Matter of James Gardner

03/01/2021 Case Number: PR 21-0100 1 Pamela D. Bucy Chief Disciplinary Counsel 2 P.O. Box 1099 Helena, MT 59624-1099 3 (406)442-1648 pbuc\ la montanaodc.org 4 Office of Disciplinary Counsel 5 6 7 8 BEFORE THE COMMISSION ON PRACTICE OF THE 9 SUPREME COURT OF THE STATE OF MONTANA 10 ************* 11 IN THE MATTER OF JAMES GARDNER, Supreme Court No. 12 An Attorney at Law, ODC File Nos. 20-048 13 Respondent. COMPLAINT 14 Rules 1.7, 3.4, and 8.4(b) MRPC 15 16 By leave of the Commission on Practice granted on January 7, 2021, the 17 Office of Disciplinary Counsel for the State of Montana("ODC"), hereby charges 18 James Gardner with professional misconduct as follows: 19 General Allemtions 20 1. James Gardner, hereinafter referred to as Respondent, was admitted to 21 the practice of law in the State of Montana in 2001, at which time he took the oath 22 required for admission, wherein he agreed to abide by the Rules of Professional 23 Conduct, the Disciplinary Rules adopted by the Supreme Court, and the highest 24 standards of honesty, justice and morality, including but not limited to, those 25 outlined in parts 3 and 4 of Chapter 61, Title 37, Montana Code Annotated. Complaint - Page 1 1 2. The Montana Supreme Court has approved and adopted the Montana 2 Rules of Professional Conduct ("MRPC"), governing the ethical conduct of 3 attorneys licensed to practice in the State of Montana, which Rules were in effect at 4 all times mentioned in this Complaint. 5 3. On the night ofJuly 21,2019,Destiny Freiburg was involved in a single 6 vehicle crash on I-15 outside of Helena, MT. Ms. Freiburg is Respondent's 7 girlfriend and the mother of their eighteen (18) month-old child, who, with another 8 minor child, was in Ms. Freiburg's car at the time ofthe crash. 9 4. Montana Highway Patrol Trooper Sutherland responded to the crash 10 and began his investigation. Trooper Sutherland suspected alcohol was a factor in 11 the crash, and the presence of the minor children made this a potential felony 12 investigation. Respondent arrived on the scene to take custody of the two minor 13 children. He repeatedly requested that Ms. Freiburg be allowed to bond out that 14 night. He insisted that Trooper Sutherland call the Lewis and Clark County Attorney 15 so that he could discuss getting her released. Standard law enforcement protocol 16 would have required Ms. Freiburg to be booked on the felony and appear before the 17 Lewis and Clark Justice of the Peace on Monday morning. Respondent insisted his 18 eighteen (18) month-old child needed to nurse and refused a bottle and requested 19 Ms. Freiburg be released from custody. Though skeptical of Respondent's claims, 20 Trooper Sutherland facilitated a roadside conversation between Respondent and on- 21 call Lewis and Clark Deputy County Attorney Josh Nemeth. Exercising an 22 abundance of caution, Mr. Nemeth reluctantly agreed to have Ms. Freiburg charged 23 with misdemeanor DUI that evening under the mutual understanding that a felony 24 charge would be filed. Ms. Freiburg's driving privileges were suspended. 25 /// Complaint - Page 2 1 5. Trooper Sutherland continued his investigation, and when Ms.Freiburg 2 refused to provide a breath or blood sample, he obtained a telephonic search warrant 3 to conduct a blood draw. He then transported Ms. Freiburg to the Lewis and Clark 4 County Detention Center where she was placed in the back of an ambulance for the 5 blood draw. Respondent knocked on the door ofthe ambulance, stated he would be 6 representing Ms. Freiburg, and advised her not to provide a blood sample. Trooper 7 Sutherland informed Respondent of the search warrant. Even after review of and a 8 brief discussion about the warrant, Respondent advised Ms. Freiburg not to comply 9 with the court order, and she so refused. Trooper Sutherland repeatedly advised Ms. 10 Freiburg that she had no choice but to comply, but she refused to cooperate under 11 the advice of Respondent and was eventually placed in a restraint chair to conduct 12 the blood draw. As a result of her continued refusal to cooperate with the search 13 warrant, Ms. Freiburg was charged with Obstructing a Peace Officer. 14 6. In accordance with the mutual understanding, Ms. Freiberg was 15 charged with felony Criminal Endangerment and several misdemeanor offenses on 16 August 1, 2019 in Lewis and Clark County Justice Court, Case No. CR-515-2019- 17 520. She was charged by Information on October 8, 2019, transferring the case to 18 Lewis and Clark County District Court, Cause No. CDC-19-457. 19 7. On August 20, 2019, Respondent filed a Petition for Appeal of 20 Suspension ofDriver's License on behalfofMs.Freiburg in Lewis and Clark County 21 District Court, Cause No. ADV-19-1200, wherein he stated the DUI charge against 22 Ms. Freiburg had been dismissed in Justice Court. 