IN THE SUPREME COURT OF THE STATE OF FLORIDA. CASE NO. SC09- L.T. Case No. 4D

Size: px
Start display at page:

Download "IN THE SUPREME COURT OF THE STATE OF FLORIDA. CASE NO. SC09- L.T. Case No. 4D"

Transcription

1 IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. SC09- L.T. Case No. 4D COLUMBIA HOSPITAL CORPORATION OF SOUTH BROWARD, d/b/a WESTSIDE REGIONAL MEDICAL CENTER, a foreign For profit corporation, v. Petitioner/Defendant, REBECCA FAIN, as Personal Representative of the Estate of WILLIAM THOMAS FAIN, Respondent/Plaintiff. / PETITIONER'S BRIEF ON JURISDICTION On Discretionary Review From a Decision of the Fourth District Court of Appeal CARLTON FIELDS, P.A. 100 SE 2nd Street, Suite 4000 Miami, Florida Telephone: (305) Facsimile: (305) By: STEPHEN J. BRONIS WALTER J. TACHE CRISTINA ALONSO JESSICA ZAGIER WALLACE Counsel for Petitioner CARLTON FIELDS, P.A. 215 S. Monroe Street, Suite 500 Tallahassee, Florida Telephone: (850) Facsimile: (850) By: CHRISTINE DAVIS GRAVES

2 TABLE OF CONTENTS Page TABLE OF AUTHORITIES... ii STATEMENT OF THE CASE AND FACTS... 1 SUMMARY OF THE ARGUMENT... 2 ARGUMENT... 3 I. THE FOURTH DISTRICT CONSTRUES ARTICLE X, SECTION 25 OF THE FLORIDA CONSTITUTION II. THE DECISION EXPRESSLY CONSTRUES AMENDMENT 7 AND THE SUPREMACY CLAUSE OF THE UNITED STATES CONSTITUTION CONCLUSION CERTIFICATE OF SERVICE CERTIFICATE OF COMPLIANCE APPENDIX i

3 TABLE OF AUTHORITIES Page Cases Advisory Opinion to the Atty. Gen. re Patients' Right To Know About Adverse Medical Incidents, 880 So. 2d 617 (Fla. 2004)... 5, 6, 9 Citigroup, Inc. v. Holtsberg, 915 So. 2d 1265 (Fla. 4th DCA 2005)... 6 Columbia Hospital Corp. of So. Broward v. Fain, No. 4D , 34 Fla. L. Weekly D1677, 2009 WL (Fla. 4th DCA August 19, 2009)... 1 Cruger v. Love, 599 So. 2d 111 (Fla. 1992)... 9 Dade County Med. Ass'n v. Hlis, 372 So. 2d 117 (Fla. 3d DCA 1979)... 9 Elkins v. Syken, 672 So. 2d 517 (Fla. 1996)... 5 Evans v. Firestone, 457 So. 2d 1351 (Fla. 1984)... 6 Fine v. Firestone, 448 So. 2d 984 (Fla. 1984)... 7 Florida Hosp. Waterman, Inc. v. Buster, 984 So. 2d 478 (Fla. 2008)...9, 10 Geier v. Am. Honda Motor Co., 529 U.S. 861 (2000)... 8 Ming Wei Liu v. Board of Trustees of the University of Alabama, No , 2009 WL , *2 (11th Cir. May 19, 2009)... 9 State v. Division of Bond Finance of the Dep't of General Services, 278 So. 2d 614 (Fla. 1973)... 6 ii

4 TABLE OF AUTHORITIES (Continued) Page Ting v. AT&T, 319 F.3d 1126 (9th Cir. 2002)... 8 Other Authorities 42 U.S.C , et seq Article V, Section 2(a), Florida Constitution... 3 Article V, Section 2, Florida Constitution... 6 Article V, Section 3(b)(3), Florida Constitution... 2 Article X, Section 25, Florida Constitution... 1, 2, 3 Article XI, Section 3, Florida Constitution...3, 6 Associated Press, Lawyer Wants Tampa Hospital's Files Back to '34, Miami Herald, Sept. 25, 2009, /news/florida/ap/story/ html... 4 Rules Florida Rule of Appellate Procedure 9.030(a)(2)(A)(ii)... 2 Florida Rule of Civil Procedure , 4, 5 iii

5 STATEMENT OF THE CASE AND FACTS "This case involves Article X, Section 25 of the Florida Constitution, enacted as 'Amendment 7,' regarding a patient's right to discover records related to adverse medical incidents." (Opinion at 1). Decedent, William Fain, fell from a hospital bed and subsequently died while an inpatient at Westside Memorial Regional Medical Center. (Opinion at 1-2). Respondent, Fain's Estate, sued Petitioner Columbia Hospital Corporation of South Broward d/b/a Westside Memorial Regional Medical Center ("Westside") for medical negligence. (Opinion at 2). During discovery, and pursuant to Amendment 7, the Estate requested incident reports for Fain's fall, and all adverse medical incident reports involving patient falls within the last five years. (Opinion at 2). Westside objected on various grounds, including that the requests were overbroad, unduly burdensome, and irrelevant. (Opinion at 2, 4). Additionally, Westside argued that Amendment 7 violates the Supremacy Clause of the U.S. Constitution and is preempted by the Health Care Quality Improvement Act of 1986 ("HCQIA"), found at 42 U.S.C , et seq. (Opinion at 6). The trial court denied the objections and granted the Estate's requests. (Opinion at 1, 4). 1 1 All facts are found within the four corners of the opinion on review, Columbia Hospital Corp. of So. Broward v. Fain, No. 4D , 34 Fla. L. Weekly D1677, 2009 WL (Fla. 4th DCA August 19, 2009), which is referenced as "Opinion" throughout this jurisdictional brief. The Opinion is attached as Appendix 1 to this brief. 1

6 Westside petitioned for a writ of certiorari to quash the trial court's order. (Opinion at 1). In denying the petition, the Fourth District held that Amendment 7 eliminated a healthcare facility's right to object to a discovery request on the basis that the request was overbroad, burdensome, or irrelevant. (Opinion at 4-5). The Fourth District also held that Amendment 7's impact upon state peer review privilege statutes did not violate the Supremacy Clause of the U.S. Constitution because Amendment 7 is not impliedly preempted by HCQIA. (Opinion at 6-8). The Fourth District denied Westside's petition for writ of certiorari, reasoning Westside's objections were invalid under Amendment 7. SUMMARY OF THE ARGUMENT This Court has jurisdiction over this case under article V, section 3(b)(3) of the Florida Constitution because the Fourth District expressly construed provisions of the Florida and U.S. constitutions. See Fla. R. App. P (a)(2)(A)(ii). The court expressly construed article X, section 25 of the Florida Constitution ("Amendment "7) by explaining that there is no limit on what can be requested under the amendment, no matter how excessive. In applying that construction to pending litigation, the court found that Amendment 7 abolished a healthcare facility's right to object to a discovery request on grounds that the request is overbroad, unduly burdensome, or irrelevant, as permitted by Florida Rule of Civil Procedure

7 The court also expressly construed the amendment and the Supremacy Clause of the United States Constitution by finding that HCQIA did not preempt the right of citizens to pass a constitutional amendment that undermines the confidentiality of healthcare facilities' peer review processes. This Court should exercise jurisdiction over this case because the Fourth District's interpretations of Amendment 7 and the Supremacy Clause raise significant issues, including whether there is any limit on what can be requested under the amendment, regardless of considerations of reasonableness; whether the judiciary's traditional gatekeeping function in discovery may be eliminated in violation of Article V, section 2(a) and Article XI, section 3 of the Florida Constitution; and whether courts' construction of the Supremacy Clause precludes consideration of whether Amendment 7's methods constitute an obstacle to the purpose under federal law of promoting quality health care through effective peer review. ARGUMENT I. THE FOURTH DISTRICT CONSTRUES ARTICLE X, SECTION 25 OF THE FLORIDA CONSTITUTION. In reaching its holding that Amendment 7 abolishes a healthcare facility's right to object to discovery on the grounds of overbreadth, burdensomeness, and irrelevance, the Fourth District expressly construed, and based its holding on Amendment 7. The court held that burdensomeness is not a relevant consideration 3

8 under Amendment 7 and that, "[p]ursuant to the amendment, a 'patient' has the absolute right to discover records relating to any adverse medical incident and that right is not conditioned on discovery being relevant to a pending claim." (Opinion at 4-5). The court's decision below arguably eliminates any limitation based on reasonableness in response to an Amendment 7 request. Arguably, considerations of reasonableness do not apply even where a request is framed for purposes of harassment or where responding to an extremely burdensome request interferes with a health care facility's ability to carry out other state-mandated risk management functions. See Associated Press, Lawyer Wants Tampa Hospital's Files Back to '34, Miami Herald, Sept. 25, 2009, /news/florida/ap/story/ html. Whether the right to records under Amendment 7 may ever be tempered based on considerations of reasonableness is an issue squarely presented by the court's decision below. Furthermore, the Fourth District expressly construes Amendment 7 to eliminate certain discovery protections authorized by this Court under Florida Rule of Civil Procedure The court held that Amendment 7 overrides the rules of procedure in litigation, stating that, "[a] request for Amendment 7 materials is not an ordinary discovery request which can be subjected to overbreadth, irrelevance, or burdensomeness objections." (Opinion at 4). According to the court, under Amendment 7, a party has "the absolute right" to discovery, which "is not 4

