BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE, RE: JUDGE DALE C. COHEN CASE NO.
|
|
- Elvin Baker
- 5 years ago
- Views:
Transcription
1 BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE, RE: JUDGE DALE C. COHEN CASE NO. SC / RESPONSE TO MOTION TO QUASH SUBPOENA AND MOTION FOR ATTORNEY S FEES The Honorable Judge Dale C. Cohen, by and through undersigned counsel, hereby files his Response to the Motion To Quash Subpoena etc. and a motion for attorney s fees with the Honorable Hearing Panel, and states: THE MOTION TO QUASH MUST BE DENIED: 1. The JQC has charged Judge Cohen with misconduct for his investigation into State v. Steven Gibbs and others. The JQC appears to be uninterested in the truth of what happened in Judge Cohen s court when Judge Cohen was dealing with Attorney Melnick and his client Steven Gibbs. The motion to quash has no basis in law or fact. It is hard to understand how Mr. Pope could have made the motion to quash in good faith. Clearly, Mr. Gibbs is a material witness and he does not want 1
2 to appear for deposition or trial of this matter. Simply moving to quash a subpoena of a material witness simply because the moving party may not like to hear what he has to say is absolutely ridiculous. 2. The motion to quash cites a few rules worth mentioning. Rule 1.280(c) authorizes protective orders and make a cross reference to Rule (a)(4). Rule 1.280(c) contains a list of legal reasons why a protective order should be granted, i.e., annoyance, embarrassment, oppression or undue burden or expense. None of the grounds alleged by Mr. Pope are mentioned as legal reasons to grant a protective order. Actually, nowhere in the motion to quash does it actually give a real reason WHY the JQC wants to keep Mr. Gibbs from telling the truth! Additionally, the party moving for the protective order has the burden to show good cause. See Sabol v. Bennett, 672 So.2d 93 (Fla. 3d DCA 1996) and they have not even alleged in the motion a valid reason for granting the motion to quash. 3. The JQC motion starts out with allegations that Judge Cohen conducted hearings solely for the purpose of abusing his judicial power and for the benefit of himself and his wife. After numerous depositions were taken last month, we now know that the JQC cannot call a single witness who will verify that. To the contrary, all witnesses verified that Judge Cohen 2
3 did the opposite. Judge Cohen was watching a lawyer stand before him and misrepresent facts and improperly forum shop. He had a duty to do something about it. Granted, Judge Cohen made a mistake when he called his wife to testify but, he has apologized for that mistake and that should have been the end of all of this. 4. This entire problem started when Mr. Melnick filed numerous boilerplate motions to recuse Judge Cohen from presiding over his client s criminal matters. In the motions he made it sound as if he was heavily involved in a law suit against Judge Cohen s wife. When asked under oath at deposition, Melnick admitted that his involvement was simply to look in a computer for a few minutes to see if Judge Cohen s wife violated any Bar rules. Concluding that she did not, he then did absolutely NOTHING more about the issue and had absolutely NOTHING to do with the law suits that were in fact filed that involved Judge Cohen s wife and the election. 5. Counsel below is personally insulted by the ridiculous statements made by Mr. Pope in his motion. In paragraph 6 he said: The attempt here is to compel Mr. Gibbs to discredit attorney Melnick as a witness in this proceeding. Later in paragraph 10, Mr. Pope says that we (Counsel below) are trying to intimidate Mr. Gibbs to get him to improperly 3
4 discredit his former counsel. Nothing could be further from the truth. In paragraph 9 he said that we (Counsel below) used a subpoena and letter as a transparent attempt to intimidate Mr. Gibbs into discrediting his form counsel, Mr. Melnick. That is a highly improper attack on counsel below. Maybe Mr. Pope did not carefully read the letter to Mr. Gibbs. It was clear that we were trying to get him to come to the deposition and tell the truth and NOT to intimidate him to lie and discredit his former lawyer. We have to believe that the hearing panel in this matter wants to know the truth and not just the JCQ version of what happened in Judge Cohen s courtroom. 6. Most importantly, Mr. Pope can cite no law, rule or statute that says a lawyer cannot call a witness to discredit what another witness says. It is axiomatic in the law that a lawyer can call witnesses to discredit the witnesses from the other side. In this case, the only witness Mr. Pope can call that might even possibly cause Judge Cohen to be found in violation of JQC cannons is Attorney Melnick. We believe that many things Mr. Melnick told us under oath are simply not true. We need to take the deposition of Mr. Gibbs to prepare for trial. If Mr. Gibbs tells what we think will be the truth, it will show that Judge Cohen was correct when he asked questions and looked into the matter. 4
5 7. Mr. Gibbs is street criminal, currently on probation for multiple felony convictions and is a material witness in this matter. He has been hiding from our process server for months. We have tried to take his deposition before but, were not able to get service of process. Mr. Pope did not move to quash his subpoena last time we attempted service. We finally found him and when served with the subpoena for deposition, he ran inside his house and slammed the door on the process server and told him he did not want to get involved and would not come to the deposition. He was in court when material issues took place that resulted in the instant charges against Judge Cohen. Judge Cohen had figured out that Mr. Gibbs and Mr. Melnick were engaged in illegal and improper forum shopping. Mr. Melnick did not know it but, his client at the time, Mr. Gibbs, was recorded on the jail phone system telling a relative that he paid Mr. Melnick $4, cash or a stack to have Melnick do only one thing. That was to get a recusal so that he could get a bond once his case was sent to another judge who was one of Melnick s friends. He even told the relative to not cancel his upcoming flight as he would get out soon thanks to Melnick. This was ridiculous as Gibbs was on felony probation when he was arrested and charged with new felonies and misdemeanors % of people in such a situation are held with no 5
