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HomeMy Public PortalAboutPRR 14-1206RECORDS REQUEST (the "Request ") Date of Request: 7/31/14 Requestor's RequestID#: 716 REQUESTEE: Custodian of Records Town of Gulf Stream REQUESTOR: Commerce GP, Inc. REQUESTOR'S CONTACT INFORMATION: E -Mail: records @commerce- group.com Fax: 954- 360 -0807; Address: 1280 West Newport Center Drive, Deerfield Beach, FL 33442 REQUEST: Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4j. (excluding subparagraphs 4, 4a., 4b., 4c., 4d., 4e., 4£, 4g., 4h., 4i., 4k., 41. and 4m.) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O 'Boyle Law Firm, P.C., Jonathan O' (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of subparagraph 4j. of the referenced Motion is attached. ADDITIONAL INFORMATION REGARDING REQUEST: THIS REQUEST IS MADE PURSUANT TO PUBLIC RECORDS ACT, CHAPTER 119 OF THE FLORIDA STATUTES AND IS ALSO REQUESTED UNDER THE COMMON LAW RIGHT TO KNOW, THE COMMON LAW RIGHT OF ACCESS; AND ANY STATUTORY RIGHT TO KNOW (INCLUDING, WITHOUT LIMITATION, ANY STATUTORY RIGHT OF ACCESS, AS APPLICABLE). THIS REQUEST IS ALSO MADE PURSUANT TO THE RIGHTS OF THE REQUESTOR PROVIDED IN THE FLORIDA CONSTITUTION. IT IS REQUESTED THAT THIS RECORDS REQUEST BE FULFILLED IN ELECTRONIC FORM. IF NOT AVAILABLE IN ELECTRONIC FORM, IT IS REQUESTED THAT THIS RECORDS REQUEST BE FULFILLED ON 11 X 17 PAPER. NOTE: IN ALL CASES (UNLESS IMPOSSIBLE) THE COPIES SHOULD BE TWO SIDED AND SHOULD BE BILLED IN ACCORDANCE WITH Section 119.07(4) (a) (2) ALL ELECTRONIC COPIES ARE REQUESTED TO BE SENT BY E -MAIL DELIVERY. PLEASE PROVIDE THE APPROXIMATE COSTS (IF ANY) TO FULFILL THIS PUBLIC RECORDS REQUEST IN ADVANCE. It will be required that the Requestor approve of any costs, asserted by the Agency (as defined in Florida Statute, Chapter 119.01 (Definitions)), in advance of any costs imposed to the Requestor by the Agency. I:PINPR/FRR 04.22.13 FORM TOWN OF GULF STREAM PALM BEACH COUNTY, FLORIDA Delivered via e-mail August 25, 2014 Commerce GP, Inc. [mail to: records @commerce - group.com] Re: GS #1182 (726), #1184 (722), #1185 (697), #1186 (706), #1187 (719), #1188 (727), #1189 (724), #1190 (720), #1191 (711), #1192 (699), #1200 (715), #1205 (704), #1206 (716), #1208 (713), #1211 (705), #1212 (721), #1219 (709), #1223 (712), #1225 (707), #1231 (698), #1239 (751), #1240 (752), #1241 (723) Please provide all Public Records which confirm the statement made in numbered paragraph 11 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire by Attorney Sweetapple which reads as follows: "After the meeting, O'Boyle commenced to have airborne banners flown on a daily basis over Palm Beach County. Provide all Public Records which confirm all of the statements made by Attorney Sweetapple in numbered paragraph 7 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. Provide copies of all Public Records which confirm the statements by Attorney Sweetapple in Section C17 in the Defendant's Motion To Disqualify The O'Boyle Law Firm, P.C., Inc. And, In The Alternative, For An Evidentiary Hearing, wherein Attorney Sweetapple says: "Jonathan. O'Boyle has failed to move for admission (in a federal court matter) pro hac vice to avoid Rule 4 of the Special Rules Governing the Admission and Practice of Attorneys, Local Rules of the Southern District of Florida. " Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statement that he made in numbered paragraph 4 (excluding subparagraphs a. through c) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy ofparagraph 4 of the referenced Motion is attached. In subparagraph 41., please provide all Public Records which confirm the statement of Attorney Sweetapple in his Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O' (sic) And William Ring, Esquire that Jonathan O'Boyle had a "constant presence" in the State of Florida since the opening of the O'Boyle Law Firm and that during that constant presence, he was handling legal matters for his father and his father's businesses, including at least four (4) pro hoc vice appearances. Please provide all Public Records which confirm the validity of the statement made by Attorney Sweetapple in numbered paragraph 12 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. Provide copies of all Public Records confirming the validity of the statements made by Attorney Sweetapple in numbered paragraph 9 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire. Please provide all Public Records which confirm the statement of Attorney Sweetapple in paragraph 4m. Of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire which was filed by Attorney Sweetapple. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in membered subparagraph 4e. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4f., 4g., 4h., 4i., 4j., 4k, 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'(sic) And William Ring, Esquire, which was filed by Attorney Sweetappple. A copy of subparagraph 4e. of the referenced Motion is attached. Please provide all Public Records which confirm the statements made by Attorney Sweetapple in Paragraph D26 of th e Defendant's Motion To Disqualify The O'Boyle Law Firm, P. C., Inc And In The Alternative, For An Evidentiary Hearing; and further provide all Public Records that show that Jonathan O'Boyle has violated the prohibitions as set forth in D26 in the Defendant's Motion to Disqualify The O'Boyle Law Firm, P.C., Inc. And, In The Alternative, For An Evidentiary Hearing. Please provide all Public Records confirming the statements made by Attorney Sweetapple in Paragraph D28 of the Defendant's Motion To Disqualify The O'Boyle Law Firm, P.C., Inc And, In The Alternative, For An Evidentiary Hearing. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4i. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4e., 4f., 4g., 4h., 4j., 4k, 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy ofsubparagraph 4i. of the referenced Motion is attached. Please provide all Public Records which confirm the validity of the statement made by Attorney Sweetapple in numbered paragraph 3 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of paragraph 3 of the referenced Motion is attached. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4j. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4e., 4f., 4g., 4h.,4i., 4k., 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O (sic) And William Ring, Esquire, which was fled by Attorney Sweetapple. A copy ofsubparagraph 4j. of the referenced Motion is attached. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4g. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4e., 4f., 4h.,4i.,4j., 4k., 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy ofsubparagraph 4g. of the referenced Motion is attached. Please provide all Public Records which confirm that the principal office ofthe O'Boyle Law Firm, P.C. was at 2146 East Huntingdon Street, Philadelphia, PA on July 3, 2014 as stated by Attorney Sweetapple. Please provide all Public Records confirming the statement in numbered paragraph 5 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire wherein Attorney Sweetapple states "Immediately after Defendant fled "the Motion ", Plaintiff, Martin O'Boyle (hereinafter "O'Boyle').... requested a meeting with ..... the Jones Foster law firm. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4c. (excluding subparagraphs 4, 4a., 4b.,,4d., 4e., 4f., 4g., 4h.,4i.,4j., 4k., 41. And 4m) ofthe Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of subparagraph 4c. of the referenced Motion is attached. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4f. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4e., 4g., 4h.,4i.,4j., 4k., 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of subparagraph 4f. of the referenced Motion is attached. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4a. (excluding subparagraphs 4, 4b., 4c.,4d., 4e., 4f., 4g., 4h.,4,4j., 4k., 41. And4m) ofthe Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel ofRecord, The O'Boyle Law Firm, P.C., Jonathan O (sic)And William Ring, Esquire, which was fled by Attorney Sweetapple. A copy of subparagraph 4a. of the referenced Motion is attached. Provide all Public Records which will affirm the statements made by Attorney Sweetapple in Section D24 in the Defendant's Motion To Disqualify The O'Boyle Law Firm, P.C., Inc. And, Inc The Alternative, For An Evidentiary Hearing. Provide all Public Records which confirm the validity of the statement made by Attorney Sweetapple in subparagraph 41. of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Records, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. Provide all Public Records which confirm the validity of the statement made by Attorney Sweetapple in subparagraph 4m. of the Defendant's Motion For Sanctions Against Plaintiff Martin E. O'Boyle, Counsel of Records, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. Provide all Public Records confirming the statement of Attorney Sweetapple in numbered paragraph 8 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Records, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. Dear Commerce GP, Inc. [mail to: records @commerce - group.com], The Town of Gulf Stream has received your public records requests dated July 31, 2014. If your request was received in writing, then the requests can be found at the following links: http: / /www2. gulf- stream.orWWebLink8 /0 /doc / 17341 /Pagel .aslx http: / /www2. gulf- stream.ore/WebLink8 /0 /doc /17335 /Pagel .aspxx, http://www2.gulf-stream.org/WebLink8/0/doc/17325/Pagel.ast)x , httv://www2.gulf-streain.org/WebLink8/0/doc/I 7327/Page l .aspx, http: / /www2.gulf- stremn.orgfW ebLink8 /0 /doc /I 7333/Pagel .asnx, http:/ /www2.gulf- stream.org/WebLink8 /0 /doc /I 7343/Pagel .aslx http:/ /www2.gulf- stream.orgfWebLink8 /0 /doc /17337/Pa eg l.Wx, http:/ /www2.gulf- stream.orgfWebLink8 /0 /doc /I7332/Pa eg 1_aslx http:/ /www2.gulf- stremn.orgfWebLink8 /0 /doc /I7329/Page l . aspx, http://www2.gulf-stream.org/WebLink8/0/doc/l 73 70/1'age l . asnx, http: / /www2. gulf- stream.org[WebLink8 /0 /doc /17379/Pagel . asnx http: / /www2. gulf- stream.orgfW ebLink8 /0 /doc /173 84/Pagel .aspxx http:/ /www2.gulf- stream.org/WebLink8 /0 /doc /I7385/Pa eg 1_aspxx htty: / /www2.pulf- stream. ore /WebLink8 /0 /doc /173 87/Pa¢el .asnx, httv://www2.gulf-stream.org/WebLink8/0/doc/I 7390/Page l .asnx, http://www2.gulf-stream.org/WebLink8/0/doc/I 739 I /Pagel .asnx, http: / /www2. gulf- stream.orgfWebLink8 /0 /doc /I7418/Page l .asnx, http:// www2.gulf- stream.orgfWebLink8 /0 /doc /I7426/Pagel .asnx, http://www2.gulf-stream.org/WebLink8/0/doc/I743O/Pajzel.asi)x , htti)://www2.gulf-stream.org/WebLink8/0/doc/I 7442/Page l .asnx, http:// www2.gulf- stream.org/WebLink8 /0 /doc /l7459/Pagel .asnx . http:// www2.gulf- stream.orgfWebLink8 /0 /doc /17461/Pagel.aspx and http:// www2.gulf- stream.orgfWebLink8 /0 /doc /17463/Pagel.aspx. If your request was verbal, then the description of your public records request is set forth in the italics above. Please refer to the referenced number above with any future correspondence. The Town of Gulf Stream is currently working on a large number of incoming public records requests. The Town will use its very best efforts to respond to you in a reasonable amount of time with the appropriate response or an estimated cost to respond. Sincerely, Town Clerk Custodian of the Records w a CORRECTED — REMOVED 1185 & ADDED 1198 TOWN OF GULF STREAM PALM BEACH COUNTY, FLORIDA Delivered via a -mail August 25, 2014 Commerce GP, Inc. [mail to: records @commerce- group.com] Re: GS #1182 (726), #1184 (722), #1186 (706), #1187 (719), #1188 (727), #1189 (724), #1190 (720), #1191 (711), #1192 (699), #1198 (714), #1200 (715), #1205 (704), #1206 (716), #1208 (713), #1211 (705), #1212 (721), #1219 (709), #1223 (712), #1225 (707), #1231 (698),! 12359 4wL Q. #1240 75 #1241 (723) Please provide all Public Records which confirm the statement made in numbered paragraph 11 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire by Attorney Sweetapple which reads as follows: "After the meeting, O'Boyle commenced to have airborne banners flown on a daily basis over Palm Beach County. Provide all Public Records which confirm all of the statements made by Attorney Sweetapple in numbered paragraph 7 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statement that he made in numbered paragraph 4 (excluding subparagraphs a. through c.) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy ofparagraph 4 of the referenced Motion is attached. In subparagraph 41., please provide all Public Records which confirm the statement of Attorney Sweetapple in his Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O' (sic) And William Ring, Esquire that Jonathan O'Boyle had a "constant presence" in the State of Florida since the opening of the O'Boyle Law Firm and that during that constant presence, he was handling legal matters for his father and his father's businesses, including at least four (4) pro hoc vice appearances. Please provide all Public Records which confirm the validity of the statement made by Attorney Sweetapple in numbered paragraph 12 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. CORRECTED— REMOVED 1185 & ADDED 1198 FA0ide copies of all Public Records confirming the validity of the statements made by Attorney Sweetapple in numbered paragraph 9 of the Defendant's Motion For Sanctions Against Plaintiff Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire. Please provide all Public Records which confirm the statement of Attorney Sweetapple in paragraph 4m. Of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire which was filed by Attorney Sweetapple. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4e. (excluding subparagraphs 4, 4a., 4b., 4c., 4d., 4f., 49., 4h., 4i., 4j., 4k, 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The 0 Boyle Law Firm, P.C., Jonathan O'(sic) And William Ring, Esquire, which was filed by Attorney Sweetappple. A copy of subparagraph 4e. of the referenced Motion is attached. Please provide all Public Records which confirm the statements made by Attorney Sweetapple in Paragraph D26 of the Defendant's Motion To Disqualify The O'Boyle Law Firm, P.C., Inc And In The Alternative, For An Evidentiary Hearing; and further provide all Public Records that show that Jonathan O'Boyle has violated the prohibitions as set forth in D26 in the Defendant's Motion to Disqualify The O'Boyle Law Firm, P.C., Inc. And, In The Alternative, For An Evidentiary Hearing. Please provide all Public Records confirming the statements made by Attorney Sweetapple in Paragraph D26 of the Defendant's Motion To Disqualify The O'Boyle Law Firm, P.C., Inc And, In The Alternative, For An Evidentiary Hearing. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4h. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4e., 4f., 4g., 4i., 4j., 4k, 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy ofsubparagraph 4h. of the referenced Motion is attached. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4i. (excluding subparagraphs 4, 4a., 4b., 4c., 4d., 4e., 4f., 4g., 4h., 4j., 4k., 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of subparagraph 4i. of the referenced Motion is attached. Please provide all Public Records which confirm the validity of the statement made by Attorney Sweetapple in numbered paragraph 3 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And CORRECTED — REMOVED 1185 & ADDED 1198 iiPilh'am Ring, Esquire, which was fled by Attorney Sweetapple. A copy of paragraph 3 of the referenced Motion is attached. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4j. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4e., 4f., 4g., 4h.,4i., 4k., 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of subparagraph 4j. of the referenced Motion is attached. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4g. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4e., 4f., 4h.,44,4j., 4k, 41 And 4m.) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy ofsubparagraph 4g. of the referenced Motion is attached. Please provide all Public Records which confirm that the principal office of the O'Boyle Law Firm, P.C. was at 2146 East Huntingdon Street, Philadelphia, PA on July 3, 2014 as stated by Attorney Sweetapple. Please provide all Public Records confirming the statement in numbered paragraph 5 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire wherein Attorney Sweetapple states "Immediately after Defendant filed "the Motion" Plaintiff, Martin O'Boyle (hereinafter "O'Boyle') .... requested a meeting with ..... the Jones Foster law firm. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4c. (excluding subparagraphs 4, 4a., 4b.,, 4d., 4e., 4f., 4g., 4h.,4i.,4j., 4k, 41. And 4m) ofthe Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P. C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of subparagraph 4c. of the referenced Motion is attached. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4f. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4e., 4g., 4h.,4i.,4j., 4k, 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of subparagraph 4f of the referenced Motion is attached. CORRECTED — REMOVED 1185 & ADDED 1198 Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4a. (excluding subparagraphs 4, 4b., 4c.,4d., 4e., 4f., 4g., 4h.,4,4j., 4k., 41. And 4m) ofthe Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of subparagraph 4a. of the referenced Motion is attached. Provide all Public Records which will ajfIrm the statements made by Attorney Sweetapple in Section D24 in the Defendant's Motion To Disqualify The O'Boyle Law Firm, P.C., Inc. And, Inc The Alternative, For An Evidentiary Hearing. Provide all Public Records which confirm the validity of the statement made by Attorney Sweetapple in subparagraph 41. of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Records, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. Provide all Public Records which confirm the validity of the statement made by Attorney Sweetapple in subparagraph 4m. of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Records, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. Provide all Public Records confirming the statement of Attorney Sweetapple in numbered paragraph 8 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Records, The O'Boyle Law Firm, P. C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. Dear Commerce GP, Inc. [mail to: records @commerce - group.com], The Town of Gulf Stream has received your public records requests dated July 31, 2014. If your request was received in writing, then the requests can be found at the following links: http://www2.gulf-stream.org/WebLink8/0/doc/I 7341 /Pagel .aspx _http:/ /www2.gulf- stream.orgfWebLink8 /0 /doc /I7335/Pa eg 1_aslx http: / /www2. gulf- stream.orgfWebLink8 /0 /doc /I7327/Pagel .aspx httR://www2.gulf-streain.org/WebLink8/0/doc/I 7333/Pagel .asp http: / /www2. gulf- stream.orgfW ebLink8 /0 /doc /I 7343/Page l . aspx http: / /www2.gulf- stream.orgfW ebLink8 /0 /doc /17337 /Pagel . aspx http: / /www2. gulf- stream.orgfWebLink8 /0 /doc /I7332/Pagel .aspx, h!W://www2.gulf-strearn.org/WebLink8/0/doc/I 7329/Pagel .asyxx, http: / /www2. gulf- stream.orgfWebLink8 /0 /doc /173 70/Page l .aspx http: / /www2. gulf- stream.orgfWebLink8 /0 /doc /I 7377/Page l . aslx http: / /www2. gulf - stream. org/ WebLink8 /0 /doc / 173 79/P aee l .aspx, http:/ /www2.gulf- stream.org/WebLink8 /0 /doc /I7384/Pagel .asox, httv://www2.gulf-stream.org/WebLink8/0/doc/I 7385/Pagel .aspx, CORRECTED - REMOVED 1185 & ADDED 1198 http: / /www2.gulf- stream .org /WebLink8 /0 /doc /17387/Pa eg 1_aspxx, http: / /www2. gulf- stream.orgfWebLink8 /0 /doc /I 7390/Page l .aspx, http: / /www2. gulf- stream.org[WebLink8 /0 /doc /17391 /Page I .aspx, http:/ /www2.gulf- stream.orgfWebLink8 /0 /doc /I 7418/Page l .aspx, htti)://www2.gulf-streatn.org/WebLink8/0/doc/I 7426/Page l .asyx. http:/ /www2.gulf- streatn.orgfWebLink8 /0 /doc /l 7430/Page l . aspx http: / /www2. gulf- stream.orgMebLink8 /0 /doc /I 7442/Pagel .aspx, httR://www2.gulf-stream.org/WebLink8/0/doc/I7459/Pagel.asvx , h_ptt :/ /www2.gulf- stream.org[WebLink8 /0 /doc /I7461/Pagel.aspx, and http:/ /www2.gulf- stream.orgfWebLink8 /0 /doc /17463/Pagel.asox. If your request was verbal, then the description of your public records request is set forth in the italics above. Please refer to the referenced number above with any future correspondence. The Town of Gulf Stream is currently working on a large number of incoming public records requests. The Town will use its very best efforts to respond to you in a reasonable amount of time with the appropriate response or an estimated cost to respond. Sincerely, Town Clerk Custodian of the Records V 1 4 TOWN OF GULF STREAM PALM BEACH COUNTY, FLORIDA Delivered via e-mail August 25, 2014 Commerce GP, Inc. [mail to: records @commerce - group.com] Re: GS #1182 (726), #1184 (722), #1185 (697), #1186 (706), #1187 (719), #1188 (727), #1189 (724), #1190 (720), #1191 (711), #1192 (699), #1200 (715), #1205 (704), #1206 (716), #1208 (713), #1211 (705), #1212 (721), #1219 (709), #1223 (712), #1225 (707), #1231 (698), #1239 (751), #1240 (752), #1241 (723) Please provide all Public Records which confirm the statement made in numbered paragraph 11 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire by Attorney Sweetapple which reads as follows: "After the meeting, OBoyle commenced to have airborne banners flown on a daily basis over Palm Beach County. Provide all Public Records which confirm all of the statements made by Attorney Sweetapple in numbered paragraph 7 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which wasfled by Attorney Sweetapple. Provide copies of all Public Records which confirm the statements by Attorney Sweetapple in Section C17 in the Defendant's Motion To Disqualify The O'Boyle Law Firm, P.C., Inc. And, In The Alternative, For An Evidentiary Hearing, wherein Attorney Sweetapple says: "Jonathan. O'Boyle has failed to move for admission (in a federal court matter) pro hoc vice to avoid Rule 4 of the Special Rules Governing the Admission and Practice of Attorneys, Local Rules of the Southern District of Florida." Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statement that he made in numbered paragraph 4 (excluding subparagraphs a. through c.) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of paragraph 4 of the referenced Motion is attached. In subparagraph 41., please provide all Public Records which confirm the statement of Attorney Sweetapple in his Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O' (sic) And William Ring, Esquire that Jonathan O'Boyle had a "constant presence" in the State of Florida since the opening of the O'Boyle Law Firm and that during that constant presence, he was handling legal matters for his father and his father's businesses, including at least four (4) pro hoc vice appearances. Please provide all Public Records which confirm the validity of the statement made by Attorney Sweetapple in numbered paragraph 12 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. Provide copies of all Public Records confirming the validity of the statements made by Attorney Sweetapple in numbered paragraph 9 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire. Please provide all Public Records which confirm the statement of Attorney Sweetapple in paragraph 4m. Of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P. C, Jonathan O'Boyle And William Ring, Esquire which was filed by Attorney Sweetapple. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4e. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4f., 4g., 4h., 4i., 4j., 4k., 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P. C, Jonathan O'(sic) And William Ring, Esquire, which was filed by Attorney Sweetappple. A copy of subparagraph 4e. of the referenced Motion is attached. Please provide all Public Records which confirm the statements made by Attorney Sweetapple in Paragraph D26 of the Defendant's Motion To Disqualify The O'Boyle Law Firm, P. C., Inc And In The Alternative, For An Evidentiary Hearing; and further provide all Public Records that show that Jonathan O'Boyle has violated the prohibitions as set forth in D26 in the Defendant's Motion to Disqualify The O'Boyle Law Firm, P.C., Inc. And, In The Alternative, For An Evidentiary Hearing. Please provide all Public Records confirming the statements made by Attorney Sweetapple in Paragraph D28 of the Defendant's Motion To Disqualify The O'Boyle Law Firm, P.C., Inc And, In The Alternative, For An Evidentiary Hearing. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4i. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4e., 4f., 4g., 4h., 4j., 4k., 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P. C, Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of subparagraph 4i. of the referenced Motion is attached. Please provide all Public Records which confirm the validity of the statement made by Attorney Sweetapple in numbered paragraph 3 of the Defendant's Motion For Sanctions Against Plaint Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of paragraph 3 of the referenced Motion is attached. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4j. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4e., 4f., 4g., 4h.,4i., 4k., 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P. C, Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy ofsubparagraph 4j. of the referenced Motion is attached. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4g. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4e., 4f., 4h.,4i.,4j., 4k., 41. And 4m) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P. C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy ofsubparagraph 4g. of the referenced Motion is attached. Please provide all Public Records which confirm that the principal office of the O'Boyle Law Firm, P. C. was at 2146 East Huntingdon Street, Philadelphia, PA on July 3, 2014 as stated by Attorney Sweetapple. Please provide all Public Records confirming the statement in numbered paragraph 5 of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire wherein Attorney Sweetapple states "Immediately after Defendant filed "the Motion ", Plaintiff, Martin O'Boyle (hereinafter "O'Boyle').... requested a meeting with ..... the Jones Foster law firm. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4c. (excluding subparagraphs 4, 4a., 4b.,,4d., 4e., 4f., 4g., 4h.,4i.,4j., 4k., 41. And 4m) ofthe Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P. C, Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of subparagraph 4c. of the referenced Motion is attached. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4f. (excluding subparagraphs 4, 4a., 4b., 4c.,4d., 4e., 4g., 4h.,4i.,4j., 4k., 41. And 4m.) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P. C., Jonathan O (sic) And William Ring, Esquire, which was fled by Attorney Sweetapple. A copy ofsubparagraph 4f of the referenced Motion is attached. Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4a. (excluding subparagraphs 4, 4b., 4c., 4d., 4e., 4f., 4g., 4h.,4,4j., 4k., 41. And 4m.) ofthe Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle LawFirm, P.C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy of subparagraph 4a, of the referenced Motion is attached. Provide all Public Records which will affirm the statements made by Attorney Sweetapple in Section D24 in the Defendant's Motion To Disqualify The O'Boyle Law Firm, P. C., Inc. And, Inc The Alternative, For An Evidentiary Hearing. Provide all Public Records which confirm the validity of the statement made by Attorney Sweetapple in subparagraph 41. of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Records, The O'Boyle Law Firm, P. C., Jonathan O'Boyle And William Ring, Esquire, which wasfeled by Attorney Sweetapple. Provide all Public Records which confirm the validity of the statement made by Attorney Sweetapple in subparagraph 4m. of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Records, The O'Boyle Law Firm, P.C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. Provide all Public Records confirming the statement of Attorney Sweetapple in numbered paragraph 8 of the Defendant's Motion For Sanctions Against Plaintiff Martin E. O'Boyle, Counsel of Records, The O'Boyle Law Firm, P. C., Jonathan O'Boyle And William Ring, Esquire, which was filed by Attorney Sweetapple. Dear Commerce GP, Inc. [mail to: records @commerce - group.com], The Town of Gulf Stream has received your public records requests dated July 31, 2014. If your request was received in writing, then the requests can be found at the following links: http:/ /www2.gulf- stream.org(WebLink8 /0 /doc /17341 /PageI.aspxx http: / /www2. gulf- stream. ore /WebLink8 /0 /doc /17335/Pagel .aspx htty: / /www2.gulf- stream.orgfW ebLink8 /0 /doc / 17325/Pagel .asox, http: / /www2. gulf-strearn.org/WebLink8/0/doc/I 7327/Page l .aspx http: / /www2. gulf- stream.orel W ebLink8 /0 /doc / 17333/P age 1. asp h!W://www2.gulf-stream.org/WebLink8/0/doc/I 7343/Pagel .aspx htty: / /www2. gulf- stream.org/WebLink8 /0 /doc /I 7337/Pagel .aspx, htty://www2. gulf- stream.org/WebLink8 /0 /doc /l 7332/Pagel .aspx, httv:/ /www2.gulf- stream.org/WebLink8 /0 /doc /I 7329/Page 1. aspx, http:/ /www2.gulf- stream.org/WebLink8 /0 /doc /17370 /Page 1. aspx, http://www2.gulf-stream.org/WebLink8/0/doc/I7379/Pagel.aspx http://www2.gulf-stream.org/WebLink8/0/doc/I7384/Pa2el.asRx , http://www2. gulf- stream.org/WebLink8 /0 /doc /I 7385/Pagel .aspx .hftp://www2.gulf-strearn.org/WebLink8/0/doc/I 73 87/Pagel .aspx h6: / /www2. gulf- stream.org[WebLink8 /0 /doc /17390/Page l . aspx hn:/ /www2.gulf- stream.orgfWebLink8 /0 /doc /I7391/Pagel aspx http: / /www2. gulf- stream.orgfWebLink8 /0 /doc /I 7418/Pagel .aspx, htti)://www2.gulf-stream.org/WebLink8/0/doc/I7426/PageI.asvx . http: / /www2. gulf- stream.orgfWebLink8 /0 /doc /l743O/Page l .aspx http: / /www2. gulf- streatn.orgfW ebLink8 /0 /doc /l 7442/Pagel .aspx http: / /www2. gulf- stream.orgfWebLink8 /0 /doc /I7459/Pagel .aspx, http:/ /www2.gulf- stream.orgfWebLink8 /0 /doc /l7461/Pagel.asi)x, and http:/ /www2.gulf- stream.orgfWebLink8 /0 /doc /17463/Pagel.asyx. If your request was verbal, then the description of your public records request is set forth in the italics above. Please refer to the referenced number above with any future correspondence. The Town of Gulf Stream is currently working on a large number of incoming public records requests. The Town will use its very best efforts to respond to you in a reasonable amount of time with the appropriate response or an estimated cost to respond. Sincerely, Town Clerk Custodian of the Records PA Attorney Information I Pennsylvania Disciplinary Board Page 1 of 1 The Disciplinary Board of the Supreme Court of Pennsylvania PA Attorney Information Jonathan Reilly O'Boyle PA Attorney ID: 314500 Current Status: Active Date of Admission: 11/13/2012 Lawfrm: Other Organization: District: O County: 5 ul f State Public Access Address: 23N HIDDEN HARBOUR DR GULFSTREAM, FL 33483 Tel: 1 758 -1223 Fax: Professional Liability Insurance: I do not maintain Professional Liability Insurance pursuant to the provisions of Rule of Professional Conduct 1.4(C), but I do have private clients and/or a possible exposure to malpractice actions. Comment: Discipline: 02007.2014 The Obdplimry aaartl d" Supnma Caul d Pave nla.l pi.Clalme r Fm questlom ar ammentu r ardW the websile, please coded w at web.suwo dts a oum.ua http : / /www.padisciplinaryboard.org /look- up /pa- attomey - info.php ?id = 314500 &pdcount =0 4/4/2014 " �� IN TAB CIRCUIT COURT OF THE 15' JUDICIAL. cacurr, WAND FOR PALM REAM, COUNTY, nORIDA " r ' ' CFRISIOPBBRF. o7IARS CaseNo.2014CA000720 Phnff Division Al VS. TOWN OF auLpsuaw, WIISIAMB.TffitASH&R Defmdeat VERIFLBD MOTIONFOR ADAUSSJON TO AFPTAR AROffAC PTCB MSUANT TOFLORIDARDLE OF JUDICIAL ADMINISTRATION 2510 Comes noW JONATAANR. O'BOYL& Movamt hereio, andrespeettbiiyrepments the following: 1. MovantlomathaalL O' BoyleisdomiciledandpermeamtlyresidmiaLONOFORT, NEW JERSEY. Moventis not it pconauentresideotofthe State of Florida. Movaat 7omatbm R O'Boyle 3s a temporary resident ofmo State ofFlmida andhss an applicationpmdingfor admission to no Florida 13m�sad bas notRreviouslyhem dmied admission to1he FloridaBar. 2. Movant is an nuomey and atiemberofthe haw firaaf(orpraodees law order the mmneoi) Ile O'BovleTAWFirm' P.C. (ForateAvimmyn as Jonathan R O'Bo��LeF C)with ofdaa et 2146 B. Amtimedcn St PbitadelpM Madclala Peunsvivania 91 M 561- 758 -1223 (County) (State) (Zip 'Code) ('Telephone) 3. Movant has bemretainedpersovaliyor as amember of the abovonerned law flan on January 10, 2014 by Christopher O'Bareyia his FL attomevLou Roeder (DateReptrsentatiortCommcaced) (NameofPttyorPartiav) to provide legalrepresentation iaaormcction withthe abovo" stAedmstter nowpeadmgbo�ore the abovynemod courtofthe State of Florida. 4. Movantisaaacdvemembwingoods tandingsadc ttyeligrbLetopraetimlawin EM .