9 conditioned on the discovery being relevant to a pending claim." Id. This construction goes beyond the language of Amendment 7, which does not purport to eliminate judicial discretion over discovery, which discretion is of great importance to the civil court process. See Elkins v. Syken, 672 So. 2d 517, 522 (Fla. 1996) ("To allow discovery that is overly burdensome and that harasses, embarrasses, and annoys one's adversary would lead to a lack of public confidence in the credibility of the civil court process."). By so holding, the court essentially construes Amendment 7 as altering or adopting a new rule of civil procedure as to discovery requests under the amendment. This Court has jurisdiction. This Court should accept jurisdiction because this construction raises constitutional questions regarding the power of the judiciary. First, Amendment 7 was not intended to substantially alter or perform a function of the judiciary. See Advisory Opinion to the Atty. Gen. re Patients' Right To Know About Adverse Medical Incidents, 880 So. 2d 617, 621 (Fla. 2004) ("Advisory Opinion") (an initiative petition may not "substantially alter or perform the functions of multiple aspects of government."). Instead, the amendment focused on legislative provisions, not the judiciary. Id. at ("the amendment does not expressly affect either rule 1.280(c) or the attorney-client privilege, and there is no evidence of any intent to do so."). This Court explained that Amendment 7's effect on Rule was "speculative" and that its effect on Rule "would not rise to the 5

10 level of 'substantially' altering or performing a function of the judiciary." Id. at 621. Thus, the Fourth District's interpretation of Amendment 7 as abolishing judicial discretion over burdensomeness, overbreadth and relevance objections raises constitutional concerns under Article XI, section 3 of the Florida Constitution to the extent that it usurps a function of the judiciary, and therefore goes beyond what was contemplated in the Advisory Opinion. Compare Evans v. Firestone, 457 So. 2d 1351, 1354 (Fla. 1984) (striking down initiative petition that affected both legislative provisions and the summary judgment rule under the Florida Rules of Civil Procedure). Moreover, to the extent the court's construction alters procedural rules by its own initiative, the alteration of the procedural rules by a district court raises constitutional concerns as well. Article V, section 2 of the Florida Constitution confers upon the Florida Supreme Court the exclusive responsibility to "adopt rules for the practice and procedure in all courts." See Citigroup, Inc. v. Holtsberg, 915 So. 2d 1265, 1269 (Fla. 4th DCA 2005). "It is a fundamental rule of construction that, if possible, amendments to the Constitution should be construed so as to harmonize with other constitutional provisions." State v. Division of Bond Finance of the Dep't of General Services, 278 So. 2d 614, 617 (Fla. 1973). If an initiative petition is intended to conflict with other parts of the constitution, the "petition should identify the articles or sections 6

11 of the constitution substantially effected." Fine v. Firestone, 448 So. 2d 984, 989 (Fla. 1984). This construction of Amendment 7, which fails to harmonize the amendment with other provisions of the Florida Constitution, results in an interpretation that eliminates trial judges' ability to control burdensome requests under Amendment 7, even if intended to harass or gain an advantage, and will consequently have broad effect on litigation in Florida. II. THE DECISION EXPRESSLY CONSTRUES AMENDMENT 7 AND THE SUPREMACY CLAUSE OF THE UNITED STATES CONSTITUTION. The Fourth District held that Amendment 7 was not impliedly preempted by HCQIA, rejecting Westside's argument that Amendment 7 is an obstacle to HCQIA's full purpose and objective of providing for effective peer review. This holding could not have been reached without expressly construing Amendment 7 and the Supremacy Clause of the U.S. Constitution. This Court has jurisdiction. This Court should exercise this jurisdiction because the court's construction of implied preemption under the Supremacy Clause has precluded consideration of the obstacle that Amendment 7's record access provision poses to HCQIA's purpose of promoting effective peer review. While the Fourth District agreed that the purpose of HCQIA is to promote effective peer review (Opinion at 6-7), and Florida's statutory confidentiality 7

12 provisions may contribute to effective peer review (Opinion at 8), because HCQIA did not require confidentiality, the Fourth District found no obstacle preemption under the U.S. Constitution. (Opinion at 6-8). The court held, "[t]hese discovery protections were not mandated by the HCQIA, and while they may have contributed to effective peer review in Florida, the people of the State of Florida are not preempted from abolishing these statutory protections by constitutional amendment." (Opinion at 8). The Fourth District's construction interprets the Supremacy Clause as requiring a violation of an express provision of HCQIA, rather than as requiring an obstacle to HCQIA's full purposes and objectives. In truth, express intent to preempt state law is not required before conflict or obstacle preemption can be found. See Geier v. Am. Honda Motor Co., 529 U.S. 861, (2000). Instead, the court is to look at "the relationship between state and federal laws as they are interpreted and applied, not merely as they are written." Ting v. AT&T, 319 F.3d 1126, 1137 (9th Cir. 2002) (citations omitted). The Fourth District's construction of the Supremacy Clause precludes consideration of the obstacle Amendment 7 presents to the full purpose and objective of HCQIA to provide effective peer review. While HCQIA and Florida's statutory provisions regarding peer review attempt to improve the quality of health care by facilitating the frank exchange of information among professionals 8

13 conducting peer review inquiries without fear of reprisals, Ming Wei Liu v. Board of Trustees of the University of Alabama, No , 2009 WL , *2 (11th Cir. May 19, 2009), Amendment 7 attempts to improve quality of health care through medical choice by opening access to "information concerning a particular health care provider's or facility's investigations, incidents or history of acts, neglects, or defaults that have injured patients or had the potential to injure patients." Advisory Opinion at 618. The Fourth District's construction of the Supremacy Clause did not allow it to consider the obstacle that Amendment 7's methods pose to HCQIA's objective of effective peer review. See, e.g., Cruger v. Love, 599 So. 2d 111, 113 (Fla. 1992) ("to make meaningful peer review possible, the legislature provided a guarantee of confidentiality for the peer review process."); Dade County Med. Ass'n v. Hlis, 372 So. 2d 117, 120 (Fla. 3d DCA 1979) ("Confidentiality is essential to effective functioning of these staff meetings; and these meetings are essential to the continued improvement in the care and treatment of patients."); see also Advisory Opinion at 622; (Opinion at 8). This Court recognized this policy conflict in Florida Hosp. Waterman, Inc. v. Buster, 984 So. 2d 478, 494 (Fla. 2008) as to Amendment 7: It is not for us to judge the wisdom of the constitutional amendments enacted or the change in public policy pronounced through those amendments, even in instances where the change involves abrogation of long-standing legislation that establishes and promotes an equally or arguably more compelling public policy. 9

14 This Court in Buster did not address the conflict between effective peer review and Amendment 7 because it was not necessary to determine the issues presented in that case, i.e. retroactivity of the amendment, whether it was self executing and constitutionality of the enabling statute. In this case, by contrast, Westside argues that Amendment 7 constitutes an obstacle to the full purpose and objective of effective peer review of HCQIA based on the Supremacy Clause, which challenge squarely presents this issue. Because the Fourth District's construction of the Supremacy Clause requires a statutory mandate for obstacle preemption thus failing to assess the obstacle that Amendment 7 presents to HCQIA's object and purpose of effective peer review, this Court should accept jurisdiction. CONCLUSION Based on the foregoing, Petitioner, Columbia Hospital Corporation of South Broward, d/b/a Westside Regional Medical Center, respectfully requests that this Court review the district court's decision and quash it. 10

15 CARLTON FIELDS, P.A. 100 SE 2nd Street, Suite 4000 Miami, Florida Telephone: (305) Facsimile: (305) By: STEPHEN J. BRONIS Florida Bar No WALTER J. TACHE Florida Bar No CRISTINA ALONSO Florida Bar No JESSICA ZAGIER WALLACE Florida Bar No CARLTON FIELDS, P.A. 215 S. Monroe Street, Suite 500 Tallahassee, Florida Telephone: (850) Facsimile: (850) By: Counsel for Petitioner CHRISTINE DAVIS GRAVES Florida Bar No.:

16 CERTIFICATE OF SERVICE I HEREBY CERTIFY that a copy of the foregoing has been furnished by U.S. Mail this 29th day of September, 2009, to the following: ROBERTS & DURKEE, PA David Durkee Alhambra Towers, Penthouse I 121 Alhambra Plaza, Suite 1603 Coral Gables, FL Counsel for Respondents/Plaintiffs HUNTER, WILLIAMS & LYNCH, PA Christopher J. Lynch, Esq. 75 Valencia Avenue Suite 1150 Coral Gables, Florida Co-Counsel for Respondents/Plaintiffs BILLING, COCHRAN, HEATH, LYLES, MAURO & RAMSEY, PA John W. Mauro SunTrust Center, 6th Floor 515 East Las Olas Boulevard Fort Lauderdale, Florida Counsel for Westside Regional Medical Center and All About Staffing The Honorable David Krathen Broward County Judicial Complex 201 SE 6th Street, Room 1005A Ft. Lauderdale, FL COLE, SCOTT & KISSANE, PA Ashley Sybesma, Esq Brickell Avenue, 3rd Floor Miami, FL Counsel for Nightingale Nurses, LLC By: CHRISTINE DAVIS GRAVES CERTIFICATE OF COMPLIANCE The undersigned hereby certifies that this brief complies with the font requirements set forth in Florida Rule of Appellate Procedure by using Times New Roman 14-point font By: CHRISTINE DAVIS GRAVES 12

17 APPENDIX Columbia Hospital Corp. of So. Broward v. Fain, No. 4D , 34 Fla. L. Weekly D1677, 2009 WL (Fla. 4th DCA August 19, 2009). 13

IN THE SUPREME COURT OF THE STATE OF FLORIDA. CASE NO: SC L.T. Case No. 4D

IN THE SUPREME COURT OF THE STATE OF FLORIDA. CASE NO: SC L.T. Case No. 4D IN THE SUPREME COURT OF THE STATE OF FLORIDA COLUMBIA HOSPITAL CORPORATION OF SOUTH BROWARD, d/b/a WESTSIDE REGIONAL MEDICAL CENTER, a foreign for profit corporation, vs. Petitioner/Defendant, CASE NO:

More information

IN THE SUPREME COURT OF FLORIDA. Petitioner, S.C. Case No. SC DCA Case No. 3D v. L.T. Case No. 08-CA-45992

IN THE SUPREME COURT OF FLORIDA. Petitioner, S.C. Case No. SC DCA Case No. 3D v. L.T. Case No. 08-CA-45992 IN THE SUPREME COURT OF FLORIDA ANGELO KYRELIS, Petitioner, S.C. Case No. SC12-642 DCA Case No. 3D11-1730 v. L.T. Case No. 08-CA-45992 ONEWEST BANK, FSB (SUBSTITUTED PARTY FOR FORMER PLAINTIFF INDYMAC

More information

THE SUPREME COURT OF FLORIDA. CASE NO. SC06-50 L.T. Case No. 4D

THE SUPREME COURT OF FLORIDA. CASE NO. SC06-50 L.T. Case No. 4D THE SUPREME COURT OF FLORIDA CASE NO. SC06-50 L.T. Case No. 4D04-3583 SALVATORE RAFFONE, Petitioner, vs. CITY OF FORT LAUDERDALE, Respondent. / JURISDICTIONAL BRIEF OF RESPONDENT CITY OF FORT LAUDERDALE

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC DCA Case No. 4D Florida Bar No

IN THE SUPREME COURT OF FLORIDA CASE NO. SC DCA Case No. 4D Florida Bar No DAVION MCKEITHAN, a minor, by and through his parent and next best friend, DELORES MCKEITHAN and DELORES MCKEITHAN, individually, IN THE SUPREME COURT OF FLORIDA CASE NO. SC04-1876 DCA Case No. 4D03-2154

More information

IN THE DISTRICT COURT OF APPEAL THIRD DISTRICT, STATE OF FLORIDA

IN THE DISTRICT COURT OF APPEAL THIRD DISTRICT, STATE OF FLORIDA IN THE DISTRICT COURT OF APPEAL THIRD DISTRICT, STATE OF FLORIDA RECEIVED, 12/21/2016 10:21 AM, Mary Cay Blanks, Third District Court of Appeal SOLO AERO CORP., a Florida corporation, vs. Petitioner, AMERICA-CV

More information

CASE NO. SC07- MARIA HERRERA, PETITIONER, RESPONDENT.

CASE NO. SC07- MARIA HERRERA, PETITIONER, RESPONDENT. IN THE SUPREME COURT OF FLORIDA CASE NO. SC07- MARIA HERRERA, PETITIONER, VS. EDWARD A. SCHILLING, RESPONDENT. BRIEF ON JURISDICTION OF PETITIONER MARIA HERRERA ON DISCRETIONARY REVIEW FROM THE THIRD DISTRICT

More information

. IN THE SUPREME COURT OF FLORIDA TALLAHASSEE, FLORIDA

. IN THE SUPREME COURT OF FLORIDA TALLAHASSEE, FLORIDA . IN THE SUPREME COURT OF FLORIDA TALLAHASSEE, FLORIDA S CASE NO. SC12- CHARLES H. BURNS, as Personal Representative of the ESTATE OF ENRIQUE CASASNOVAS, Deceased, for the benefit of the ESTATE OF ENRIQUE

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC FIRST DISTRICT CASE NO. 1D L.T. CASE NO CA WENDY HABEGGER, Petitioner, vs.

IN THE SUPREME COURT OF FLORIDA CASE NO. SC FIRST DISTRICT CASE NO. 1D L.T. CASE NO CA WENDY HABEGGER, Petitioner, vs. Filing # 11759404 Electronically Filed 03/26/2014 10:24:29 AM RECEIVED, 3/26/2014 10:28:40, John A. Tomasino, Clerk, Supreme Court IN THE SUPREME COURT OF FLORIDA CASE NO. SC13-2506 FIRST DISTRICT CASE

More information

IN THE SUPREME COURT OF FLORIDA. CASE NO. SC L.T. No. DO LAKELAND REGIONAL MEDICAL CENTER, INC., Petitioner,

IN THE SUPREME COURT OF FLORIDA. CASE NO. SC L.T. No. DO LAKELAND REGIONAL MEDICAL CENTER, INC., Petitioner, IN THE SUPREME COURT OF FLORIDA CASE NO. SC06-189 L.T. No. DO4-5585 LAKELAND REGIONAL MEDICAL CENTER, INC., Petitioner, v. STATE OF FLORIDA, AGENCY FOR HEALTH CARE ADMINISTRATION; WINTER HAVEN HOSPITAL,

More information

IN THE SUPREME COURT OF THE STATE OF FLORIDA. v. CASE NO. SC L.T. No.: CA 13

IN THE SUPREME COURT OF THE STATE OF FLORIDA. v. CASE NO. SC L.T. No.: CA 13 IN THE SUPREME COURT OF THE STATE OF FLORIDA BEATRICE HURST, as Personal Representative of the Estate of KENNETH HURST, Petitioner, v. CASE NO. SC07-722 L.T. No.:04-24071 CA 13 DAIMLERCHRYSLER CORPORATION,

More information

IN THE SUPREME COURT OF FLORIDA BRIEF ON JURISDICTION OF RESPONDENT, EDWARD A. SCHILLING

IN THE SUPREME COURT OF FLORIDA BRIEF ON JURISDICTION OF RESPONDENT, EDWARD A. SCHILLING IN THE SUPREME COURT OF FLORIDA MARIA HERRERA, Petitioner, Case No.: SC07-839 v. EDWARD A. SCHILLING Respondent. BRIEF ON JURISDICTION OF RESPONDENT, EDWARD A. SCHILLING On Discretionary Review from the

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA IN THE SUPREME COURT OF FLORIDA CHARLIE CRIST, Attorney ) General of the State of ) Florida, ) ) Petitioner, ) Case No. SC vs. ) ) Fourth District REP. CORRINE BROWN, et al., ) Case Nos. 4D02-2353 & 4D02-2401

More information

IN THE SUPREME COURT THE STATE OF FLORIDA CASE NO. SC DCA CASE NO. 3D DOCTOR DIABETIC SUPPLY, INC., Appellant / Petitioner,

IN THE SUPREME COURT THE STATE OF FLORIDA CASE NO. SC DCA CASE NO. 3D DOCTOR DIABETIC SUPPLY, INC., Appellant / Petitioner, IN THE SUPREME COURT THE STATE OF FLORIDA CASE NO. SC10-1922 3DCA CASE NO. 3D09-1475 DOCTOR DIABETIC SUPPLY, INC., Appellant / Petitioner, v. POAP CORP. d/b/a EXCHANGE PLACE, Appellee / Respondent. PETITIONER

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA SCOTT KATZMAN, M.D. and ADVANCED ORTHOPAEDICS, P.A., IN THE SUPREME COURT OF FLORIDA Petitioners, Case No. SC12-114 v. 4 th DCA Case No. 4D11-1290 REDIRON FABRICATION, INC. GEORGE MARTIN and ALLISON MINJARES,

More information

IN THE DISTRICT COURT OF APPEAL OF THE STATE OF FLORIDA FIFTH DISTRICT JANUARY TERM v. Case No. 5D09-64

IN THE DISTRICT COURT OF APPEAL OF THE STATE OF FLORIDA FIFTH DISTRICT JANUARY TERM v. Case No. 5D09-64 IN THE DISTRICT COURT OF APPEAL OF THE STATE OF FLORIDA FIFTH DISTRICT JANUARY TERM 2009 FLORIDA EYE CLINIC, P.A., Petitioner, v. Case No. 5D09-64 MARY T. GMACH, Respondent. / Opinion filed May 29, 2009.