6 bond. There is even a statute that mandates a hold with no bond. See F.S The tapes are public record and are admissible evidence as jail inmates are told their conversations are being recorded. By making public records requests, we found out that the police and State Attorney were, at the time, secretly investigating this as they heard the tape and were disturbed by what Gibbs and Melnick were saying and doing. The existence of the tapes has been disclosed to Mr. Pope in June, We also have evidence that Melnick lied to a prosecutor at the time about the recusal issues. In any event, At Mr. Melnick s deposition last month, he agreed to turn over his entire files on the clients at issue before the JQC. Now, he has changed his mind and does not want to turn over his financial records about the clients on relevancy grounds. He also worked with Mr. Pope to come up with the language he used in his motion as we noted that Mr. Pope had sent us an with the exact same quote and somehow, that unique quote ended up in Mr. Melnick s motion objecting to us seeing his complete files on Mr. Gibbs and the other clients involved. He did in fact turn over the other parts of the file and it is clear that he was paid for one thing only, a recusal and transfer to another judge who would have given Gibbs a bond. His file contains ONLY the written pleas and his motions for recusal, all boilerplate motions that he 6
7 had filed before. It is hard to imagine how Mr. Melnick earned a $4, cash fee for preparing a motion that took 5 minutes to prepare. That could be construed as a serious Florida Bar rules violation. 8. Judge Cohen did grant recusal but, voiced his concerns about what Melnick appeared to have been doing. He also did this on another case. 9. If Mr. Melnick was illegally forum shopping then, Judge Cohen was not violating any Canons or rules by asking questions about the situation as a judge has a duty pursuant to Canon 3(d)(2) to take appropriate action where a violation of the Florida Bar ethics rules occurs. See Fla. Bar Rule As it turns out, Mr. Melnick did get a recusal, the case when to another judge who then sent it back because Mr. Melnick was upset that his client fired him and hired another lawyer to actually do the work on the case so, Melnick begged the next judge to send it back to Judge Cohen and he did. Mr. Gibbs can verify all of that and tell us the rest of this story. We ask that the motion to quash the subpoena be denied and that the chair of the hearing panel find that it was a frivolous motion. WE SEEK ATTORNEY S FEES AND COSTS: 10. We seek sanctions for the time in dealing with the instant issues. Because we received this motion shortly before the hearing had to be held, counsel had to work well into the night to respond on an emergency 7
8 basis. The motion is frivolous and we asked Mr. Pope to withdraw it on 8/10/10 in the afternoon, and he refused. An award of attorney's fees based on Rule 1.380(a)(4) is discretionary with the trial judge. Knight v. Alachua County, 396 So.2d 846 (Fla. 1st DCA 1981), rev. denied, 412 So.2d 467 (Fla.1982). Therefore, we ask for sanctions including attorney s fees and costs paid by Mr. Pope and not the JQC. WHEREFORE, Judge Cohen respectfully requests that the Hearing Panel of the Judicial Qualifications Commission deny the motion to quash the subpoena of Mr. Gibbs and grant this request for attorney s fees and costs. Dated this 10 th day of August, Respectfully submitted: /s/ Michael A. Catalano, Esq. Fla. Bar No.: Michael A. Catalano, P.A. Attorney for Judge Dale Cohen 1531 N.W. 13 th Court Miami, Florida Telephone: (305) Fax: (305) mclawyer@bellsouth.net CERTIFICATE OF SERVICE 8
9 I HEREBY CERTIFY that a true and correct copy of the above and foregoing has been furnished as listed below this 10 th day of August, 2010, to the following: Michael L. Schneider General Counsel Judicial Qualifications Commission Florida Bar No Thomasville Road Tallahassee, FL Counsel for the Judicial Qualifications Commission, by by agreement to: michaelschneider@floridajqc.com Also, per Rules 9, and 10 of the Florida Judicial Qualifications Commission, all of our pleadings are being filed as follows: Original and one copy to the Clerk of the Florida Supreme Court by US Mail. An electronic copy will be sent in Word 2003 format to the Clerk of the Court per Supreme Court Rule: AOSC to: e-file@flcourts.org Florida Supreme Court Attn: Clerk s Office 500 South Duval Street Tallahassee, Florida By agreement (by only) to the following two lawyers: F. Wallace Pope, Jr. Johnson, Pope, Et al. Special Counsel for Florida Judicial Qualifications Commission P.O. BOX 1368 Clearwater, Florida wallyp@jpfirm.com And: Laurie Waldman Ross Attorney for the Hearing Panel 9
10 Ross and Girten 9130 S. Dadeland Blvd. Suite 1612 Miami, FL We are not sending a copy directly to Mr. Coxe, the chairman of the hearing panel as we have been informed that Ms. Ross will communicate with him. By: /s/ Michael A. Catalano, Esq. 10
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA. The Honorable Judge Terri-Ann Miller, by and through undersigned
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE, NO. 06-432, TERRI-ANN MILLER / CASE NO. SC07-1985 The Honorable Judge Terri-Ann Miller, by and through undersigned
More informationBEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA. N. JAMES TURNER JQC Case No.: /
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE CASE NO.: SC09-1182 N. JAMES TURNER JQC Case No.: 09-01 / RESPONDENT S RESPONSE TO SECOND REQUEST FOR ADMISSIONS
More informationRESPONSE TO JQC S REQUEST FOR ADMISSIONS
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE CASE NO.: SC09-1182 09-01 N. JAMES TURNER JQC Case No.: 09-01 / RESPONSE TO JQC S REQUEST FOR ADMISSIONS Respondent,
More informationBEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA JQC S WITNESS LIST
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE, PAUL M. HAWKES, NO. 10-491 CASE NO. SC11-950 / JQC S WITNESS LIST Pursuant to the hearing panel chair s order
