Minnesota

                      

May 21, 2026                      

Lori Wilson, Authorized Agent

Turning Point, Inc.

1500 Golden Valley Road

Minneapolis, MN 55411

License Number: 811027

License Report Number: 202404984, 202409901

CORRECTION ORDER

Dear Lori:

On March 9, 10, 11, and 12, 2026, Department of Human Services (DHS) licensors conducted a licensing and investigation review at your facility, Turning Point, Inc. located at 1500 Golden Valley Road, Minneapolis, MN, 55411. This review was conducted to determine compliance with state and federal laws and rules governing the provision of substance use disorder treatment under Minnesota Statute, chapter 245G. As a result, DHS is issuing this order which requires you to take the correction action as described under each violation. Details of our findings are provided below. Our next steps and your options are also detailed.

LICENSING VIOLATIONS

DHS determined that your program failed to follow licensing rules and statutes, as described below.

Policy, Practices, and Procedures

1. Violation: The license holder did not meet requirements governing physical plant postings. The program abuse prevention plan, grievance procedure, maltreatment of vulnerable adults, service initiation criteria, and visitor policy was not posted and accessible to clients.

Statute Violated: Minnesota Statutes, sections 245A.65, subdivision 2, paragraph (a), clause (6), 245G.14, subdivision 1, 245G.15, subdivision 2, and 245G.21, subdivisions 2 and 5.

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that all physical plant postings meet all applicable requirements. Corrected on site.

2. Violation: The license holder did not monitor the implementation of policies and procedures necessary to maintain compliance with licensing requirements. The policies and procedures contained repealed statute language for assessment and treatment planning.

Statute Violated: Minnesota Statutes, section 245A.04, subdivision 14, paragraph (b).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that written policies and procedures meet all applicable requirements. Within 30 days of receipt of this order, submit an assessment and treatment planning policy and procedure that demonstrates compliance.

3. Violation: The license holder’s service initiation and termination policy did not meet requirements. There was no documentation of:

a. Titles of all staff members authorized to initiate services for clients;

b. Protocol for assisting clients in need of care not provided by the license holder;

c. Protocol for a client who poses a substantial likelihood of harm to the client or others, if the behavior is beyond the behavior management capabilities of the staff members;

d. A service termination and denial of service initiation that poses an immediate threat to the health of any individual or requires immediate medical intervention must be referred to a medical facility capable of admitting the client;

e. A requirement that before discharging a client from a residential setting for not reaching treatment plan goals the license holder must confer with other interested persons to review issues involved in the decision, describe why the discharge is warranted and alternatives considered or attempted before discharging the client; and

f. Procedures staff must follow when a client leaves against medical advice; including a policy that requires staff members to assist the client with assessing needs of care or other resources.

Statute Violated: Minnesota Statutes, section 245G.14, subdivision 1, 2, paragraphs (a) and (b), and 3, clauses (3) and (5).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that service initiation and termination policy and procedures meet all applicable requirements. Within 30 days of receipt of this order, submit a service initiation and termination policy that demonstrates compliance.

4. Violation: The license holder did not meet requirements governing client rights protection in the following ways:

a. The client rights policy did not identify the rights in Minnesota Statutes, sections 144.651 and 148F.165; and

b. The grievance policy did not contain the current address and telephone number for the Board of Behavioral Health and Therapy.

Statute Violated: Minnesota Statutes, section 245G.15, subdivisions 1 and 2, clause (2).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that client rights protection meet all applicable requirements. Within 30 days of receipt of this order, submit a client rights protection policy and grievance procedure that demonstrates compliance.

5. Violation: The license holder’s treatment services description did not include the following:

a. The amount and type of treatment services provided;

b. Which services meet the definition of group counseling under Minnesota Statutes, section 245G.01, subdivision 13a;

c. Groups and topics on which a guest speaker could provide under the direct observation of an alcohol and drug counselor; and

d. The program’s treatment week.

Statute Violated: Minnesota Statutes, section 245G.12, clause (10).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that treatment service description meets all applicable requirements. Within 30 days of receipt of this order, submit a treatment services description that demonstrates compliance.

