Loading...
HomeMy Public PortalAboutFw_ SERVICE OF COURT DOCUMENT CASE NUMBER New Case Martin E OBoyle VS The Town of Gulf Stream - Sept_ 22_ 2015 incident IPM.Note Fw: SERVICE OF COURT DOCUMENT CASE NUMBER New Case Martin E OBoyle VS The Town of Gulf Stream - Sept. 22, 2015 incident Fw: Trey Nazzaro EX /O=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=4F2A29F2B5E049B995E816021A4AFFE0-TNAZZARO SERVICE OF COURT DOCUMENT CASE NUMBER New Case Martin E OBoyle VS The Town of Gulf Stream - Sept. 22, 2015 incident X-Vipre-Scanned: 0F9F882001363C0F9F896D From: Trey Nazzaro <TNazzaro@gulf-stream.org> To: "joconnor@jonesfoster.com" <joconnor@jonesfoster.com>, Jeff Hochman <hochman@jambg.com> Subject: Fw: SERVICE OF COURT DOCUMENT CASE NUMBER New Case Martin E OBoyle VS The Town of Gulf Stream - Sept. 22, 2015 incident Thread-Topic: SERVICE OF COURT DOCUMENT CASE NUMBER New Case Martin E OBoyle VS The Town of Gulf Stream - Sept. 22, 2015 incident Thread-Index: AdURkkcjPQ2TNIBgTJWHQvzktgbDJgACCVK9 Date: Thu, 23 May 2019 19:05:16 +0000 Message-ID: <1558638324262.9123@gulf-stream.org> References: <BN6PR16MB3235FD74D0D645EBACDB47E59D010@BN6PR16MB3235.namprd16.prod.outlook.com> In-Reply-To: <BN6PR16MB3235FD74D0D645EBACDB47E59D010@BN6PR16MB3235.namprd16.prod.outlook.com> Content-Language: en-US X-MS-Has-Attach: yes X-MS-Exchange-Organization-SCL: -1 X-MS-TNEF-Correlator: Content-Type: multipart/mixed; boundary="_006_15586383242629123gulfstreamorg_" MIME-Version: 1.0 Trey Nazzaro EX /O=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=4F2A29F2B5E049B995E816021A4AFFE0-TNAZZARO joconnor@jonesfoster.com; Jeff Hochman 2704 - Incident SERVICE OF COURT DOCUMENT CASE NUMBER New Case Martin E OBoyle VS The Town of Gulf Stream - Sept. 22, 2015 incident ________________________________ From: Martin E. O’Boyle <meo@commerce-group.com> Sent: Thursday, May 23, 2019 2:07:08 PM To: Trey Nazzaro Cc: Michelle Melicia; Renee Basel Subject: FW: SERVICE OF COURT DOCUMENT CASE NUMBER New Case Martin E OBoyle VS The Town of Gulf Stream - Sept. 22, 2015 incident Trey – I write you as a pro se litigant. I assume that you will be counsel for the Town and Ms. Basel. Please advise. Please see the attached. I would like to take the deposition of Ms. Basel next Thursday at 9am at the Gulf Stream Town Hall, since I’m assuming that will be most convenient for you and Ms. Basel. Kindly advise if you are agreeable or if you require a formal subpoena, whereupon I will oblige. Thank you. Note: This email was prepared using dictation software. As a result, there may be errors in the content and thus the content may not be relied upon. If you wish clarification, please call or write requesting the same. Thank you. Martin E. O'Boyle, Commerce Group 1280 W. Newport Center Drive Deerfield Beach, Fl. 33442 Direct Dial: 954-570-3505 Fax: 954-360-0807 Cell: 561-383-1221 E-mail: meo@commerce-group.com Web Page: www.commerce-group.com 38B7C7889D7B5243A64F2BAE4AEE4AA7@namprd09.prod.outlook.com <1558638324262.9123@gulf-stream.org> <BN6PR16MB3235FD74D0D645EBACDB47E59D010@BN6PR16MB3235.namprd16.prod.outlook.com> <BN6PR16MB3235FD74D0D645EBACDB47E59D010@BN6PR16MB3235.namprd16.prod.outlook.com> ________________________________ From: Martin E. O’Boyle <meo@commerce-group.com> Sent: Thursday, May 23, 2019 2:07:08 PM To: Trey Nazzaro Cc: Michelle Melicia; Renee Basel Subject: FW: SERVICE OF COURT DOCUMENT CASE NUMBER New Case Martin E OBoyle V Trey Nazzaro Trey Nazzaro EX /O=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=4F2A29F2B5E049B995E816021A4AFFE0-TNAZZARO EX /O=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=4F2A29F2B5E049B995E816021A4AFFE0-TNAZZARO 