IN THE CIRCUIT COURT OF THE THIRTEENTH JUDICIAL CIRCUIT, IN AND FOR HILLSBOROUGH COUNTY, FLORIDA CIVIL DIVISION

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IN THE CIRCUIT COURT OF THE THIRTEENTH JUDICIAL CIRCUIT, IN AND FOR HILLSBOROUGH COUNTY, FLORIDA CIVIL DIVISION RANDALL TOWNSEND, PLAINTIFF, v. CHARLES H. SCRUGGS III., CASE NO. 05-0911 Individually, DIVISION G CHARLES H. SCRUGGS, III. ESQUIRE As attorney at law CHARLES H. SCRUGGS, III, P.A., A Professional Association Law Firm AS DEFENDANTS, / PLAINTIFF S VERIFIED MOTION FOR DISQUALIFICATION OF JUDGE AND MOTION FOR CHANGE OF VENUE Pursuant to Fla.R.Jud.Admin. 2.060, and 38.10, Florida Statues and 47.101, Florida Statues, the Plaintiff requests the disqualification of the judge assigned to this cause and moves for change of venue and states: 1. The movant is a party to this cause. 2. The movant believes that he did not get fair hearings or rulings on these matters in the Court of Judge Stoddard. 3. Plaintiff s fear is based on these facts as stated in Plaintiff AFFIDAVIT enclosed herein as proofs that this Judge appears to be favorable and biased towards the Defendant as a former Judge for this same Circuit Court and still practices as an attorney in this Circuit and transcripts and exhibits prove Defendant the adverse party has an undue influence over the minds of the inhabitants of the county and has practiced this undue influence in multiple Exparte communications with this Circuit Court to the detriment of this Plaintiff his former Client. 1

WHEREFORE, the Plaintiff respectfully requests the disqualification of the assigned judge from further presiding in this case and request an ORDER FOR CHANGE OF VENUE to SIXTH JUDICIAL CIRCUIT COURT. RANDALL C. TOWNSEND, PLAINTIFF PRO SE STATE OF FLORIDA COUNTY OF BEFORE ME, the undersigned authority, personally appeared RANDALL C. TOWNSEND, who produced as identification a Florida State Drivers License # And who upon being duly sworn and cautioned, took an oath and stated that the facts set forth in the MOTION AND AFFIDAVIT is true and correct, to the best of his personal knowledge, information and belief. WITNESS MY HAND AND OFFICIAL SEAL THIS DAY OF 2006. NOTARY PUBLIC: Certificate of Service I hereby certify that a copy of the foregoing was provided by U.S. Mail this day of, 200, to CHARLES H. SCRUGGS, III, and CHARLES H. SCRUGGS III. P.A. LAW FIRM at 405 West Azeele Street, Tampa, Florida 33606 and by fax transmission to this clerk of the Hillsborough County Circuit Court, Fifth Floor and to the Court of Judge Ralph C. Stoddard at 800 E. Twiggs Street, 33602-3554. Respectfully submitted, Randall C. Townsend, Pro Se P.O. Box 21, Odessa, Fl 33556 941 350-2677 Randall C. Townsend 2

IN THE CIRCUIT COURT OF THE THIRTEENTH JUDICIAL CIRCUIT, IN AND FOR HILLSBOROUGH COUNTY, FLORIDA CIVIL DIVISION RANDALL TOWNSEND, PLAINTIFF, v. CHARLES H. SCRUGGS III., CASE NO. 05-0911 Individually, DIVISION G CHARLES H. SCRUGGS, III. ESQUIRE As attorney at law CHARLES H. SCRUGGS, III, P.A., A Professional Association Law Firm AS DEFENDANTS, / PLAINTIFF S AFFIDAVIT Comes Now, Randall Townsend, Pro Se, and files this PLAINTIFFS AFFIDAVIT and states, 1. PLAINTIFF PRO SE, RANDALL TOWNSEND, is over the age of 18 years of age. 2. Plaintiff Pro Se, herein as Plaintiff makes these statements in good faith. 3. Plaintiff as movant herein states, I do not believe a fair hearings process has been shown to the issues presented by this Plaintiff but Judge Stoddard has shown prejudice and is favorably disposed to the Defendant as a former Judge for this Circuit, in the hearings before this court as prep for a fair trial. 4. Plaintiff Pro Se, herein as Plaintiff was as RESPONDENT in case 01-15814, Karen Townsend v. Randy Townsend, and case 01-15813, Ron Beck v. Randy Townsend and Karen Harrod Townsend v. Randy Townsend, Case 02-4974, a divorce case and did hire Charles H. Scruggs, III. P.A., Charles H. Scruggs, III Esquire, as Charles H. Scruggs, III, to represent to the fullest a defense for this respondent now Plaintiff Pro se, against all allegations and frauds and charges alleged by Karen Townsend and her 3

co petitioners in the written affidavits and verbal testimony presented to the court. Plaintiff now sues this former Attorney Charles Scruggs in the handling of all matters involving the representation for this Plaintiff since the summer of 2000, and without proper due process cannot prove the representation of this attorney was a fraud to his own client to protect the attorney s personal conviction to not make a church look bad and this greatly was withheld from the knowledge of this client and did fraud to this client for which now this Plaintiff seeks redress and justice. 5. Plaintiff states that on February 9, 2006, before Judge Ralph Stoddard, Defendant Charles Scruggs, III, did make statements to the court that showed this negligence and fraud to the client and a transcript of this hearing is ordered to be presented for the file of this case to confirm this Defendants admission of the facts of this case. 6. Judge Stoddard has shown acts of prejudice, favoritism, and bias by statements in favor of the Defendant an attorney in this THIRTEENTH JUDICIAL CIRCUIT and also a former Judge for this CIRCUIT despite proof that attorney Scruggs has not done one Motion for Discovery since July, 2000, through September 2003, and gave false testimony to the courts to cover up his fraud to the court and attempts to use fraud to get injunctions against his own client this plaintiff that has now kept this Father from seeing his children due to these injunctions since November 2002. 7. Plaintiff states that Judge Stoddard in hearings has shown that the case file or motions had not been read even before the hearings to be prepared for these Motions and in statements shows a lack of understanding of this complex case thereby to make rulings because he has said he has not read this case. 8. The exhibits of the duties shown in 2000-2003, Attorney Scruggs was hired to 4

perform and yet neglected has been proved was proper legal process and expectations of success for rulings from these courts and this has been proved in trials before Judge Palomino, Judge Arnold, Judge Crenshaw and Judge Barton and yet Judge Stoddard refuses to allow Plaintiff to state his proofs of these other rulings by these other Judges to show the intentional refusal by Attorney Scruggs to serve the now former Client as attorney Scruggs pretended through his fraud to do as shown in the Pleadings Judge Stoddard stated he had not yet had time to read. 9. The Court has displayed shock and alarm at the charges made at this case hearings yet rules in favor of the Defendant despite the visible shock of the lack of care actions done by Defendant against his former client and Plaintiff s children. Respectfully submitted, Randall C. Townsend, Pro Se P.O. Box 21, Odessa, Fl 33556 942 350-2677 Randall C. Townsend Certificate of Service I hereby certify that a copy of the foregoing was provided by U.S. Mail this day of, 200, to CHARLES H. SCRUGGS, III, and CHARLES H. SCRUGGS III. P.A. LAW FIRM at 405 West Azeele Street, Tampa, Florida 33606 and to this clerk of the Hillsborough County Circuit Court, Fifth Floor and to the Court of Judge Ralph C. Stoddard at 800 E. Twiggs Street, 33602-3554. 5