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Filing # 20646837 Electronically Filed 11/17/2014 03:00:51 PM

IN THE CIRCUIT COURT OF THE


FIFTH JUDICIAL CIRCUIT OF FLORIDA
IN AND FOR MARION COUNTY
CASE NO.: 2013-115-CAT
REVERSE MORTGAGE SOLUTIONS, INC.,
Plaintiff,
vs.
NEIL J. GILLESPIE CO-TRUSTEE OF
THE GILLESPIE FAMILY LIVING TRUST
AGREEMENT DATED FEBRUARY 10, 1997,
and NEIL J. GILLESPIE, ET AL.,
Defendants.
_____________________________________/
DEFENDANTS NOTICE OF FILING OBJECTION TO HEARING
Provided by email November 14, 2014 to Curtis Wilson, Esq.
1.

Defendant(s) NEIL J. GILLESPIE, henceforth in the first person, a disabled nonlawyer

reluctantly appearing pro se for himself and his interests as SOLE TRUSTEE of THE GILLESPIE
FAMILY LIVING TRUST AGREEMENT DATED FEBRUARY 10, 1997 (Trust), hereby gives notice of
filing an objection to a hearing, sent by email Friday November 14, 2014 to Curtis Wilson, Esq.
2.

In response to email received Thursday, November 13, 2014 at 4:30 PM from Delilah

Lugo, Litigation Hearing Department, McCalla Raymer LLC, I hereby give notice of filing my
response to Curtis Wilson, Esq. sent by email Friday November 14, 2014 to Curtis Wilson, Esq.
Exhibit A. Response of Neil J. Gillespie to Curtis Wilson, McCalla Raymer LLC,
November 14, 2014, 5 pages, plus 9 pages of exhibits, 14 pages total.
RE: Hearing on Case Management Conference on all pending Motions
Reverse Mortgage Solutions, Inc. v. Neil J. Gillespie, et al., case no. 2013-CA-115
Marion County Circuit Court, Fifth Judicial Circuit Florida
Exhibit B. Letter of Neil J. Gillespie regarding The Florida Bar Complaint against
Danielle Nicole Parsons, The Florida Bar File No. 2014-30,525 (09A), 1 page.

Exhibit C. Response December 31, 2013 of Neil J. Gillespie to the Florida Commission
on Human Relations (FCHR), Civil Rights Complaint FCHR No. 201400117 against, inter alia,
McCalla Raymer LLC et al. 28 pages.
Exhibit D. Copy of Neil J. Gillespies email sent Friday, November 14, 2014 at 5:05 PM
in objection to Delilah Lugos email to set a hearing, and persons on the Email Service List
November 14, 2014, 11 pages, with read receipts from The Honorable Hale Stancil, myself, and,
Patricia Ann Toro Savitz, The Florida Bar
Frank Harlan Killgore Jr., Chair, Grievance Committee
Jon Marshall Oden, Grievance Committee
Barry R. Davidson (for Respondent Ms. Parsons)
Jane Bond, Managing Partner, McCalla Raymer LLC
Robyn Katz, Managing Partner, McCalla Raymer LLC
RESPECTFULLY SUBMITTED November 17, 2014.

NEIL J. GILLESPIE and NEIL J. GILLESPIE SOLE TRUSTEE OF THE GILLESPIE


FAMILY LIVING TRUST AGREEMENT DATED FEBRUARY 10, 1997
8092 SW 115th Loop
Ocala, Florida 34481
Phone: 352-854-7807
Email: neilgillespie@mfi.net
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I have furnished a true and correct copy of the foregoing to
Curtis Wilson, Esq., McCalla Raymer LLC, 225 E. Robinson St. Suite 660, Orlando, FL 32801,
MRService@mccallaraymer.com via the Florida Courts E-Service Portal, today November 17,
2014, and to Delilah Lugo, dhl@mccallaraymer.com, The Florida Bar, Patricia A. Savitz, Bar
Counsel, psavitz@flabar.org, Barry R. Davidson (for Respondent) bdavidson@hunton.com,
Frank H. Killgore Jr., Chair, Grievance Committee, FHKILLGORE@KPSOS.COM, and
Jon M. Oden, Grievance Committee, joden@balljanik.com.