4f2a29f2b5e049b995e816021a4affe0-tnazzaro 4f2a29f2b5e049b995e816021a4affe0-tnazzaro Trey Nazzaro Trey Nazzaro tnazzaro@gulf-stream.org tnazzaro@gulf-stream.org tnazzaro@gulf-stream.org tnazzaro@gulf-stream.org sip:tnazzaro@gulf-stream.org II=[CID=34930d3d-6080-954c-8742-fce4b606c326;IDXHEAD=D511924723;IDXCOUNT=2];SBMID=5;S1=<BN6PR16MB3235FD74D0D645EBACDB47E59D010@BN6PR16MB3235.namprd16.prod.outlook.com>;RTP=DirectChild;TDN=Removed;TFR =ParticipantChanged;Version=Version 15.20 (Build 2157.0), Stage=H1, TC;UP=50;DP=5 en 3C048C574CC6A4DC 0F9F882001363C0F9F896D joconnor@jonesfoster.com SMTP joconnor@jonesfoster.com joconnor@jonesfoster.com joconnor@jonesfoster.com Jeff Hochman SMTP hochman@jambg.com hochman@jambg.com Jeff Hochman Civil Cover Sheet.pdfCIVIL COVER SHEET FORM 1.997. CIVIL COVER SHEET The civil cover sheet and the information contained in it neither replace nor supplement the filing and service of pleadings or other documents as required by law. This form must be filed by the plaintiff or petitioner for the use of the Clerk of Court for the purpose of reporting judicial workload data pursuant to section 25.075, Florida Statutes. (See instructions for completion.) I. CASE STYLE IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA Case No.: _________________ Judge: ____________________ Martin E OBoyle Plaintiff vs. The Town of Gulf Stream Defendant II. TYPE OF CASE ☐ Condominium ☐ Contracts and indebtedness ☐ Eminent domain ☐ Auto negligence ☐ Negligence – other ☐ Business governance ☐ Business torts ☐ Environmental/Toxic tort ☐ Third party indemnification ☐ Construction defect ☐ Mass tort ☐ Negligent security ☐ Nursing home negligence ☐ Premises liability – commercial ☐ Premises liability – residential ☐ Products liability ☐ Real Property/Mortgage foreclosure ☐ Commercial foreclosure $0 - $50,000 ☐ Commercial foreclosure $50,001 - $249,999 ☐ Commercial foreclosure $250,000 or more ☐ Homestead residential foreclosure $0 – 50,000 ☐ Homestead residential foreclosure $50,001 - $249,999 ☐ Homestead residential foreclosure $250,000 or more ☐ Non-homestead residential foreclosure $0 - $50,000 ☐ Non-homestead residential foreclosure $50,001 - $249,999 ☐ Non-homestead residential foreclosure $250,00 or more ☐ Other real property actions $0 - $50,000 ☐ Other real property actions $50,001 - $249,999 ☐ Other real property actions $250,000 or more ☐ Professional malpractice ☐ Malpractice – business ☐ Malpractice – medical ☐ Malpractice – other professional ☒ Other ☐ Antitrust/Trade Regulation ☐ Business Transaction ☒ Circuit Civil - Not Applicable ☐ Constitutional challenge-statute or ordinance ☐ Constitutional challenge-proposed amendment ☐ Corporate Trusts ☐ Discrimination-employment or other ☐ Insurance claims ☐ Intellectual property ☐ Libel/Slander ☐ Shareholder derivative action ☐ Securities litigation ☐ Trade secrets ☐ Trust litigation Filing # 90026288 E-Filed 05/23/2019 01:47:20 PM COMPLEX BUSINESS COURT This action is appropriate for assignment to Complex Business Court as delineated and mandated by the Administrative Order. Yes ☐ No ☒ III. REMEDIES SOUGHT (check all that apply): ☐ Monetary; ☒ Non-monetary declaratory or injunctive relief; ☐ Punitive IV. NUMBER OF CAUSES OF ACTION: ( ) (Specify) 1 V. IS THIS CASE A CLASS ACTION LAWSUIT? ☐ Yes ☒ No VI. HAS NOTICE OF ANY KNOWN RELATED CASE BEEN FILED? ☒ No ☐ Yes – If “yes” list all related cases by name, case number and court: VII. IS JURY TRIAL DEMANDED IN COMPLAINT? ☐ Yes ☒ No I CERTIFY that the information I have provided in this cover sheet is accurate to the best of my knowledge and belief, and that I have read and will comply with the