More information

SUPREME COURT OF FLORIDA. Case No. SC04- L.T. Case No. 3D CITY OF MIAMI. Petitioner. vs. SIDNEY S. WELLMAN, ET AL.

SUPREME COURT OF FLORIDA. Case No. SC04- L.T. Case No. 3D CITY OF MIAMI. Petitioner. vs. SIDNEY S. WELLMAN, ET AL. SUPREME COURT OF FLORIDA Case No. SC04- L.T. Case No. 3D01-3050 CITY OF MIAMI Petitioner vs. SIDNEY S. WELLMAN, ET AL. Respondents RESPONDENTS ANSWER BRIEF TO PETITIONER S BRIEF ON JURISDICTION ON DISCRETIONARY

More information

IN THE SUPREME COURT OF FLORIDA TALLAHASSEE, FLORIDA RESPONDENTS ENGLEWOOD COMMUNITY HOSPITAL AND RSKCO S ANSWER BRIEF ON JURISDICTION

IN THE SUPREME COURT OF FLORIDA TALLAHASSEE, FLORIDA RESPONDENTS ENGLEWOOD COMMUNITY HOSPITAL AND RSKCO S ANSWER BRIEF ON JURISDICTION IN THE SUPREME COURT OF FLORIDA TALLAHASSEE, FLORIDA VICKI LUCAS, vs. Petitioner, ENGLEWOOD COMMUNITY HOSPITAL and RSKCO, CASE NO.: SC07-1736 L.T. Case No.: 1D06-5161 Respondents. / RESPONDENTS ENGLEWOOD

More information

IN THE SUPREME COURT OF FLORIDA CASE NUMBER SC Lower Court Case Number 4D

IN THE SUPREME COURT OF FLORIDA CASE NUMBER SC Lower Court Case Number 4D IN THE SUPREME COURT OF FLORIDA CASE NUMBER SC06-2110 Lower Court Case Number 4D05-4560 EDWARD SEGAL, Petitioner, vs. BROWARD COUNTY, FLORIDA, Respondent. BROWARD COUNTY S ANSWER BRIEF ON JURISDICTION

More information

IN THE SUPREME COURT OF FLORIDA CASE NO.: SC PRO-ART DENTAL LAB, INC., A Florida Corporation, Petitioner/Defendant,

IN THE SUPREME COURT OF FLORIDA CASE NO.: SC PRO-ART DENTAL LAB, INC., A Florida Corporation, Petitioner/Defendant, IN THE SUPREME COURT OF FLORIDA CASE NO.: SC07-1397 PRO-ART DENTAL LAB, INC., A Florida Corporation, Petitioner/Defendant, v. V-STRATEGIC GROUP, LLC, A Florida Corporation, Respondent/Plaintiff. An Appeal

More information

IN THE SUPREME COURT STATE OF FLORIDA. CASE NO. SC08- Fourth District Court of Appeal Case No. 4D JAN DANZIGER, Petitioner,

IN THE SUPREME COURT STATE OF FLORIDA. CASE NO. SC08- Fourth District Court of Appeal Case No. 4D JAN DANZIGER, Petitioner, IN THE SUPREME COURT STATE OF FLORIDA CASE NO. SC08- Fourth District Court of Appeal Case No. 4D06-5070 JAN DANZIGER, Petitioner, v. ALTERNATIVE LEGAL, INC., Respondent. ON DISCRETIONARY REVIEW OF A DECISION

More information

IN 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. 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 information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC: L.T. Case No. 3D CASTELO DEVELOPMENTS, LLC. Petitioner, NAKIA RAWLS, et al. Respondents.

IN THE SUPREME COURT OF FLORIDA CASE NO. SC: L.T. Case No. 3D CASTELO DEVELOPMENTS, LLC. Petitioner, NAKIA RAWLS, et al. Respondents. Electronically Filed 10/24/2013 05:29:35 PM ET RECEIVED, 10/24/2013 17:33:39, Thomas D. Hall, Clerk, Supreme Court IN THE SUPREME COURT OF FLORIDA L.T. Case No. 3D12-1332 CASTELO DEVELOPMENTS, LLC Petitioner,

More information

SUPREME COURT OF FLORIDA PETITIONER CRESCENT MIAMI CENTER, LLC S BRIEF ON JURISDICTION

SUPREME COURT OF FLORIDA PETITIONER CRESCENT MIAMI CENTER, LLC S BRIEF ON JURISDICTION SUPREME COURT OF FLORIDA CRESCENT MIAMI CENTER, LLC, vs. Petitioner, Supreme Court Case No. SC03-2063 THIRD DCA CASE NO. 02-3002 LT Case No. 00-21824 DEPARTMENT OF REVENUE, STATE OF FLORIDA, Respondent.

More information

IN THE SUPREME COURT STATE OF FLORIDA CASE NO: SC RESPONDENT S BRIEF ON JURISDICTION

IN THE SUPREME COURT STATE OF FLORIDA CASE NO: SC RESPONDENT S BRIEF ON JURISDICTION IN THE SUPREME COURT STATE OF FLORIDA CASE NO: SC09-312 JACK WATKINS HUNTER, BERNIE SIMPKINS, ET AL, Petitioners, v. SCOTT ELLIS AS BREVARD COUNTY CLERK OF COURT, Respondent. / RESPONDENT S BRIEF ON JURISDICTION

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA IN THE SUPREME COURT OF FLORIDA BASSAM ABIFARAJ and RAYYA ABIFARAJ, on behalf of and as parents and natural guardians of SAMER ABIFARAJ, a deceased minor, vs. Petitioners, SC05-1595 L.T. Case No.: 1D03-4344

More information

IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO.: SC Court of Appeal s Case No.: 3D YOLANDA PROHIAS, et al., Petitioner, vs.

IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO.: SC Court of Appeal s Case No.: 3D YOLANDA PROHIAS, et al., Petitioner, vs. IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO.: SC07-1334 Court of Appeal s Case No.: 3D06-2733 YOLANDA PROHIAS, et al., Petitioner, vs. ASTRAZENECA PHARMACEUTICALS, et al., Respondents. ON PETITION

More information

IN THE SUPREME COURT STATE OF FLORIDA PRO-ART DENTAL LAB, INC. Petitioner, V-STRATEGIC GROUP, LLC. Respondent.

IN THE SUPREME COURT STATE OF FLORIDA PRO-ART DENTAL LAB, INC. Petitioner, V-STRATEGIC GROUP, LLC. Respondent. IN THE SUPREME COURT STATE OF FLORIDA CASE NO. SC07-1397 PRO-ART DENTAL LAB, INC. Petitioner, v. V-STRATEGIC GROUP, LLC Respondent. RESPONDENT V-STRATEGIC GROUP, LLC S BRIEF ON JURISDICTION ON DISCRETIONARY

More information

IN THE SUPREME COURT OF FLORIDA CASE NO.: SC

IN 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 information

SUPREME COURT OF FLORIDA CASE NO. SC05-331

SUPREME COURT OF FLORIDA CASE NO. SC05-331 SUPREME COURT OF FLORIDA CASE NO. SC05-331 STUART HOROWITZ as Personal Representative of the Estate of LENA HOROWITZ, vs. Petitioner, PLANTATION GENERAL HOSPITAL LIMITED PARTNERSHIP d/b/a COLUMBIA PLANTATION

More information

IN THE SUPREME COURT OF FLORIDA. Case No. SC Third DCA Case Nos. 3D / 3D L.T. Case No CA 15

IN THE SUPREME COURT OF FLORIDA. Case No. SC Third DCA Case Nos. 3D / 3D L.T. Case No CA 15 IN THE SUPREME COURT OF FLORIDA Case No. SC08-1877 Third DCA Case Nos. 3D07-2875 / 3D07-3106 L.T. Case No. 04-17958 CA 15 VALAT INTERNATIONAL HOLDINGS, LTD. Petitioner, vs. MERRILL LYNCH & CO., INC. Respondent.