6. Violation: The license holder did not meet requirements governing client attendance. The policy did not include a procedure to track and record the date, duration and nature of each treatment service provided.

Statute Violated: Minnesota Statutes, section 245G.09, subdivision 1, paragraph (b).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that client attendance policy meets all applicable requirements. Within 30 days of receipt of this order, submit a client attendance policy that demonstrates compliance.

7. Violation: The license holder’s co-occurring policy and procedures did not meet requirements. The policy did not provide flexibility for a client who may lapse in treatment or may have difficulty adhering to established treatment rules as a result of a mental illness, with the goal of helping a client successfully complete treatment.

Statute Violated: Minnesota statutes, section 245G.20, clause (8).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that co-occurring policy meets all applicable requirements. Within 30 days of receipt of this order, submit a co-occurring policy that demonstrates compliance.

8. Violation: The license holder did not meet requirements governing emergency overdose treatment. There was no documentation of the following:

a. The program’s procedures for administering opiate antagonist medications; and

b. A written standing order protocol that permits the license holder to maintain a supply of opiate antagonists on site.

Statute Violated: Minnesota Statutes, sections 245A.242, subdivision 2, paragraph (a), (b), clause (3), and 245G.08, subdivision 3.

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that emergency overdose treatment meets all applicable requirements. Within 30 days of receipt of this order, submit a procedure and protocol for administering opiate antagonist medications that demonstrates compliance.

9. Violation: The license holder did not meet requirements governing medical services in the following ways:

a. There was no documentation that a registered nurse provided on-site supervision on a monthly basis from July 2024 through December 2025;

b. The medication administration policy and procedures did not include a provision that a delegation of administration of medication is limited to an intramuscular injection of naloxone or epinephrine;

c. Controlled drug policy and procedures did not contain:

1) A statement that only authorized personnel are permitted access to the keys to the locked compartments;

2) A statement that no legend drug supply for one client shall be given to another client; and

3) A procedure for monitoring the available supply of naloxone on site, replenishing the naloxone supply when needed, and destroying naloxone; and

d. There was no written procedure for assessing and monitoring a client’s health, including a standardized data collection tool for collecting health related information about each client.

Statute Violated: Minnesota Statutes, sections 245G.08, subdivisions 5, paragraph (c), clause (1), and 6, clauses (5), (6), and (7), and 245G.21, subdivision 7.

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that medical services meet all applicable requirements. Within 30 days of receipt of this order, submit a medical services policy that demonstrates compliance.

10. Violation: The license holder did not meet requirements governing HIV minimum standards. The policies and procures were not consistent with the HIV minimum standard.

Statute Violated: Minnesota statutes, section 245A.19, paragraph (d).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that HIV minimum standards meet all applicable requirements. Within 30 days of receipt of this order, submit a HIV minimum standards policy that demonstrates compliance.

11. Violation: The license holder did not meet requirements governing the program abuse prevention plan (PAPP) in the following ways:

a. The population assessment did not include:

1) Mental functioning;

2) Physical and emotional health or behavior of clients;

3) Need for specialized programs of care for clients;

4) Need for training of staff to meet identified individual needs; and

5) Knowledge a license holder may have regarding previous abuse that is relevant to minimizing risk of abuse for clients;

b. The physical plant assessment did not include an evaluation of the existence of areas in the building which are difficult to supervise;

c. The environment assessment did not include an evaluation of the type of internal programming;

d. The PAPP did not include:

1) A statement of specific measures to be taken to minimize the risk of abuse; and

2) An annual review by the governing body or delegate for calendar years 2024 and 2025.

Statute Violated: Minnesota Statutes, section 245A.65, subdivision 2, paragraphs (a), clauses (1), (2), (3), and (5), and (b), clause (1).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that the program abuse prevention plan meets all applicable requirements. Within 30 days of receipt of this order, submit a program abuse prevention plan that meets all applicable requirements.