requirements of Florida Rule of Judicial Administration 2.425. Signature s/ Martin E. O'boyle FL Bar No.: Attorney or party (Bar number, if attorney) Martin E. O'boyle 05/23/2019 (Type or print name) Date .pdf CivilC~1.pdf Civil Cover Sheet.pdf application/octet-stream DD61C8C0585BC541BEF0234DA8140504@namprd16.prod.outlook.com EnUs Complaint.pdf IN THE CIRCUIT COURT OF THE 15TH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA MARTIN E. O’BOYLE Plaintiff, CASE NO.: v. THE TOWN OF GULF STREAM, Defendant. __________________________________________/ COMPLAINT TO ENFORCE FLORIDA’S PUBLIC RECORDS ACT The Plaintiff, Martin E. O’Boyle, (“Plaintiff”), Pro Se, hereby sues The Town of Gulf Stream. (“Defendant”) and states: COUNT I – VIOLATION OF CHAPTER 119 1. All conditions precedent to this action have occurred or have been excused or waived. 2. Plaintiff Martin E. O’Boyle is a citizen of Florida who resides in the Town of Gulf Stream, Florida. 3. Defendant is a Florida municipal government and at all times relevant hereto is an “agency” as that term is defined in §119.011(2), Fla. Stat. 4. Defendant’s Police Department initiated a criminal action against Plaintiff that emanated out of allegations concerning events that occurred at a Town Hall meeting in 2015. 5. Gulf Stream Police Officer John Passaggiatta signed an affidavit attesting to those events. 6. Former Town Manager William Thrasher signed an affidavit attesting to those events. 7. William Thrasher moved out of the State of Florida after he retired as Town Manager Filing # 90026288 E-Filed 05/23/2019 01:47:20 PM for the Town of Gulf Stream. 8. William Thrasher is now domiciled in North Carolina. 9. Both Thrasher and Passaggiatta are expected to testify against Plaintiff at his upcoming criminal trial. 10. Plaintiff’s criminal case was originally assigned to the 15th Judicial Circuit. 11. Due to a conflict, Plaintiff’s criminal case was reassigned to the 17th Judicial Circuit’s State Attorney Office. 12. Assistant State Attorney Nicole Bloom was assigned to this case. 13. Nicole Bloom has been prosecuting Plaintiff’s criminal matter. 14. Plaintiff made a records request to the 17th Judicial Circuit’s State Attorneys Office for communications between the 17th SAO and Officer Passaggiatta and received certain documents. 15. A true and correct copy of that request and response is attached hereto as Exhibit 1. 16. The 17th Judicial Circuit’s State Attorney Office produced several text messages between itself and Defendant. 17. Plaintiff made a records request to the Town of Gulf Stream which requested: All records pursuant to (and as defined in) Chapter 119 of the Florida Statutes which mention or refer to Martin O’Boyle, but limited to the incident at the Town Hall on September 22, 2015 regarding Martin O’Boyle. The requested records shall include, without limitation, all E-Mails, phone records, messages, letters, memos and other communications sent by, received by, or created by the “Town of Gulf Stream” 18. The request defined the Town of Gulf Stream broadly to encompass “its staff, its Police Department, its Police Officers, its counsel …” 19. Plaintiff and Defendant engaged in several conversations discussing the scope of the request. 20. Plaintiff became frustrated with Defendant’s excessive need for clarification and clarified his request to use language that the Town had understood in the past. 21. On May 4, 2019, Plaintiff stated that he was seeking all records which emanate from the incident at the Town Hall on September 22, 2015 regarding Martin O’Boyle. 22. Plaintiff took pains to remind the Town to search for E-Mails, Phone records, messages, letters, memos and other communications. 