NEIL J. GILLESPIE

Curtis Wilson, Esq.


McCalla Raymer, LLC
225 E. Robinson St. Suite 660
Orlando, FL 32801
Email: MRService@mccallaraymer.com
Fla. Bar No.: 77669

November 14, 2014

RE: Hearing on Case Management Conference on all pending Motions


Reverse Mortgage Solutions, Inc. v. Neil J. Gillespie, et al., case no. 2013-CA-115.
Marion County Circuit Court, Fifth Judicial Circuit Florida
Dear Mr. Wilson:
Please take note that I object to the hearing described in the email from Delilah Lugo, Litigation
Hearing Department, and any further representation by McCalla Raymer LLC in this matter.
Danielle Parsons committed crimes during her representation in this matter, crimes that deprived
me of civil rights under the color of law. The Florida Bar has not advised me of a final
disposition of my Bar complaint against Parsons. However McCalla Raymer LLC was named in
a complaint to the Florida Commission on Human Relations (FCHR) FCHR No. 201400117 that
was not adjudicated. That has been referred to federal authorities. Separately, Ms. Parsons broke
state and federal laws for which I intend to request her prosecution once The Florida Bar is done.
McCalla Raymer LLC must be disqualified as counsel as a matter of law. On information and
belief, Bar Rule 4-1.10(a) Imputation of Conflicts of Interest; General Rule applies,
(a) Imputed Disqualification of All Lawyers in Firm. While lawyers are associated in a
firm, none of them may knowingly represent a client when any 1 of them practicing alone
would be prohibited from doing so by rule 4-1.7 or 4-1.9 except as provided elsewhere in
this rule, or unless the prohibition is based on a personal interest of the prohibited lawyer
and does not present a significant risk of materially limiting the representation of the
client by the remaining lawyers in the firm.
In addition, your NOTICE OF CHANGE OF RESPONSIBLE ATTORNEY FOR PLAINTIFF
AND DESIGNATION OF EMAIL ADDRESS FOR SERVICE OF PAPERS must be struck as
a sham pleading. The Court will have my motion by Monday November 17, 2014. You notice is
riddled with problems, as is PLAINTIFF'S MOTION TO SET A CASE MANAGEMENT
CONFERENCE filed by Ms. Parsons.
Notice of Defendants' Consent to Judgment filed July 5, 2013 on behalf of my brother Mark
Gillespie, et al. was accepted by the Court, see attached. Yet you continue to harass those former
parties for no good reason by serving court documents on them. The Court granted leave for their
counsel to withdrawal from the case. I take that to mean the parties to the Consent to Judgment
submitted July 5, 2013 are finished with this case. STOP HARSSING THEM!
Also Rule 2.516, No service need be made on parties against whom a default has been entered.

Curtis Wilson, Esq.


McCalla Raymer, LLC

November 14, 2014


Page -2

Why have you continued to serve defaulted parties Oak Run Homeowners Association, and
DECCA, other that to churn fees? Stop serving defaulted parties.
The email below from Ms. Lugo states,
THIS LAW FIRM MAY BE DEEMED A "DEBT COLLECTOR" UNDER THE FAIR DEBT
COLLECTION PRACTICES ACT. ANY AND ALL INFORMATION OBTAINED MAY BE USED
FOR THE PURPOSE OF COLLECTING A DEBT.

I demand a statement of the debt being collected under the Fair Debt Collections Practices Act.
Currently I am unable to obtain counsel, and will seek a civil counsel appointment.
The American Bar Association (ABA) shows a "Civil Right to Counsel" page, "Law Governing
Appointment of Counsel in State Civil Proceedings",
http://www.americanbar.org/groups/legal_aid_indigent_defendants/initiatives/civil_right_to_counsel.html
The ABA state report shows Florida is authorized to appoint counsel in civil proceedings in any
situation to protect a litigants due process rights. The ABA Directory of Law Governing
Appointment of Counsel in State Civil Proceedings Florida, page 16, attached to this letter:
Law Addressing Authorization or Requirement to Appoint Counsel in
Civil Proceedings Generally
State Statutes and Court Decisions Interpreting Statutes
Fla. Stat. 29.007 (2011) (Court-appointed counsel) provides:
For purposes of implementing s. 14, Art. V of the State Constitution [relating to funding
of the judiciary], the elements of court-appointed counsel to be provided from state
revenues appropriated by general law are as follows:
(1) Private attorneys appointed by the court to handle cases where the defendant is
indigent and cannot be represented by the public defender or the office of criminal
conflict and civil regional counsel.
(2) When the office of criminal conflict and civil regional counsel has a conflict of
interest, private attorneys appointed by the court to represent indigents or other classes of
litigants in civil proceedings requiring court-appointed counsel in accordance with state
and federal constitutional guarantees and federal and state statutes.
...
This section applies in any situation in which the court appoints counsel to protect a
litigants due process rights.
A private attorney appointed by a court pursuant to 29.007 (2011) shall be

