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HomeMy Public PortalAboutPRR 15-1743RECORDS REQUEST (the "Request ") Date of Request: 1/26/2015 Requestor's Request ID#: 998 REQUESTEE: Custodian of Records Town of Gulf Stream REQUESTOR: CG Acquisition Company, 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 copies of all E -Mails referred to in the 6th entry on page 2, of Invoice No. 177407 (File No. 13147.00068), dated December 31, 2014. ADDITIONAL INFORMATION REGARDING REQUEST: Attached is page 2, of Invoice No. 177407 (File No. 13147.00068), dated DP_rPrnher 31 2n14_ THIS REQUEST IS MADE PURSUANT TO ARTICLE L SECTION 24 OF THE FLORIDA CONSTITUTION AND CHAPTER 119, FLORIDASTATUTES IF THE PUBLIC RECORDS BEING SOUGHT ARE MAINTAINED BY YOUR AGENCY IN AN ELECTRONIC FORMAT PLEASE PRODUCE THE RECORDS IN THE ORIGINAL ELECTRONIC FORMAT IN WHICH THEY WERE CREATED OR RECEIVED. SEE 4119.01(2)(F). FLORIDA STATUTES. IF NOT AVAILABLE IN ELECTRONIC FORM, IT IS REQUESTED THAT THIS RECORDS REOVEST 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) ALSO PLEASE TAKE NOTE OF §I 19.07(I)(H) OF THE FLORIDA STATUTES, WHICH PROV IDES TIIAT "IF A CIVIL ACTION IS INSTITUTED WITHIN THE 30 -DAY PFRIOII TO ENFORCE 711E PROVISIONS OF THIS SECTION WITH RESPECT TO THE REQUESTED RECORD, THE CUSTODIAN OF PUBLIC RECORDS MAY NOT DISPOSE OF THE RECORD EXCEPT BY ORDER OF A COURT OF COMPETENT JURISDICTION AFTER NOTICE TO ALL AFFECTED PARTIES." 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 dented in Florida Statute, Chapter 119.01 (Dennitions)), in advance of any costs Imposed to the Requester by the Agency. "BY FULFILLING THIS RECORDS REQUEST, THE AGENCY ACKNOWLEDGES THAT THE RESPONSIVE DOCUMENTS ARE "PUBLIC RECORDS" AS DEFINED IN CHAPTER 119, FLORIDA STATUTES ". I/P/NP/FLRR 1.12.2015 Jones, Foster, Johnston & Stubbs, P.A. Town of Gulf Stream December 31, 2014 O'Hare v. Gulf Stream Case # 502014CA007327 Invoice No. 177407 File No. 13147.00068 Page 2 FOR PROFESSIONAL SERVICES RENDERED: DATE DESCRIPTION OF SERVICES HOURS INDV 12/01/14 RECEIVE AND REVIEW ORDER GRANTING LEAVE TO AMEND 0.50 KAG AND TO SHOW CAUSE; COMMUNICATIONS IN FIRM AND WITH B. THRASHER REGARDING SAME. 12/04/14 OBTAIN CASE LAW, LEGAL AUTHORITY, TOWN CODES RE: 1.30 KJB SECOND AMENDED PETITION FOR WRIT OF CERTIORARI; SCAN AND PROFILE CASE LAW 12/08/14 RESEARCH RULES REGARDING EXTENSIONS OF TIME FOR 0.30 KAG FILING RESPONSE; COMMUNICATIONS REGARDING SAME. 12/11/14 COMMUNICATIONS AND CORRESPONDENCE REGARDING 0.30 KAG PROCEDURE FOR EXTENSION OF TIME TO FILE RESPONSIVE BRIEF. 12/12/14 CORRESPONDENCE REGARDING EXTENSION OF TIME. 0.20 KAG 12/15/14 ECEIVE AN,D R IEW EM L CORRESPONDENCE; DRAFT 0.50 KAG EMAIL C ; PREPARE AND COURT FILING OF NOTICE OF A REED EXTENSION TO TIME. 12/29/14 REVIEW AND ANALYZE PETITION FOR WRIT OF CERTIORARI 4.30 KAG AND SUPPORTING CASE LAW AND LEGAL AUTHORITY; REVIEW PRIOR RESEARCH; PREPARE TO DRAFT RESPONSE. 12/30/14 REVIEW AND ANALYZE PETITION AND SUPPORTING 6.00 KAG MATERIALS; RESEARCH REGARDING RESPONSE ARGUMENTS; PREPARE TO DRAFT RESPONSE; DRAFT AND REVISE OUTLINE. 12/31/14 PREPARE AND REVISE OUTLINE; RESEARCH REGARDING 5.30 KAG CERTIORARI REVIEW JURISDICTION; DRAFT RESPONSE TO PETITION. TOTAL HOURS 18.70 COSTS ADVANCED DATE AMOUNT 12/04/14 DOCUMENT IMAGING �0 12/30/14 LEGAL RES EARCH-WESTLAW/LEXI S 133.65 $158.65 TOWN OF GULF STREAM PALM BEACH COUNTY, FLORIDA Delivered via e-mail January 27, 2015 CG Acquisition Company, Inc. [mail to: records @commerce - group.com] Re: GS #1743 (998), #1749 (1004) Provide copies of all Emails referred to in the 6th entry on page 2, oflnvoice No. 177407 (File No. 1314700068), dated December 31, 2014. Attached is page 2, of Invoice No. 177407 (File No. 1314 7.00068), dated December 31, 2014. Provide a copy of the public records referred to in the 10th entry on page 3 of invoice no. 177399 (file no. 13147.00001), dated December 31, 2014. Attached is page 3, of invoice no. 177399 (rile no. 1314 7. 