More information

RESPONDENT S RESPONSE TO PETITION FOR WRIT OF CERTIORARI. The Respondent, Robert L. Schimmel, by and through undersigned counsel,

RESPONDENT S RESPONSE TO PETITION FOR WRIT OF CERTIORARI. The Respondent, Robert L. Schimmel, by and through undersigned counsel, DISTRICT COURT OF APPEAL THIRD DISTRICT OF FLORIDA CASE NO. 3D16-2545 RECEIVED, 12/9/2016 7:06 PM, Mary Cay Blanks, Third District Court of Appeal ARNOLD D. HESSEN, an individual. HESSEN, SCHIMMEL & DECASTRO,

More information

IN THE SUPREME COURT OF THE STATE OF FLORIDA TALLAHASSEE, FLORIDA

IN THE SUPREME COURT OF THE STATE OF FLORIDA TALLAHASSEE, FLORIDA IN THE SUPREME COURT OF THE STATE OF FLORIDA TALLAHASSEE, FLORIDA SUPREME COURT CASE NO.: SC11-734 THIRD DCA CASE NO. s: 3D09-3102 & 3D10-848 CIRCUIT CASE NO.: 09-25070-CA-01 UNITED AUTOMOBILE INSURANCE

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA Filing # 15572814 Electronically Filed 07/03/2014 05:32:02 PM RECEIVED, 7/3/2014 17:33:34, John A. Tomasino, Clerk, Supreme Court MOHAMMAD ANWAR FARID AL-SALEH, IN THE SUPREME COURT OF FLORIDA CASE NO.

More information

IN THE SUPREME COURT OF FLORIDA. v. CASE NO.: SC FIRST DCA CASE NO.: 1D L.T. CASE NO.: L

IN THE SUPREME COURT OF FLORIDA. v. CASE NO.: SC FIRST DCA CASE NO.: 1D L.T. CASE NO.: L IN THE SUPREME COURT OF FLORIDA ROB BRAYSHAW, ET AL., Petitioners, v. CASE NO.: SC11-507 FIRST DCA CASE NO.: 1D09-5894 L.T. CASE NO.: 2009-1337L AGENCY FOR WORKFORCE INNOVATION, Respondent. / RESPONDENT

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA Filing # 16753499 Electronically Filed 08/05/2014 04:58:21 PM RECEIVED, 8/5/2014 17:03:44, John A. Tomasino, Clerk, Supreme Court IN THE SUPREME COURT OF FLORIDA Case No. SC14-1360 L.T. CASE NO.: 2D13-3872

More information

IN THE SUPREME COURT OF FLORIDA. v. CASE NO.: SC DCA CASE NO.: 5D05-248

IN THE SUPREME COURT OF FLORIDA. v. CASE NO.: SC DCA CASE NO.: 5D05-248 IN THE SUPREME COURT OF FLORIDA PRUDENTIAL SECURITIES INC., n/k/a PRUDENTIAL EQUITY GROUP, LLC, and WILLIAM J. BREWSTER, JR., Defendants/Petitioners, v. CASE NO.: SC06-935 DCA CASE NO.: 5D05-248 EPISCOPAL

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC CHRISTINE BAUER and THOMAS BAUER, Petitioners, ONE WEST BANK, FSB, Respondent.

IN THE SUPREME COURT OF FLORIDA CASE NO. SC CHRISTINE BAUER and THOMAS BAUER, Petitioners, ONE WEST BANK, FSB, Respondent. Filing # 17071819 Electronically Filed 08/13/2014 05:11:43 PM RECEIVED, 8/13/2014 17:13:41, John A. Tomasino, Clerk, Supreme Court IN THE SUPREME COURT OF FLORIDA CASE NO. SC14-1575 CHRISTINE BAUER and

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC IN RE: THE ESTATE OF MARY T. OSCEOLA, Petitioners, vs. PETTIES OSCEOLA, SR.

IN THE SUPREME COURT OF FLORIDA CASE NO. SC IN RE: THE ESTATE OF MARY T. OSCEOLA, Petitioners, vs. PETTIES OSCEOLA, SR. IN THE SUPREME COURT OF FLORIDA CASE NO. SC04-4059 IN RE: THE ESTATE OF MARY T. OSCEOLA, Petitioners, vs. PETTIES OSCEOLA, SR., Respondent APPEAL FROM THE DISTRICT COURT OF APPEAL OF FLORIDA, THIRD DISTRICT

More information

IN THE SUPREME COURT OF FLORIDA TALLAHASSEE, FLORIDA RESPONDENT HENRY ANDREW HACSI S BRIEF ON JURISDICTION

IN THE SUPREME COURT OF FLORIDA TALLAHASSEE, FLORIDA RESPONDENT HENRY ANDREW HACSI S BRIEF ON JURISDICTION IN THE SUPREME COURT OF FLORIDA TALLAHASSEE, FLORIDA CYNTHIA MARTIN, vs. Petitioner, HENRY ANDREW HACSI, CASE NO.: SC05-1857 L.T. Case No.: 5D04-2807 Respondent. / RESPONDENT HENRY ANDREW HACSI S BRIEF

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA Electronically Filed 05/20/2013 12:08:02 PM ET RECEIVED, 5/20/2013 12:08:39, Thomas D. Hall, Clerk, Supreme Court IN THE SUPREME COURT OF FLORIDA CASE NO. SC13-782 L.T. Case Nos. 4DII-3838; 502008CA034262XXXXMB

More information

IN THE SUPREME COURT, STATE OF FLORIDA

IN THE SUPREME COURT, STATE OF FLORIDA IN THE SUPREME COURT, STATE OF FLORIDA NEW TESTAMENT BAPTIST CHURCH, INCORPORATED OF MIAMI, FLORIDA, Petitioner, vs. CASE NO. SC08- STATE OF FLORIDA DEPARTMENT OF TRANSPORTATION, Respondent. / JURISDICTIONAL

More information

IN THE SUPREME COURT STATE OF FLORIDA PETITIONER S BRIEF ON JURISDICTION

IN THE SUPREME COURT STATE OF FLORIDA PETITIONER S BRIEF ON JURISDICTION IN THE SUPREME COURT STATE OF FLORIDA JACK WATKINS, HUNTER, BERNIE SIMPKINS, ET. AL. Case Number: SC09- Petitioners, 5 th DCA Number: 5D08-162 v. SCOTT ELLIS AS BREVARD COUNTY CLERK OF COURT, Respondent.

More information

IN THE SUPREME COURT OF FLORIDA CASE NO.: SC

IN THE SUPREME COURT OF FLORIDA CASE NO.: SC IN THE SUPREME COURT OF FLORIDA CASE NO.: SC11-1737 Fourth District Court of Appeal Case No. 4D10-4687 Seventeenth Judicial Circuit Case No. 10-07095(25) WILLIAM TELLI, Petitioner, v. BROWARD COUNTY AND

More information

IN THE SUPREME COURT OF FLORIDA. Case No. SC06-56 BEVERLY PENZELL AND BANK OF AMERICA, N.A., Petitioners, vs.

IN THE SUPREME COURT OF FLORIDA. Case No. SC06-56 BEVERLY PENZELL AND BANK OF AMERICA, N.A., Petitioners, vs. IN THE SUPREME COURT OF FLORIDA Case No. SC06-56 BEVERLY PENZELL AND BANK OF AMERICA, N.A., Petitioners, vs. STATE OF FLORIDA DEPARTMENT OF ENVIRONMENTAL PROTECTION, Respondent. RESPONDENT S ANSWER BRIEF

More information

IN 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. 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 information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA IN THE SUPREME COURT OF FLORIDA ST. JOHNS RIVER WATER MANAGEMENT DISTRICT, Petitioner, v. Case No. SC14-1092 COY A. KOONTZ, JR., AS Lower Tribunal Case No. 5D06-1116 PERSONAL REPRESENTATIVE OF THE ESTATE

More information

Third District Court of Appeal State of Florida, July Term, A.D. 2009

Third District Court of Appeal State of Florida, July Term, A.D. 2009 Third District Court of Appeal State of Florida, July Term, A.D. 2009 Opinion filed August 5, 2009. Not final until disposition of timely filed motion for rehearing. No. 3D08-2980 Lower Tribunal No. 07-2616

More information

IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. Court of Appeal s Case No.: 4D JAN KRZYNOWEK, Petitioner, -vs- TZVI SCHACHTER

IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. Court of Appeal s Case No.: 4D JAN KRZYNOWEK, Petitioner, -vs- TZVI SCHACHTER IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. Court of Appeal s Case No.: 4D06-2266 JAN KRZYNOWEK, Petitioner, -vs- TZVI SCHACHTER Respondent. ON PETITION FOR DISCRETIONARY REVIEW FROM THE FOURTH

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC06-

IN THE SUPREME COURT OF FLORIDA CASE NO. SC06- IN THE SUPREME COURT OF FLORIDA CASE NO. SC06- TIMOTHY M. CORNELL, JR., and MARK CORNELL, petitioners, vs. JULIA MORGAN, respondent. ON DISCRETIONARY REVIEW FROM THE DISTRICT COURT OF APPEAL OF FLORIDA,

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC

IN THE SUPREME COURT OF FLORIDA CASE NO. SC IN THE SUPREME COURT OF FLORIDA CASE NO. SC05-1566 ADVISORY OPINION TO THE ATTORNEY GENERAL RE: INITIATIVE DIRECTING MANNER BY WHICH SALES TAX EXEMPTIONS ARE GRANTED BY THE LEGISLATURE / INITIAL BRIEF

More information

IN THE SUPREME COURT OF FLORIDA TALLAHASSEE, FLORIDA. Petitioner, APPEAL CASE NO.: 1D PETITIONER S BRIEF ON JURISDICTION

IN THE SUPREME COURT OF FLORIDA TALLAHASSEE, FLORIDA. Petitioner, APPEAL CASE NO.: 1D PETITIONER S BRIEF ON JURISDICTION IN THE SUPREME COURT OF FLORIDA TALLAHASSEE, FLORIDA KAYNAN FITCHNER, as Personal Representative of the Estate of Chase Fitchner, deceased, S.C. CASE NO.: SC08- Petitioner, APPEAL CASE NO.: 1D06-4475 vs.