12. Violation: The license holder did not meet requirements governing maltreatment of vulnerable adult policies in the following ways:

a. The policy did not include the primary person to whom internal reports be made, who is responsible for forwarding internal reports to the common entry point, and who will ensure that internal reviews are completed; and

b. An internal review was completed on November 15, 2025 and did not include the following:

1) An evaluation of whether related policies and procedures were followed;

2) The policies and procedures were adequate;

3) There is a need for additional staff training; and

4) The reported event is similar to past events with the vulnerable adults or the services involved.

Statute Violated: Minnesota Statutes, section 245A.65, subdivision 1, paragraphs (a), clause (2), (b), clause (1) and (2), and (d).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that maltreatment reporting policies meet all applicable requirements. Within 30 days of receipt of this order, submit a maltreatment of vulnerable adults policy that meets all applicable requirements.

13. Violation: The license holder did not meet requirements governing maltreatment of minors in the following ways:

a. The policy contained repealed statute language; and

b. The policy did not contain the current primary person who will ensure that internal reviews are completed.

Statute Violated: Minnesota statutes, section 245A.66, subdivision 1.

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that the maltreatment of minors meets all applicable requirements. Within 30 days of receipt of this order, submit a maltreatment of minors policy that meets all applicable requirements.

14. Violation: The license holder’s personnel policies and procedures did not meet requirements. The policy did not include:

a. Staff member retention, promotion, job assignment, or pay are not affected by a good faith communication between a staff member and the Department of Health, the Department of Human Services, the ombudsman for mental health and developmental disabilities, law enforcement, or local agencies for the investigation of complaints regarding a client's rights, health, or safety;

b. A job description for each staff member position that specified responsibilities, the degree of authority to execute job responsibilities, and qualification requirements;

c. A job performance evaluation based on standards of job performance conducted on a regular and continuing basis, including a written annual review;

d. Policies prohibiting client abuse described in Minnesota Statutes, sections 245A.65, 260E, 626.557, and 626.5572;

e. A written plan for staff orientation;

f. The license holder’s response to a staff member with a behavior problem that interferes with the provision of treatment services; and

g. A policy that prohibits license holders, employees, subcontractors, and volunteers, when directly responsible for persons being served by the program, are prohibited from abusing prescription medication or being in any manner under the influence of a chemical that impairs the individual's ability to provide services or care.

Statute Violated: Minnesota Statutes, sections 245A.04, subdivision 1, paragraph (c), and 245G.13, subdivision 1, clauses (1), (2), (3), (4), (7), and (8).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that the personnel policies and procedures meets all applicable requirements. Within 30 days of receipt of this order, submit a personnel policy and procedure that meets all applicable requirements.

15. Violation: The license holder did not meet requirements governing the plan for transfer of clients and records upon closure as follows:

a. The policy did not contain:

1) Provision for managing private and confidential information concerning program clients;

2) Arrangements the program will make to transfer clients to another provider or county agency for continuation of services and to transfer the case record with the client for open cases and case records; and

3) A signed agreement or other documentation indicating that a county or a similarly licensed provider has agreed to accept and maintain the program's closed case records and to provide follow-up services as necessary to affected clients; and

b. There was no documentation that a controlling individual reviewed and signed the plan in calendar years 2024 and 2025.

Statute Violated: Minnesota statutes, section 245A.04, subdivision 15a.

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that transfer of clients and records meet all applicable requirements. Within 30 days of receipt of this order, submit a transfer of clients and records policy and signed agreement that meets all applicable requirements.

Personnel files

16. Violation: The license holder did not provide a guest speaker with all training required for staff members. Per interview with the authorized agent and treatment service documentation, the program had a guest speaker present weekly in group therapy. There was no personnel file maintained for the guest speaker(personnel file numbered 11).

Statute Violated: Minnesota Statutes, section 245G.07, subdivision 3a, paragraphs (c) and (d).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that guest speakers meet all applicable requirements. Within 30 days of receipt of this order, submit orientation documentation for the guest speaker that demonstrates compliance.

