Dan Olsen

Dan Olsen: Karma & Constables Come Knocking

Coach Dano Dan Olsen has been busy conjuring up franchise schemes with names like RX2Live, Healthy U RX, PuraVida, PUR Life Medical and more.  With the help of his paid pal Kevin Harrington of Shark Tank, he’s been trying to stay ahead of Karma and constables.  But this writ of assistance indicates some of his victims are banging at the gates of his $3M Alpine, UT mansion.

(UnhappyFranchisee.Com)  Coach Dano, Dan Olsen, is known in the franchise industry as founder of the Franchise Growth Systems (FGS) franchise sales and brokering company.

He’s been launching all kinds of medical and health related franchise schemes with the help of Robert Long, Dallas Baldri, Michael D. Mansfield aka MIKHAIL MANSFIELD, Garrett Blood, Brian Hazelgren, and others.

Victims of his Healthy U RX scheme RICK LUCKING, CHAD LUCKING, and TUI AUVA’A recently won a judgement of $72,500.00 plus costs and interest and constables are authorized to crash the gates of Dan Olsens $3M mansion if they need to.

Also read:

Dan Olsen Kevin Harrington Rx2Live Franchise Fraud

Dan Olsen Property Seizure

___________________________________

RYAN B. HANCEY (9101)

J. ADAM KNORR (15183) KESLER & RUST

68 South Main St., Ste. 200

Salt Lake City, Utah 84101

Telephone: (801) 532-8000

rhancey@keslerrust.com

aknorr@keslerrust.com

Attorney for plaintiffs

IN THE FOURTH JUDICIAL DISTRICT COURT, PROVO DIVISION UTAH COUNTY, STATE OF UTAH

TCR Health, LLC, a Utah limited liability company,

RICK LUCKING, an individual, CHAD LUCKING, an individual, and TUI AUVA’A, an individual, Plaintiffs,

v. DANIEL OLSEN, an individual, ROBERT LONG, an individual, DALLAS BALDRI, an individual,

MICHAEL D. MANSFIELD a/k/a MIKHAIL MANSFIELD, an individual,

and, HEALTHY U RX Corporation, a Wyoming Corporation, Defendants.

WRIT OF ASSISTANCE

Civil No. 190401705

Judge James Brady

TO ANY SHERIFF OR CONSTABLE OF OR FOR THE STATE OF UTAH:

1. WHEREAS, in the above-entitled action, Plaintiffs TCR Health, LLC, Rick Lucking, Chad Lucking, and Tui Auva’a (“plaintiffs”) seek to recover from Defendant Daniel Olsen the amount owing under a judgment entered against Daniel Olsen on June 20, 2021 in the amount of $72,500.00 plus costs and interest at the highest post-judgment legal rate accruing thereafter.

2. 1. The Court has jurisdiction over all issues surrounding the parties.

3. 2. That any such Sheriffs or constables in the state of Utah, or any other authorized law enforcement officer in this state or any other state, immediately take into possession any and all non-exempt real property and personal property including but not limited to vehicles, recreational vehicles, trailers, boats, ATVs, art, jewelry, electronics, tools, cash, etc. owned by Daniel Olsen as set forth in the Writ of Execution signed by this court on August 12, 2021.

4. 3. All Sheriffs and constables in the state of Utah or any other authorized law enforcement officer of this state are authorized and ordered to serve and execute and enforce this order in the daytime or nighttime and any day of the week except as limited by the wit.

5. 4. Except as limited by the above, if necessary, the Sheriff or Constable is authorized to use reasonable force to gain access to and enter upon the real property located at the addresses listed below or wherever the personal property of Daniel Olsen may be found and remove any obstructions located around or about the subject personal property and/or enter into any locked or secured dwelling, building, garage, storage yards, or the like to allow the Writ of Execution to be effectuated.

This shall be your sufficient warrant for doing so.

The Sheriff or Constable should not delay the execution of this order for any reason.