00001), dated December 31, 2014. Dear CG Acquisition Company, Inc. [mail to: records(a,commerce- groun.comlI The Town of Gulf Stream has received your public records requests dated January 26, 2015. If your request was received in writing, then the requests can be found at the following link: h=: / /www2.gulf- stream. org/ WebLink8 /0 /doc/35034/Paeel.asyx and htty://www2.galf- stream. ore/ WebLink8 /0 /doc /35046/Pagel.=xx. 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 Gardner, Kelly A. From: Nick Taylor < ntaylor@oboylelawrirm.com > Sent: Monday, December 15, 2014 9:35 AM To: Gardner, Kelly A. Subject: RE: Request for Extension of Time re Case No. 502014CA007327XXXXMBAY Ms. Gardner, Were you served with a Motion to Show Cause? Nick Taylor The O'Boyle Law Firm P.C. 1286 West Newport Center Drive Deerfield Beach, FL 33442 Telephone #954- 834 -2209 Fax #954- 360 -0807 Email: ntaylor@oboylelawfirm.com From: Gardner, Kelly A. [ mailto :KGardner @jonesfoster.com] Sent: Friday, December 12, 2014 11:07 AM To: Nick Taylor Subject: Request for Extension of Time re Case No. 502014CA007327XXXXMBAY Mr. Taylor, I would like to request that the time for filing Respondent's Response to the Petition for Writ of Certiorari may be extended for 15 days to January 12, 2015. Please let me know if you would agree to this extension of time. Thank you, Kelly Gardner JC7N ESFQSTER --- �UlIXll nan Nlfl9�f.L5. Kelly A. Gardner Attorney Direct Dial: 561.650.0401 1 Fax: 561.650.5300 1 WrdnerQjnnesfoster.com Jones, Poster, Johnston & Stubbs, P.A. Flagler Center Tower, 505 South Flagler Drive, Suite 1100, West Palm Beach, Florida 33401 561 -659 -3000 1 www.ionesfoster.com Incoming emads are filtered which may delay receipt. This email is personal to the named recipient(s) and may be privileged and confidentiaL If you are not the intended recipient, you received this in error. If so, any review, dissemination, or copying of this email is prohibited. Please immediately notify us by email and delete the original message. Gardner, Kelly A. From: Gardner, Kelly A. Sent: Monday, December 15, 2014 10:06 AM To: 'Nick Taylor' Subject: RE: Request for Extension of Time re Case No. 502014CA007327XXXXMBAY Attachments: 1 KY4813.P D F Mr. Taylor, Yes, the Order to Show Cause was entered on November 25. It shows that you also were served with a copy, but I have attached the Order in case you have not seen it. Our Response to the Petition for Writ of Certiorari is due to be filed 30 days from the date of the Order, which would be December 26th because of the holiday. I would like to request that the time for filing Respondent's Response may be extended for 15 days to January 12, 2015. The 15" Circuit Appellate Division follows the same rules as the 4`h DCA regarding extensions of time, where if both parties agree to the extension, a notice of agreed extension may be filed instead of a motion. Please let me know if you would agree to this extension of time. Thank you, Kelly Gardner JOiV FS FOSTER Kelly A. Gardner Attorney Direct Dial: 561.650.0401 1 Fax: 561.650.5300 1 kg2rdner@4onesfoster.com ]ones, Foster, Johnston & Stubbs, P.A. Flagler Center Tower, 505 South Flagler Drive, Suite 1100, West Palm Beach, Florida 33401 561- 659 -3000 I www.jonesfoster.com Incoming emails are filtered which may delay receipt. This email is personal to the named recipient(s) and may be privileged and confidential. If you are not the intended recipient, you received this in error. If so, any review, dissemination, or copying of this email is prohibited. Please immediately notify us by email and delete the original message. From: Nick Taylor [ mailto :ntaylor @oboylelawFirm.com] Sent: Monday, December 15, 2014 9:35 AM To: Gardner, Kelly A. Subject: RE: Request for Extension of Time re Case No. 502014CA007327)OMMBAY Ms. Gardner, Were you served with a Motion to Show Cause? Nick Taylor The O'Boyle Law Firm P.C. 1286 West Newport Center Drive Deerfield Beach, FL 33442 Telephone #954- 834 -2209 Fax 6954- 360 -0807 Email: ntaylor@obovlelawfirm.com From: Gardner, Kelly A. [ mailto :KGardner @jonesfoster.com] Sent: Friday, December 12, 2014 11:07 AM To: Nick Taylor Subject: Request for Extension of Time re Case No. 502014CA007327)000CMBAY Mr. Taylor, I would like to request that the time for filing Respondent's Response to the Petition for Writ of Certiorari may be extended for 15 days to January 12, 2015. Please let me know if you would agree to this extension of time. Thank you, Kelly Gardner JONESFOSTER Kelly A. Gardner Attorney Direct Dial: 561.650.0401 1 Fax: 561.650.5300 1 kgardner jonesfnster.com Jones, Foster, Johnston & Stubbs, P.A. Flagler Center Tower, 505 South Flagler Drive, Suite 1100, West Palm Beach, Florida 33401 561 -659 -3000 1 www.jonesfoster.com Incoming emails are filtered which may delay receipt. This ema l is personal to the named recipient(s) and may be privileged and confidential. If you are not the intended recipient, you received this in error. If so, any review, dissemination, or copying of this email is prohibited. Please immediately notify us by email and delete the original message. IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY FLORIDA CIVIL APPELLATE DIVISION AY CASE NO.: 2014CA007327 CHRISTOPHER E. OHARE, Petitioner, VA TOWN OF GULF STREAM, Respondent. BY ORDER OF THE COURT: THIS CAUSE came before the Court upon Petitioner's Motion for Leave to File Second Amended Petition for Writ of Certiorari, and Second Amended Petition for Writ of Certiorari. Accordingly, it is ORDERED and ADJUDGED that Petitioner's Motion for Leave to File Second Amended Petition for Writ of Certiorari is GRANTED. Pursuant to Rule 9. 1000), Florida Rules of Appellate Procedure, Respondent(s) shall SHOW CAUSE within thirty (30) days from the date of this Order why the prayed for relief in the Second Amended Petition for Writ of Certiorari should not be granted. Petitioner(s) may serve the Reply within twenty (20) days of service of the Response. Fla. R App. P. 9.100(k). DONE and ORDERED in Chambers at West Palm Beach, Palm Beach Coun . Florida this ay of November 2014. / �J3CY BROWNJC,F[1DGE / J�1Copies furnished to: NICKALAUS TAYLOR, 1551 SAWGRASS CORPORATE PKWY, SUITE 110, SUNRISE, FL 33323, NTAYLOR(ajQBOYI,ELAWFIRM_COM GARDNER, KELLY, 505 S FLAGLER DR, STE 1100, WEST PALM BEACH, FL 33402, kwdner(a-ionesfoster.com Gardner, Kelly A. From: Nick Taylor <ntaylor @oboylelawfirm.com> Sent: Monday, December 15, 201410:10 AM To: Gardner, Kelly A. Subject: RE: Request for Extension of Time re Case No. 502014CA007327XXXXMBAY Thank you, 15 extra days is fine. Please draft a proposed agreed order. Thanks Nick Taylor The O'Boyle Law Firm P.C. 1286 West Newport Center Drive Deerfield Beach, FL 33442 Telephone #954- 834 -2209 Fax #954- 360 -0807 Email: ntaylor @obovlelawfirm.com From: Gardner, Kelly A. [ mailto :KGardner @jonesfoster.com] Sent: Monday, December 15, 2014 10:06 AM To: Nick Taylor Subject: RE: Request for Extension of Time re Case No. 502014CA007327XXXXMBAY Mr. Taylor, Yes, the Order to Show Cause was entered on November 25. It shows that you also were served with a copy, but I have attached the Order in case you have not seen it. Our Response to the Petition for Writ of Certiorari is due to be filed 30 days from the date of the Order, which would be December 26th because of the holiday. I would like to request that the time for filing Respondent's Response may be extended for 15 days to January 12, 2015. The 15" Circuit Appellate Division follows the same rules as the 41h DCA regarding extensions of time, where if both parties agree to the extension, a notice of agreed extension may be filed instead of a motion. Please let me know if you would agree to this extension of time. Thank you, Kelly Gardner JONESFOSTER -" III INTIUI{, 111. 