� tbetbllowingjurisdictioa( s): Iaetudo stftmoycrberm®bor(s)_(Aftwh on additionalsheetif necessary.) i JUBISDICTION ATfORNVMB aNONMER �• �'"6pgT��n� 3W�Sba 5, There an, no discipIl aryproceedings pending against Havant, acept as provided below (give judadictioa of disciplinary action, date ofdisciplinnyaclioa, mmm of thevdolatim and the sanction ifany, imposed): (AttarXen additional sheatlfnecessary.) 6. Vy f3ia thep=Rvo (S) yea®, Movaathas notb=mbjttt tc my disciplinary pmecuUnba, exceptasprovWAbelaw (givo jntisdiclion of discip)inary action, aate of dish inary action, nenae ofthe violation mdthtsanetion, ifaoy, imposed): (Atterh m edditioae! shcctifnecessary.) 7. MovmAhas nevecbeea mbjectto anysuspemimpro=d'hW, ampteapmvided below (give judsdlction. oftlisedplinary action, deft of diselplinaryaetion, naboe ofthaviolation and the sancdoq,ifany, imposed): (Attach m additional sheet if necessary.) 8. Movnntha owKbwasubjwttnanydislk m tpmceedings,o=ptaspmvided below (givnjnrisdidion.of disciplinary sotian, date ddisciplinary scion, namm oftheviolutlon and the sanction, ifdny, imposed): (Attack an addifiannlsbeet aecassary.) 9. Mavaat, citbcr byresigoaHon, withdraws], or odmrwise, naverhss tenoinated or attempted to temrinate Movant's office as an atfameyin order• to avoid administrative, disciplinary, disbarment, a umpeosionproceedings. 10. Havant is aotanimcpva mombaoETLe FlaridaBar. 11. MovantianntnawamemberafThe FloridaBa.. 12. Havant is not a suspended member o£The FluridaBur. 13. Movantis not a Obsrrd member nfTbc Florida 11r= bas Movantteeoiveda ftciplinaryresigaadoa £ram The Florida Bar. 14. Movantlm notprevlouslybeen4isciplined orhddin mntemptbymmaof mismndnctmmmlitedwhri1e mgagedin representatioaputnommt to Florida Rule of Judicial Administration 2510, except as pmvidedbdow (give date ofdisciptimny action m contempt, reasaasd=Dfm; sadmmtimposingmntcmpt): (Attach an additional ahect ifnecessary.) . 15. Moventhas Aed= Vm( s) tnappaazaseovoscli nFloridastatecomiv daringthe post five (5) years in $e follawingmetteam (Attach an eddiEcralsheetifnecessM.) DateofMot asa m ion C Nae CastNumher Court Dab:Mation Granted/Denied N114 16. local cannse[ ofmcorrl associatedwi0rMovmrtimfhismattaris Rye e -1a,�. a� o�o7s63 who is ga acaveromberin good standing oflboFlorida (Nave and Plodda Hu Nvofic) y Barantdlusafficesat (I�ic �},� • 1�Wg-.C\ Cfe kk 17(`:JC ACYSC4.4.�d C�par�. tsr�aenda�,) FL 'S3�1y2. (CRY) 0.5>d 51u -ERRS Vibe) Op Cede) (rdepm=W1ma=eode) (Iflocal comsel is not in activsmamber of ThoFlodda Berio gondsnmding plmopmvide inEamedoa as to local counsel's membership status 1 17. Movanthas read the applieablepmvisions ofPlorids. Rule of judicial Adminishnfion 2.510 and Me 1 -3.10 nf8te Rules. RegulafingThePlocida Bar and catl£es thattida vedfxd motion complies withthmamles. I8. Movent agces to camplywith theprgvisions of Hue Florida Rules ofProiessimal Conduct end consents to tho jmisdiefim of the couria end theBaroMoState of Flarido. WBERBFORH, Movmtrrspectfaymgncats permission to appear in this amid forthis cause only. pATRD this day of_J fA W 20JLL. Movaot d /11+0 n nuil"JIVUL)UN S> Page 1 oft %W 211146 E HUNTINGDON ST ACCOUNT # 314138000 Assessment Tax LOOP Account Information OWNER($) O'BOYLE KELLY L MAILING ADDRESS 2146 E HUNTINGDON ST Philadelphia PA 191251427 PROPERTY UNIT None PROPERTYZIP 191251427 SALE DATE 8/1812009 SALE PRICE $193,500 HOMESTEAD $30,000 Property Characteristics LAND AREA 1,260 SgFt 1MPROVEMENT.AREA 1,548 SgFt IMPROVEMENT DESCRIPTION httn: / /nrnnertv.nhiln onv/ > ^ „1 „' —• /140 r;' rIu 1w4um.0N Ni ROW 2 STY MASONRY BEGINNING POINT 200'E OF COLLINS ST EXTERIOR CONDITION New / Rehabbed ZONING RSA5 Residential /Residential Mixed -Use Page 2 of 2 Certified Valuation History ASSESSED ASSESSED ASSESSED. ASSESSED MARKET LAND IMPROVEMENT LAND IMPROVEMENT TOTAL YEAR VALUE (TAXABLE) (TAXABLE) (EXEMPT) (EXEMPT) ASSESSMENT 2015 $138,400 $18,648 $119,752 $0 $0 $138,400 2014 $138,400 $18,648 $119,752 $0 $0 $138,400 2013 $27,800 $2,159 $6,737 $0 $0 $8,896 2012 $27,800 $2,159 $6,737 $0 $0 $8,896 2011 $27,600 $2,159 $6,737 $0 $0 $8,896 2010 $27,800 $2;159 $6,737 0 $0 $8,896 2009 $27,800 $2,159 $6,737 $0 $0 $8,896 Nate: The Department of Revenue is responsible for collecting real estate taxes. Please visit the Department of Revenue. Website (http: / /www.phila.gov /ievenue) for information regarding the billing, collecting and accounting of real estate taxes or call 215- 686 -6442. New Search View Tax Balances (http: /Iwww.phila.gov/ revenue /RealEstateTaxIDefault.aspx? bdBRTNo= 314138000) Submit an Inquiry (http: / /opa.phila.gov /opa.apps /Help /CitizenMain.aspx? sch= Ctrl2 &s =1 &url= search &id = 4406002146) httn! / /nrnn&jty nh9B on.+/ n IN'THE FIFTEENTH JUDICIAL CIRCUIT COURT IN AND FOR PALM BEACH COUNTY, FLORIDA CASE NO. 2014- CA- 003938AB « 4ERTiFfEb C0PY JASON WEEKS, 'CONDENSED Petitionex, vs. TOWN OF PALL] BEACH, Respondent. TRANSCRIPT OF 'TESTIMONY AND PROCEEDINGS HAD BEFORE THE HONORABLE THOMAS BARKDULL DATE: APRIL 10, 2014 TIME: 9 :00 - 10:30 A.M. PLEASANTON, GREENHILL, MEEK & MARSAA 561/833.7811 s 2 4 1 INDEX 1 PROCEEDING S- ' 2 TESTIMONY AND PROCEEDINGS 2 THE COURT. Jason Weeks vs. Town of Palm 3 APR0. 10, 2014 3 Beach, Who Is here on behalf ofthe plalmlV 4 6 WITNESSES FOR DEFENDANT 4 MR. MESA: Good morning, Your Honor. 6 DIRECT CROSS REDIRECT 5 GlovaN Mesa on behalf of plaintiff, Jason 7 DANIELLE OLLON B Weeks. 8 Sy Ma,Cooper 13 29 7 THECOURT, AndwhodoyouhavowHhyou7 By Mr. Mesa 25 B, Mr. Weeks? 9 10 SPENCER WILSON a MR. O'SOYLE: No, air. My name is Jon 11 13y Ms. Cooper 30 10 O'Boyle. I'm acting as Mn Mesa's law clerk. By Mr, Mesa 31 11 I'm a Pennsylvania lawyer. 12 13 KATHRYN DYSON 12 THE COURT: Let me ask you a quesgon, Mr. 14 By Ms. Cooper 33 13 O'BoAa. Anyralation to the O'Boyle in the By Mr. Mess 34 14 O'Boyle Low Firm, P.C.? 15 16 MR. O'80YLE Yes, Your Honor. 16 EXHIBITS 17 IN EVIDENCE 18 THE COURT: What's the relation? is 17 MR. OBOYLE That Is my name on the law 19 Respondent's Exhibit No. 1 37 18 linn. it's on lnlen;talsiewfirm. Letter 19 THE COURT: How do you — It's an 2D 20 Interstate law 8rtn with a Florida address? 21 Respondent's Exhibit No. 2 37 Emei s 21 MR.O'BOYLE: There's a Florida address 22 22 and a Pennsylvania address. 23 Petitioners Exhibit No. 1 30 23 THE COURT., And you're down here E•maps 24 practicing with a fine w1thout being a member 24 25 of the Florida Bar? 25 3 S 1 APPEARING ON BEHALF OF PETITIONER; 1 MR. O'BOYLE: No, sir. 2 Glavonl Mesa, Esq. 2 THE COURT: Are you a member o( the THE O'BOYLE LAW FIRM, P.C. 3 Florida Bar7 3 1286 West Newport Center Drive 4 MR. O'BOYLE: No, sir. Ogerfield Beach, Florida 33432 5 THE COURT: Why do you think you have any 4 6 APPEARING ON BEHALF OF RESPONDENT. 0 right to stand at thatiable7 6 Margaret L. Cooper, Esq. 7 MR. O'BOYLEi I don't have any fight other JONES, FOSTER, JOHNSTON & STUBBS, P.A. 0 than to assist Mr. Mesa. 7 505 South Flagler Orn 9 THE COURT: Good. You step back because Suite 1100 10 we're about to discuss the Illegal practice of 6 West Palm Beach, Florida 33401 11 Iawwhhout being a member of the Florida Bar. 9 10 ALSO PRESENT: Jonathen O'Boyle, Esq, 12 MR. O'SOYLE Yes, Your Honor. 11 ___ 13 THE COURT: Mr. Mesa, are you a member of 12 BE IT REMEMSERED.that the following testimony 14 the Florida Bar? 13 and proceedings were had In the above•antitlod cause i5 MR, MESA: Yes, I am, Your Honor. 14 before the HanombleThomas Sarkdull, in the Palm 18 THE COURT: How long have you been 'a 15 Beach County Courthouse, City of West Palm Beach, 17 member of the Florida Bar? is Slate of Florida, on Thursday, the 10th day of 17 April 2014, In Wit 18 MR.MESA: Sinca Novemberof2010. 1B ___ 19 THE COURT: Are you a padnerin the, 19 20 quote, O'Boyle Lawl'i m? 20 21 MR. MESA: I am nol, Your Honor. 21 22 THECOURT. How many attorneys are them 22 23 In the O'Boyle Law Finn? 23 24 MR, MESA: Four —five at the moment, 24 25 Your Honor 25 PLEBSANTONr GREENMLLr MESA & XbRSAA 561/833.7811 PLEASANMON, 6REENHILL, MEEK k MAAaAA 561/8.33.7811 6 8 , I THE COURT: How many are totaled In the 1 she admitted receiving an e,msll from Kathryn. 2 State of Florida? 2 THE COURT: Okay. So there's one amall 3 MR. MESA: Four, Your Honor. 