6. 5. The current addresses of the property are:

7. Daniel Olsen

1033 Lamar Circle 8.

Alpine, UT 84004

9. AND

10. Daniel Olsen

597 S. Pleasant Grove, Suite 10

11. Pleasant Grove, Utah 84062

END OF WRIT COURTS SIGNATURE AND DATE APPEAR AT THE TOP OF FIRST PAGE

___________________________________

ALSO READ:

FRANCHISE DISCUSSIONS by Company

Garrett Blood, Former COO of RX2Live, Threatens Watchdog Website

Leo Kats, Claire Kats Franchise Complaints: Dine In 2Nite

Dan Olsen California Enforcement Order (PDF)

ARE YOU FAMILIAR WITH RX2LIVE, DAN OLSEN. KEVIN HARRINGTON HEALTHY U RX OR THE OTHERS? SHARE A COMMENT BELOW OR EMAIL IN CONFIDENCE TO UNHAPPYFRANCHISEE [AT] GMAIL [DOT] COM.

Contact UnhappyFranchisee.com

TAGS: RX2Live, RX2Live franchise, RX2Live lawsuit, Dan Olsen, Kevin Harrington, Franchise fraud, scam,  Robert Long, Dallas Baldri, Michael D. Mansfield, MIKHAIL MANSFIELD, Garrett Blood, Brian Hazelgren, and others, Healthy U RX, RICK LUCKING, CHAD LUCKING, TUI AUVA’A, Dallas Baldri , Franchise Growth Systems, arbitration, franchise complaints, franchise, franchise opportunity, franchise complaints, unhappy franchisee

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  • Watch for it on NETFLIX: "Chasing Dan Olsen's Assets!"

    From all of us at UnhappyFranchisee.Com, we hope Suzanne Olsen is feels better soon!

    RYAN B. HANCEY (9101) J. ADAM KNORR (15183) KESLER & RUST
    68 South Main St., Ste. 200
    Salt Lake City, Utah 84101
    Telephone: (801) 532-8000
    rhancey@keslerrust.com aknorr@keslerrust.com
    Attorney for plaintiffs
    IN THE FOURTH JUDICIAL DISTRICT COURT, PROVO DIVISION UTAH COUNTY, STATE OF UTAH
    TCR Health, LLC, a Utah limited liability company, RICK LUCKING, an individual, CHAD LUCKING, an individual, and TUI AUVA’A, an individual,
    Plaintiffs,
    v.
    DANIEL OLSEN, an individual, ROBERT LONG, an individual, DALLAS BALDRI, an individual, MICHAEL D. MANSFIELD a/k/a MIKHAIL MANSFIELD, an individual, and, HEALTHY U RX Corporation, a Wyoming Corporation, Defendants.