Curtis Wilson, Esq.


McCalla Raymer, LLC

November 14, 2014


Page -3

reimbursed for reasonable and necessary expenses incurred during representation. Fla.
Stat. 27.5304 (2011). Fla. Stat. 27.5304 lists the fat fees to be awarded to private
attorneys. Counsel may seek compensation in excess of the fat fees listed in 27.5304
only if compensation on an hourly basis at a rate of $75.00 would be at least double the
fat fee. Justice Admin. Comm'n v. Shaman, 59 So. 3d 1231 (Fla. App. 2011).
Also see Fla. Stat. 29.007 (2011) and the 2014 29.007, which appears unchanged, attached,
Subsections (3), (4), (5), (6), and (7) apply when court-appointed counsel is appointed;
when the court determines that the litigant is indigent for costs; or when the litigant is
acting pro se and the court determines that the litigant is indigent for costs at the trial or
appellate level. This section applies in any situation in which the court appoints counsel
to protect a litigants due process rights. The Justice Administrative Commission shall
approve uniform contract forms for use in processing payments for due process services
under this section. In each case in which a private attorney represents a person
determined by the court to be indigent for costs, the attorney shall execute the
commissions contract for private attorneys representing persons determined to be
indigent for costs.
The ABA report shows Florida is authorized to appoint counsel in Specific Types of Civil
Proceedings, page 2,
Law Addressing Authorization or Requirement to Appoint Counsel in
Specific Types of Civil Proceedings
1. Shelter
Federal Statutes and Court Decisions Interpreting Statutes
The federal Fair Housing Act, contained within Title VIII of the Civil Rights Act of
1968, provides that [a]n aggrieved person may commence a civil action in an
appropriate United States district court or State court. 42 U.S.C. 3613 (a)(1)(A).
Further, [u]pon application by a person alleging a discriminatory housing practice or a
person against whom such a practice is alleged, the court may-- (1) appoint an attorney
for such person. 42 U.S.C. 3613(b).
On December 10, 2013 I filed a civil rights complaint against McCalla Raymer LLC, et
al. and others with the Florida Commission on Human Relations (FCHR).
On information and belief, the U.S. Eleventh Circuit has a duty and authority to make a NonCriminal Justice Act Counsel Appointment. The U.S. Eleventh Circuit adopted provisions for
furnishing representation for persons financially unable to obtain adequate representation in
cases and situations which do not fall within the scope of 18 U.S.C. 3006A, as amended -- but
in which the court believes that the interests of justice will be served by the presence of counsel.
See Addendum Five, U.S. Eleventh Circuit, Rev.: 8/07, found online,

Curtis Wilson, Esq.