3 at Issue, 4 THE COURT: Okay. Who are the partners In 4 MR, MESA: Thatwam aware of, Your 5 the Florida Gan? 6 Honor. 6 MR. MESA; Brian Wilmer and Jon O'Boyle, 6 THE COURT. And what date Is the dale of 7 THE COURT: This gentleman Is a partner in 7 that alleged email? B the Florida firm? 8 MR.MESAt It's MaySth. 9 MR. MESA: It's s mullf -state firm, Your 9 THECOURT: Ofwhatyear7 10 Honor. To be quite frank with you, I'm not 10 MR. MESA: 2011, Your Honor. 11 sure how Its Incorporated but l know that 11 THECOURT: May5th,2011. 12 Edon Wilmer is a partner In the firm and he Is 12 Ms. Cooper, what Is your clients position 13 a Fladda allomay, 13 on this? 14 THE COURT: Who's here for the defense? 14 MS. COOPER: Your Honor, there is no 15 MS. COOPER: I am, Your Honor, Margaret 16 emaill. Let me explain. And lheywere advised 18 Cooper. 16 that there is no a -mail Mr. Weeks is confused 17 THE COURT: Welcome, Ms. Cooper, 17 and IwOl explain what, happened. Mr. Weeks to MS,COOPER: Thankyou. 1e- glad a complaint with the HR department on 19 THE COURT: All right. Mr. Mesa, you— 19 May 5. Mrs, Olson Is Ilse HR director. 20 whols Ashley A. Richman? 20 THE COURT: Is Mr. Weeks an employee? 21 MS. COOPER: Ashles Richman Is a lawyer In 21 MS. COOPER: He was at the lime. He's. 22 the few rinn of Jones, Foster, Johnston 8 22 been terminated now and ware In other 23 Stubbs, 23 litigation with Mr. Weeks. 24 THE COURT: Iapologize, Igrabbed the 24 THE COURT: Okay. 25 wrong pleading. Let made what was Glad by 26 MS. COOPER: Mrs. Olson who is the HR 7 e 1 the plaintiff here who called my office 1 dlrectorwas al an impasse hearing across the 2 yesterday jumping up and down saying this is an 2 street In another building. Ms. Dyson 3 ameryency. 3 contacted her to advise her that a complaint 4 Mr, Mesa tiled this, Okay. Mr. Mesa, 4 had been Initiated by Mr. Weeks, Later on when , 5 what do you believe your client needs that your 5 Mrs, Olson was being Interviewed, It was about 6 client is not recelving other than one latter 6 maybe six, eight months later, whatever d was, 7 orange -m2117 7 she knew that there had been an a -mall a MR MESA: It's the Initial e-mail that 8 communicalion between she and Mm. Dyson and 9 was made between Kathryn and Danielle who are 9 she made a mistake and she mLlspoke and she 10 both human resources personnel with the Town of 10 cold l 1n11lally pot the Information by e-mail 11 Palm Beach. Your Honor, specifically twos a 11 from Mrs. Dyson. That wee a mistake, It was 12 request that was made by Mr. Weeks foranyand 12 either an Instant — 13 all emalls, (Messages, communications and any 13 THE COURT: Okay. 6o IN the town's 14 documents between Danielle Olson and Kathryn 14 position that, one, It doesn't MW7 15 Dyson, and as staled, both ofwhom are human 15 M5, COOPER It doesn't exist. And I 1S resource personnel With the Town of Palm Beach 16 apologize, l thoughtyou just wanted to heir 17 on May 6th, 2011. 17 Gram the lawyers today. Mrs, Olson Is an her 18 Your Honor, Mr. Weeks received a portion IS way to testify, she'it be here In Ova minutes. IS of en e-mail communication, an "ell chain, 19 It Just simply does not exist and we rant 20 that is. However, it it missing thelnlilel 20 produce what's not. 21 e-mail from Kathryn to Danielle. His 21 THECOURT: Okay. Itdoosnlexisfso 22 apparent just on a clear view of the documents 22 have you advised Mr. Mesa of this? 23 that were provided that the Initial amall is 23 MS,.COOPER: Wejustgolthlalawsuit 24 missing. In addition, YourHanon them is a 24 glad, Mr. Weeks was advised but l was atthe 25 mwrdedinlarvlswwlth Donlells Dlsonwhfch 25 2nd OCA arguing a case yesterday and this was PLEASANMON, 6REENHILL, MEEK k MAAaAA 561/8.33.7811 PL'EABAMOD7, r_m>.MM3:LL, b=K & UTAISAA 561/933,7811 10 12 1 ail happerdnli veryfest 1 was getarg ready! • 1 you go to law sohool7 2 to— 2 MR. O'BOYLE: Drexal Law UnNereky In 3 THE COURT., That's why l wanted to do It 3 Philadelphia, Pennsylvania, 4 very qulc* because It seems to be a really 4 THE COURT: Are you from Fladda 6 simple Issue. One a -mall, If It exists and 6 originally? 6 Its not privileged, It needs to be fumed B MR. O'BOYLE: Yes, Your Hanar. 7 over, If B doesn't exist, 8 d0030 exist, 7 THE COURT: Whereabouts?' 8 and l'B take testimony today and well B MR O'BOYLE Gullstmem, Florida 9 determine whether It exists or It doesn't and 9 THE COURT: Okay. Congratulations on 10 this was will be over. 10 passing the Florida Bar, Good luck on getting 11 Mr, O'Boylerheveyou moved to bb admitted 11 admitted. 12 pro hao vlw In Florida at 907 12 All tight. As Boon as ourwhrosas 13 MR, O'BDYI.V: Yes, Your Honor, 13 appear, I'll hearlostlmony. Just advise my 14 THE COUfM. Flow many limes? 14 deputy andwe'p deal with IL Yerygaod. 15 MR. O•BOYLE: Dom Your Honor. 75 (Theroupon, a recos was had.) ' THE COURT: My suggestion is If you think 18 THE COURT; Good morning and welcome, 17 you're going to keep a law firm In Florida and 17 everyone. Welcome back. Okay. We am hem on Is walkup to counsel table like you're counsel in 18 the case of Weeks va,Town of Palm Beach on 19 Florida that you take the Florida Bar. i9 mqueal for an emergency hearing on the Issue 29 MR. O'BOYLE: Yes, Your Honor. 20 of whetherpgbllc.records are available and 21 THECOURT: How long has your firm been 21 whethertheyshouldbe produced. I heardthe 22 operating down hem? 22 Initial arguments of counsel. The town's 23 MR. O'BOYLE: Since January, mld January; 23 position, as I understand h, Ms. Cooper, 13 24 Your Honor. 24 that they requested an a -mall that does not 25 THE COURT: Have you signed up for the 25 exist, Is that correct? 11 13 1 Florida Earysl? 1 MS. COOPER That is cored, Your Honor, 2 MR. O'BOYIE Yes, Your Honor, and 1 2 THE COURT. Okay. You may tali your first 3 passed it actually, 3 witness. 4 THECOURT. Congratulations. Whenamyou 4 MS; COOPER; I'll oil Danielle Olson. 5 belogswomin? 5 THECOURT: M*m, ifyou'll Please take 5 MR. O'SOYLE That is to be determined, 6 IhowNnesastand. Please watch yourslep, 7 Your. Honar. 7 THEREUPON, B THE COURT: Having Trouble with your a DANIELLEOLSON, 9 batk9mund check orwhy amnl you being sworn 9 called an a witness by the Defendent, having been 10 In If you passed the Florida Bar? 10 find duty awom by the Court, In answer to 11 MR, O'SOYLE: Yes, Your Honor, I posed 11 questions pmpoi n lad, was examined and testified as 12 the New Jersey Bar as wall and— 12 follows: 13 THE COURj. Well,we'renolln New Jersey. 1s THE COURT: Counsel, you may lnqulm. 14 MR, O'BOYLE: Your Honor, correct, but 14 M9,COOPER Thankyou,YourHonor, 15 FlorklalswahingforNewJeney.theV 16 DIRECTEXAMINATION 16 process to be completed until they wiA further 16 BY MS. COOPER 17 process my file. 17 Q Would you state your name, plasse? 18 THE COURE Have you been admitted In any 16 A Danlells Olson, 19 state? 19 C Mrs. Olson, what Is your pos�on with the 20 MR.O'BOYLEr Yes, Your Honor, 20 Town of Palm Baach7 21 Pennsyhgle. 21 A Dlraclorof human resources, 22 THE COURT: When Them you admitted In 22 q And have you been Involved In the search 23 Pennsylvania? 23 h response to Mr. WeeW public document request 24 MR,O'BOYLE: November 2012, Your Honor. 24 seeking "211a¢ahveen You and Mrs. Dyson — 25 THE COURT. November of 2012. Whom did 25 A Yes. ' PL'EABAMOD7, r_m>.MM3:LL, b=K & UTAISAA 561/933,7811 . lob S. I3f� S-1 Address Address Lae .yaIV -U-1�i @`6us3 qty, Statq Zip Code SW -7<rA 1D?, Telepboua Number STATROF 1. :F l.- 44A R, 't .dobaeby sivrar or etium uudrspcmaltYoi perjury that I em fh* Wvmtin the abowstyled matter, tbatIhavoread the foregoing Motion and knowthe contents thereof, and the =tcnte are tme ofmy owaknowledge andbelle£ lrfavent Ihereby crosam to be assodatedas local wtsel ofmcord'mr Olio cavaeputsamtt[o Florida Role of Judicial Adminiatmtion 2 .510. DATED tkis' �d dayof TAhaii.ey .20�. Local Counsel ofRecord M.M. W. NLgtt� (,eaelee ,- Address Address Case 9 :1,4-t\-80530 -DMM Document 25 Entered on FLSD Docket a r UNITED STATES DISTRICT COURT JUN 17 1013 0 a EVEN SOUTHERN DISTRICT OF FLORIDA e aFOyunrM�E oisr Case No, 13.80530- 905/30- MIDDLEBROOKS MARTIN E. O'BOYLE ! 