17. Violation: Two of ten personnel files reviewed for requirements governing staff qualifications did not meet requirements. There was no documentation of the following:

a. Recovery peer had a minimum of one year in recovery from substance use disorder (personnel file numbered 3);

b. A licensed alcohol and drug counselor met with recovery peer at least once per month for supervision from March 2024 through February 2026 (personnel file numbered 3); and

c. A licensed alcohol and drug counselor met with an alcohol and drug counselor with a temporary permit at least on a weekly basis from June 2025 through February 2026 (personnel file numbered 7).

Statute Violated: Minnesota Statutes, section 245G.11, subdivisions 8 and 11, paragraph (a).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that staff qualifications meet all applicable requirements. Within 30 days of receipt of this order, submit documentation that demonstrates compliance.

18. Violation: Seven of seven personnel files reviewed for requirements governing staff orientation did not meet requirements.

a. There was no documentation of orientation within 24 working hours of the following:

1) The staff members specific job responsibilities (personnel files numbered 4, 5, 6, 9, and 10);

2) Policies and procedures (personnel files numbered 1, 4, 5, 6, 9, and 10);

3) Client confidentiality (personnel files numbered 4, 5, and 6);

4) Client needs (personnel files numbered 1, 4, 5, 6, 9, and 10);

b. Within 72 hours of employment:

1) Maltreatment of vulnerable adults (personnel files numbered 4, 5, 6, and 10);

2) Program abuse prevention plan (personnel files numbered 1, 4, 5, 6, and 10); and

3) All internal policies and procedures related to the prevention and reporting of maltreatment of individuals receiving services (personnel files numbered 4, 5, 6, and 10);

c. Maltreatment of minors before the mandated reporter has direct contact (personnel files numbered 4, 5, 6, and 10);

d. HIV minimum standards (personnel files numbered 1, 4, 5, 6, 9, and 10); and

e. 12 hours of training in co-occurring disorders within 6 months of hire (personnel file numbered 2).

Statute Violated: Minnesota statutes, sections 245A.04, subdivision 1, paragraph (c), 245A.19, 245A.65, subdivision 3, 245G.08, subdivision 3, and 245G.13, subdivisions 1, clause (7), and 2, paragraph (e).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that staff orientation meet all applicable requirements.

19. Violation: Six of six personnel files reviewed for requirements governing annual, every two year, and additional training did not meet requirements. There was no documentation of annual training on:

a. Mandatory reporting as specified in Minnesota Statutes, sections 245A.65, 626.557, 626.5572, and chapter 260E, including specific training covering the license holder’s policies for obtaining a release of client information for:

1) Calendar year 2024 (personnel files numbered 2, 3, and 8);

2) Calendar year 2025 (personnel file numbered 8); and

3) Calendar year 2026 (personnel files numbered 2 and 3);

b. Program abuse prevention plan:

1) Calendar year 2024 (personnel files numbered 2 and 8);

2) Calendar year 2025 (personnel files numbered 2, 3, and 8); and

3) Calendar year 2026 (personnel file numbered 3);

c. Internal policies and procedures related to the prevention and reporting of maltreatment of individuals receiving services:

1) Calendar year 2024 (personnel files numbered 2, 7 and 8);

2) Calendar year 2025 (personnel files numbered 2, 3, 7 and 8); and

3) Calendar year 2026 (personnel file numbered 3); and

d. HIV minimum standards:

1) Calendar year 2024 (personnel files numbered 2, 7 and 8);

2) Calendar year 2025 (personnel files numbered 2, 3, 7, 8 and 9); and

3) Calendar year 2026 (personnel file numbered 3); and

e. Every two year training on emergency procedures for calendar year 2025 (personnel file numbered 2).

Statute Violated: Minnesota Statutes, sections 245A.19, paragraph (b), 245A.65, subdivision 3, and 245G.13, subdivision 2, paragraphs (b), (c), and (d) .

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that staff training meets all applicable requirements. Within 30 days of receipt of this order, submit annual training for the staff listed above that meets all applicable requirements.

