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HomeMy Public PortalAboutPRR 16-2222RECORDS REQUEST (the "Request") Date of Request: 06.05.2016 Requestor's Request ID#: 1239 REQUESTEE: Custodian of Records Sweetapple, Broeker & Varkas Custodian of Records Jones, Foster. Johnston & Stubbs Custodian of Records Town of Gulf Stream Custodian of Records Richman Greer, P.A. Custodian of Records Cole Scott & Kissane (Palm Beach Lakes) Custodian of Records Cole Scott & Kissane. (Lakeview Avenue) Custodian of Records Johnson Anselmo Murdoch Burke Piper & Hochman. P.A. REQUESTOR: Martin E. O'Boyle REQUESTOR'S CONTACT INFORMATION: E -Mail: records@commerce-group.com Fax: 954-360-0807 or Contact Records Custodian at records[)a commerce-group.com Phone: 954-360-7713; Address: 1280 West Newport Center Drive, Deerfield Beach, FL 33442 REQUEST: Please provide all transcripts, including all exhibits. (including any and all portions of the transcript and any copies which have not vet been certified) (the "Transcriots received by the Town of Gulf Stream) resulting from the deposition of Anthony Graziano dated June 1, 2016 relating to the litigation styled: Martin O'Boyle vs. Robert Sweetavole and the Town of Gulf Stream. Case No.: 9:14- CV-81250-KAM. ADDITIONAL INFORMATION REGARDING REQUEST: The term "Town of Gulf Stream" shall mean each of the following: the Town of Gulf Stream, its Commissioners, its Manager, its employees, its Police Department, its Police Officers its counsel and the following law firms: Sweetanole. Broeker & Varkas: Richman Greer. PA; and Jones. Foster. Johnston & Stubbs. (including, without limitation, the attorneys, emplovees and Dartners of each such law firm.) THIS REQUEST IS MADE PURSUANT TO ARTICLE 1, SECTION 24 OF THE FLORIDA CONSTITUTION AND CHAPTER 119, FLORIDA STATUTES 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 6119.0112)(F). FLORIDA STATUTES. IF NOT AVAILABLE IN ELECTRONIC FORM. IT IS REOVESTED THAT THIS RECORDS REQUEST BE FULFILLED ON I I 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 §1 19,070)(H) OF THE FLORIDA STATUTES. WHICH PROVIDES THAT "IFA CIVIL ACTION IS INSTITUTED WITHIN THE 30 -DAY PERIOD TO ENFORCE THE 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 Requester approve of any costs, asserted by the Agency (as denned In Florida Statute, Chapter 119.01 (Definitions)), In advance of any costs Imposed to the Requestor 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". TOWN OF GULF STREAM PALM BEACH COUNTY, FLORIDA Delivered via e-mail June 6, 2016 Martin E. O'Boyle [mail to: records@commerce-group.com] Re: GS #2222 (PRR 1239), #2223 (PRR 1244), #2224 (PRR 1245), #2225 (PRR 1241), #2227 (PRR 1242), #2228 (PRR 1243) Please provide all transcripts, including all exhibits, (including any and all portions of the transcripts and any copies which have not yet been certified) (the "Transcripts received by the Town of Gulf Stream) resulting from the deposition of Anthony Granziano dated June 1, 2016 relating to the litigation styled: Martin O'Boyle vs Robert Sweetapple and the Town of Gulf Stream. Case NO. 9:14-CV-81250-KAM. The term "Town of Gulf Stream" shall mean each of the following: the Town of Gulf Stream, its commissioners, its manager, its employees, its police department, its police officers and its councel and the following law firms: Sweetapple, Broeker & Varkas; Richman Greer, PA; and Jones, Foster, Johnston & Stubbs, (including, without limitation, the attorneys, employees and partners of each such law firm). Provide copies of all records provided to the Town of Gulf Stream from Joel Chandler between the period of January 1, 2014 and the date of this request. The term "Town of Gulf Stream" shall mean each of the following: the Town of Gulf Stream, its commissioners, its manager, its employees, its police department, its police officers and its councel and the following law firms: Sweetapple, Broeker & Varkas; Richman Greer, PA; and Jones, Foster, Johnston & Stubbs, (including, without limitation, the attorneys, employees and partners of each such law firm). Provide copies of all records provided by the Town of Gulf Stream to Joel Chandler between the period of January 1, 2014 and the date of this request. The term "Town of Gulf Stream"shall mean each of the following: the Town of Gulf Stream, its commissioners, its manager, its employees, its police department, its police oficers and its councel and the following law firms: Sweetapple, Broeker & Varkas; Richman