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA Filing # 21591912 Electronically Filed 12/15/2014 10:01:22 AM RECEIVED, 12/15/2014 10:03:42, John A. Tomasino, Clerk, Supreme Court IN THE SUPREME COURT OF FLORIDA EVA SANTAMARIA, Individually and for

More information

IN THE SUPREME COURT OF FLORIDA CASE NO MANUEL LENA, Petitioner, -vs- THE STATE OF FLORIDA, Respondent. BRIEF OF PETITIONER ON JURISDICTION

IN THE SUPREME COURT OF FLORIDA CASE NO MANUEL LENA, Petitioner, -vs- THE STATE OF FLORIDA, Respondent. BRIEF OF PETITIONER ON JURISDICTION IN THE SUPREME COURT OF FLORIDA CASE NO. 05-820 MANUEL LENA, Petitioner, -vs- THE STATE OF FLORIDA, Respondent. BRIEF OF PETITIONER ON JURISDICTION ON PETITION FOR DISCRETIONARY REVIEW FROM THE DISTRICT

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA IN THE SUPREME COURT OF FLORIDA WEST FLAGLER ASSOCIATES, LTD., Petitioner, L.T. Case No.: 1D10-6780/1D11-0130 vs. FLORIDA DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION, DIVISION OF PARI-MUTUEL WAGERING

More information

IN THE SUPREME COURT OF FLORIDA. L.T. No. 1D

IN THE SUPREME COURT OF FLORIDA. L.T. No. 1D IN THE SUPREME COURT OF FLORIDA ROBERT ANDERSON Petitioner, VS. Case No. SC07-306 L.T. No. 1D06-2486 FLORIDA PAROLE COMMISSION, Respondent. RESPONDENT'S BRIEF ON JURISDICTION On petition for discretionary

More information

IN THE SUPREME COURT OF FLORIDA. Sup. Ct. case no. SC07- DCA case no. 1D LEON COUNTY, FLORIDA'S BRIEF ON JURISDICTION

IN THE SUPREME COURT OF FLORIDA. Sup. Ct. case no. SC07- DCA case no. 1D LEON COUNTY, FLORIDA'S BRIEF ON JURISDICTION IN THE SUPREME COURT OF FLORIDA LEON COUNTY, FLORIDA, a Political Subdivision of the State of Florida, Petitioner, vs. STEPHEN S. DOBSON, III, P.A., Sup. Ct. case no. SC07- DCA case no. 1D05-4326 Respondent.

More information

IN THE SUPREME COURT OF FLORIDA Case No. SC

IN THE SUPREME COURT OF FLORIDA Case No. SC IN THE SUPREME COURT OF FLORIDA Case No. SC 12-216 MIKE HARIDOPOLOS, in his official capacity as the Florida Senate President, Petitioners, v. 1st DCA Case No. 1D10-6285 L.T. Case No. 09-CA-4534 CITIZENS

More information

IN THE SUPREME COURT OF THE STATE OF FLORIDA. CASE NO. Lower Tribunal Case No. 09-CA

IN THE SUPREME COURT OF THE STATE OF FLORIDA. CASE NO. Lower Tribunal Case No. 09-CA IN THE SUPREME COURT OF THE STATE OF FLORIDA CASE NO. Lower Tribunal Case No. 09-CA-001404 VILA & SON LANDSCAPING CORPORATION, Petitioner vs. POSEN CONSTRUCTION, INC., Respondent PETITIONER'S JURISDICTIONAL

More information

STATE OF FLORIDA DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION DIVISION OF FLORIDA CONDOMINIUMS, TIMESHARES AND MOBILE HOMES

STATE OF FLORIDA DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION DIVISION OF FLORIDA CONDOMINIUMS, TIMESHARES AND MOBILE HOMES STATE OF FLORIDA DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION DIVISION OF FLORIDA CONDOMINIUMS, TIMESHARES AND MOBILE HOMES IN RE: PETITION FOR ARBITRATION M.E.D.-79, CORP. and QUATTRO MANAGEMENT,

More information

IN THE SUPREME COURT OF FLORIDA. Case No. SC12-216

IN THE SUPREME COURT OF FLORIDA. Case No. SC12-216 IN THE SUPREME COURT OF FLORIDA MIKE HARIDOPOLOS, in his official capacity as the Florida Senate President, Petitioner, vs. L.T. Case Nos.: 1D10-6285, 2009-CA-4534, 2010-CA-1010 CITIZENS FOR STRONG SCHOOLS,

More information

IN THE SUPREME COURT STATE OF FLORIDA. Sup. Ct. Case No: SC vs. D.C.A. Case No: 3D Cir. Ct. Case No: CA

IN THE SUPREME COURT STATE OF FLORIDA. Sup. Ct. Case No: SC vs. D.C.A. Case No: 3D Cir. Ct. Case No: CA YOLANDA G. MINAGORRI, Petitioner, IN THE SUPREME COURT STATE OF FLORIDA Sup. Ct. Case No: SC07-1171 vs. D.C.A. Case No: 3D06-3015 Cir. Ct. Case No: 00-293-CA ARCHDIOCESE OF MIAMI, INC. Respondent. / PETITIONER

More information

DESARROLLO INDUSTRIAL BIOACUATICO S.A. ( DIBSA ), E.I. DU PONT DE NEMOURS AND COMPANY, PETITIONER S BRIEF ON JURISDICTION

DESARROLLO INDUSTRIAL BIOACUATICO S.A. ( DIBSA ), E.I. DU PONT DE NEMOURS AND COMPANY, PETITIONER S BRIEF ON JURISDICTION IN THE SUPREME COURT OF FLORIDA NO. L.T. No. 4D01-779 DESARROLLO INDUSTRIAL BIOACUATICO S.A. ( DIBSA ), Petitioner, vs. E.I. DU PONT DE NEMOURS AND COMPANY, Respondent. On Petition for Discretionary Review

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA Filing # 22133460 E-Filed 01/03/2015 05:17:30 PM IN THE SUPREME COURT OF FLORIDA STATE OF FLORIDA, vs. Petitioner, EDDIE RUTLEDGE, Case No: SC14-2487 L.T. Case No. 4D10-5022 RECEIVED, 1/3/2015 05:18:49

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA IN THE SUPREME COURT OF FLORIDA CASE N O SC06-764 District Court N O 03D04-2123 KLAUS VERMEULEN, Petitioner, v. WORLDWIDE HOLIDAYS, INC., Respondent. On Petition for Discretionary Review from the District

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC STATE OF FLORIDA, Petitioner, vs. ERIC S. SMITH, Respondent.