23. A true and correct copy of the clarification of the request is attached hereto as Exhibit 2. 24. The Town finally understood that Plaintiff was seeking all records that emanated out of the September 22, 2015 incident at Town Hall. 25. A true and correct copy of the Town’s final responsive documents are available on the Town’s website. 26. Because the final production of records was nearly 1300 pages and contained numerous repetitive documents but contained only a single page of text messages. A true and correct copy of those text messages is attached as Exhibit 3. 27. On October 22, 2015, Town of Gulf Stream Officer explicitly asked ASA Nicole Bloom to “Please contact me on my below listed cell when you have an opportunity regarding case of Martin O’Boyle.” 28. The Town and the 17th SAO communicated via text message. 29. The Town did not produce several text messages it had with the 17th Judicial Circuit’s State Attorney Office. 30. The Town did not assert any exemptions to Plaintiff’s request that would apply to text messages. 31. The Town did not lawfully destroy records that were responsive yet not produced by the Town. 32. The Town did not send a notice under Section 119.021(4)(b), Fla. Stat. to Officer Passaggiatta or his cell-phone carrier for responsive text messages. 33. The Town has withheld responsive text messages and likely other responsive documents. 34. Plaintiff is a criminal defendant and has made this request in preparation for his criminal trial. 35. The request was made for a proper purpose. 36. A true and correct copy of a screenshot of the Town’s website is attached hereto as Exhibit 4. 37. The Town has failed to display the contact information for the agency’s custodian of public records prominently on the Town’s website. 38. Prominently is an adjective which means “standing out so as to be seen easily” or “noticeable” or “eye catching" 39. The Town failed to produce all responsive records or has unlawfully destroyed responsive records. RELIEF REQUESTED WHEREFORE, Plaintiff prays this Court: (a) Enter an order requiring the Town to produce all responsive records (b) Declare that the Town unlawfully withheld public records. (c) Award costs of enforcement and attorney’s fees under §119.12, Fla. Stat. Respectfully submitted, Dated: May 23, 2019 By: /s/ Martin E. O’Boyle Pro Se Litigant 1280 West Newport Center Drive. Deerfield Beach, FL 33442 Telephone: (954) 570-5307 Facsimile: (954) 360-0807 For Service of Court Documents: moboyle@commerce-group.com PREPARED WITH THE ASSISTANCE OF COUNSEL From: Martin E. O’Boyle Sent: Friday, May 10, 2019 4:01 PM To: 'rbasel@gulf-stream.org'; rtaylor@gulf-stream.org Subject: FW: GS #4 - September 22, 2015 Incident - Gulf Stream Police Issue270 Attachments: GS #2704 (Records Request - Incident - September 22, 2015)_prod.IT.pdf Dear Ms. Basel & Madam Custodian of Records: I make reference to the attached and the below which succeeded the creation and delivery of the attached; and, therefore supersedes the attached. NOTE: In connection with the captioned, I am alerting you that if I do not receive the requested responsive documents by the 4PM on Friday, May 10, 2019, I intend to serve as formal notice (pursuant to Ch. 119.12(1) (b) Notice) that if we do not receive a response to the referenced Records Request within five (5) business days from the date of this email, we will institute a formal legal action against you, unless an agreed upon reasonable extension is requested and granted. Note: This email was prepared using dictation software. As a result, there may be errors in the content and thus the