20. Violation: Ten of ten personnel files reviewed for requirements governing personnel file contents did not meet requirements. The personnel file did not contain the following: An application for employment signed by the staff member (personnel files numbered 1, 2, 3, 4, 5, 6, 8, 9, and 10);

a. The first date that a background study subject had direct contact with a person served (personnel file numbered 1, 4, 5, 6, 9, and 10);

b. For staff members who provide psychotherapy services, documentation of an inquiry required by Minnesota Statutes, sections 604.20 to 604.205 made to the staff member’s former employers regarding substantiated sexual contact with a client (personnel files numbered 2, 7, 8, and 9); and

c. A written annual job performance evaluation for:

1) Calendar year 2024 (personnel files numbered 2, 7, 8, and 9);

2) Calendar year 2025 (personnel files numbered 2, 3, 7, 8, and 9); and

3) Calendar year 2026 (personnel file numbered 3).

Statute Violated: Minnesota Statutes, sections 245A.041, subdivision 6, and 245G.13, subdivisions 1, clause (3), and 3, clauses (1), (2), and (3).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that personnel file contents meet all applicable requirements. Within 30 days of receipt of this order, submit job performance evaluations for the staff listed above that meet all applicable requirements.

Client Files

21. Violation: Three of four client files reviewed for requirements governing client orientation did not meet requirements. There was no documentation of the following orientation:

a. Within 72 hours of service initiation (client file numbered 1):

1) HIV minimum standards; and

2) Tuberculosis; and

b. Consent to the disclosure of suspected maltreatment from the (client files numbered 1, 3, and 4).

Statute Violated: Minnesota statutes, sections 245A.19, paragraph (b), and 245A.65, subdivision 1a, paragraph (b.

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that client orientation meets all applicable requirements.

22. Violation: Three of three client files reviewed for requirements governing individual abuse prevention plans (IAPP) did not meet requirements in the following ways:

a. IAPP was not completed within 24 hours of the day of service initiation (client file numbered 4); and

b. The IAPP did not contain an individualized assessment of the person’s susceptibility to abuse by other individuals (client files numbered 1 and 3).

Statute Violated: Minnesota Statutes, sections 245A.65, subdivision 2, paragraph (b) and 245G.04, subdivision 2, paragraph (b).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that individual abuse prevention plans meet all applicable requirements. Within 30 days of receipt of this order, submit an IAPP that meets all applicable requirements.

23. Violation: Three of four client files reviewed for requirements governing comprehensive assessments (CA) did not meet requirements. There was no documentation of the following:

a. A review and update of the comprehensive assessment (client file numbered 4);

b. The status of the client’s basic needs (client files numbered 4 and 5);

c. Substance use history, including frequency (client file numbered 1); and

d. The client’s resources (client file numbered 1).

Statute Violated: Minnesota Statutes, section 245G.05, subdivisions 1 , paragraph (c), and 3.

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that comprehensive assessments meet all applicable requirements.

24. Violation: Four of four client files reviewed for requirements governing individual treatment plans (ITP) did not meet requirements as follows:

a. ITP was not completed by the end of the tenth day on which a treatment service had been provided from the day of service initiation (client file numbered 5); and

b. There was no documentation of the following:

1) How the family or others will be involved in the client’s treatment (client files numbered 4 and 5);

2) A treatment strategy (client files numbered 1, 3, 4, and 5);

3) ASAM level of care identified in Minnesota Statutes, section 254B.19, subdivision 1, under which the client is receiving services (client files numbered 1, 4, and 5);

4) The participants involved in the client’s treatment planning (client file numbered 1); and

5) Resources to refer the client to when the client’s needs will be addressed concurrently by another provider (client file numbered 1).

Statute Violated: Minnesota Statutes, section 245G.06, subdivisions 1 and 1a, paragraph (a), clauses (2), (3), (4), (5), and (6).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that individual treatment plans meet all applicable requirements. Within 30 days of receipt of this order, submit an individual treatment plan that demonstrates compliance.