11114.1' 1. Kelly A. Gardner Attorney Direct Dial: 561.650.0401 1 Fax: 561.650.5300 1 kmrdner 'onesfoster.com Jones, Foster, Johnston & Stubbs, P.A. Flagler Centex Tower, 505 South Hagler Drive, Suite 1100, West Palm Beach, Florida 33401 561 -659 -3000 1 www.jonesfoster.com Incoming emails are filtered which may delay receipt. This email is personal to the named recipient(s) and may be privileged and confidential. If you are not the intended recipient, you received this in error. If so, any review, dissemination, or copying of this email is prohibited. Please immediately notify us by email and delete the original message. From: Nick Taylor rmailto: ntaylor(alobovlelawfirm.coml Sent: Monday, December 15, 2014 9:35 AM To: Gardner, Kelly A. Subject: RE: Request for Extension of Time re Case No. 502014CA007327X)XXMBAY Ms. Gardner, Were you served with a Motion to Show Cause? Nick Taylor The O'Boyle Law Firm P.C. 1286 West Newport Center Drive Deerfield Beach, FL 33442 Telephone #954- 834 -2209 Fax #954- 360 -0807 Email: ntavlor @oboylelawfirm.com From: Gardner, Kelly A. rmailto :KGardner(a)jonesfoster.coml Sent: Friday, December 12, 2014 11:07 AM To: Nick Taylor Subject: Request for Extension of Time re Case No. 502014CA007327XXXXMBAY Mr. Taylor, I would like to request that the time for filing Respondent's Response to the Petition for Writ of Certiorari may be extended for 15 days to January 12, 2015. Please let me know if you would agree to this extension of time. Thank you, Kelly Gardner JONESFOSTER Kelly A. Gardner Attorney Direct Dial: 561.650.0401 1 Fax: 561.650.5300 1 kgardner@ionesfoster.com Jones, Foster, Johnston & Stubbs, P.A. Flagler Center Tower, 505 South Flagler Drive, Suite 1100, West Palm Beach, Florida 33401 561 -659 -3000 1 www.jonesfoster.com Incoming cmails are filtered which may delay receipt. '11ais email is personal to the named recipient(s) and may be privileged and confidential. If you are not the intended recipient, you received this in error. If so, any review, dissemination, or copying of this email is prohibited. Please immediately notify us by email and delete the original message. Gardner, Kelly A. From: Gardner, Kelly A. Sent: Monday, December 15, 201410:48 AM To: 'Nick Taylor' Subject: RE: Request for Extension of Time re Case No. 502014CA007327X000(MBAY Attachments: 1 L29717. PD F Thank you. Please confirm that you agree with the attached proposed notice. JONESFOSTER - - +utld ¢r5hslrnns.Y +�. Kelly A. Gardner Attorney DireetDial: 561.650.0401 1 Fax: 561.650.5300 1 kgardner(Elionesfoster.com Jones, foster, Johnston & Stubbs, P.A. Flagler Center Tower, 505 South Flagler Drive, Suite 1100, West Palm Beach, Florida 33401 561- 659 -3000 1 www.jonesfoster.com Incoming emaiLs are filtered which may delay receipt. '11iis email is personal to the named recipient(s) and may be privileged and confidential. If you are not the intended recipient, you received this in error. If so, any review, dissemination, or copying of this email is prohibited. Please immediately notify us by email and delete the original message. From: Nick Taylor [ mailto :ntaylor @oboylelawfirm.com] Sent: Monday, December 15, 2014 10:10 AM To: Gardner, Kelly A. Subject: RE: Request for Extension of Time re Case No. 502014CA007327)000(MBAY Thank you, 15 extra days is fine. Please draft a proposed agreed order. Thanks. Nick Taylor The O'Boyle Law Firm P.C. 1286 West Newport Center Drive Deerfield