content may not be relied upon. If you wish clarification, please call or write requesting the same. Thank you. Martin E. O'Boyle, Commerce Group 1280 W. Newport Center Drive Deerfield Beach, Fl. 33442 Direct Dial: 954-570-3505 Fax: 954-360-0807 Cell: 561-383-1221 E-mail: meo@commerce-group.com Web Page: www.commerce-group.com From: Martin E. O’Boyle Sent: Saturday, May 4, 2019 2:12 PM To: 'Renee Basel' <rbasel@gulf-stream.org> Subject: FW: GS #2704 - September 22, 2015 Incident - Gulf Stream Police Issue Dear Ms. Basel – upon receipt of your email below, I reviewed the attached, along with my original request and the communications in between. I am finding your communications as creating confusion. Considering the foregoing, I wish to state my request in the simplest of terms. See immediately below: Please provide all records pursuant to (and as defined in) Chapter 119 of the Florida Statutes which emanate from the incident at the Town Hall on September 22, 2015 regarding Martin O’Boyle. The requested records shall include, without limitation, all E-Mails, phone records, messages, letters, memos and other communications sent by, received by or created by the “Town of Gulf Stream”. As to any records which you choose not to produce on the basis of claim that the record is privileged, kindly provide a Privilege Log or an explanation (pursuant to Chapter 119) as to your basis for withholding any such records. Also, to the extent that there are any redactions in any of the records, we ask that you provide the basis consistent with the request in the prior sentence. NOTE: To the extent that there exists documents are responsive to this request, please just provide those documents as responsive documents to this request. NOTE: In connection with the captioned, I am alerting you that if I do not receive the requested responsive documents by the 4PM on Friday, May 10, 2019, I intend to serve as formal notice (pursuant to Ch. 119.12(1) (b) Notice) that if we do not receive a response to the referenced Records Request within five (5) business days we will institute a formal legal action against you, unless an agreed upon reasonable extension is requested and granted. Note: This email was prepared using dictation software. As a result, there may be errors in the content and thus the content may not be relied upon. If you wish clarification, please call or write requesting the same. Thank you. Martin E. O'Boyle, Commerce Group 1280 W. Newport Center Drive Deerfield Beach, Fl. 33442 Direct Dial: 954-570-3505 Fax: 954-360-0807 Cell: 561-383-1221 E-mail: meo@commerce-group.com Web Page: www.commerce-group.com From: Renee Basel <RBasel@gulf-stream.org> Sent: Friday, May 3, 2019 3:49 PM To: Martin E. O’Boyle <meo@commerce-group.co m> Subject: GS #2704 Good afternoon, Mr. O’Boyle:   See attached correspondence.   Sincerely, Reneé Rowan Basel Executive Administrative Assistant The term “Town of Gulf Stream” shall mean each of the following: the Town of Gulf Stream, its Commissioners, its Manager, its employees, its officers, its staff, its Police Department, its Police Officers its counsel and the following law firms: Sweetapple, Broeker & Varkas; Richman Greer, PA; Jones, Foster, Johnston & Stubbs; Cole, Scott & Kissane, P.A.; and Johnson Anselmo Murdoch Burke Piper & Hochman, P.A. (including, without limitation, the attorneys, employees and partners of each such law firm.) Town of Gulf Stream 100 Sea Road Gulf Stream FL 33483 561.276.5116 561.737.0188-fax www.gulf-stream.org Confidentiality Notice: This e-mail message, including any attachments, is for the sole use of the intended recipient(s). If you are not the