3- 50�3o Plaints$ VS. TOWN OF GULF STREAM Defeddant. MOTION TO APPEAR PROXAC WCE. CONSENT TO DESIGNATION .AND REOUEST TO ELECTRONICALLY RECEIVE NOTICES OF ELECTRONIC FILINGS In accordance with Local Rules 4(b) of the Special Rules Governing the Admission and Practice of Attorneys of the United States District Court for the Southern District of Florida, the undersigned respectiirlly moves for the admission pro hac vice of Jonathan R. O'Boyle of 2146 E. Huntingdon SL, Philadelphia, PA 19125, 561- 758 -1223, for purposes of appearance as co- counsel on behalf of Martin E. O'Boyle in the above -styled case only, and pursuant to Rule 213 of the CMSCF Administrative Procedures, and to permit Jonathan R. O'Boyle to receive electronic filings in this case, and in support hereof states as follows: 1. Jonathan R. O'Boyle is not admitted to practice in the Southern District of Florida and is a member in good standing of the Pennsylvania Supreme Court (PA Barli314500). 2. Movant Robert S. Gershman, Esquire, of the law fimt of GER$HMAN & GERSHMAN, P.A, 2160 W, Atlantic Avenue, 2d Floor, 561 -684 -8898, is a member in good standing of the The Florida Bar and the United States District Court for the Sormhem District of Florida, maintains an office in this State for the practice of law, and is authorized to file through the Court's electronic filing system. V, 2AJ;�•;� Case 9:13 -cv- 80530 -DMM Document 25 Entered on FLSD Docket 0611712013 Page 2 of S Movant consents to be designated as a member of the Bar of this Court with whom the Court and opposing counsel may readily communicate regarding the conduct ofthe ease; upon whom filings shall be served, who shall be required to electronically file all documents and things that maybe filed electronically, and who shall be responsible for filing documents in compliance with the CM/ECF AdministmtiveProcedures, See Section 2B of the CMIECF Administrative Procedures. 3. In accordance with the local rules of this Court, Jonathan R. O'Boyle has made payment of this Court's $75 admission fee. A certification in accordance with Rule 4(b) is attached boreto. •4. Jonathan R. O'Boyle, by and through designated counsel andpursuant to Section 2B CM/ECF Administrative Procedures, hereby requests the Court to provide Notice of Electronic Filings to Jonathan R, O'Boyle at email address; Jonathamnboylr@gmail,com. WHEREFORE, Robert S. Genhman, moves this Court to enter an Order Jonathan R. O'Boyle, to appear before this Court onbebalf ofMartio E. O'Boyle, for all purposes. relating to the proceedings in the above -styled matter and directing the Clerk to provide notice of electronic filings to Jonathan R. O'Boyle. Date: June 17, 2013 Respectfully submitted, R art S. G_ �msh)—man Flo 'da Bar No. 91,7397 Robert@rglawt-maus GERSIWAN & GERSHMAN, P.A. 2160 W. Atlantic Avenue, 2d Floor Delray Beach, FL 33445 (561) 684 -8898 (telephone) (561) 998 -5868 (facsimile) Attorney for Martin E. O'Boyle Case 9:13 -cv- 00530 -DMM Document 25 Entered on FLSD Docket. 05 /1712013 Page 3 of S UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA Case No. 13- 8 0 5 3 0- Civ-M@DLEBROOKS MARTIN R O'BOYLB Plaintiff,. VS. TOWN OF GULF STREAM Defendant. CERTIFICA77ON OF JONATHAN R. O'BOYLE Jonathan R. O'Boyle, Esquire, pursuant to Rule 4(b) of the Special Rules Governing the Admission and Practice ofAttomcys, hereby certifies that (1) 1 have studied the Local Rules of the United States District Court for the Southern District of Florida; and (2) I am amember in good standing of the Pennsylvania Supremo Court. M,, reV O'Boyle rg314500 Case 9:13-cv- 80530 -DMM Document 25 Entered on FLSD Docket 06/17/2013 Page 4 al 5 CERTIFICATE OF SERVICE . IHEREEY CERTIFY that atrue and correct copy of the foregoing Motion to Appear Pro Hocc Kee, Consent to Designation and Request to Electronically Receive Notices ofElectmnic Filings Was served by uploading same to the'Ch4/BCF. SERVICE LIST Josnne M. O'Connor joconnor@jonesfostu:wm JONES FOSTER JOHNSTON & STUBBS,.P.A. 505 South Flagler Drive Sulto 11 DO West Palm Beech, FL 33401 561-659.3000 (talcphaue) 561 -650 -5300 (famimlle) Attorneys for Defenda t Town ofOulfStmam Case 9:13 -cv- 80530 -DMM Document 25 Entered on FLSD Docket 06117/2013 Page 5 of 5 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA Case No, 13- 80530•CIV- MIDDLEBROOKS MARTINE. O'BOYLE Plaintiff, Vs. TOWN OF GULF STREAM Defendant. ORDER GRANTING MOTION TO APPEAR PRO HAC VICE, CONSENT TO DESIGNATION AND REQUEST TO ELECTRONICALLY RECEIVE NOTICES OF ELECTRONIC FILING THIS CAUSE having come before the' Court on the Motionto AppearPro Hac Vice farJonathanR, O' Boyle, CormnftoDesignation, and Reque MEtecttonicalIyRecelveNotices of Electronic Filing (the "Motion"), pursuant to the Special Rules Governing the Admission and Practice of Attorneys in the United States District Court for the South District of Florida and Section 213 of the CMIECF Administrative Procedures. This Court having considered the motion and all other relevant factors, it is hereby of Florida. ORDERED OR ADJUDGED that: The Motion is GRANTED. Jonathan R. O'Boyle, may appear and participate in this action on behalf of Martin E. O'Boyle, The Clerk shall provide electronic notification of all electronic filings to Jonathan R. O'Boyle at Jonathmraboyle@gmail.com. DONE AND ORDERD in Chambers, West Palm Beach, Palm Beach County, Southem District of Florida, on June , 2013, DONALD MIDDLEBROOKS United States District Judge Copies Annished to: All Counsel of Record Case 9:13 -cv- 80530 -DMM Document 27 Entered on FLSD Docket 06/19/2013 Page 1 of 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.13- 80530- CIV- AMDLEBROOKS MARTIN E. O'BDYLE, Plaintiff, Vs. TOWN OF GULF STREAM, Defendant. 'i o THIS CAUSE comes before the Court upon a Motion to Appear Pro Hac Vice, Consent to Designation, and Request to Electronically Receive Notice of Electronic Filings (DE 25) ( "Motion "), filed June 17, 2013. The Court has reviewed the record and is fully advised in the premises. Pursuant to Local Rule 4(b) of the Special Rules Governing the Admission and Practice of Attorneys in the United States District Court for the Southern District of Florida, the Motion requests permission for the limited appearance of Jonathan R. O'Boyle, of 2146 E. Huntington St., Philadelphia, PA 19125, as co- counsel on behalf of Plaintiff in this matter. The Motion has been properly filed with the required documentation, and the attorney appears to be in good standing. Accordingly, it is hereby ORDERED AND ADJUDGED that the Motion to Appear Pro Hac Vice, Consent to Designation, and Request to Electronically Receive Notice of Electronic Filings (DE 25) is GRANTED. Jonathan R. O'Boyle may appear and participate as co- counsel in this action on behalf of Plaintiff. The Clerk shall provide electronic notification of all electronic filings to Jonathan R. O'Boyle at ionathanrobovlee mail.com. DONE AND ORDERED in Chambers at West Palm Beach lorida, this /09 day of June, 2013• UNITED STATES DISTRICT JUDGE Copies to: Counsel of Record E 1. f i l Y S I , UNI'1Tc15 STATES DISTRICT COURT F xniE SOUTIIRF,N DISTRICT OF nORMA wES'T PALM BEACH brVI$ION CASE NQ; lir13- cv,81053 -41i C13Tt1S O'HARi Plajntiff, Va. TOWN OF GULF STREAM et, al. Darimastuts. MOTTONT7OST A IPPr A'R1,2OjV 'SBYTO ]gs' Ti ANDREQTTiFMTO LCTRONCA1VRTP,CrTVr NOTT. ORT ()Mr Te Mr, in accordance with Local Rules 4(b) of the Special Rules Oovoming the Admiksion and Practice ol'Attomeysofthe:United States District Court far the Southern District of Florida, theuudcrslgndd respectfrdly modee'for the admissienproltaevieeof Jonathan R . O'Boyle of2146RIlunfingdon. St,, Philadelpitla PA 19125, 561- 758 -1223, For purposes ofnppeamrico as oo- cormsol on behalf of Chrls O'llare In the above - styled case only, and pirrsgant to Rule 213 of the CM/ECF Administrative Procedures, to permitYou dhau R. Q'Beyloto recotve•elccltonic filings In this.ouse, and hisupport thereof states as follows: Jonathan R. O'Boyle is not admitted to praotfoo in the Southern District of Florida and is a member in good standing of the Pennsylvania Supreme Court (PA Bar# 314500). Tire undgesigned is a member in good dtonding of the Th &Florida. Bar and the United States District Coutt for tiro Southern Disirict of Clorida, maintains an office in this State for the practice of taw, and is authorized to file through the Court's electronic filing system. Movant ponsents to be designated as a member of the