23 8. Based on his conduct during Trooper Sutherland's initial investigation, 24 Respondent was charged with Obstructing a Peace Officer in Lewis and Clark 25 County Justice Court, Case No. CR-515-2019-518. He was convicted at jury trial Complaint - Page 3 i on January 14, 2020 and received a 6-month deferred imposition of sentence 2 conditioned on a $500 fine and 20 hours community service. Jury costs were 3 imposed at hearing on February 23, 2020. Respondent filed an appeal with Lewis 4 and Clark County District Court on March 4, 2020(Cause No. DC-20-119). That 5 matter was fully briefed in July 2020. On February 17,2021,the district court denied 6 Mr. Gardner's appeal and affirmed his conviction of Obstructing a Peace Officer. 7 9. The State filed a motion to disqualify Respondent as counsel in the 8 appeal of Ms. Freiburg's suspended driver's license due to him being a witness to 9 much ofthe incident on July 21,2019 and his involvement in the investigation. The io State argued that because Respondent was a witness, he could not act as Ms. 11 Freiburg's legal counsel. On January 23,2020,the Court concurred with and granted 12 the State's motion to disqualify Respondent as counsel for Ms. Freiburg. 13 10. At Ms. Freiburg's Change ofPlea hearing on April 30, 2020,the State 14 moved to amend the Information in Count 1 from Criminal Child Endangerment, a 15 felony, to Criminal Endangerment, a felony, and in Count 2 from Failure to Have 16 Child Properly Restrained, a misdemeanor, to DUI per se, a misdemeanor. Counts 17 3,4 and 5 were dismissed, and Count6 remained as originally charged. Ms.Freiburg 18 pled guilty to felony Criminal Endangerment, misdemeanor DUI per se, and 19 misdemeanor Obstructing a Peace Officer. She received a three-year deferred 20 sentence for felony Criminal Endangerment;a one-year sentence with all but 60 days 21 suspended for misdemeanor DUI (served under house arrest); and a 180-day 22 suspended sentence for misdemeanor Obstructing a Peace Officer. Attorney Brad 23 Custer ofthe public defender's office represented Ms. Freiburg. 24 III 25 III Complaint - Page 4 1 Count One 2 11. ODC realleges and incorporates paragraphs 1 through 10 ofthe General 3 Allegations as if fully restated in this Count One. 4 12. Respondent "unlawfully obstruct[ed] another party's access to 5 evidence" and "counsel[ed]...another person to do any such act" by advising his 6 client not to comply with a court ordered search warrant in violation of Rule 3.4(a), 7 Fairness to Opposing Party and Counsel. 8 Count Two 9 13. ODC realleges and incorporates paragraphs 1 through 10 ofthe General 10 Allegations as if fully restated in this Count Two. 11 14. Respondent's involvement in the criminal investigation of Ms. 12 Freiburg and his representation of her at the scene, created a concurrent conflict of 13 interest, specifically, his personal interests, which constitutes a violation of Rule 14 1.7(a)(2), Conflict of Interest. The exception to the rule is the client must give 15 written consent for the representation. 16 Count Three 17 15. ODC realleges and incorporates paragraphs 1 through 10 ofthe General 18 Allegations, as if fully restated in this Count Three. 19 16. Respondent's inappropriate interference with the police investigation 20 including committing a misdemeanor criminal offense of Obstructing a Peace 21 Officer by advising Ms. Freiburg not to comply with a court-ordered search warrant 22 constitutes a violation of Rule 8.4(b), Criminal Acts. 23 WHEREFORE,the Office of Disciplinary Counsel prays: 24 /// 25 /// Complaint - Page 5 1 1. That a Citation be issued to the Respondent, to which shall be attached a 2 copy of the complaint, requiring Respondent, within twenty (21) days after service 3 thereof, to file a written answer to the complaint; 4 2. That a formal hearing be had on the allegations ofthis complaint before an 5 Adjudicatory Panel of the Commission; 6 3. That the Adjudicatory Panel of the Commission make a report of its 7 findings and recommendations after a formal hearing to the Montana Supreme 8 Court, and, in the event the Adjudicatory Panel finds the facts warrant disciplinary 9 action and recommends discipline, that the Commission also recommend the nature 10 and extent of appropriate disciplinary action; and, 11 4. For such other p..nd further relief as deemed necessary and proper. 61- 12 DATED this day of March, 2021. 13 OFFICE OF DISCIPLINARY COUNSEL 14 15 By: 16 Pamela D. Bucy Chief Disciplinary Counsel 17 18 19 20 21 22 23 24 25 Complaint - Page 6 CERTIFICATE OF SERVICE I, Pamela D. Bucy, hereby certify that I have served true and accurate copies of the foregoing Complaint - Formal Complaint and Citation to Appear to the following on 03-01-2021: Shelly Smith (Court Reporter) Office Administrator Supreme Court Boards and Commissions P.O. Box 203002 301 S. Park Ave., Ste. 328 Helena MT 59624 Service Method: eService E-mail Address: shellysmith@mt.gov Electronically signed by Shelby Streib on behalf of Pamela D. Bucy Dated: 03-01-2021