intended recipient, please contact the sender by reply e-mail and destroy all copies of the original message. Florida has a very broad public records law. Written communications regarding Town of Gulf Stream business are public records available to the public upon request. Your e-mail communications are therefore subject to public disclosure. Under Florida law, e-mail addresses are public records. If you do not want your e-mail address released in response to a public records request, do not send electronic mail to this entity. Instead, contact this office by phone or in writing. me Verizon LTE 1: 29 PM SA Nicole Bloom Message Mon, Mar 18, 9: 43 AM W It is. I will call you later in the day to explain. C Ok Thanks 71. Tue, Mar 19, 3: 43 PM 1 3 6 KA 7t X.+* X I 5/22/2019 Home - Town of Gulf Stream https://www.gulf-stream.org 1/8 Get Involved & Informed by coming by with any questions regarding the approval process.   Get informed by coming to one of our Town Hall meetings.  Read more about our Town Hall The Gulf Stream Police Department provides around-the-clock public safety services to the town. Located across the street from the Town Hall… Read more about our police department The Town of Gulf Stream is pleased to announce a new emergency notification system available to residents at no cost through CodeRED.  To register to receive free emergency and other important town related alerts, please visit the CodeRED enrollment website here. The Palm Beach County Mosquito Control Division’s top tips for protecting yourself from mosquitoes can be found here. Hurricane Preparedness Information For information regarding evacuations, shelters, and other hurricane related items, please visit Palm Beach County’s website at the following link: http://www.pbcgov.com/dem/hurricane/ Town Hall Public Safety  MENU 5/22/2019 Home - Town of Gulf Stream https://www.gulf-stream.org 2/8 Welcome In 1916, the State of Florida began to open a stretch of roadway along the Atlantic Ocean coastline, as a more scenic alternative to Route 1, now called the Federal Highway. The road eventually became known as State Road A1A. To address high winds along the route, Australian Pines were planted along both sides of A1A, from Jacksonville to Miami. The Town of Gulf Stream is the only remaining stretch where the Australian Pine Canopy still remains. It has since been designated as an historic and scenic highway, allowing the Town to protect and cultivate new plants to maintain and expand a stand of more than 300 pines… Read more about the town Facts About Gulf Stream Population 1,001 residents – 2018 year estimate The median age in Gulf Stream is 58.2 years. The population is nearly split between males and females, with only two more men than women at the 2010 U.S. Census. Education Property/Households Town of Gulf Stream Boundary 5/22/2019 Home - Town of Gulf Stream https://www.gulf-stream.org 3/8 Pay Your Water/Garbage Bill Online Town residents can now view and pay their monthly water bill at this link: https://gulfstream.secure.munibilling.com. When setting up your online account, each resident will need to use the personalized code printed on your utility bill. Contractor Registration & Permit Information All workers hired to perform services for your property (employees and deliveries not included) must be registered to do work in the Town. If you are hiring a contractor (for example, to do lawn work or make improvements to your home) please ask them to register at Town Hall if they are not currently on file. Occupational registration is designed to ensure workers are properly licensed and insured, which enhances the safety of the community.  