Beach, FL 33442 Telephone #954 -834 -2209 Fax #954- 360 -0807 Email: ntaylor @oboylelawfirm.com From: Gardner, Kelly A. [ mailto :KGardner @jonesfoster.com] Sent: Monday, December 15, 2014 10:06 AM To: Nick Taylor Subject: RE: Request for Extension of Time re Case No. 502014CA007327x)00(MBAY Mr. Taylor, Yes, the Order to Show Cause was entered on November 25. It shows that you also were served with a copy, but I have attached the Order in case you have not seen it. Our Response to the Petition for Writ of Certiorari is due to be filed 30 days from the date of the Order, which would be December 26th because of the holiday. I would like to request that the time for filing Respondent's Response may be extended for 15 days to January 12, 2015. The 15" Circuit Appellate Division follows the same rules as the 0 DCA regarding extensions of time, where if both parties agree to the extension, a notice of agreed extension may be filed instead of a motion. Please let me know if you would agree to this extension of time. Thank you, Kelly Gardner 10-NES FOSTER Kelly A. Gardner Attorney Direct Dial: 561.650.0401 1 Fax: 561.650.5300 1 kkgardnerQjonesfoster.com Jones, Foster, Johnston & Stubbs, P.A. Flagler Center Tower, 505 South Flagler Drive, Suite 1100, West Palm Beach, Florida 33401 561 -659 -3000 1 wwwJonesfostcr.com Incoming =ails are filtered which may delay receipt. This email is personal to the named recipient(s) and may be privileged and confidential. If you are not the intended recipient, you received this in error. If so, any review, dissemination, or copying of this email is prohibited. Please immediately notify us by email and delete the original message. From: Nick Taylor rmallto :ntaylor@oboylelawfirm.com] Sent: Monday, December 15, 2014 9:35 AM To: Gardner, Kelly A. Subject: RE: Request for Extension of Time re Case No. 502014CAO07327)000(MBAY Ms. Gardner, Were you served with a Motion to Show Cause? Nick Taylor The O'Boyle Law Firm P.C. 1286 West Newport Center Drive Deerfield Beach, FL 33442 Telephone #954 -834 -2209 Fax #954 -360 -0807 Email: ntavlor @oboylelawfirm.com From: Gardner, Kelly A. rmallto :KGardner(aionesfoster.com] Sent: Friday, December 12, 2014 11:07 AM To: Nick Taylor Subject: Request for Extension of Time re Case No. 502014CA007327)0=MBAY Mr. Taylor, I would like to request that the time for filing Respondent's Response to the Petition for Writ of Certiorari may be extended for 15 days to January 12, 2015. Please let me know if you would agree to this extension of time. Thank you, Kelly Gardner J+CyNESFOSTER �u!r ": uixemi7at %.ra. Kelly A. Gardner Attorney Direct Dial: 561.650.0401 1 Fax: 561.650.5300 1 keatdnerQionesfoster.com Jones, Foster, Johnston & Stubbs, P.A. Flagler Center Tower, 505 South Flagler Drive, Suite 1100, West Patin Beach, Florida 33401 561- 659 -3000 1 www.jonesfoster.com Incoming ema�ls are filtered which may delay receipt This email is personal to the named recipient(s) and may be privileged and confidential. If you are not the intended recipient, you received this in error. If so, any review, dissemination, or copying of this email is prohibited. Please immediately notify us by email and delete the original message. IN THE CIRCUIT COURT OF THE 15TH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA CASE NO: 502014CA007327XXXXMB AY CHRISTOPHER E. O'HARE, Petitioner, V. TOWN OF GULF STREAM, Respondent. NOTICE OF EXTENSION OF TIME TO SERVE RESPONSE BRIEF The undersigned, as counsel for Respondent, TOWN OF GULF STREAM, has agreed with Nick Taylor, Esq., counsel for Petitioner, CHRISTOPHER E. O'HARE, that the time for serving Respondent's Brief in Response to the Petition for Writ of Certiorari may be extended for fifteen (15) days to January 12, 2015. CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished by email this 15th day of December, 2014 to: NICK TAYLOR, ESQ., The O'Boyle Law Firm, P.C., 1286 West Newport Center Drive, Deerfield Beach, FL 33442, ntaylor(a),oboylelawfirm.com; oboylecourtdocsaa ,,oboylelawfirm.com. JONES FOSTER JOHNSTON & STUBBS,P.A. Attorneys for Town of Gulf Stream 505 South Flagler Drive, Suite 1100 West Palm Beach, Florida 33401 Phone: 561-650-0479 Fax: 561- 650 -5300 M pA dots\13147W00661p1d %1129642.doa Joanne M. O'Connor, Esquire Florida Bar No. 0498807 ioconnornjonesfoster.com Kelly A. Gardner, Esquire Florida Bar No. 106366 keardner a ionesfoster.com Gardner, Kelly A. From: Nick Taylor <ntaylor @oboylelawfirm.com> Sent: Monday, December 15,2014 11:08 AM To: Gardner, Kelly A. Subject. RE: Request for Extension of Time re Case No. 502014CA007327XXXXMBAY Looks good, thanks. Nick Taylor The O'Boyle Law Firm P.C. 1286 West Newport Center Drive Deerfield Beach, FL 33442 Telephone #954- 834 -2209 Fax #954- 360 -0807 Email: ntaylor @oboylelawfirm.com From: Gardner, Kelly A. [ mailto :KGardner @jonesfoster.com] Sent: Monday, December 15, 2014 10:48 AM To: Nick Taylor Subject: RE: Request for Extension of Time re Case No. 502014CA007327XXXXMBAY Thank you. Please confirm that you agree with the attached proposed notice. .IONESFOSTER Kelly A. Gardner Attorney Direct Dial: 561.650.0401 1 Fax: 561.650.5300 1 kiardner(a7jonesfoster.com Jones, Foster, Johnston & Stubbs, P.A. Flagler Center Tower, 505 South Flagler Drive, Suite 1100, West Palm Beach, Florida 33401 561- 659 -3000 1 www.jonesfostcr.com Incoming emails are filtered which may delay receipt. This email is personal to the named recipient(s) and may be privileged and confidential. If you are not the intended recipient, you received this in error. If so, any review, dissemination, or copying of this email is prohibited. Please immediately notify us by email and delete the original message. From: Nick Taylor rmailto :ntavlor(a)oboylelawfirm.coml Sent: Monday, December 15, 2014 10:10 AM To: Gardner, Kelly A. Subject: RE: Request for Extension of Time re Case No. 502014CA007327X000(MBAY Thank you, 15 extra days is fine. Please draft a proposed agreed order. Thanks. Nick Taylor The O'Boyle Law Firm P.C. 1286 West Newport Center Drive Deerfield Beach, FL 33442 Telephone #954- 834 -2209 Fax #954- 360 -0807 Email: ntaylor @oboylelawfirm.com From: Gardner, Kelly A. rmailto :KGardner(a)ionesfoster.coml Sent: Monday, December 15, 2014 10:06 AM To: Nick Taylor Subject: RE: Request for Extension of Time re Case No. 502014CA007327)000(MBAY Mr. Taylor, Yes, the Order to Show Cause was entered on November 25. It shows that you also were served with a copy, but I have attached the Order in case you have not seen it. Our Response to the Petition for Writ of Certiorari is due to be filed 30 days from the date of the Order, which would be December 26th because of the holiday. 1 would like to request that the time for filing Respondent's Response may be extended for 15 days to January 12, 2015. The 151h Circuit Appellate Division follows the same rules as the 0 DCA regarding extensions of time, where if both parties agree to the extension, a notice of agreed extension may be filed instead of a motion. Please let me know if you would agree to this extension of time. Thank you, Kelly Gardner JONESFOSTER �hllltlllf:l![,SM1'PAO. 1'.1. Kelly A. Gardner Attorney Direct Dial• 561.650.0401 1 Fax: 561.650.5300 1 kgardnu@jonesfoster.com Jones, Foster, Johnston & Stubbs, P.A. Flagler Center Tower, 505 South Flagler Drive, Suite 1100, West Palm Beach, Florida 33401 561- 659 -3000 1 www.jonesfosteecom Incoming emails are filtered which may delay receipt This email is personal to the named recipient(s) and may be privileged and confidential. If you arc not the intended recipient, you received