    DECLARATION OF TRAVIS REITZ
    Civil No. 190401705
    Judge James Brady
    Declarant Travis Reitz, states as follows:
    1. I am over the age of eighteen and have personal knowledge of the facts herein.
    2. I am a Constable for Salt Lake County and Utah County.
    3. I was asked to serve a writ of execution issued by this Court on August 12, 2021
    against defendant Daniel Olsen.
    2
    4. The writ of execution ordered me to seize and sell enough of Mr. Olsen’s nonexempt property to satisfy plaintiff’s judgment of $73,852.88 entered by this Court against Mr.
    Olsen.
    5. On November 17, 2021, prior to serving the writ, I researched motor vehicle
    records in Mr. Olsen’s name. I discovered Mr. Olsen had three vehicles titled in his name:
    a. 2016 Infiniti Q70L, titled solely in Mr. Olsen’s name
    b. 1972 Ford truck, titled solely in Mr. Olsen’s name
    c. 2018 Infiniti Q50 (titled jointly in Mr. Olsen and Suzanne Olsen’s names)
    6. On November 18, 2021, I went to the Olsen residence located at 1033 Lamar
    Circle, Alpine, Utah 84004 to serve the writ.
    7. I knocked on the door but nobody answered, so I called Mr. Olsen on his cell
    phone. Mr. Olsen answered, and I explained to him that I was at his house with a Writ of
    Execution and Writ of Assistance. I told him I was there to serve the papers and seize his assets
    including his vehicles. He told me he still had the two Infinities but had sold the truck. I told him
    the truck was still registered in his name. He wouldn’t tell me who he sold it to.
    8. Mr. Olsen responded that he was traveling out of town and that his wife, Suzanne,
    was home but was ill. I told Mr. Olsen that I still needed to serve and execute the writ so he
    could either ask Suzanne to open the door or I would call a locksmith to open the door as I also
    had a Writ of Assistance. Mr. Olsen indicated he would call his wife and have her open the door.
    Mr. Olsen further told me he would return home on Monday, November 22.
    9. Suzanne Olsen opened the front door, and I served the two writs on her and
    explained why I was there. I let her know that as of that moment, all of Mr. Olsen’s non-exempt
    3
    property was seized. Suzanne allowed me to walk through the home and do an inventory of Mr.
    Olsen’s non-exempt property. I asked her several questions about his assets so I could identify
    what was his as we did not want to seize anything of hers. There was a Mercedes SUV in the
    garage, but Suzanne claimed it was hers. We ran the plates, and it was in fact registered to her.
    10. Of the three vehicles identified above, the only one I saw at the Olsen home
    during my November 18 walkthrough was the 2018 Infiniti Q50. I did not seize it at that time. I
    was told the Mr. Olsen was currently driving the 2016 Infinity Q70L.
    11. Based on Mr. Olsen’ statement that he would be returning home on November 22,
    2021, I had Deputy Liddiard go to the Olsen residence that night to seize his cars. In the garage
    were Suzanne’s Mercedes SUV, the 2018 Infiniti, and newly purchased 2017 Mercedes E300
    sedan with temporary tags showing it was purchased that day (November 22, 2021) from the
    BMW of Pleasant Grove dealership.
    12. Deputy Liddiard called me to let me know that the 2016 Infinity Q70L was not
    there. He asked the Olsen’s where the Infinity that we had seized was and they basically implied
    the Infinity was traded in for the Mercedes.
    13. I drove to the dealership and spoke with the sales manager, Parker Boie who
    confirmed Mr. Olsen had brought the 2016 Infiniti to the dealership and traded it in for the
    Mercedes. I served a copy of the Writ of Execution on Parker and informed him that we had
    seized Mr. Olsen’s assets including the car on November 18, 2021. Parker said he would hold the
    vehicle as we worked with the court to get the car back.
    14. Because the 2016 Infiniti was properly seized before Mr. Olsen traded it in, his
    purported transfer of it violated this Court’s order.
    4
    15. I called Parker three separate times and left voice messages on his voicemail. Not
    once did he call me back. I finally reached him on November 24, 2021 and told him we were still
    working on it. On December 14, 2021 at 12:40 pm I left the third message and told him we were
    coming to pick up the vehicle. Finally, at 2:27 pm he sent me a text and said they sold the
    vehicle. I texted him back and told him I had left three messages for him and asked him to call
    me back each time. For what ever reason he refused to do so and never responded to my text
    either.
    I declare under criminal penalty under the laws of Utah that the foregoing is true and
    correct.
    DATED this 14 day of December 2021 at Salt Lake City, Utah.
    __________________________________________
    Travis Reitz
    5
    CERTIFICATE OF SERVICE
    I hereby certify that I caused to be delivered a true and correct copy of the proposed
    DECLARATION OF TRAVIS REITZ this ____ day of December, 2021, via (a) the court’s
    electronic filing system to the following:
    Chad E. Nydegger
    cnydegger@wnlaw.com
    Attorney for Robert Long
    James Harward
    James.harward@harwardlaw.com
    Matthew Crane
    Matthew.crane@fordcranelaw.com
    Attorneys for Rx2Live, Inc., Suzanne Olsen, Pur Life Medical, Chris Esseltine, and Rx
    Development Corporation
    Tyler Moss
    tmoss@grsm.com
    Mark Nickel
    mnickel@grsm.com
    Attorneys for David Martinez
    /s/ Mckenzie Ujhely
    _________________________

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