Bar of this Court with.whom the Court acd Opposing counsel may readily communicate regarding the conduct of the case; upoa whmh filings shall be served, who shall be required to electronically file all documents and things that may be filed oleotronically, dnd who shalt be responsible fat filing documents in compliance with the CM/BCF Administrative procedures. See Section 2B of the CM /5CF Administrative Procedure, ' ;. F JAN 13 2014 , - 3. In accordance with idle, local. rules of this Court, Jonathan R O'Boyle has made paymantof this Court's 475 admission, foe. Acertification. in secordance tivlih lisle 4(b) is being fired eantemporaneously wide this Motion. A copy is attached hereto, 4. Jonathan R. O'Boyle, by and through designotbd counsel and pursuant to Section 213 CIYYBCF Administrative Procedures, hereby rdquesfs the Court to proJide Notice ofTaleotmnio Filing to Jonathan R. O'Boyle at emoil addmss: fonathanmboylc@gmail.com. WHEREFORE, Mark J. Hanna moves this Court to an ter an Order p slitting Jonathan R O'Boyle to appear before (his Court on bob alf of Chris O'Hare fpr all purposes reldting to the pr6'eeadings In the above -Ayled matter and directing the Clcrk to proyido notice of eleotroblo filings to Jonathan R. O'Boyle. 30 9101 a Q I HEREBY CERTIFY that an January 10, 2014,1 filed the foregoing 4ocumeut with the Cleric of Court via conventional method due to the nalute of the motion. T fbrlher certifyllaat matted tlto Cregoing documentvla prepaid first cinsi U.S.rnailto the following: Nochaol R Piper CWistopherJ. Steamg JOHNSON, ANSELMQ, MURDOCN, BW=R , PIPER & HOCMYfAN, P.A. 2155 East Suariso Boulevard, Salto 1000 Fart,Lauderdalo, Florlda 33304 Tolophone.: (954) 463 -0100 pipuQjataabg.cam ateorrts(ajambg.00m Dated., Juhuary 7, 2014 OMV4&f :DTSON P.A. 4.Q1 South,GVltply Rua, Palm Bga 3 80 Ta1.5 611 -a) 999 i Flo0a Bar'Np. 0o4525 i 561 -721 -8284 (cell & text) UNnUD STATES UISTRICT COURT FORME SOUTHERRNDISPRICP OF FLORIDA WWTPALrdRAACfl DnTnON CASE NO: 9:13- Y.91053.RLR wn� Flalgtifl, vs. TORN OF GULF STREAK eL aL Dolbudauts. Ism.0 Btu Y gP' 1e: YI cat 1:11 Jonadma R O'Boyly Fsgpfro, pursuant ta Rgie 4(61 of Due Special Rules Oovemiugtm Admlulary end PrscOco OfAtomeys, herolry cetfigeP Chet( )Ilu va studied the LOCeI Rules dithaUuw States Disttfot Cause for the Southem District ofFlprlda, and (2) Tqm a member ingwd standing of the pennsylvmlin Supranl a Cwrt Iroadhgn O'Boyl Beq. Jonathan R. O'Boyle, P.C. 2146E Huntingdon SL Phhloddlpldi, PA 19125 161;561 -7$$ -1223 FW215 -553 -3641 Pwnsylvenia BnNm314500 1 HERBBY CERTIFY dint on January 10, 2014, I filed the foregoing dnmtmwtwltih We Clerk of Carat viauomreritonal method due (q the nature of the motion. I Ruther certify Met mulled the foregaing documentviapropoid first alms US. mail to the fbllowing Mlolhdol IL Piper Cl rlsmplag1. Stoums JOHNSON, ANMUO, MURDOCK BURKE, PW9S. &HO.CIAQAN, PA. 2455 But SunriseB'wlevord, Suite 1000 Fort wderdala, Florida 33304 TPlapboaw(954) 463 -0100 piper(rr mnbg.com slenms&ambg.wm Dialed: January 1, 2014 ONSWAUMON P.A. 401 South Cwnry Road #3272 Pohn Boacb FL334S0.9991 TC1:561.22i -9990 Me* J. Mesa Vmlda73uNo. 0045251 561. 7,23 -5234 (call #t text) mhmmaQg3mlM'wm w UNMI) STATES DISTRICT COURTFOR TLTE SOUTMR -N DISTRICT OF FLORIDA WRST PALM BLACII DIVISION CASE NO.9x13- ev- S105A -T<LR ,Nat767�7i:i:SiTr Plaintiff, VS. l OWN OF GUM? STREAM et al. Defendaat4. THIS CAUSE having conic before ibb Court on.the Motion to Appear Nn Mm Vice for Jonathan R, O'Boyle; Consent to Designation, and Request to Eleetrohically Receive Notices of Elcolmnic Filing (the "Motion "), pursuant to tho Special Rules Caeveming vre Admission and Prowled ofAttomays in vie United States District Cohltfor the Southern Dist lot ofPloridaand Section 2 B ofthe CMIECF Administrative Procedures. This Court having considered the motion and all other relevantf4etors,itis hereby ofFlorlda ORDERED OR ADJUDGED that The Motion is GRANTED. Ionnthan IL O'Boyle, may appear and participate is this nation on behalf ofChrlsO' Hare. The Clark sh" provldoelectmnicnotificadot rof all electronic filings to Jonathan R. O'Boyle at jbmthanmboylc@gmall,com. DONE AND ORDEREp is Cbambers, WestMan Beach, Palm Beach County, Soulhem District of Florida, on January 2014, KENNM'H L. RYSI <AMP United States District Judge Copies famished to: All Counssl of Reoord Find Lawyer, Attomey, Law Firms, Attomeys, Legal Information. LegalDirectories.com Page 1 of 1 A 11 yoJn e l wi✓P lm a pdul Od•adr ae m' meoonreM neamr a eau& •vu:IN 1•1.08411437ava.116 Lgjal Medgioa PubRSIPrg GYncary. Ue., Ma benPlG,aMgalJa legal dvaaonaa seed I93B and Av yrblmbha Amede84uges (PulUor, of Stall ohaames i'4^i Me. .1a:y rdr.e, :swaur Find a LaWyar Search.Results By LamUan Areas of Pnetiee W.I.ef Ucenaa: FL Eapara A Servica9 Postal Code: 95683 Products Caunly"Fulsl: Palm Beach County Attoney❑sl Name: Watt. Boone store Anomoy Flat Nama: Jonathan Bar Unim Besblaimcf4y, ABOmays Lesl Name About Us No rssulh found. Phan ty. dlaetenl soamh cdn�h- Contact Us Bisclnlmer atom Iv SavmlY Privacy Policy Advance Seerdh taaNpl[eu[a aiynw Full a VA, 1 =y1 1.1egol;.r nIarr.aol4•. •all'llhlu].duhoq Nang Ilan;,nrr �r- prNil 'n8id (ppit•n LA3!'. J�ES' 1�_ 1PO.^ ��: Y. 1L- '•.'!:lrf.'ISlentj¢ti.r.NIY.Jnb naervN �ycss� Ussnfildil"ve104edml.s c Wba' and Ne Wlmmetlon mnleimdbsraNh eobleq WNalesiria!ans and (mutdopstlesrnbod'e1JpS1LIIL ", andYY�lr..a<1 Pp:y. eyaoxaiip LagflVw4onu.rnm, the usersdalanledaea and agreas igbe bound Lyn A SCaRn ,U_ +F • *a p�y.0.Y ?F?rl' le9el'04caodm Pubashind Cemymy.6lt. -9111 Padapd AWd. MrAl Tera4 79214 • (dept dd739r9'12161321333 r http t / /Www.legaldireetcrries,com/ Search .aspx?Sesrch0pt= B &SearchFor -0 &Biome -0 &State,.. 4/21/2014 Jonathan Reilly O'Boyle - Lawyer in Gulf Stream, Florida (FL).Palm Beach County - lega... Page 1 of 1 • •- - 16 11 rise. a.ay.,ts. aawNuranbwml ao. Inlwmpbm an hew b. pmw • yaw aer.! bun. pbea all s 8n0a SpeoaWUt 1400 -$474;71 eft 118 IJ•4t tmri• rF .rv^pe /%)C /ILLu14i.IlL..nb.lY9Y1 P1d*1YJ1$l7.ao••,y:P aotorpeo'Sat -e i9.I6:arn Na Y�•• Nh :�:tW NfV•l�V.'yl' ie 1I 111a1iWE11451.P9 Mm1 • .L:,oal 7 pin M4.3to% G1T find a Lawyer Mr. 1111111 Lg.1.1 m M. a Ptelid. GUY so... pull. U.n. By Location Jonathan Reilly O'Boyle uP aelew4P.11a. Areas of PrUC11 se Enperta 8 Services Products J.nefles11':9410.Ooylaisa Lewyuin FlOdde, Gull Susan Online Store Bar Links (PCaasJ•fYiele Ord of Stela Lptln9) About ua Jonathan Reilly O'Boyle Contact tie 23 N Hidden Harbour or disclaimer Gulf Stmem, PL 33483 -7244 Privacy Policy Palm Beach County Advance Suarch Contact Jonathan Reilly o•eayje (581) 758 -1223 the 1poraeear mptne r;�IJU•yc'IPyLanl'z1G:!dea Savesal Mup L• Pnc4a IMM01,19Laks,1111IMe IDn ,gte- LF10iNL 0idfl; yJ., T.. JU :4.;ar5r;...E_Irt�Irc.ThSa9L17L1 Fgl1•.MaAhgMw.rvnd gJ cu; Ike d th. > A. It'd 41, 6drnni5oll r:.1tN1cd hKnin Is subject •u the reslikkns and P:nlallfna duenlnd In T••.n or 11.9 and pnne Poll,, Ey• et'6•a rr from LaP]fJll'- 3100c:'L liai tiger ddlnoyAodaty al•dbJ.as 10 be bYund by ai,l 1rjML.t!4jq any PH, n" polld L,.X: D'r,;•v -Ya rpiPoY -tg C,vi T 1. It,: - 9111 G01ba1d Rmd: Delete Ton 75218 — - .11447.5375 J214) 221-123, TOWN OF GULF STREAM PALM BEACH COUNTY, FLORIDA Delivered via e-mail November 1, 2014 Commerce GP, Inc. [mail to: records @commerce- group.com] Re: GS #1206 (716) Provide all Public Records pursuant to which Attorney Sweetapple relied upon to make the statements that he made in numbered subparagraph 4j. (excluding subparagraphs 4, 4a., 4b., 4c., 4d., 4e., 4f., 4g., 4h., 4i., 4k., 41. And 4m.) of the Defendant's Motion For Sanctions Against Plaintiff, Martin E. O'Boyle, Counsel of Record, The O'Boyle Law Firm, P.C., Jonathan O (sic) And William Ring, Esquire, which was filed by Attorney Sweetapple. A copy ofsubparagraph 4j. of the referenced Motion is attached. Dear Commerce GP, Inc. [mail to: records(@,commerce-group.com letter provides you with the full production of public records you have requested on July 31, 2014. Your original request can be viewed at the following link: http://www2.gulf- stream .org /WebLink8 /0 /doc /17385/Pa ee l.aspx. You can find the responsive documents at the same link. We consider this matter closed. Sincerely, Town Clerk Custodian of the Records