Requirements Attached All work requiring a permit must be submitted on a City of Delray Beach application.  You can get those applications on their website here.  We require all permit applications to include four (4) sets of all plans, product approvals, and attachments. CodeRED Alerts 5/22/2019 Home - Town of Gulf Stream https://www.gulf-stream.org 4/8 LISTEN TO MESSAGE VIEW EMAIL MESSAGE SEE AREA AFFECTED This is the Town of Gulf Stream with an important message for all residents. We have licensed the CodeRED Community Notification System to help disseminate important or critical in ... more Emergency Alert This is the Town of Gulf Strea ... 4/11/2019 2:25:07 PM General Alert Due to a water main break in P ... 3/14/2019 8:46:58 PM All Minutes and Agendas can be found by going to “Find a Town Record” All videos will be posted to the following link: https://www.youtube.com/channel/UCyJTjen2HMOSbss-CYOpzdQ/feed?view_as=public FIND A TOWN RECORD VIDEO INFORMATION 5/22/2019 Home - Town of Gulf Stream https://www.gulf-stream.org 5/8 Today May 22, 2019 Thursday May 23, 2019 Friday May 24, 2019 Saturday May 25, 2019 Legislative eorts regarding Public Records: https://youtu.be/tW8Itbr2HNg   SEE ALL DOCUMENTS DOCUMENTS 450565 Gulf Stream 2018 CCR April 2019 263 kB  Budget Presentation 2018 2019 5 MB  2017 Water Quality Report 259 kB  2017 Annual Financial Report 640 kB  LOCAL WEATHER 86°F 14m/h 87°F 7m/s 85°F 7m/s 87°F 6m/s GALLERIES Town of Gulf Stream Australian Pines 5/22/2019 Home - Town of Gulf Stream https://www.gulf-stream.org 6/8 SEE ALL GALLERIES Gulf Stream School MORE NOTICES MORE EVENTS TOWN NOTICES PUBLIC HEARING August 22, 2018 ZONING IN PROGRESS July 3, 2018 Notice of Application Approval April 3, 2018 Public Records Requests May 30, 2017 Garbage, Recycling, Yard Waste and Bulk Waste April 20, 2017 UPCOMING EVENTS Town Hall Closed- Memorial Day All-day event MAY 27 Town Commission Regular Meeting 9:00 am at Gulf Stream Town Hall JUN 7 ARPB Regular Meeting 8:30 am JUN 27 CODERED 5/22/2019 Home - Town of Gulf Stream https://www.gulf-stream.org 7/8 100 Sea Road Gulf Stream, FL 33483 Phone: (561) 276-5116 Fax: (561) 737-0188 Monday – Friday 9:00AM – 4:00PM THE TOWN OF GULF STREAM Police and Fire/Rescue Emergency 911 Police Non-Emergency (561) 243-7800 Police Administration (561) 278-8611 Fire/Rescue Non-Emergency (561) 243-7400 IMPORTANT PHONE NUMBERS Sign up for CodeRED alerts here. 5/22/2019 Home - Town of Gulf Stream https://www.gulf-stream.org 8/8 Palm Beach County Commission on Ethics Palm Beach County Oice of Inspector General History Approvals Calendar/Meetings Find a Town Record Town Code Contact © 2015-2018 Town of Gulf Stream. All rights reserved. .pdf Compla~1.pdf Complaint.pdf application/octet-stream 11CAD97ACE94464BB1F27B700BD22043@namprd16.prod.outlook.com EnUs Summons To Be Issued By Clerk.pdf IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA MARTIN E. O’BOYLE; Plaintiff, Case No. vs. THE TOWN OF GULF STREAM, Defendant. ________________________________________/ SUMMONS THE STATE OF FLORIDA To each Sheriff of the State: YOU ARE COMMANDED to serve this summons and a copy of the complaint in this law suit on defendant: THE TOWN OF GULF STREAM 100 Sea Road Gulf Stream, FL 33483 A lawsuit has been filed against you. Each defendant is required to serve written defenses to the complaint or petition on Martin E. O’Boyle, Pro Se Plaintiff whose address is 1280 West Newport Center Drive, Deerfield Beach, Florida 33442, within twenty (20) days after service of this summons on that defendant, exclusive of the day of service, and to file the original of the defenses with the clerk