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HomeMy Public PortalAboutPRR 14-1223V 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 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 Detail by Entity Name Detail by Entity Flame Forelan Profit Corporation THE O'BOYLE LAW FIRM, P.C., INC. Filing Inkmiatlon Document Number F140000006M FEBEIN Number NONE Dale Filed 02/10/2014 State PA Status ACTIVE 1288 FL 33442 Changed; 02/14/2014 Mailing Address 2148 E. HUNTINGDON STREET PHILADELPHIA, PA 18195 Realstered Anent Name & Address NITMER, RYAN L 1288 W. NEWPORT CENTER DRIVE DEERFIELD BEACH, FL 33449 Address DP E. HUNTINGDON STREET yDELPHIA, PA 19125 Annual Reverts No Annual Reports Filed Pago 1 of bttp:tl se= h. sunbiz. orgll nquity/ CotpomtionSeamh/ SenrchResultnelnVFSditvNnmrlfnm r andr)w 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 Lawfirm: Other Organization: District: O County: Out -of State Public Access 23 N HIDDEN HARBOUR DR Address: GULFSTREAM, FL 33483 Tel: 1 758 -1223 Fax: Professional Liability I do not maintain Professional Liability Insurance pursuant to the provisions of Rule of Insurance: Professional Conduct 1.4(C), but I do have private clients and /or a possible exposure to malpractice actions. Comment: Discipline: 02W7.2014 The Disdplinary Board d the Supreme Cmrt or Pamsylvanie. I eiadalmer Fw questbm or m memo regarding the webaile, please mraad us at web.suppor flp urla.us 11/) 0 PA Attorney Information I Pennsylvania Disciplinary Board Page 2 of 2 PA Attorney Information Jonathan Reilly O'Boyle PA Attorney ID: 314500 Current Status: Active Date of Admission: 11113/2012 Lawflrm: Other Organization: District_ O County: Cambria Public Access Address: 1001 BROAD ST JOHNSTOWN, PA 15806 Tel: 661 768 -1223 Fax: Professional Liability I maintain, either Individually or through my firm, Professional Liability Insurance pursuant to the Insurance: _ provisions of Rule of Professional Conduct 1.4(C). Comment: Discipline: ©2007 -2014 The Disciplinary Board of the Supreme Court of Pennsylvania. I Disclaimer For questions or comments regarding the website, please contact us at web.support(ftacourts.us. http : / /Www.padisciplinaryboard.orgl lool c- up /pa- attomey- info.php ?id= 314500&pdcount =0 5/29/2014 " r r. INTHEancu1TCOURTOF Tim 15mJIIDICiacmcu r 7NAND FOR PALMBEACII, COUNTY, FLORIDA CMUSfOPHEELF, WHARH Pl�@ff VS. TOWN OF=SMIAU. WRLIAMH.IBRASHE& Dcfmdmt CaseNo.2014CA000720 Division Al VERIFIED MOTIONFOR ADMISSION TO APPEAR PROZUC WCR PDRSUANTTOFLORIDARULR OFJUDICLSLADMI1,MTRATION2S10 Comps mw.XMATHAN R. O'BOYLR Hlnvmthereio, mdresprLWyrepmsenm the following 1. Afa mtJomtl= P O' Boyleisdomiciledmdp %mmentlyraidmiaLONOPORT, NEW JERSEY. Movmtis not a penhament resident ofthe State ofMotida. Movmt Jonathan R. O'Boyle is a tempomry msident of ft State ofFlorlda and has an applicatimpendingfor admisstian to TbaFlorldaHermd bas mtpreviomslybem denied admissiom toZhe Florida Har. 2. Movant ism Attamey and amemberof the law fieu of(orprac6ees lawunderthe name Done O'BovlelAW Flan, P.C. (Fmmedv known as Jonat*_ n R. O'Boyle P C) wiih officesat21445 ontimedoa SL Philadelnlda PbRadelmhia Pemw3vada 19125 551- 758 -1223 (County) (State) (Zip Code) (Telephmo) 3. Movanthas beenretained peaanallyoras amember of the aboveaemed lair Snn an Jarmary 10.2014 by H attomeyLou Roeder (DateRepmeaation Commened) (NmeofPadyorPartieL topmvideIegelapresmtafion In connection vridtthe abovo-styled matter nowpeadingbofare the above-oamed courtof the State of Florida 4. Movmt ism active memberiu good standingand emrmtiy eligrible to pratdcelawia Em the following jmisdiction(s): Include, ettomey orbermanbec(s). (Attach as additional aheetif necessary.) . 