More informationAMENDED NOTICE OF FORMAL CHARGES. YOU ARE HEREBY notified that the Investigative Panel of the Florida Judicial
THE FLORIDA SUPREME COURT INQUIRY CONCERNING A JUDGE NO.: 06-22 / CASE NO.: 06SC-1376 AMENDED NOTICE OF FORMAL CHARGES TO: The Honorable Steven J. delaroche Volusia County Courthouse Annex 125 East Orange
More informationTHE SUPREME COURT FLORIDA AMENDED RESPONSE TO MOTION FOR MORE DEFINITE STATEMENT. Special Counsel to the Judicial Qualifications Commission
THE SUPREME COURT FLORIDA INQUIRY CONCERNING JUDGE No.: 06-425, JUDGE JAMES C. HAUSER / CASE NO.: SC07-983 AMENDED RESPONSE TO MOTION FOR MORE DEFINITE STATEMENT Special Counsel to the Judicial Qualifications
More informationBEFORE THE INVESTIGATIVE PANEL OF THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA NOTICE OF FORMAL CHARGES
BEFORE THE INVESTIGATIVE PANEL OF THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE NO. 09-48 and 08-162 RE: JUDGE ANA GARDINER / NOTICE OF FORMAL CHARGES TO: Honorable
More informationBEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA
Filing # 21740916 Electronically Filed 12/17/2014 05:45:38 PM RECEIVED, 12/17/2014 17:48:45, John A. Tomasino, Clerk, Supreme Court BEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA
More informationBEFORE THE INVESTIGATIVE PANEL OF THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA \, NOTICE OF FORMAL CHARGES
BEFORE THE INVESTIGATIVE PANEL OF THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA \, INQUIRY CONCERNING A JUDGE, PAUL M. HAWKES, NO.1 0-491 \ \. ------------, \ " \ \ \ (PI -~ \ \ -..:.;-}
More informationIN THE SUPREME COURT OF FLORIDA BEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION
Filing # 13889223 Electronically Filed 05/20/2014 03:49:51 PM RECEIVED, 5/20/2014 15:53:41, John A. Tomasino, Clerk, Supreme Court IN THE SUPREME COURT OF FLORIDA BEFORE THE FLORIDA JUDICIAL QUALIFICATIONS
More informationBEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE NO , JUDGE JOHN RENKE, III
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE NO. 02-466, JUDGE JOHN RENKE, III SC03-1846 MOTION FOR SUMMARY JUDGMENT AMENDED FORMAL CHARGE V COMES NOW Respondent,
More informationBEFORE THE INVESTIGATIVE PANEL OF THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA NOTICE OF FORMAL CHARGES
BEFORE THE INVESTIGATIVE PANEL OF THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE NO. 05-131 RE: JUDGE BRANDT C. DOWNEY, III / NOTICE OF FORMAL CHARGES TO: The
More informationBEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE NO , JUDGE JOHN RENKE, III
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE NO. 02-466, JUDGE JOHN RENKE, III SC03-1846 TRIAL BRIEF ADDRESSING AMENDED FORMAL CHARGE V COMES NOW Respondent,
More informationRESPONDENT S MOTION FOR PARTIAL SUMMARY JUDGMENT AND MEMORANDUM OF LAW IN SUPPORT THEREOF
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE CASE NO.: SC09-1182 N. JAMES TURNER JQC Case No.: 09-01 / RESPONDENT S MOTION FOR PARTIAL SUMMARY JUDGMENT AND
More informationRESPONDENT'S RESPONSE TO REQUEST FOR PRODUCTION
" BEFORE THE INVESTIGATIVE PANEL OF THE9 FLORIDA JUDICIAL QUALIFICATIONS COMMISSI STATE OF FLORIDA INQUIRY CONCERNING A JUDGE NO. 12-27 CASE NO: SC 12-521 RE: ANA M. PANDO ----------------------- / RESPONDENT'S
More informationBEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA RESPONDENT S MOTION FOR SUMMARY JUDGMENT
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE, NO. 06-432, TERRI-ANN MILLER / CASE NO. SC07-1985 RESPONDENT S MOTION FOR SUMMARY JUDGMENT COMES NOW, the Honorable
More informationBEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA
Filing # 17701401 Electronically Filed 08/29/2014 03:49:59 PM RECEIVED, 8/29/2014 15:53:38, John A. Tomasino, Clerk, Supreme Court BEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA
More informationIN THE SUPREME COURT OF FLORIDA CASE NO. SC INQUIRY CONCERNING A JUDGE No LAURA M. WATSON
Filing # 16590111 Electronically Filed 07/31/2014 04:09:17 PM RECEIVED, 7/31/2014 16:13:38, John A. Tomasino, Clerk, Supreme Court IN THE SUPREME COURT OF FLORIDA CASE NO. SC13-1333 INQUIRY CONCERNING
More informationSUPREME COURT OF FLORIDA INQUIRY CONCERNING A JUDGE NO CASE NO. 91,325
SUPREME COURT OF FLORIDA INQUIRY CONCERNING A JUDGE NO. 97-04 CASE NO. 91,325 RE: ELIZABETH LYNN HAPNER / ELIZABETH L. HAPNER'S RESPONSE TO THE JUDICIAL QUALIFICATIONS COMMISSION'S REPLY COMES NOW, Elizabeth
More informationBEFORE THE INVESTIGATIVE PANEI. OF TIIE FI ORIDA JUDICIAL QUAl IFICATIONS COMMISSION STATE 01 Fl.ORIDA
Filing # 9110843 Electronically Filed 01/13/2014 08:40:25 PM RECEIVED, l /13/2014 20:43:36, John A. Tomasino, Clerk, Supreme Court BEFORE THE INVESTIGATIVE PANEI. OF TIIE FI ORIDA JUDICIAL QUAl IFICATIONS
More informationIN THE SUPREME COURT OF FLORIDA (Before a Referee) Complainant, Case No. SC v. TFB File No ,500(1A)
IN THE SUPREME COURT OF FLORIDA (Before a Referee) THE FLORIDA BAR, Complainant, Case No. SC07-226 v. TFB File No. 2005-00,500(1A) ROBERT ANTHONY DEES, Respondent. / REPORT OF THE REFEREE ACCEPTING CONSENT
More informationIN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. SC ROBERT RANSONE, Petitioner, vs. STATE OF FLORIDA, Respondent.
IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. SC 09-2084 ROBERT RANSONE, Petitioner, vs. STATE OF FLORIDA, Respondent. RESPONDENT'S BRIEF ON THE MERITS Bill McCollum Attorney General Tallahassee,
More informationIN THE SUPREME COURT OF THE STATE OF FLORIDA. CASE NO. SC: 4 th DCA CASE NO: 4D STATE OF FLORIDA, Petitioner, vs. SALVATORE BENNETT,
IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. SC: 4 th DCA CASE NO: 4D04-4825 STATE OF FLORIDA, Petitioner, vs. SALVATORE BENNETT, Respondent. PETITIONER'S BRIEF ON JURISDICTION CHARLES J. CRIST,
More informationBEFORE THE INVESTIGATIVE PANEL OF THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA MOTION FOR PARTIAL SUMMARY JUDGMENT
BEFORE THE INVESTIGATIVE PANEL OF THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A SC 06-2119 JUDGE, NO: 05-437 / MOTION FOR PARTIAL SUMMARY JUDGMENT The Honorable Clifford
More informationBEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA JUDGE ALEMAN S AMENDED WITNESS LIST (PLEASE SEE PAGE 6.
