DEFENDANTS JUDD S MOTION TO COMPEL AND RENEWED MOTION FOR SUMMARY JUDGMENT. Preliminary Statement

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Filing # 17765845 Electronically Filed 09/02/2014 06:15:35 PM IN THE CIRCUIT COURT OF THE 17th JUDICIAL CIRCUIT, IN AND FOR BROWARD COUNTY, FLORIDA CASE NO: 12-34121(07) Complex Litigation Unit PHILIP J. VON KAHLE, as Conservator of P&S ASSOCIATES, GENERAL PARTNERSHIP, and S&P ASSOCIATES, GENERAL PARTNERSHIP, Plaintiffs, vs. JANET A. HOOKER CHARITABLE TRUST, et al, Defendants. / DEFENDANTS JUDD S MOTION TO COMPEL AND RENEWED MOTION FOR SUMMARY JUDGMENT Preliminary Statement Trial is presently set for Tuesday, September 9, 2014. Service was not properly effected on Defendants Judd until March 7, 2014, when counsel agreed to accept service. The case is not at issue and Discovery is not complete because Plaintiffs have not answered or responded to Defendants Judds Third Interrogatories (propounded on July 11, 2014), inter alea. Defendants Counter-Plaintiffs Judd have not moved to postpone the trial because the Court has indicated that it wants to complete the trial before the end of this calendar year and Defendants Counter-Plaintiffs James Judd s professional commitments require him to be out of Florida for virtually the entire next several months, with the exception of one or two days until December and he may have to leave as early as this weekend. Moreover, Plaintiffs-Counter-Defendants have indicated that they will oppose a request for a continuance or postponement.

MOTION TO COMPEL Throughout the course of this litigation, Plaintiffs have consistently resisted and attempted to frustrate discovery. In Plaintiffs Response and Objections to Defendants Judds First Request for Production, served on April 30, 2014, Plaintiffs stated: General Objection 2: Plaintiffs will not organize or select documents for Defendants and Plaintiffs will not attempt to indicate in any way which documents (if any) respond to any particular inquiry, but shall produce all documents in the manner in which they are and have been maintained in the ordinary course of Plaintiff s business and/or in the manner such documents have been stored in the ordinary course of business. With the trial set for Tuesday, September 09, 2014, Plaintiffs have served no response whatsoever to Defendants-Counter-Plaintiffs Third Interrogatories, which were served on July 11, 2014, despite the Court s denial of Plaintiffs Motion for Protective Order. Counsel for Defendants Counter-Plaintiffs Judd was told he had to go to the office of the Conservation in Hollywood to see the documents requested, on Thursday afternoon August 28, 2014. Counsel went with an accountant from, Cherry Bekaert, LLC and was taken to a conference room that had three large file boxes with files from the early 1990 s to 2009. After two and a half hours, Counsel told a staff person that there did not appear to be a single audit report or tax return in the boxes. The staff person replied: you didn t ask for them. After he was persuaded that the tax returns had indeed been requested, at about 4:00 PM we were taken to a large store room where approximately six or eight more large boxes were on shelves and shown that one large box, about three feet wide, had expansion files with tax returns. No audit reports were produced and we have not been told what accounting audit reports and tax returns were 2

produced for S&P Associates by Ahearn Jasco & Associates and/or Michael J. Kuzy, CPA or other accountants for the year 2000 through 2008. The conclusory assertion to Defendants Counter-Plaintiffs Third Request for Production: gives no indication whatsoever what audit reports exist, what Plaintiffs consider to be privileged (or why) and what has not been produced. It was filed and served by Plaintiffs counsel as Defendants Counter-Plaintiffs counsel was being taken into the storeroom to see where the boxes could even be seen. Wherefore, Defendants Counter-Plaintiffs pray for an order a) Compelling Plaintiffs - Counter Defendants to give full and complete answers and responses to Defendants Counter-Plaintiffs Third Interrogatories, and produce all audit reports requested in Defendants Counter-Plaintiffs Second and Third Request for Production along with the requested documents not specifically identified in Plaintiffs responses forthwith; b) Imposing appropriate sanctions, costs and attorney s fees. Renewed Motion for Summary Judgment The only communications, agreement and correspondence to or from Defendants Counter- Plaintiffs produced by Plaintiffs have been: a) The one page agreement dated 7/14/2000 signed by Valerie Judd. b) Checks No. 141 and 2264 signed by Valerie Judd. c) Unsigned letter from S&P Associates dated 7/2/2000 and 10/17/2000. d) 9 letters signed by Valerie Judd in the years 2003, 2007 and 2008 requesting withdrawal of monies from their account. e) The cancelled checks and corresponding stubs relating to those withdrawals; 3