1' ! JURISDICTION ATTORNEYIBARNUNMER 5, Theeare no disciplimyproceedings pending against Mavmt, except as provided below (givojudsdiction of disdplinary action, date of disciplinary action, vamnaof(bo violation and the smctioR ifauy, imposed): (Attache¢ additional s�heetifaecusary.) 6. V/ithh the past &o (5) years, Movantbas not baeasubjeat to my disciplinary proceedipp, except as provided below (give jurisdiction ofdisciptinary action, date of disaplinacy action, mmnoftbe violation mdibe sanction, ifsny, imposed): (Attach m additional shat ifnecessary.) ' 7. Movautheari verbeensul�cotto aaysuspeasioaproceedmgs. except sa ptovlded below(givcjmisdiction of4isciplinary action, data ofdiseiplineryactio t, nature of the violation and the sanetion,.ifany, imposed): (Attach an additional sheet if necessary.) . 8. Movant has never bcensubjectto any disbarmeatpmcecdwb�s, emeptas provided below (givaimisdictieo.of disciplinary action, data of discplinazy action,natum oftheviolatlon and the smcfim ifdny, imposed): ( Attach an additional sheetifnecessary.) VV %� . 9. Movant, c4ber byreslgcetton, withdrawal, ar o0mrwise, neverhas terniexted car attempted to temdaste Movaat's office as an attomoyia order to avoid admiuistmtive, disciplinary; disbarmm; orsuspeosignproceedinga 10. Havant ismtaninac(iva mcmberofTbeF7aride.Ber. Il. Havana is mSnoWamembe[ofTha FloridaBar. 12 Movantis note suspendedmam — =ofThs Florida7lar. 13. Movantis not a disbo¢ed member o£Thc FloridaBaraor has Movantreceived a discipliaaryrdiguationfmmThe Mri4Bar. ' 14. Movaathea notpreviouslybeaa disciplined orhdd is mntemptby=maof misconduct rommhtcdwhiEe cagagedin repccseatafioaputsveatta Florida Rule of Judicial Adarinistrsdon ZS10, except as ptnvidedbelow (give dato ofdisciplinary action or contempt, reasons themfor, and comtimposing contempt): (Attach an additional sheetifnecessary.) , , , . . . 15. Movanthas 5ledmobon(s) to appear as couaaal laFtorida. state courts dudog the past five ($ycm in the followingmatfers. (Attach an additional sheetifnecessazy.) Dateof�Mlottioon Case Nana CaseNumher Court Date Motion Qranted/Deoied �h1— 16. Local counselofreconl associated with Movantinthismatteris RG •lj,� e�+ 0�Di563 who s a nactivemrmberiegopdstandngofThohlodda (Name aad Plodda 8 ss Num6m) Bar eodlus offices at MIMP ln]• Nfa�oa'( cfp � ljowt ee4 m"es') (city) 95u -57u -BARS tam") (Zip coda) lidvh— pithmmarts) (If local counsel is not an activemember ofThoFlodda Bain good staeding, pleasepmvide information as to local emmsel•s membership statue 1 17. Movantires read the npplicableprovisions ofFloridaR ale of Judicial Adminia.,gon 2510 and Kyle 1 -3.10 e£ga AvIes RegtdalingTttePlorida Barmd ceadfies that.thia ve[ilied motion complies with.thwemlm. 18. Movant agates to complywith theprpvisiooe of the Florida Rules ofFroiemionet Conduct and weeseatsto the judsdietion of the courts and the BaroftheState of Florida. VATEREFORB, Movantrespec tfidlyrequestspennission to appear in this court for Us cause only. DATED tide day of t4nvKrw z� d Case 9 :1 - 80530 -DMM Document 25 Entered 0n FLSD Docket 06/17/2013 Pag eril 01 FILED by UNITED STATES DISTRICT COURT JUN 17 2013 cCp� SOUTHERN DISTRICT OF FLORIDA amei erERK II Mar 8•e, 'yec�t- Cast No, 13.80530- M- MIDD OF LEBROOKS "Wen !3- Uc3o MARTIN E. O'BOYLE Plaintiff, VS. TOWN OF GULF STREAM Defendant. MOTION TO APPEAR PRO HAC VICE 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 respectfully moves for the admission pro hoc vice of Jonathan R. O'Boyle of 2146 E. Huntingdon St, Philadelphia, PA 19125,561-758-1223, for purposes of appearance as co- counsel on behalf of Mattln B. O'Boyle in the abgve -styled case only, and pursuant to Rule 2B of the CM/ECF Administrative Procedures, and to perritit 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 Bart1314500). 