25. Violation: Two of four client files reviewed for requirements governing treatment service, record keeping, and client record documentation did not meet requirements as follows:

a. Documentation was not completed within seven days of providing the treatment service on January 26, 2026 and February 4, 2026 (client file numbered 1);

b. There was no documentation of the following on the day that each occurred:

1) A client medical appointment on February 9, 2026 (client file numbered 3);

2) The reason for the client absence from the treatment service on February 9, 10, 12, and 13, 2026 (client file numbered 3); and

3) Entries in the client record were not signed for notes dated February 11, 2026 and March 5, 2026 (client file numbered 3).

Statute Violated: Minnesota statutes, sections 245G.06, subdivisions 2a, 2b, paragraphs (b), clauses (1) and (3), c, and 245G.09, subdivision 1, paragraph (a).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that treatment service documentation meet all applicable requirements.

26. Violation: Four of four client files reviewed for requirements governing treatment plan reviews (TPR) did not meet requirements in the following ways:

a. The review did not indicate the span of time covered by the review (client file numbered 1);

b. The TPR did not include toxicology results for alcohol and substance use (client files numbered 1 and 3); and

c. TPR’s were not completed once every 30 days for ASAM 2.1 level of care (client files numbered 4 and 5).

Statute Violated: Minnesota statutes, section 245G.06, subdivision 3, and 3a, paragraph (e).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that treatment plan reviews meet all applicable requirements.

27. Violation: One of two client files reviewed for requirements governing medication administration (client file numbered 1) did not meet requirements. The client’s use of medication was not recorded, including staff signatures with date and time as follows:

a. January 13 through 29, 2026;

b. February 1-28, 2026; and

c. March 1 through 31, 2026.

Statute Violated: Minnesota statutes, section 245G.08, subdivision 5, paragraph (c), clause (7).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that medication administration procedures meet all applicable requirements.

28. Violation: One of two client files reviewed for requirements governing client property management (client file numbered 3) did not meet requirements. There was no documentation of the client’s signature for receipt and disbursement of the person’s funds or other property.

Statute Violated: Minnesota Statutes, section 245A.04, subdivision 13, paragraph (c), clause (1).

Corrective Action Required: Immediately and on an ongoing basis, the license holder must ensure that client property management meets all applicable requirements.

Written Response Required

If you fail to correct the violation(s) specified in the Correction Order within the prescribed time lines the Commissioner may issue an Order of Conditional License or may impose a fine and order other licensing sanctions pursuant to Minnesota Statutes, sections 245A.06 and 245A.07.

Submissions required as part of the corrective action ordered must be sent to your licensor by email at lucy.versalles@state.mn.us or by mail:

Commissioner, Department of Human Services

ATTN: Lucy Versalles

Licensing Division

PO Box 64242

St. Paul, MN 55164-0242

YOUR RIGHT TO REQUEST RECONSIDERATION

You have the right to request reconsideration of this order and the cited violations. Your request must:

· Be in writing

· List each violation you are challenging and identify what is inaccurate or incomplete about the information in the order

· Supply information that is accurate or more complete

· Be made before the deadlines provided below

If you are mailing your request, it must be received by DHS within 20 calendar days from when you received this order. If you do not meet this deadline, you lose your right to request reconsideration. The timeline to appeal began when you received this order. Please send it to:

Office of Inspector General

Legal Counsel’s Office

Attn: Licensing Legal Unit

PO Box 64953

St. Paul, MN 55164-0953

If your request is being personally delivered, it must be received by DHS within 20 calendar days from when you received this order. Please bring it to:

Commissioner, Department of Human Services

Office of Inspector General, Legal Counsel’s Office - Licensing

444 Lafayette Road North

St. Paul, MN 55155

Legal authority

This action is taken under Minnesota Statutes, section 245A.06, subdivision 1. The timeline to request reconsideration of the order is provided in Minnesota Statutes, section 245A.06, subdivision 2.

Questions

If you have any further questions regarding this matter, you may contact me at 651-431-6617 or at charlene.m.hanson@state.mn.us.

Sincerely,

image

Char Hanson, Licensor

Licensing Division

Office of Inspector General


PO Box 64242 • Saint Paul, Minnesota • 55164-0242 • An Equal Opportunity and Veteran Friendly Employer

https://mn.gov/dhs/general-public/licensing/