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HomeMy Public PortalAboutOBoyle Subpoena May 15 2018IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA MARTIN E. O'BOYLE Plaintiff, V. TOWN OF GULF STREAM, Defendant. CASE NO.: 2015CA001498 3 : H Dem 0S - f - Zai 8 SECOND AMENDED SUBPOENA DUCES TECUM WITHOUT DEPOSITION THE STATE OF FLORIDA: TO: Brannon & Gillespie, LLC 631 US Highway One, Suite 301 North Palm Beach, FL 33408 YOU ARE COMMANDED to provide by U.S. mail to The O'Boyle Law Firm, 1286 West Newport Center Drive, Deerfield Beach, FL 33442 or allow for inspection and copying at your above -stated address by May 19, 2018, the following documents: DOCUMENTS REQUESTED 1. All documents and communications related to the installation and/or removal pipes/improvements placed on the property located at 23 Hidden Harbour Drive, Gulf Stream, FL 33483 with the exception of (and without waiving entitlement to request in the future): (1) Daniel Brannon's personal impression of the Plaintiff s case prepared at the request of the Town following the filing of the lawsuit; and (2) Daniel Brannon's personal handwriting notes regarding the Plaintiff s request for admission prepared at the request of the Town. 2. Documents sufficient to show/identify the location of the underground electric system placed in Hidden Harbour Estates at the direction of Brannon & Gillespie, LLC with the exception of (and without waiving entitlement to request in the future): (1) Daniel Brannon's personal impression of the Plaintiffs case prepared at the request of the Town following the filing of the lawsuit; and (2) Daniel Brannon's personal handwriting notes regarding the Plaintiffs request for admission prepared at the request of the Town. 3. All contracts and/or written agreements with the Town of Gulf Stream concerning the installation and/or removal of any underground pipes, wires or other improvements at Hidden Harbour Estates. 4. Documents sufficient to identify the location of all underground pipes, wires, electrical equipment, or other equipment that was installed and/or removed by Brannon & Gillespie, LLC (or at the direction of Brannon & Gillespie, LLC) at Hidden Harbour Estates in Gulf Stream, Florida with the exception of (and without waiving entitlement to request in the future): (1) Daniel Brannon's personal impression of the Plaintiffs case prepared at the request of the Town following the filing of the lawsuit; and (2) Daniel Brannon's personal handwriting notes regarding the Plaintiff's request for admission prepared at the request of the Town. 5. All work orders and change orders regarding the Town of Gulf Stream's underground electric project from Jan. 1, 2010 to present pertaining to Hidden Harbour Estates. Dated: April 20, 2018. THE O'BOYLE LAW FIRM, P.C. Attorneys for Plaintiff 1286 West Newport Center Drive Deerfield Beach, FL 33442 Telephone: (954)-570-3501 For Service of Court Documents: oboylecourtdocs(@oboylelawfirm.com By: /s/ Nick Taylor Nick Taylor, Esq. Florida Bar #0051629 ntaylor@oboylelawfirm.com K