of this court either before service on Pro Se Plaintiff or immediately thereafter. If a defendant fails to do so, a default will be entered against the defendant for the relief demanded in the complaint or petition. DATED on May________, 2019 Martin E. O’Boyle Pro Se Plaintiff 1280 West Newport Center Drive Deerfield Beach, Florida 33442 By: ________________________ Telephone: (954) 360-7713 Clerk of the Court Facsimile: (954) 360-0807 moboyle@commerce-group.com Prepared with assistance of counsel Filing # 90026288 E-Filed 05/23/2019 01:47:20 PM “If you are a person with a disability who needs any accommodation in order to participate in this proceeding, you are entitled, at no cost to you, to the provision of certain assistance. Please contact Tammy Anton, Americans with Disabilities Act Coordinator, Palm Beach County Courthouse, 205 North Dixie Highway West Palm Beach, Florida 33401; telephone number (561) 355-4380 at least 7 days before your scheduled court appearance, or immediately upon receiving this notification if the time before the scheduled appearance is less than 7 days; if you are hearing or voice impaired, call 711.” “Si usted es una persona minusválida que necesita algún acomodamiento para poder participar en este procedimiento, usted tiene derecho, sin tener gastos propios, a que se le provea cierta ayuda. Tenga la amabilidad de ponerse en contacto con Tammy Anton, 205 N. Dixie Highway, West Palm Beach, Florida 33401; teléfono número (561) 355-4380, por lo menos 7 días antes de la cita fijada para su comparecencia en los tribunales, o inmediatamente después de recibir esta notificación si el tiempo antes de la comparecencia que se ha programado es menos de 7 días; si usted tiene discapacitación del oído o de la voz, llame al 711.” “Si ou se yon moun ki enfim ki bezwen akomodasyon pou w ka patisipe nan pwosedi sa, ou kalifye san ou pa gen okenn lajan pou w peye, gen pwovizyon pou jwen kèk èd. Tanpri kontakte Tammy Anton, kòòdonatè pwogram Lwa pou ameriken ki Enfim yo nan Tribinal Konte Palm Beach la ki nan 205 North Dixie Highway, West Palm Beach, Florida 33401; telefòn li se (561) 355-4380 nan 7 jou anvan dat ou gen randevou pou parèt nan tribinal la, oubyen imedyatman apre ou fin resevwa konvokasyon an si lè ou gen pou w parèt nan tribinal la mwens ke 7 jou; si ou gen pwoblèm pou w tande oubyen pale, rele 711.” .pdf Summon~1.pdf Summons To Be Issued By Clerk.pdf application/octet-stream 4789AB3D614C324EBA4C4603E45FE98E@namprd16.prod.outlook.com EnUs  _____   From: Martin E. O’Boyle <meo@commerce-group.com> Sent: Thursday, May 23, 2019 2:07:08 PM To: Trey Nazzaro Cc: Michelle Melicia; Renee Basel Subject: FW: SERVICE OF COURT DOCUMENT CASE NUMBER New Case Martin E OBoyle VS The Town of Gulf Stream - Sept. 22, 2015 incident   Trey – I write you as a pro se litigant.  I assume that you will be counsel for the Town and Ms. Basel. Please advise.   Please see the attached.   I would like to take the deposition of Ms. Basel next Thursday at 9am at the Gulf Stream Town Hall, since I’m assuming that will be most convenient for you and Ms. Basel.   Kindly advise if you are agreeable or if you require a formal subpoena, whereupon I will oblige.   Thank you.   Note: This email was prepared using dictation software. As a result, there may be errors in the content and thus the content may not be relied upon. If you wish clarification, please call or write requesting the same. Thank you. Martin E. O'Boyle, Commerce Group 1280 W. Newport Center Drive Deerfield Beach, Fl. 33442 Direct Dial: 954-570-3505 Fax: 954-360-0807 Cell: 561-383-1221 E-mail: meo@commerce-group.com Web Page: www.commerce-group.com