IN THE SUPREME COURT OF FLORIDA CASE NO. SC STATE OF FLORIDA, Petitioner, vs. ERIC S. SMITH, Respondent. IN THE SUPREME COURT OF FLORIDA CASE NO. SC07-901 STATE OF FLORIDA, Petitioner, vs. ERIC S. SMITH, Respondent. * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * ON PETITION FOR DISCRETIONARY

More information

IN THE SUPREME COURT OF THE STATE OF FLORIDA

IN 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 information

IN THE SUPREME COURT OF FLORIDA. v. Case No. SC- IAN MANUEL L.T. No. 2D ON PETITION FOR REVIEW FROM THE SECOND DISTRICT COURT OF APPEAL

IN THE SUPREME COURT OF FLORIDA. v. Case No. SC- IAN MANUEL L.T. No. 2D ON PETITION FOR REVIEW FROM THE SECOND DISTRICT COURT OF APPEAL IN THE SUPREME COURT OF FLORIDA STATE OF FLORIDA, Petitioner, v. Case No. SC- IAN MANUEL L.T. No. 2D08-3494 Respondent. ON PETITION FOR REVIEW FROM THE SECOND DISTRICT COURT OF APPEAL STATE OF FLORIDA

More information

IN THE SUPREME COURT OF FLORIDA CASE NO PUBLIC DEFENDER, ELEVENTH JUDICIAL CIRCUIT OF FLORIDA, Petitioner, -vs-

IN THE SUPREME COURT OF FLORIDA CASE NO PUBLIC DEFENDER, ELEVENTH JUDICIAL CIRCUIT OF FLORIDA, Petitioner, -vs- IN THE SUPREME COURT OF FLORIDA CASE NO. 09-1181 PUBLIC DEFENDER, ELEVENTH JUDICIAL CIRCUIT OF FLORIDA, Petitioner, -vs- THE STATE OF FLORIDA, et al., Respondents. ON PETITION FOR DISCRETIONARY REVIEW

More information

IN THE SUPREME COURT OF FLORIDA. v. Case No. SC LCN: 4D STATE OF FLORIDA, RESPONDENT'S AMENDED BRIEF ON JURISDICTION

IN THE SUPREME COURT OF FLORIDA. v. Case No. SC LCN: 4D STATE OF FLORIDA, RESPONDENT'S AMENDED BRIEF ON JURISDICTION IN THE SUPREME COURT OF FLORIDA WILLIE FRANK DAVIS, Petitioner, v. Case No. SC09-192 LCN: 4D08-4272 STATE OF FLORIDA, Respondent. RESPONDENT'S AMENDED BRIEF ON JURISDICTION BILL MCCOLLUM ATTORNEY GENERAL

More information

IN THE SUPREME COURT STATE OF FLORIDA CASE NO. SC JOY CHATLOS D ARATA, etc., Petitioner, THE CHATLOS FOUNDATION, INC., et al., Respondents.

IN THE SUPREME COURT STATE OF FLORIDA CASE NO. SC JOY CHATLOS D ARATA, etc., Petitioner, THE CHATLOS FOUNDATION, INC., et al., Respondents. IN THE SUPREME COURT STATE OF FLORIDA CASE NO. SC04-2097 JOY CHATLOS D ARATA, etc., Petitioner, v. THE CHATLOS FOUNDATION, INC., et al., Respondents. BRIEF OF RESPONDENTS ON JURISDICTION ON DISCRETIONARY

More information

CASE NO. SC L.T. CASE NO. 4D IN THE SUPREME COURT OF FLORIDA CATHERINE STANEK-COUSINS, Petitioner, STATE OF FLORIDA, Respondent.

CASE NO. SC L.T. CASE NO. 4D IN THE SUPREME COURT OF FLORIDA CATHERINE STANEK-COUSINS, Petitioner, STATE OF FLORIDA, Respondent. CASE NO. SC05-1987 L.T. CASE NO. 4D05-1129 ========================================================== IN THE SUPREME COURT OF FLORIDA CATHERINE STANEK-COUSINS, Petitioner, v. STATE OF FLORIDA, Respondent.

More information

IN THE SUPREME COURT OF FLORIDA APPEAL FROM THE THIRD DISTRICT COURT OF APPEALS PETITIONER S JURISDICTIONAL BRIEF

IN THE SUPREME COURT OF FLORIDA APPEAL FROM THE THIRD DISTRICT COURT OF APPEALS PETITIONER S JURISDICTIONAL BRIEF IN THE SUPREME COURT OF FLORIDA CORAL BAY SECTION C HOMEOWNERS ASSOCIATION, Petitioner. Case No.: 3D07-2315 MIAMI-DADE COUNTY Respondent Lower Tribunal Case No.: 2007-5354-CA-01 APPEAL FROM THE THIRD DISTRICT

More information

Henry Diaz, SC Case No.: SC Petitioner, DCA Case No.: 1D

Henry Diaz, SC Case No.: SC Petitioner, DCA Case No.: 1D Filing # 19137014 Electronically Filed 10/08/2014 11:08:31 AM RECEIVED, 10/8/2014 11:14:14, John A. Tomasino, Clerk, Supreme Court IN THE SUPREME COURT OF FLORIDA Henry Diaz, SC Case No.: SC14-1916 vs.

More information

IN THE SUPREME COURT OF THE STATE OF FLORIDA. Case No.: SC District Court Case No.: 4D CYBERKNIFE CENTER OF THE TREASURE COAST, LLC,

IN THE SUPREME COURT OF THE STATE OF FLORIDA. Case No.: SC District Court Case No.: 4D CYBERKNIFE CENTER OF THE TREASURE COAST, LLC, IN THE SUPREME COURT OF THE STATE OF FLORIDA Case No.: SC11-1914 District Court Case No.: 4D11-484 CYBERKNIFE CENTER OF THE TREASURE COAST, LLC, Petitioner, vs. HCA HEALTH SERVICES OF FLORIDA, INC. D/B/A

More information

IN 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 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 information

IN THE SUPREME COURT OF FLORIDA AMENDED JURISDICTIONAL ANSWER BRIEF OF RESPONDENT STATE OF FLORIDA DEPARTMENT OF FINANCIAL SERVICES

IN THE SUPREME COURT OF FLORIDA AMENDED JURISDICTIONAL ANSWER BRIEF OF RESPONDENT STATE OF FLORIDA DEPARTMENT OF FINANCIAL SERVICES IN THE SUPREME COURT OF FLORIDA CAPITAL COLLATERAL REGIONAL COUNSEL-MIDDLE REGION and JOHN W. JENNINGS, Petitioners. v. Case No. SC07-2447 LT Case No. 1D07-253 FLORIDA DEPARTMENT OF FINANCIAL SERVICES,

More information

IN THE SUPREME COURT OF THE STATE OF FLORIDA TALLAHASSEE, FLORIDA

IN THE SUPREME COURT OF THE STATE OF FLORIDA TALLAHASSEE, FLORIDA IN THE SUPREME COURT OF THE STATE OF FLORIDA PAMELA GRUNOW, as Personal Representative of the Estate of BARRY GRUNOW, deceased, vs. Petitioner, VALOR CORPORATION OF FLORIDA, a Florida corporation, TALLAHASSEE,

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC04- LOWER TRIBUNAL CASE NO. 3D IN THE THIRD DISTRICT COURT OF APPEAL OF FLORIDA

IN THE SUPREME COURT OF FLORIDA CASE NO. SC04- LOWER TRIBUNAL CASE NO. 3D IN THE THIRD DISTRICT COURT OF APPEAL OF FLORIDA IN THE SUPREME COURT OF FLORIDA LOWER TRIBUNAL CASE NO. 3D02-1405 IN THE THIRD DISTRICT COURT OF APPEAL OF FLORIDA FLORIDA EAST COAST RAILWAY, LLC f/k/a FLORIDA EAST COAST RAILWAY COMPANY A Florida Limited

More information

IN THE DISTRICT COURT OF APPEAL OF THE STATE OF FLORIDA FIFTH DISTRICT JANUARY TERM v. Case No. 5D

IN THE DISTRICT COURT OF APPEAL OF THE STATE OF FLORIDA FIFTH DISTRICT JANUARY TERM v. Case No. 5D IN THE DISTRICT COURT OF APPEAL OF THE STATE OF FLORIDA FIFTH DISTRICT JANUARY TERM 2010 LORELL HOLLAND, Petitioner, v. Case No. 5D09-3828 KIMBERLY BARFIELD, as Personal Representative for the ESTATE OF

More information

CASE NO. SC CORAL REEF DRIVE LAND DEVELOPMENT, LLC, etc. et al., DUKE REALTY LIMITED PARTNERSHIP, a foreign limited partnership,

CASE NO. SC CORAL REEF DRIVE LAND DEVELOPMENT, LLC, etc. et al., DUKE REALTY LIMITED PARTNERSHIP, a foreign limited partnership, IN THE SUPREME COURT OF FLORIDA CASE NO. SC10-2367 CORAL REEF DRIVE LAND DEVELOPMENT, LLC, etc. et al., vs. Petitioners, DUKE REALTY LIMITED PARTNERSHIP, a foreign limited partnership, Respondent. On a

More information

Question: Answer: I. Severability

Question: Answer: I. Severability Question: When an amendment to the Florida constitution, which has been approved by voters, contains a section that is inconsistent with the rest of the amendment, how can the inconsistent section be legally

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC

IN THE SUPREME COURT OF FLORIDA CASE NO. SC LEONARD NORTHUP, as Personal Representative of the Estate of MARY HELEN NORTHUP, Deceased, vs. Petitioner HERBERT W. ACKEN, M.D., P.A. Respondent / IN THE SUPREME COURT OF FLORIDA CASE NO. SC02-2435 ON

