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1 84. Since the filing of MORENO's May 24, 2023 complaint, CITY's indefensible decision to <br /> 2 <br /> allow Valentin and Rodriguez to continue to directly supervise MORENO, not surprisingly, resulted in <br /> 3 <br /> 4 Valentin's ongoing ability to continue to retaliate in various manners against him and others who have dared <br /> 5 to speak out against his unlawful/improper acts, including,inter alia,his ability to continue to make not-so- <br /> 6 subtle threats and take actions against certain CITY whistle blowers. This behavior is documented by <br /> 7 <br /> MORENO in subsequent complaints to CITY. <br /> 8 <br /> 9 85. Additionally,since the filing of MORENO's May 24,2023 complaint,Valentin and Lizardi <br /> 10 have repeatedly and publicly ignored MORENO. This was also documented by MORE NO in subsequent <br /> I I complaints to CITY. <br /> 12 <br /> CITY Continued to Retaliate. <br /> 13 <br /> 14 86. On June 1, 2023, CITY responded to MORENO's complaint detailing misconduct of a <br /> 15 serious nature by threatening that MORENO and Deputy Chief'Paulson were at fault for not completing a <br /> 16 "Blue Team entry" for the incident. <br /> 17 <br /> 18 87. However, per the attached Exhibit "A", MCA RENO indisputably precisely followed the <br /> 19 requisite protocol set forth in CITY's Policy 1010.6.1(a)(b). <br /> 20 R. CITY Continued to Retaliate. <br /> 21 88. As referenced above, in June 2023, CITY publicly released an un-redacted copy of <br /> 22 <br /> MORENO's May 24, 2023, Complaint resulting in CITY's entire Police Department being made aware of <br /> 23 <br /> 24 MORENO's allegations. <br /> 25 S. CITY Continued to Retaliate. <br /> 26 89. On July 8, 2023,after CITY had been aware for years that MORENO wished to attend the <br /> 27 <br /> 28, prestigious FBI National Academy("FBINA"),Valentin forwarded an email to commanders which stated, <br /> in pad: <br /> 14 <br /> MORFM V. CrrYOF SANTAANA CASENa <br /> -I COWWNT <br />