f) The K-1 s sent by S&P Associates to Defendants Counter-Plaintiffs. Plaintiffs have not produced a single piece of paper signed by Defendant James Judd. Plaintiffs have not produced a single piece of paper showing that the 14 page Amended and Restated Partnership Agreement dated December 21, 1994 (of S&P Associates) was ever given or sent to Defendants Counter-Plaintiffs. Plaintiffs have not produced a single piece of evidence to controvert the sworn affidavit of Valerie Judd. Wherefore Defendants Counter-Plaintiffs Judds renew their Motion for Summary Judgment. Dated this 2 nd day of September, 2014 /s/julian H. Kreeger JULIAN H. KREEGER, P.A. Florida Bar No. 098595 Attorneys Ad Litem for the minor Offices at Grand Bay Plaza 2665 Bayshore Drive Suite 220-14 Miami, Florida 33133 Telephone: 305-373-3101 Facsimile: 305-381-8734 CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing has been served via Electronic Mail upon Leonard Samuels, Esq. of BergerSingerman and counsel identified below registered to receive electronic notifications and regular U.S. mail upon Pro Se parties this 2 nd day of September, 2014 upon the following: Notice has been electronically mailed to: 4

Counsel E-mail Address: Ana Hesny, Esq. ah@assoulineberlowe.com; ena@assoulineberlowe.com Eric N. Assouline, Esq. ena@assoulineberlowe.com; ah@assoulineberlowe.com Annette M. Urena, Esq. aurena@dkdr.com; cmackey@dkdr.com; service-amu@dkdr.com Daniel W Matlow, Esq. dmatlow@danmatlow.com; assistant@danmatlow.com Debra D. Klingsberg, Esq. dklingsberg@huntgross.com Robert J. Hunt, Esq. bobhunt@huntgross.com Joanne Wilcomes, Esq. jwilcomes@mccarter.com Evan Frederick, Esq. efrederick@mccaberabin.com Etan Mark, Esq. emark@bergersingerman.com; drt@bergersingerman.com; lyun@bergersingerman.com Evan H Frederick, Esq. efrederick@mccaberabin.com; janet@mccaberabin.com; beth@mccaberabin.com B. Lieberman, Esq. blieberman@messana-law.com Jonathan Thomas Lieber, Esq. jlieber@dobinlaw.com Mariaelena Gayo-Guitian, Esq. mguitian@gjb-law.com Barry P. Gruher, Esq. bgruher@gjb-law.com William G. Salim, Jr., Esq. wsalim@mmsslaw.com Domenica Frasca, Esq. dfrasca@mayersohnlaw.com; service@mayersohnlaw.com Joseph P Klapholz, Esq. jklap@klapholzpa.com; dml@klapholzpa.com Joseph P. Klapholz, Esq. jklap@klapholzpa.com; dml@klapholzpa.com; Julian H Kreeger, Esq. juliankreeger@gmail.com L Andrew S Riccio, Esq. ena@assoulineberlowe.com; ah@assoulineberlowe.com Leonard K. Samuels, Esq. lsamuels@bergersingerman.com; vleon@bergersingerman.com; drt@bergersingerman.com. Marc S Dobin, Esq. service@dobinlaw.com; mdobin@dobinlaw.com; Michael C Foster, Esq. mfoster@dkdr.com; cmackey@dkdr.com; kdominguez@dkdr.com Michael Casey, Esq. mcasey666@gmail.com Richard T. Woulfe, Esq. pleadings.rtw@bunnellwoulfe.com Michael R. Casey, Esq. mcasey666@gmail.com Brett Lieberman, Esq. blieberman@messana-law.com Marc Dobin, Esq. service@dobinlaw.com Peter Herman, Esq. PGH@trippscott.com Robert J Hunt, Esq. bobhunt@huntgross.com; sharon@huntgross.com; eservice@huntgross.com Ryon M Mccabe, Esq. rmccabe@mccaberabin.com; janet@mccaberabin.com; beth@mccaberabin.com Steven D. Weber, Esq. sweber@bergersingerman.com; lwebster@bergersingerman.com; drt@bergersingerman.com Thomas J. Goodwin, Esq. tgoodwin@mccarter.com; nwendt@mccarter.com;jwilcomes@mccarter.com Thomas L Abrams, Esq. tabrams@tabramslaw.com; fcolumbo@tabramslaw.com Thomas M. Messana, Esq. tmessana@messana-law.com; tmessana@bellsouth.net; mwslawfirm@gmail.com Zachary P Hyman, Esq. zhyman@bergersingerman.com; DRT@bergersingerman.com; clamb@bergersingerman.com. By: /s/julian H. Kreeger JULIAN H. KREEGER F.B.N.: 098595 5