On November 15, 2025, at approximately 6:57 A.M., officers of the Minneapolis Police Department responded to a domestic altercation occurring at VICTIM [NAME REDACTED]’s (VICTIM) residence located at [ADDRESS REDACTED]east, City of Minneapolis, Hennepin County, Minnesota. Officers contacted VICTIM who reported that her former domestic partner and spouse of over 20 years, MARK ALLEN FENNING [DOB REDACTED], DEFENDANT herein, was threatening her with bodily harm from outside of the window. Officers learned that VICTIM was previously the protected party to a DANCO that expired when DEFENDANT was committed to the Commissioner of Corrections on 3/21/2025 in ••-CR-••-••••. According to VICTIM, DEFENDANT stood outside of her window and began to threaten her with bodily harm.
VICTIM [NAME REDACTED] told her that he had killed VICTIM’s son three months prior and that he told her she also “would get it.” VICTIM indicated this caused her fear and reasonable apprehension of bodily harm because she knows DEFENDANT to have access to firearms, stating he flashed a gun at her two days before this incident. VICTIM [NAME REDACTED] had not been in contact with her son, making her fear DEFENDANT’s assertions to be true. DEFENDANT has multiple prior QDVRO convictions against the same VICTIM within the prior 10 years: (1) Violation of DANCO, 27-CR-22912 ([DOB REDACTED]); (2) Stalking, ••-CR-••-•••• ([DOB REDACTED]); (3) Domestic Assault-Harm, ••-CR-••-••••. DEFENDANT is not presently in custody.
The State requests a complaint warrant issue due the violent nature of the conduct and the history of domestic violence by DEFENDANT against this same victim. The State also request increased bail be considered and a DANCO issue for the same reasons.