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA CASE NO.: SC07-198 INQUIRY CONCERNING A JUDGE, NO.: 06-52, CHERYL ALEMAN. / JUDGE ALEMAN S AMENDED WITNESS LIST (PLEASE SEE PAGE 6. FOR AMENDMENTS)
More informationBEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION NOTICE OF FORMAL CHARGES
BEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION INQUIRY CONCERNING A JUDGE, No. 03-14 / NOTICE OF FORMAL CHARGES TO: The Honorable James E. Henson Circuit Judge Ninth Judicial Circuit 2000 E. Michigan
More informationBEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA CASE NO: 07-64
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA CASE NO: 07-64 INQUIRY CONCERNING JUDGE RALPH E. ERIKSSON / SUPREME COURT CASE NUMBER SC07-1648 MOTION TO CONTINUE THE FINAL HEARING, PREHEARING
More informationBEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA CASE NO
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA CASE NO. 09-01 INQUIRY CONCERNING A JUDGE NO. 09-01 RE: JUDGE N. JAMES TURNER S. Ct. Case No. 09-1182 / FLORIDA JUDICIAL QUALIFICATIONS COMMISSION
More informationIN THE CIRCUIT COURT FOR THE SIXTH CIRCUIT IN AND FOR PINELLAS COUNTY, FLORIDA CIVIL DIVISION. v. Case No.: CI
IN THE CIRCUIT COURT FOR THE SIXTH CIRCUIT IN AND FOR PINELLAS COUNTY, FLORIDA CIVIL DIVISION GMAC MORTGAGE, LLC Plaintiff, v. Case No.: 07013084CI DEBBIE VISICARO, et al. Defendants. / HOMEOWNER S MEMORANDUM
More informationIN THE SUPREME COURT OF FLORIDA. INQUIRY CONCERNING A ) Supreme Court. JUDGE, NO ) Case No. SC
IN THE SUPREME COURT OF FLORIDA INQUIRY CONCERNING A ) Supreme Court JUDGE, NO. 02-487 ) Case No. SC03-1171 COMMISSION S RESPONSE TO MOTION FOR AWARD OF ATTORNEYS FEES The Judicial Qualifications Commission,
More informationIN THE SUPREME COURT OF FLORIDA
IN THE SUPREME COURT OF FLORIDA THE FLORIDA BAR, Petitioner/Appellant, Supreme Court Case No. SC09-922 v. PETER MARCELLUS CAPUA, Respondent/Appellee. The Florida Bar File No. 2009-71,123(11H-OSC) / THE
More informationIN THE SUPREME COURT OF FLORIDA ANSWER AND AFFIRMATIVE DEFENSES AND MOTION FOR MORE DEFINITE STATEMENT
Filing # 45970766 E-Filed 09/01/2016 12:25:05 PM IN THE SUPREME COURT OF FLORIDA THE FLORIDA BAR, Supreme Court Case No. SC16-1323 v. Complainant, The Florida Bar File No. 2014-70,056 (11G) JOSE MARIA
More informationIN THE SUPREME COURT OF FLORIDA ANSWERS AND OBJECTIONS TO RESPONDENT S EXPERT AND WITNESS INTERROGATORIES GENERAL OBJECTIONS
IN THE SUPREME COURT OF FLORIDA INQUIRY CONCERNING A JUDGE, NO. 02-487 / SC03-1171 ANSWERS AND OBJECTIONS TO RESPONDENT S EXPERT AND WITNESS INTERROGATORIES GENERAL OBJECTIONS The Judicial Qualifications
More informationSUPREME COURT OF FLORIDA
SUPREME COURT OF FLORIDA CASE NO.: SC12-2495 INQUIRY CONCERNING A JUDGE, NO. 11-550 RE: JUDITH W. HAWKINS RESPONDENT S RESPONSE TO THE COMMISSION S REPLY TO THE RESPONDENT S ANSWER TO THE COURT S ORDER
More informationIN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. SC CLEO LECROY, Petitioner, vs. STATE OF FLORIDA, Respondent.
IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. SC 07-1021 CLEO LECROY, Petitioner, vs. STATE OF FLORIDA, Respondent. RESPONDENT'S BRIEF ON JURISDICTION BILL MCCOLLUM Attorney General Tallahassee,
More informationPREVIOUSLY FILED MOTION TO STRIKE THE JUDICIAL QUALIFICATION'S BRIEF FOR INCLUSION OF EXTRA-RECORD MATERIAL AND MOTION FOR SANCTIONS
Filing # 20161803 Electronically Filed 11/04/2014 10:48:48 AM RECEIVED, 11/4/2014 10:53:41, John A. Tomasino, Clerk, Supreme Court IN THE SUPREME COURT OF FLORIDA BEFORE THE FLORIDA JUDICIAL QUALIFICATIONS
More informationIN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT, IN AND FOR ORANGE COUNTY, FLORIDA DEFENDANT/COUNTERCLAIMANT S MOTION FOR PROTECTIVE ORDER
IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT, IN AND FOR ORANGE COUNTY, FLORIDA VERANDA PARTNERS, LLC, a Florida limited liability corporation, vs. Plaintiff/Counterdefendant, LARRY GILES, individually,
More informationIN THE SUPREME COURT OF FLORIDA INITIAL BRIEF
IN THE SUPREME COURT OF FLORIDA THE FLORIDA BAR, v. Complainant, RONALD HARDY PEACOCK, SC Case No. SC07-1783 TFB File No. 2007-00,671(03) Respondent. / INITIAL BRIEF James A.G. Davey, Jr., Bar Counsel
More informationIN THE SUPREME COURT OF FLORIDA (Before a Referee) v. Case No. SC TFB No ,261(13D) JULIAN STANFORD LIFSEY REPORT OF THE REFEREE
IN THE SUPREME COURT OF FLORIDA (Before a Referee) THE FLORIDA BAR Complainant, v. Case No. SC07-747 TFB No. 2004-11,261(13D) JULIAN STANFORD LIFSEY Respondent. / REPORT OF THE REFEREE I. SUMMARY OF PROCEEDINGS
More informationIN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. SC TYRA WILLIAMS, Petitioner, vs. STATE OF FLORIDA, Respondent.
IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. SC 12-655 TYRA WILLIAMS, Petitioner, vs. STATE OF FLORIDA, Respondent. RESPONDENT'S BRIEF ON JURISDICTION PAMELA JO BONDI Attorney General Tallahassee,
More informationIN THE SUPREME COURT OF FLORIDA. Petitioner, DCA CASE No. 5D v. CASE NO. SC ON DISCRETIONARY REVIEW FROM THE FIFTH DISTRICT COURT OF APPEAL
IN THE SUPREME COURT OF FLORIDA SAUL CARMONA, Petitioner, DCA CASE No. 5D03-229 v. CASE NO. SC STATE OF FLORIDA, Respondent. / ON DISCRETIONARY REVIEW FROM THE FIFTH DISTRICT COURT OF APPEAL JURISDICTIONAL
More informationIN THE SUPREME COURT OF FLORIDA CASE NO. SC COMMENT ON PROPOSED AMENDMENTS TO RULES
IN THE SUPREME COURT OF FLORIDA CASE NO. SC 05-1684 In Re: AMENDMENTS TO RULES REGULATING THE FLORIDA BAR--RULE 3-7.2 / COMMENT ON PROPOSED AMENDMENTS TO RULES REGULATING THE FLORIDA BAR--RULE 3-7.2 The
More informationIN THE FIFTH DISTRICT COURT OF APPEAL OF THE STATE OF FLORIDA
IN THE FIFTH DISTRICT COURT OF APPEAL OF THE STATE OF FLORIDA RECEIVED, 6/26/2017 4:15 PM, Joanne P. Simmons, Fifth District Court of Appeal MICHAEL CONNOLLY, Plaintiff/Petitioner, Case No.: 5D17-1172
More informationIN THE SUPREME COURT OF FLORIDA. A JUDGE NO No.: SC
IN THE SUPREME COURT OF FLORIDA INQUIRY CONCERNING Supreme Court Case A JUDGE NO. 02-487 No.: SC03-1171 RESPONDENT S MOTION IN LIMINE TO EXCLUDE EVIDENCE ON BEST EVIDENCE GROUNDS AND SUPPORTING MEMORANDUM
More informationIN THE CIRCUIT COURT OF THE SIXTH JUDICIAL CIRCUIT, IN AND FOR PASCO COUNTY, FLORIDA CIVIL DIVISION
IN THE CIRCUIT COURT OF THE SIXTH JUDICIAL CIRCUIT, IN AND FOR PASCO COUNTY, FLORIDA CIVIL DIVISION U.S. BANK NATIONAL ASSOCIATION, CASE NO. 2011-CA-3117-ES-J4 PLAINTIFF, v. ERIC WALL, DEFENDANT. / DEFENDANT
More informationNOTICE OF FILING SUPPLEMENTAL AUTHORITY
Electronically Filed i 1/12/2013 10:27:04 AM ET RECEIVED, 11/12/2013 10:28:41, John A. Tomasino, Clerk, Supreme Court BEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING
More informationIN THE SUPREME COURT OF FLORIDA CASE NO. SC DCA CASE NO. 3D THE STATE OF FLORIDA, Petitioner, -vs- MAXIMILIANO ROMERO, Respondent.
IN THE SUPREME COURT OF FLORIDA CASE NO. SC05-1141 DCA CASE NO. 3D03-2169 THE STATE OF FLORIDA, Petitioner, -vs- MAXIMILIANO ROMERO, Respondent. ON PETITION FOR DISCRETIONARY REVIEW FROM THE DISTRICT COURT
More informationIN THE DISTRICT COURT OF APPEAL OF THE STATE OF FLORIDA FIFTH DISTRICT. v. CASE NO.: 5D STATE S RESPONSE TO THE HABEAS PETITION
IN THE DISTRICT COURT OF APPEAL OF THE STATE OF FLORIDA FIFTH DISTRICT CASEY MARIE ANTHONY, Petitioner, v. CASE NO.: 5D08-2512 STATE OF FLORIDA, Respondent, / STATE S RESPONSE TO THE HABEAS PETITION Pursuant
More informationIN THE SUPREME COURT OF FLORIDA (Before a Referee) AMENDED REPORT OF REFEREE (As to Font Type Only)
IN THE SUPREME COURT OF FLORIDA (Before a Referee) THE FLORIDA BAR, Complainant, v. Case No. SC10-718 [TFB Case No. 2010-31,202(05A)(OSC)] SUZANNE MARIE HIMES, Respondent. / AMENDED REPORT OF REFEREE (As
More informationBEFORE THE INVESTIGATIVE PANEL OF THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA AMENDED NOTICE OF FORMAL CHARGES
BEFORE THE INVESTIGATIVE PANEL OF THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE NO. 06-249 RE: JUDGE MICHAEL E. ALLEN / AMENDED NOTICE OF FORMAL CHARGES TO:
More informationBEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA. JUDGE S WRITTEN ANSWER TO CHARGES and DEMAND FOR HEARING IN VOLUSIA COUNTY
BEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING JUDGE STEVEN J. DE LAROCHE NO.: 06-22 / SUPREME CT. CASE NO.: 06-1376 JUDGE S WRITTEN ANSWER TO CHARGES and DEMAND
More informationSTATE OF FLORIDA DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION DIVISION OF FLORIDA LAND SALES, CONDOMINIUMS, AND MOBILE HOMES
STATE OF FLORIDA DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION DIVISION OF FLORIDA LAND SALES, CONDOMINIUMS, AND MOBILE HOMES IN RE: PETITION FOR ARBITRATION DIANA HEATON, Petitioner, v. Case No.
More informationIN THE SUPREME COURT OF FLORIDA. No. SC Complainant, The Florida Bar File v. Nos ,011(17B) AMENDED REPORT OF REFEREE
IN THE SUPREME COURT OF FLORIDA THE FLORIDA BAR, Supreme Court Case No. SC08-1210 Complainant, The Florida Bar File v. Nos. 2007-50,011(17B) 2007-51,629(17B) JANE MARIE LETWIN, Respondent. / AMENDED REPORT
More informationIN THE SUPREME COURT OF FLORIDA (Before a Referee) No. SC Complainant, The Florida Bar File v. No ,577(17J) REPORT OF REFEREE
IN THE SUPREME COURT OF FLORIDA (Before a Referee) THE FLORIDA BAR, Supreme Court Case No. SC09-1317 Complainant, The Florida Bar File v. No. 2009-50,577(17J) TASHI IANA RICHARDS, Respondent. / REPORT
More informationIN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. SC WILLIE L. CLARK, Petitioner, vs. STATE OF FLORIDA, Respondent.
IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. SC05-1248 WILLIE L. CLARK, Petitioner, vs. STATE OF FLORIDA, Respondent. RESPONDENT'S AMENDED BRIEF ON JURISDICTION CHARLES J. CRIST, JR Attorney General
More informationIN THE SUPREME COURT OF FLORIDA
Filing # 25427389 E-Filed 03/27/2015 03:48:58 PM IN THE SUPREME COURT OF FLORIDA IN RE: AMENDMENTS TO THE FLORIDA RULES OF CRIMINAL PROCEDURE CASE NO.: SC15-177 / RECEIVED, 03/27/2015 03:53:38 PM, Clerk,
More informationIN THE SUPREME COURT OF FLORIDA CASE NO. SC (Lower Tribunal Case No. 3D07-363) AHMAD ASAD, TONY GARCIA AND NOEL RIVERA, Petitioners, vs.