2. Movant Robert S. Gershman, Esquire, of the law firm of GERSHMAN & GERSHMAN, P.A., 2160 W Atlantic Avenue, 2d Floor, 561 - 684-5898, is a member in good standing of the The Florida Bar and the United States District Court for the Southern 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 VF71 ' __144`1; Case 9:13 -cv- 80530 -DMM Document 25 Entered on FLSD Docket 06/1712013 Page 2 of 5 Mgvaot consents to be designated as a member of the Bar of this Court with whom tho'Court and Opposing counsel may readily communicate regarding the conduct oftho case; upon whom filings shall be served, who shall be required to electronically file all documents and things that maybe filed electronically, andwho shall be responsible) for filing documents in compliance with the CM/ECF AdministradveProoedmes. See Section 2B of the CM/ECF Administrative Procedures. 3. In accordance with the local rules of this Court, Jonathan R. O'Boyle has matte payment of this Court's $75 admission fee. A certification in accordance with Rule 4(b) is attached hereto. •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; Jonathanroboylr@gmail.com. WHEREFORE, Robert S. Gershman, moves this Court to enter an Order Jonathan R. O'Boyle, to appear before this Court onbehalf of Martin 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 Respectfiilly sgbmitted, P ert S. Gershman Flo 'da Bar No. 91,7397 Robert@rgiawfirm.us GERSHMAN & 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- 80530 -DMM Document 25 Entered on FLED Docket. 0611712013 Page 3 of 5 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA Case No. 13- 8 0 5 3 0- Civ- MMDLEBPOOKS MARTME. O'BOYLE Plaintiff,. VS. TOWN OF GULF STREAM Defendant CERTIFICATION OF JONATHAN R. O'BOYLE Jonathan R O'Boyle, Esquire, pursuant to Rule 4(b) of die Special Rules Governing the Admission and Practice of Attorneys, hereby certifies that (1) I have studied the Local Rules of the United States District Court for the Southern District of Florida; and (2) I son anumber in good standing of the Pennsylvania Supreme Court. P 9AtCy Oyrg374500 Case 9:13 -cv- 80530 -DMM Document 25 Entered on FLSD Docket 06/17/2013 Page 4 of 5 CERTIFICATE OF SERVICE . IHEREEY CERTIFY that atrue and correct copy of the foregoing Motion to AppwPm Xnc Trice, Consent to Dcsigoation and Request to Electronically Receive Notices of Electronic Filings was served by uploading smo to the'CWECF. SERVICE LIST Joanne M. O'Connor jaconnw jonmforier.cam JONES FOSTER JOHNSTON & STUBBS,, P.A. 505 South Magler Driw Suito 1100 West Palm Beach, FL 33401 561 -659 -3000 (telephone) 561 - 650- 530D(faratmile) Anomeys for Defendant Town ofOulfStm= 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- 60530- CIV- MIDDLEBROOKS MARTINS. 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 comebeforethe Court on the Motionto AppearPro Hac Vice forSonathanIt. O'Boyle, CoesarttoDesignation , and RequesttoFlocU nicallyReceiveNotices of Electronic Filing (the "Moti& ), 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 2B of. the CMYECF 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 Jormffmroboyle@gmail.com. DONE AND ORDERD in Chambers, West Palm Beach, Palm Beach County, Southern District of Florida, on June , 2013. DONALD MIDDLEBR05KS United States DistrictJudge Copies flunished to: All Counsel ofRecord 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'BOYLE, Plaintiff, VS. TOWN OF GULF STREAM, Defendant. rn 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 IL O'Boyle