More information

CASE NO. SC DAVID M. SORIA, M.D., INPHYNET CONTRACTING SERVICES, INC. and TEAM HEALTH, INC., JURISDICTIONAL ANSWER BRIEF

CASE NO. SC DAVID M. SORIA, M.D., INPHYNET CONTRACTING SERVICES, INC. and TEAM HEALTH, INC., JURISDICTIONAL ANSWER BRIEF IN THE FLORIDA SUPREME COURT _ CASE NO. SC11-2050 DAVID M. SORIA, M.D., vs Petitioner. INPHYNET CONTRACTING SERVICES, INC. and TEAM HEALTH, INC., Respondents. On discretionary conflict review of a decision

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC v. DCA CASE NO. 4D

IN THE SUPREME COURT OF FLORIDA CASE NO. SC v. DCA CASE NO. 4D CCC INVESTMENTS I, LLC, d/b/a TIFFANY HOUSE BY MARRIOTT, a foreign corporation; et al., IN THE SUPREME COURT OF FLORIDA Defendants/Petitioners CASE NO. SC06-1807 v. DCA CASE NO. 4D05-1990 ALEXANDER POLLOCK,

More information

SUPREME COURT OF FLORIDA STATE OF FLORIDA. Case No. SC

SUPREME COURT OF FLORIDA STATE OF FLORIDA. Case No. SC SUPREME COURT OF FLORIDA STATE OF FLORIDA Case No. SC08-2389 ERVIN A. HIGGS, as Property Appraiser of Monroe County, Florida 3D08-564 L.C. Case No. 2007-CA-000470-K v. Petitioner, WILLIAM LEO WARRICK,

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA IN THE SUPREME COURT OF FLORIDA HOLLY STROUT, A.K.A. HOLY STEERE, CASE NO.: SC04- Petitioner, vs. KEVIN CLYDE CAMPBELL, Respondent. / PETITIONER S BRIEF ON JURISDICTION On review from an opinion rendered

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA IN THE SUPREME COURT OF FLORIDA CASE NO.: SC04-442 Lower Tribunal No.: 4D02-101 JOHN RHAMES, DAN MATHIS, and ROBERT MARTO, vs. Petitioners, CITY OF LAUDERHILL, FLORIDA, a Municipality, Respondent. / On

More information

IN THE DISTRICT COURT OF APPEAL SECOND DISTRICT, LAKELAND, FLORIDA. v. Case No.: 2D12- PETITION FOR WRIT OF PROHIBITION

IN THE DISTRICT COURT OF APPEAL SECOND DISTRICT, LAKELAND, FLORIDA. v. Case No.: 2D12- PETITION FOR WRIT OF PROHIBITION KATHLEEN M. LEWIS and PATRICK T. LEWIS, IN THE DISTRICT COURT OF APPEAL SECOND DISTRICT, LAKELAND, FLORIDA Petitioners, L.T. Case No. 09-5256-CA v. Case No.: 2D12- HONORABLE GEORGE C. RICHARDS and DEUTSCHE

More information

IN THE SUPREME COURT OF FLORIDA. CASE NO.: SCl AIMEE OSMULSKI, L.T. Case No.: 2D L.T. Case No.: CI-11

IN THE SUPREME COURT OF FLORIDA. CASE NO.: SCl AIMEE OSMULSKI, L.T. Case No.: 2D L.T. Case No.: CI-11 IN THE SUPREME COURT OF FLORIDA CASE NO.: SCl2-1624 AIMEE OSMULSKI, L.T. Case No.: 2D10-5962 L.T. Case No.: 08-11945-CI-11 v. Petitioner, OLDSMAR FINE WINE, INC. a/k/a LUEKENS BIG TOWN LIQUOR, INC, d/b/a

More information

IN THE SUPREME COURT OF FLORIDA

IN THE SUPREME COURT OF FLORIDA IN THE SUPREME COURT OF FLORIDA CORBBLIN BUSH, v. Petitioner, STATE OF FLORIDA, et al., Supreme Court Case No.: SC04-2306 DCA Case No.: 5D04-42 L.T. Case No.: 90-3798-CFA Respondents. Petitioner Corbblin

More information

IN 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. 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 information

IN THE SUPREME COURT STATE OF FLORIDA CHRISTY AILLS, Petitioner, LUCIANO BOEMI, M.D., and LUCIANO BOEMI, M.D., P.A., Respondents.

IN THE SUPREME COURT STATE OF FLORIDA CHRISTY AILLS, Petitioner, LUCIANO BOEMI, M.D., and LUCIANO BOEMI, M.D., P.A., Respondents. IN THE SUPREME COURT STATE OF FLORIDA CASE NO. SC08-2087 CHRISTY AILLS, Petitioner, v. LUCIANO BOEMI, M.D., and LUCIANO BOEMI, M.D., P.A., Respondents. RESPONDENTS AMENDED BRIEF ON JURISDICTION ON DISCRETIONARY

More information

IN THE SUPREME COURT STATE OF FLORIDA. v. Case No. SC Lower Court Case No. 1D

IN THE SUPREME COURT STATE OF FLORIDA. v. Case No. SC Lower Court Case No. 1D IN THE SUPREME COURT STATE OF FLORIDA SHANDS TEACHING HOSPITAL AND CLINICS, INC., Petitioner, v. Case No. SC03-1656 Lower Court Case No. 1D02-1530 GARY JULIANA, II, a minor child, by and through his parents

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC KENNETH W. BACKSTRAND, M.D. and KENNETH W. BACKSTRAND & ASSOCIATES, M.D., P.A., Petitioners, vs.

IN THE SUPREME COURT OF FLORIDA CASE NO. SC KENNETH W. BACKSTRAND, M.D. and KENNETH W. BACKSTRAND & ASSOCIATES, M.D., P.A., Petitioners, vs. IN THE SUPREME COURT OF FLORIDA CASE NO. SC10-1808 KENNETH W. BACKSTRAND, M.D. and KENNETH W. BACKSTRAND & ASSOCIATES, M.D., P.A., Petitioners, vs. LUCY THOMAS, Individually, and as Personal Representative

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC

IN THE SUPREME COURT OF FLORIDA CASE NO. SC IN THE SUPREME COURT OF FLORIDA CASE NO. SC05-1564 ADVISORY OPINION TO THE ATTORNEY GENERAL RE: INITIATIVE EXTENDING SALES TAX TO NON-TAXED SERVICES WHERE EXCLUSION FAILS TO SERVE PUBLIC PURPOSE / INITIAL

More information

IN THE SUPREME COURT OF THE STATE OF FLORIDA Case Number: SC RESPONDENT S JURISDICTIONAL BRIEF

IN THE SUPREME COURT OF THE STATE OF FLORIDA Case Number: SC RESPONDENT S JURISDICTIONAL BRIEF IN THE SUPREME COURT OF THE STATE OF FLORIDA Case Number: SC09-1722 Westgate Tabernacle Petitioners, vs. 4 th DCA CASE No. 4D07-3792 PALM BEACH COUNTY, Respondent. RESPONDENT S JURISDICTIONAL BRIEF Robert

More information

IN THE SUPREME COURT OF FLORIDA. CASE NO. Fifth District Case No. 5D03-135; 5D03-138; 5D03-139; 5D03-140; 5D03-141; 5D03-142

IN THE SUPREME COURT OF FLORIDA. CASE NO. Fifth District Case No. 5D03-135; 5D03-138; 5D03-139; 5D03-140; 5D03-141; 5D03-142 ALLSTATE INSURANCE COMPANY, vs. Petitioner, BARNES FAMILY CHIROPRACTIC, ETC. IN THE SUPREME COURT OF FLORIDA CASE NO. Fifth District Case No. 5D03-135; 5D03-138; 5D03-139; 5D03-140; 5D03-141; 5D03-142

More information

IN THE SUPREME COURT OF FLORIDA CASE NO. SC04-338

IN THE SUPREME COURT OF FLORIDA CASE NO. SC04-338 IN THE SUPREME COURT OF FLORIDA CASE NO. SC04-338 R. BRENT MAGGIO, CRESTVIEW INVESTMENTS, INC., d/b/a CRESTVIEW NURSING AND CONVALESCENT HOME, FT. WALTON BEACH INVESTMENTS, INC., d/b/a FT. WALTON BEACH

More information

IN THE SUPREME COURT STATE OF FLORIDA. Case No. SC

IN THE SUPREME COURT STATE OF FLORIDA. Case No. SC IN THE SUPREME COURT STATE OF FLORIDA Case No. SC05-1027 NOVA SOUTHEASTERN UNIVERSITY, INC., d/b/a/ NOVA SOUTHEASTERN UNIVERSITY OSTEOPATHIC TREATMENT CENTER, v. Petitioner/Defendant, SUSAN R. BURKE Respondent/Plaintiff,

More information

Filing # E-Filed 03/11/ :10:57 PM

Filing # E-Filed 03/11/ :10:57 PM Filing # 38941066 E-Filed 03/11/2016 05:10:57 PM Case No: 12-034123(07) IN THE CIRCUIT COURT OF THE 17TH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA Case No: 12-034123(07) Complex Litigation Unit

More information