IN THE SUPREME COURT OF FLORIDA CASE NO. SC12-653 (Lower Tribunal Case No. 3D07-363) AHMAD ASAD, TONY GARCIA AND NOEL RIVERA, Petitioners, vs. MIAMI-DADE COUNTY AND SGT. PATRICIA SEDANO, Respondents. ON
More informationBEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA. INQUIRY CONCERNING A JUDGE, : No , CHERYL ALEMAN : CASE NO.
BEFORE THE JUDICIAL QUALIFICATIONS COMMISSION STATE OF FLORIDA INQUIRY CONCERNING A JUDGE, : No. 06-52, CHERYL ALEMAN : CASE NO.: SC 07-198 : JUDICIAL QUALIFICATIONS COMMISSION S WITNESS LIST The Judicial
More informationIN THE SUPREME COURT OF FLORIDA ANSWER BRIEF
THE FLORIDA BAR, IN THE SUPREME COURT OF FLORIDA v. Complainant, HERMAN THOMAS, Case No. SC11-925 TFB File No. 2009-00,804(2B) Respondent. / ANSWER BRIEF Allison Carden Sackett, Bar Counsel The Florida
More informationSUPREME COURT OF FLORIDA
SUPREME COURT OF FLORIDA DANIEL KEVIN SCHMIDT, : CASE NO.: SC00-2512 : Lower Tribunal No.: 1D00-4166 Petitioner, : Circuit Court No.: 00-1971 : vs. : : STATE OF FLORIDA et al., : : Respondents. : : AMENDED
More informationIN THE SUPREME COURT OF FLORIDA CASE NO. SC FRANK HERNANDEZ. Petitioner, -vs- THE STATE OF FLORIDA, Respondent.
IN THE SUPREME COURT OF FLORIDA CASE NO. SC02-2752 FRANK HERNANDEZ Petitioner, -vs- THE STATE OF FLORIDA, Respondent. ON PETITION FOR DISCRETIONARY REVIEW FROM THE DISTRICT COURT OF APPEAL OF FLORIDA,
More informationSUPREME COURT OF FLORIDA JAMES LEVOY WATERS, Petitioner, SHERIFF, ESCAMBIA COUNTY FLORIDA, Respondent. CASE NO. SC
Electronically Filed 08/26/2013 04:20:02 PM ET RECEIVED, 8/26/2013 16:23:40, Thomas D. Hall, Clerk, Supreme Court SUPREME COURT OF FLORIDA JAMES LEVOY WATERS, Petitioner, v. SHERIFF, ESCAMBIA COUNTY FLORIDA,
More informationIN THE SUPREME COURT OF FLORIDA (Before a Referee)
IN THE SUPREME COURT OF FLORIDA (Before a Referee) THE FLORIDA BAR, v. Complainant, JOSEPH THOMAS LANDER, Case No. SC10-385 TFB File No. 2009-00,476(03)NFC Respondent. / REPORT OF THE REFEREE I. SUMMARY
More informationIN THE SUPREME COURT OF FLORIDA (Before a Referee)
IN THE SUPREME COURT OF FLORIDA (Before a Referee) THE FLORIDA BAR Case No.: SC10-1731 [TFB No. 2011-30,299(09E)(CRE)] IN RE: PETITION FOR REINSTATEMENT OF JAMES ELLIS HENSON, Petitioner. / REPORT OF REFEREE
More informationIN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. SC JAMES THOMPSON, Petitioner, vs. STATE OF FLORIDA, Respondent.
IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. SC09-666 JAMES THOMPSON, Petitioner, vs. STATE OF FLORIDA, Respondent. RESPONDENT'S BRIEF ON JURISDICTION BILL McCOLLUM Attorney General Tallahassee,
More informationIN THE SUPREME COURT OF FLORIDA
IN THE SUPREME COURT OF FLORIDA Jerome S. Rydell and Dale E. Krueger, individually and derivatively, on behalf of the shareholders of Surf Tech International, Inc., and Sigma Financial Corporation, a Michigan
More informationIN THE SUPREME COURT OF FLORIDA. Complainant, SC Case No. SC
THE FLORIDA BAR, IN THE SUPREME COURT OF FLORIDA v. Complainant, SC Case No. SC07-1783 TFB File No. 2007-00,671(03) RONALD HARDY PEACOCK, Respondent. / ANSWER BRIEF Clifford L. Adams Counsel for Respondent
More informationIN THE CIRCUIT COURT OF THE NINETEENTH JUDICIAL CIRCUIT IN AND FOR SAINT LUCIE COUNTY, FLORIDA. ORDER REGARDING PRETRIAL MOTIONS (Rev.
IN THE CIRCUIT COURT OF THE NINETEENTH JUDICIAL CIRCUIT IN AND FOR SAINT LUCIE COUNTY, FLORIDA CRIMINAL DIVISION ORDER REGARDING PRETRIAL MOTIONS (Rev. 01/19) This order applies to all felony cases pending
More informationIN THE SUPREME COURT OF THE STATE OF FLORIDA
IN THE SUPREME COURT OF THE STATE OF FLORIDA IN RE: AMENDMENTS TO THE ) RULES OF CIVIL PROCEDURE ) (TWO YEAR CYCLE) ) CASE NO.: SC05-179 RESPONSE AND COMMENT OF BRUCE J. BERMAN ON PROPOSED AMENDMENTS OF
More informationIN THE SUPREME COURT OF FLORIDA (Before a Referee)
IN THE SUPREME COURT OF FLORIDA (Before a Referee) THE FLORIDA BAR, v. Complainant, GABRIEL I. MARTIN Respondent. / Supreme Court Case No. SC06-2418 The Florida Bar File Nos. 2007-70,046(11M) & 2007-70,934(11M)
More informationIN THE SUPREME COURT OF FLORIDA CASE NO. SC DCA CASE NO. 3D VINCENT MARGIOTTI. Petitioner, -vs- STATE OF FLORIDA, Respondent.