at ionathanroboyle(g4mail. com. DONE AND ORDERED in Chambers at West Palm" each lorida, this day of June, 2013, UNITED STATES DISTRICT JUDGE Copies to: Counsel of Record Y l ) i 1 Y i S I UN=f) S'CATES DISTRICT COURT FORTHE SOU1BM1 RN DISTRICT OF FLORIDA wES'f pAl:xBBACHbrMl:oN CASD Nor 9:13- cv,81053 -49 CMUS Q'HAPM . Fla{atiff, VS. TOWN OF GOLF STREAM et, al. Defendants. T" iP T .TV N i 'i RF MINC, . In accordance wM Local Rules 40) of the Sp o ul Rules Qoveraing the Admits !on and Practice ofAttomeysofthe:United States District Count far the Southern Districtof Florida, the uudcrsigned respectfully modes'for the admission pro liae vice of Ionathan R. O'Boyle of2146 Lr.1huntingdon St., Pldlndelphla PA 19125, 561 -75& 1223, for purposes of appearance as oo- corursol on behalf of Chris O'Hara In the above- styledosse only, and ptirsaant to Rule 2B of the CM/ECF Administrative Pracodures, to permitlouuthan R.O'Baylote Mcolvaelcatonic filings in this.oase, and iasupport thereof states as follows: 1. Ionalban R. O'Boyle is not admitted to practice In the Southern District of Florida and is a meoillw in good standing of the Pennsylvania Supreme Court (PA Bar* 314500). 2. Die undersigned is a member in good drending of the Thdflorida Bar and the United Stales District Court for the Southern 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. Movant consents to be designated as a member of the Bar of this Court with whom the Court and Opposing connsel may readily nommunhoateregarding the conduct of the case; upon wlimh filings shall be served, who shall be requircdto electronically fi I a all documents and things that may be filed electronically, dnd who shall bo responsible for filing documents in compliance with the CM/BCF Administrative procedures. See Station 213 of the CM /SCP Administrative Procedure, CEI i F JAN I a 2914 'H v-A .s •�Y. 3. In accordance with the local, rules of this Court; Jonathan R- O'Boyle has made paymentof this Court's $75 admission,foe. Acertificstion, in accordance with Rnle 4(b) is being filed eautcmporaneously with this Motion. A bopy is attaeltod hereto, 4_ Jonathan R O'Boyle, by and througlh designatbd copnsoi and pursuant to Seaton 213 CWBCF Administrative Procedures, hereby requests the Court to provide Notice ofHdeotrnnla Filing to Jonathan IL O'Boyle at email address: Jonathanmboylc@gmail.eom. W IiEREFORE, Mark J. Hanna moves tltls Courtm enter an Order permitting Jonathan R O'Boyle to appear before this Court on behalf of Chris O'Hara for all purposes rdlsting to t Pb draeadingg In the Above - styled matter and directing the Clerk to provide notice of eleotrohie filings in Jonathan R O'Boyle. I PILREBY CERTIFY that on January 10, 2014,1 filed the foregoing document with the Clerk of Court via conventional method due to the nalutc of the motion. I further certify that mailed the furegahhg doeurnant via ptepaid first class U.S. niailto tba following: Mabel R Piper Christopher.), Stearns JOHNSON, AN6MM(I, MURDOCH, BURKL, PIPER & HOCBIM14, P.A. 7455 Bast Sunrise Boulevard, Suite 1000 Fort.Lauticrdale, Florida 33304 Tolophone.: (954) 463-0.100 piper @ja mbg.com steamsQa runbg.00m Dated: Jobuary 7, 2014 OMMMADISON P.A. 441 South f truly Rnad #3272 Palm Bpadh ,380.9991 Te1:56 dh, 999 Florida Bar'Np. 0045251 561 - 723-8284 (cell & text) mhanmQg3minw.com UNrMD STATES))VF ICT COURT FOR T33E SOUTHERN DISTRICT OF FLORIDA WEST PALMHRACH DIVMOW CASE NO: 9t13eV•BL053 -RIIi CMUS O'1IARE PIaIA31ft; vs. TOWN OP GULF STREAM eL aL Dohudaatt. Twiddled R O'Boyle, F.sgpire, pursuant to Rqla 4(b) of the Spatial Rules Owetaiog did Admlaslaft end Friction ofAttomeys, haoby ceiCifes Wat(11)Iheva studied the