Greer, PA; and Jones, Foster, Johnston & Stubbs, (including, without limitation, the attorneys, employees and partners of each such law firm). Provide copies ofall legal and related invoices received by the Town of Gulf Stream in connection with the matter commonly called the Sunshine Litigation including copies of all payments for such invoices. The term "Town of Gulf Stream" shall mean each of the following: the Town of Gulf Stream, its commissioners, its manager, its employees, its police department, its police officers and its councel and the following law firms: Sweetapple, Broeker & Varkas; Richman Greer, PA; and Jones, Foster, Johnston & Stubbs, (including, without limitation, the attorneys, employees and partners of each such law firm). (1) Please provide a copy of all communications sent by Robert Sweetapple (or any member of his firm, Sweetapple, Broeker & Varkas, including their emplolyees or partners ("Sweetapple')) and/or the Town of Gulf Stream to Keven Tynan ("Tynan') regarding Jonathan O'Boyle or the o'boyle law firm (the "subject'). (2) Please provide a copy of all communications sent by Tynan to Sweetapple regarding the subject. The term "Town of Gulf Stream" shall mean each of the following: the Town of Gut( Stream, its commissioners, its manager, its employees, its police department, its police officers and its councel and the following law firms: Sweetapple, Broeker & Varkas; Richman Greer, PA; and Jones, Foster, Johnston & Stubbs, (including, without limitation, the attorneys, employees and partners of each such lawfirm). (1) Please provide all records sent to the Florida Bar by the Town of Gulf Stream (including, without limitation, Robert Sweetapple) since January 1, 2013. (2) Please provide all records received from the Florida Bar by the Town of Gulf Stream (including, without limitation, Robert Sweetapple) since January 1, 2013. The term "Town of Gu f Stream" shall mean each of the following: the Town of Gulf Stream, its commissioners, its manager, its employees, its police department, its police officers and its councel and the following law firms: Sweetapple, Broeker & Varkas; Richman Greer, PA; and Jones, Foster, Johnston & Stubbs, (including without limitation, the attorneys, employees and partners of each such law firm). Dear Martin E. O'Boyle [mail to: records(a),commerce-group.coml, The Town of Gulf Stream has received your public records requests dated June 5, 2016. The original public record request can be found at the following links htto://www2.gulf- stream.org/weblink/0/doc/91327/Pagel.aspx. htto://www2.gulf- stream.org/weblink/0/doc/91328/Pagel.aspx, htto://www2.gulf- stream.org/weblink/0/doc/91330/Pagel.aspx, htto://www2.gulf- stream.org/weblink/0/doc/91331/Pagel.aspx, http://www2.gulf- stream.org/weblink/0/doc/91333/Pagel.aspx, and http://www2.gulf- stream.org/weblink/­O/­doc/`91334/Pagel.asp Please be advised that 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 TOWN OF GULF STREAM PALM BEACH COUNTY, FLORIDA Delivered via e-mail June 20, 2016 Martin E. O'Boyle [mail to: records@commerce-group.com] Re: GS # 2222 (PRR 1239) Please provide all transcripts, including all exhibits, (including any and all portions of the transcripts and any copies which have not yet been certified) (the "Transcripts received by the Town of Gulf Stream) resulting from the deposition of Anthony Granziano dated June 1, 2016 relating to the litigation styled: Martin O'Boyle vs Robert Sweetapple and the Town of Gulf Stream. Case NO. 9:14 -CV 81250-KAM. The term "Town of Gulf Stream" shall mean each of the following: the Town of Gulf Stream, its commissioners, its manager, its employees, its police department, its police officers and its councel and the following law firms: Sweetapple, Broeker & Yarkas; Richman Greer, PA; and Jones, Foster, Johnston & Stubbs, (including, without limitation, the attorneys, employees and partners of each such law firm). Dear Martin E. O'Boyle [mail to: records(a),commerce-eroup.coml, The Town of Gulf Stream has received your original record request dated June 5, 2016. Your original public records request can be found at the following link: http://www2.sulf- stream.or¢/weblink/0/doc/91327/Paeel.aspx. Please refer to the referenced number above with any future correspondence. Please all this response to be responsive for all parties involved. Please be advised that there are no such records. We consider this matter closed. Sincerely, Town Clerk, Custodian of the Records