IN THE SUPREME COURT OF FLORIDA CASE NO. SC03-2290 DCA CASE NO. 3D02-2862 VINCENT MARGIOTTI Petitioner, -vs- STATE OF FLORIDA, Respondent. ON PETITION FOR DISCRETIONARY REVIEW FROM THE DISTRICT COURT OF
More informationIN THE SUPREME COURT OF FLORIDA DISCRETIONARY REVIEW OF DECISION OF THE DISTRICT COURT OF APPEAL OF FLORIDA SECOND DISTRICT
IN THE SUPREME COURT OF FLORIDA RONALD COTE Petitioner vs. Case No.SC00-1327 STATE OF FLORIDA, Respondent / DISCRETIONARY REVIEW OF DECISION OF THE DISTRICT COURT OF APPEAL OF FLORIDA SECOND DISTRICT BRIEF
More informationFiling # E-Filed 01/22/ :58:37 PM
Filing # 83731690 E-Filed 01/22/2019 05:58:37 PM IN THE CIRCUIT COURT OF THE 17TH JUDICIAL CIRCUIT, IN AND FOR BROWARD COUNTY, FLORIDA BRENDA FORMAN, ) CASE NO.: DVCE 18008661 Petitioner, ) JUDGE: ALTFIELD
More informationBEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION SIXTH AMENDED WITNESS AND EXHIBIT LIST WITNESS LIST. 1. Honorable Charles W.
BEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION INQUIRY CONCERNING A JUDGE, NO. 01-244 / CASE NO.: SC01-2670 SIXTH AMENDED WITNESS AND EXHIBIT LIST COMES NOW, the Respondent, the Honorable Charles
More informationSupreme Court of Florida
Supreme Court of Florida No. SC15-311 INQUIRY CONCERNING A JUDGE NO. 14-557 RE: JESSICA J. RECKSIEDLER. PER CURIAM. [April 9, 2015] In this case, we review the findings and recommendation of discipline
More informationIN THE SUPREME COURT OF FLORIDA (Before a Referee) v. The Florida Bar File Nos ,023(17C) ,489(17C) WILLIAM ROACH, JR.
IN THE SUPREME COURT OF FLORIDA (Before a Referee) THE FLORIDA BAR, Complainant, Supreme Court Case No. SC06-1872 v. The Florida Bar File Nos. 2001-51,023(17C) 2003-50,489(17C) WILLIAM ROACH, JR., Respondent.
More informationIN THE SUPREME COURT OF FLORIDA. Case Nos. SC and SC IN RE: PRO BONO ACTIVITIES BY JUDGES AND JUDICIAL STAFF ATTORNEYS
IN THE SUPREME COURT OF FLORIDA Case Nos. SC02-1034 and SC02-147 IN RE: PRO BONO ACTIVITIES BY JUDGES AND JUDICIAL STAFF ATTORNEYS COMMENTS OF INTERESTED PARTY DAVID A. DEMERS CHIEF JUDGE OF THE SIXTH
More informationIN THE SUPREME COURT OF FLORIDA RESPONDENT, CITY OF LARGO, ANSWER BRIEF ON JURISDICTION IN RESPONSE TO PETITIONER'S AMENDED BRIEF
IN THE SUPREME COURT OF FLORIDA MARY KATHERINE DAY-PETRANO CASE NO. SC05-1181 L.T. 2D04-4867 Petitioner, v. PINELLAS COUNTY AND CIRCUIT COURTS OF THE SIXTH JUDICIAL CIRCUIT OF FLORIDA; STATE OF FLORIDA;
More informationIN THE SUPREME COURT OF FLORID CASE NO. SC L.T. CASE NOS. 5D KARA SINGLETON ADAMS, LAURA BARKMAN and RANDALL HOBBS,
IN THE SUPREME COURT OF FLORID CASE NO. SC12-2555 L.T. CASE NOS. 5D10-2610 KARA SINGLETON ADAMS, Petitioner, v. LAURA BARKMAN and RANDALL HOBBS, Respondents. PETITIONER KARA SINGLETON ADAMS' INITIAL BRIEF
More informationUNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA. CASE NO.: Civ-Martinez
Gainor v. Sidley, Austin, Brow Doc. 34 Case 1:06-cv-21748-JEM Document 34 Entered on FLSD Docket 02/09/2007 Page 1 of 6 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA MARK J. GAINOR, Plaintiff,
More informationIN THE SUPREME COURT OF FLORIDA. v. The Florida Bar File No ,252(11D-OSC) HAROLD M. BRAXTON,
IN THE SUPREME COURT OF FLORIDA THE FLORIDA BAR, Petitioner/Appellant, Supreme Court Case No. SC11-356 v. The Florida Bar File No. 2011-70,252(11D-OSC) HAROLD M. BRAXTON, Respondent/Appellee. / THE FLORIDA
More informationFiling # E-Filed 12/26/ :55:03 PM
Filing # 82569223 E-Filed 12/26/2018 04:55:03 PM IN THE CIRCUIT COURT OF THE SEVENTHEENTH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA BRENDA FORMAN, Petitioner, v. CASE NO.: 18-0008661 WILLIAM
More informationJUSTICE COURT FORMS FOR CRIMINAL PROCEEDINGS
JUSTICE COURT FORMS FOR CRIMINAL PROCEEDINGS Appearance Bond, Secured............................................................ MRCrP 8 Appearance Bond, Unsecured..........................................................
More informationIN THE SUPREME COURT OF THE STATE OF FLORIDA
IN THE SUPREME COURT OF THE STATE OF FLORIDA ANDERSON COLUMBIA and * COMMERCIAL RISK * MANAGEMENT, INC., * * Petitioners, * * Case No.: SC05-1073 v. * * JAMES BROWN, * * Respondent. * * ON PETITION FOR
More informationIN THE SUPREME COURT OF FLORIDA CASE NO.: SC04-21 LOWER CASE NO.: 2D REPLY BRIEF OF PETITIONER S BRIEF ON THE MERITS
IN THE SUPREME COURT OF FLORIDA RAYMOND BAUGH, Petitioner, vs. STATE OF FLORIDA, Respondent. / CASE NO.: SC04-21 LOWER CASE NO.: 2D02-2758 REPLY BRIEF OF PETITIONER S BRIEF ON THE MERITS On Discretionary
More informationPART III Discovery CHAPTER 8. Overview of the Discovery Process KEY POINTS THE NATURE OF DISCOVERY THE EXTENT OF ALLOWABLE DISCOVERY
PART III Discovery CHAPTER 8 Overview of the Discovery Process The Florida Rules of Civil Procedure regulate civil discovery procedures in the state. Florida does not require supplementary responses to
More informationIN THE SUPREME COURT OF FLORIDA CASE NUMBER D.C.A. CASE NO RONALD LEE CRAIG, Petitioner, THE STATE OF FLORIDA, Respondent.
