 that the defendants could present a necessity defense. In 2018, the Minnesota Court of Appeals dismissed the State’s appeal of the trial court’s ruling on the necessity defense, and the Minnesota Supreme Court declined to review. The dismissal of the charges rendered the presentation of the necessity defense unnecessary. Prior to the start of the trial, the court restricted the number of expert witness the defense could call to five and required that experts testify in person.
Decision
10/11/2017
Motion to present necessity defense granted.
A Minnesota trial court granted four environmental activists’ motion to present a necessity defense. The defendants—two of whom acknowledged they had attempted to shut down tar sands crude oil pipelines by turning shut-off valves on the pipelines—were charged with criminal damage to property of critical public facilities, utilities, and pipelines; trespass on such facilities; and/or aiding and abetting criminal damage to property and/or trespass. The court noted that Minnesota’s standard for the necessity defense was “high” and would require the defendants to show that “the harm that would have resulted from obeying the law would have significantly exceeded the harm actually caused by breaking the law, there was no legal alternative to breaking the law, the defendant was in danger of imminent physical harm, and there was a direct causal connection between breaking the law and preventing the harm.” The court indicated that its grant of the motion to present evidence on the necessity defense was “not unlimited” and that it expected any evidence “to be focused, direct, and presented in a non-cumulative manner.”
Decision
Summary
Criminal cases against climate protesters who turned pipeline valves.
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Group
Topics
Economic sector