this in error. If so, any review, dissemination, or copying of this email is prohibited. Please immediately notify us by email and delete the original message. From: Nick Taylor rmailto :ntavlor(ubobovlelawfirm.coml Sent: Monday, December 15, 2014 9:35 AM To: Gardner, Kelly A. Subject: RE: Request for Extension of Time re Case No. 502014CA007327)D00(MBAY Ms. Gardner, Were you served with a Motion to Show Cause? Nick Taylor The O'Boyle Law Firm P.C. 1286 West Newport Center Drive Deerfield Beach, FL 33442 Telephone #954- 834 -2209 Fax #954- 360 -0807 Email: ntayior @obovlelawfirm.com From: Gardner, Kelly A. rmailto :KGardner(@ionesfoster.com] Sent: Friday, December 12, 2014 11:07 AM To: Nick Taylor Subject: Request for Extension of Time re Case No. 502014CA007327XXXXMBAY Mr. Taylor, I would like to request that the time for filing Respondent's Response to the Petition for Writ of Certiorari may be extended for 15 days to January 12, 2015. Please let me know if you would agree to this extension of time. Thank you, Kelly Gardner IgNEE FOSTER Kelly A. Gardner Attorney Direct Dial: 561.650.0401 1 Fax: 561.650.5300 1 kggdner(@joncsfostcr.com Jones, Foster, Johnston & Stubbs, P.A. Flagler Center Tower, 505 South Flagler Drive, Suite 1100, West Palm Beach, Florida 33401 561 -659 -3000 I wwwJonesfoster.com Incoming emails are filtered which may delay receipt. This email is personal to the named recipients) and may be privileged and confidential. If you are not the intended recipient, you received dais in error. If so, any review, dissemination, or copying of this email is prohibited. Please immediately notify us by email and delete the original message. TOWN OF GULF STREAM PALM BEACH COUNTY, FLORIDA Delivered via e-mail March 6, 2015 CG Acquisition Company, Inc. [mail to: records @commerce- group.com] Re: GS #1743 (998) Provide copies of all Emails referred to in the 6th entry on page 2, of Invoice No. 177407 (File No. 13147.00068), dated December 31, 2014. Attached is page 2, oflnvoice No. 177407 (File No. 1314 7.00068), dated December 31, 2014. Dear CG Acquisition Company, Inc. [mail to: records(i� commerce- group.coml, The Town of Gulf Stream received your public records requests on January 26, 2014. You should be able to view your original requests at the following link http://www2.eulf- stream. ore/ WebLink8 /0 /doc /35034/Pagel.aspxx. If your request was verbal, then the description of your public records request is set forth in the italics above. In future correspondence, please refer to this public records request by the above referenced numbers. You will find the responsive documents at the above same link. We consider this matter closed. Sincerely, Town Clerk, Custodian of the Records CORRECTION OF DATE TOWN OF GULF STREAM PALM BEACH COUNTY, FLORIDA Delivered via c -mail March 6, 2015 CG Acquisition Company, Inc. [mail to: records @commerce- group.com] Re: GS #1743 (998) Provide copies of all Emails referred to in the 6th entry on page 2, of Invoice No. 177407 (File No. 1314700068), dated December 31, 2014. Attached is page 1, oflnvoice No. 177407 (File No. 1314 7.00068), dated December 31, 1014. Dear CG Acquisition Company, Inc. [mail to: recordsecommerce- eroun.coml, The Town of Gulf Stream received your public records requests on January 26, 2015. You should be able to view your original requests at the following link htto://www2.eulf- stream. ore/ WebLink8 /0 /doc /35034/Pasel.aspx,. If your request was verbal, then the description of your public records request is set forth in the italics above. In future correspondence, please refer to this public records request by the above referenced numbers. You will find the responsive documents at the above same link. We consider this matter closed. Sincerely, Town Clerk, Custodian of the Records