IN THE SUPREME COURT OF FLORIDA CASE NUMBER D.C.A. CASE NO. 04-125 RONALD LEE CRAIG, Petitioner, v. THE STATE OF FLORIDA, Respondent. *********************************************************** ON PETITION
More informationBEFORE TIIE INVESTIGATIVF PANEI OF Till FI ORIDA Ji'DICIAI QUAl IFICATIONS COMMISSION STATE OF FLORIDA
Electronically Filed 11/14/2013 07:59:08 AM ET RECElVED, 11/14/2013 08:03:37, John A. Tomasino, Clerk, Supreme Court BEFORE TIIE INVESTIGATIVF PANEI OF Till FI ORIDA Ji'DICIAI QUAl IFICATIONS COMMISSION
More informationIN THE DISTRICT COURT OF APPEAL OF FLORIDA, FIFTH DISTRICT. CASE NO. 5D Lower Tribunal Case No CF AXXX-XX
IN THE DISTRICT COURT OF APPEAL OF FLORIDA, FIFTH DISTRICT RECEIVED, 5/16/2017 3:34 PM, Joanne P. Simmons, Fifth District Court of Appeal DANA LOYD, vs. CASE NO. 5D17-1070 Lower Tribunal Case No. 05-2015-CF-039871-AXXX-XX
More informationIN THE SUPREME COURT OF FLORIDA (Before a Referee) v. The Florida Bar File No ,249(17F) ARTHUR NATHANIEL RAZOR REPORT OF REFEREE
IN THE SUPREME COURT OF FLORIDA (Before a Referee) THE FLORIDA BAR, Complainant Supreme Court Case No. SC06-11 v. The Florida Bar File No. 2004-51,249(17F) ARTHUR NATHANIEL RAZOR Respondent / REPORT OF
More informationIN THE SUPREME COURT OF FLORIDA. Case No. SC LOWER TRIBUNAL CASE NO. 4D ; 4D ; 4D
IN THE SUPREME COURT OF FLORIDA STATE OF FLORIDA Petitioner, vs. Case No. SC01-1596 LOWER TRIBUNAL CASE NO. 4D99-4339; 4D99-4340; 4D99-4341 GREGORY BYRON ORR, Respondent. / ON DISCRETIONARY REVIEW FROM
More informationIN THE FLORIDA SUPREME COURT
Filing # 21244948 Electronically Filed 12/04/2014 02:47:17 PM RECEIVED, 12/4/2014 14:48:43, John A. Tomasino, Clerk, Supreme Court IN THE FLORIDA SUPREME COURT JORGE L. FERNANDEZ, Case No. SC14-2164 3D11-2753
More informationIN THE SUPREME COURT OF FLORIDA CASE NO.: SC
IN THE SUPREME COURT OF FLORIDA CASE NO.: SC07-1672 PETER SPOREA, ET AL., Petitioners, vs. CITY OF POMPANO BEACH, FLORIDA, Respondent. RESPONDENT S AMENDED ANSWER BRIEF ON JURISDICTION On Appeal from the
More informationSUPREME COURT OF FLORIDA. CASE NO. SCl3-1934
SUPREME COURT OF FLORIDA CASE NO. SCl3-1934 United States Court of Appeals for the Eleventh Circuit Case No. 12-14271 On Certified Question FLORIDA VIRTUAL SCHOOL, et al., Appellants, vs. K12, INC., et
More informationIN THE SUPREME COURT OF FLORIDA CASE NO. SC MUHAMMAD RAHEEM TAQWA EL SUPREME KALIFA. Petitioner. GRADY JUDD, SHERIFF, et. al.
IN THE SUPREME COURT OF FLORIDA CASE NO. SC08-2487 MUHAMMAD RAHEEM TAQWA EL SUPREME KALIFA Petitioner v. GRADY JUDD, SHERIFF, et. al., Respondents ==========================================================
More informationIN THE SUPREME COURT OF FLORIDA
IN THE SUPREME COURT OF FLORIDA IN RE: AMENDMENTS TO FLORIDA RULES FOR CERTIFIED AND COURT APPOINTED MEDIATORS CASE NO. SC05-998 RESPONSE OF THE COMMITTEE ON ALTERNATIVE DISPUTE RESOLUTION RULES AND POLICY
More informationUNITED STATES DISTRICT COURT WESTERN DISTRICT OF KENTUCKY AT PADUCAH (Filed Electronically) CRIMINAL ACTION NO. 5:06CR-19-R UNITED STATES OF AMERICA,
UNITED STATES DISTRICT COURT WESTERN DISTRICT OF KENTUCKY AT PADUCAH (Filed Electronically) CRIMINAL ACTION NO. 5:06CR-19-R UNITED STATES OF AMERICA, PLAINTIFF, vs. STEVEN DALE GREEN, DEFENDANT. DEFENDANT
More informationOFFICE OF CIRCUIT JUDGE ELIZABETH V. KRIER COLLIER COUNTY COURTHOUSE 3301 EAST TAMIAMI TRAIL, BUILDING L NAPLES, FLORIDA TELEPHONE:
OFFICE OF CIRCUIT JUDGE ELIZABETH V. KRIER COLLIER COUNTY COURTHOUSE 3301 EAST TAMIAMI TRAIL, BUILDING L NAPLES, FLORIDA 34112 TELEPHONE: (239) 252-4260 FAX NUMBER: Emergencies Only - Call Judicial Assistant
More informationIN THE SUPREME COURT OF FLORIDA (Before a Referee)
IN THE SUPREME COURT OF FLORIDA (Before a Referee) THE FLORIDA BAR, v. Complainant, KELLY KATHRYN MCGRAW, Case No. SC07-964 TFB File No. 2004-00,758(1A) Respondent. / REPORT OF THE REFEREE ACCEPTING CONSENT
More informationIN THE SUPREME COURT OF FLORIDA (Before a Referee)
IN THE SUPREME COURT OF FLORIDA (Before a Referee) THE FLORIDA BAR, Supreme Court Case No. SC11-1786 Complainant, The Florida Bar File v. Nos. 2010-70,685(11D) and 2010-71,155(11D) PETER MILAN PREDRAG
More information