Local Rules dithe Untpd Status District Court for the Southern District aFFlprlds, an (2) I am a mamba' in good standing of tha Pennsylvania Supreme ComL Inudl gh O ogle, Bsq. IpmAlign R. O'Boyle, P.C. 2146 B.Huath%den SL PlidaddlplJR PA 19125 Al; 561 -74$ -1223 Fpx:215 -8'XJ -3641 'ml,hylof7YmlaW edm Pennsylv¢nia BnrNo.314500 1 HEREBY CERM'V that on January 10, 2014, IRIpdBa foregoing domiment with the Clerk of Cant via Waventionul method dua (o the nature ofthemotion. I thither eMify tliat m¢fled Iho foregatng dommeantvia prepaid Punt elan U.S. mail to the fallowing Waltdal lt. Piper ChrlsmpbprJ. Steards JOHNSON, ANSBMMO, MURDOCH, BURKE, PSPF,R § HOMMAN, PA. 2455 Ent SunriseHoalevard, Solid 1000 FartLaudenlale, Florida33304 Telepbona.:(954) 463 -0100 ptpergambg.oam stemnagambli.oam DuWd: January %2014 OMAivJADiSON PA. 401 South County Road 03272 NftnBpacb pL33410 -9991 Tcl: 561-221 -9990 Mark 3. Hands Florida BarWo, 0045251 561.723.6284 (call do nut) mhenna@g3mlcw,com UNITED STATES DISTRICT COURT FOR THE SOVJ IZW DISTRICT OF FLORIDA WEST PALM BEACII DMSI'ON CASE NO: 9:I5- cv- SI05� -XLR yar • e ' a Flnlntitf Ps. YO'WN OF GULF STREAM et al. Defendan,M THIS CAUSE having come before We Court on the Motion to Appear Pro Hire Vice for domithan R, O'Boyle; Consent to Dasignation, and Request to Bloctrohically ReceiVeNotioes of Election to Filing (the "Motion "), pursuant to the Special Rules Cto¢urning die Admission and I'mcdec: ofAttomeys in Via United States District Cohitfor fire Southern District of Florida and Section 2 B ofthe CMIECF Administrative Prpcedures. This Court having considered the motion and all other relevant f ctom, it is licreby ofi•lorlda ORDERED OR ADJUDGED that: The Motion is GRANTED. Jonathan R. O'Boyle, may appear and participate in this action on behalf of Chrls O'Hare. The Ciark sliall provide electronic notification of all oloctronia filings to Jonathan R. O'Boyle atjonathanroboyle@gmail,com. DQNE AND ORDEREp in Chambers, WestPAlm Beach, Palm Beach County, Soulh'em District of Florida, on January 2014. Copies furnished to; All Counsai of Record KENNME L, RYSICAMF United States District Judge TOWN OF GULF STREAM PALM BEACH COUNTY, FLORIDA Delivered via e-mail August 26, 2014 Commerce GP, Inc. [Mail to: records @commerce- group.com] Re: GS #1223 (712) 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.,4,4j., 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. Dear Commerce GP, Inc. [Mail to: records @commerce- group.com], This letter provides you with the full production of public records you have requested in your email dated July 31, 2014 that can be viewed at the following link: httv://www2.gulf- stream. ore/ WebLink8 /0 /doc /17426/Paeel.aspx. Please note that you will find all responsive documents at the same link. We consider this matter closed. Sincerely, Town Clerk Custodian of the Records CORRECTION OF LINK TOWN OF GULF STREAM PALM BEACH COUNTY, FLORIDA Delivered via e-mail September 29, 2014 Commerce GP, Inc. [mail to: records @commerce- group.com] Re: GS #1223 (712) 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.,4,4j., 41c, 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 4f of the referenced Motion is attached. Dear Commerce GP, Inc. [mail to: records @commerce- group.com], This letter provides you with the full production of public records you have requested in your email dated July 31, 2014. Your original request can be viewed at the following link: http: / /www2.gulf- stream .org /WebLink8 /0 /doc /I9985/Pa eg l.aspxx. Be advised that the responsive records are available at the same link. We consider this matter closed. Sincerely, Town Clerk Custodian of the Records