McCalla Raymer, LLC

November 14, 2014


Page -4

http://www.ca11.uscourts.gov/attorney-info/criminal-justice-act
http://www.ca11.uscourts.gov/sites/default/files/courtdocs/clk/RulesAddendum05AUG07.pdf
ADDENDUM FIVE
NON-CRIMINAL JUSTICE ACT COUNSEL APPOINTMENTS
The court adopts these provisions for furnishing representation for persons financially
unable to obtain adequate representation in cases and situations which do not fall within
the scope of 18 U.S.C. 3006A, as amended but in which the court believes that the
interests of justice will be served by the presence of counsel.
(a) Determination of Need.
In determining need for appointment of counsel, the court shall generally be governed by
the guidelines outlined in 18 U.S.C. 3006A.
(b) Appointment of Counsel.
(1) Counsel shall be selected from the same panels of attorneys designated or approved
by the district courts of the Eleventh Circuit as described in Addendum Four, which are
hereby approved by this court, or from a bar association, legal aid agency, or other
approved organization. In addition, any judge of this court may appoint competent
counsel not otherwise included in the preceding categories.
(2) Any person seeking relief under 29 U.S.C. 621, 42 U.S.C. 1981, 42 U.S.C.
1982, 42 U.S.C. 1983, 42 U.S.C. 1985, 42 U.S.C. 1986, 42 U.S.C. 2000a, 42
U.S.C. 2000d, and 42 U.S.C. 2000e or in such other cases as the court shall determine
to be appropriate may be eligible for representation. The court may approve such
representation on a determination that the interests of justice so require and that the
person is financially unable to obtain representation.
Currently there are two federal court orders permitting me to litigate this foreclosure in federal
court. U.S. Judge Wm. Terrell Hodges, in Order Remanding Case (Doc 19), [fn1, p.4],
This Order should not be interpreted as a ruling concerning whether, or to what extent,
Mr. Gillespie can sue HUD in a separate action. Rather, this Order is limited to whether
the Court has subject matter jurisdiction over the specific action that has been removed to
this Court".
The U.S. Eleventh Circuit entered a favorable Order July 25, 2013 that states in relevant part:
"Should Gillespie wish to petition for mandamus relief, he may file a separate petition for a writ
of mandamus or prohibition with this Court. See 28 U.S.C. 1651; Fed.R.App.P.21".
So there are two federal court orders permitting this case in federal court, which is required due
to the subject matter, a disputed federal Home Equity Conversion Mortgage, or HECM.

Curtis Wilson, Esq.


McCalla Raymer, LLC

November 14, 2014


Page -5

A HECM does not require a homeowner to make mortgage payments as a conventional mortgage
does. Instead, a HECM does not become due and payable until the last surviving homeowner
dies or no longer lives in the home. 12 U.S.C. 1715-z20(j) Safeguard to prevent displacement
of homeowner. The HECM becomes due and payable in full "if a mortgagor dies and the
property is not the principal residence of at least one surviving mortgagor....and no other
mortgagor retains title to the property." 24 C.F.R. 206.27(c).
I am one of two surviving HECM mortgagors, and the only surviving homeowner living in the
home, alone, in substantial compliance with the HECM Note, making this foreclosure of a
HECM premature. My bother Mark Gillespie of Fort Worth Texas is also a surviving borrower,
but he does not live in the home. The HECM becomes due and payable in full "if a mortgagor
dies and the property is not the principal residence of at least one surviving mortgagor....and no
other mortgagor retains title to the property." 24 C.F.R. 206.27(c). Mortgagor Ms. Gillespie
died in 2009.
But I am a surviving borrower or mortgagor living in the home as my principal residence, and
retain title to the property. Therefore I dispute the Plaintiffs allegations in its "Verified
Complaint to Foreclose Home Equity Conversion Mortgage". That means a substantial disputed
issue of federal HECM law is a necessary element of the Plaintiffs state law foreclosure claim
that this HECM is due and payable. The district court has subject matter jurisdiction under 28
U.S.C. 1331 and the U.S. Constitution, Article III, Section 2 for "all cases, in law and equity,
arising under this Constitution, [and] the laws of the United States...".
The Florida Commission on Ethics entered January 29, 2014 seven Orders showing, inter alia,
an attorneys representation which resulted in the settlement of [my] home mortgage dispute.
As of today the Ethics Commission has not provided a copy of the settlement of my home
mortgage dispute, so that is a matter for further inquiry.
This is a lot more, including disability accommodation, but I believe the foregoing is a sufficient
response to Ms. Lugos email to cancel the hearing.
Thank you in advance for the courtesy of a response.
Sincerely,

Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481
Phone: (352) 854-7807
Email: neilgillespie@mfi.net

E-mail Service List November 14, 2014


RE: Hearing on Case Management Conference on all pending Motions
Reverse Mortgage Solutions, Inc. v. Neil J. Gillespie, et al., case no. 2013-CA-115.
Marion County Circuit Court, Fifth Judicial Circuit Florida
Curtis Wilson, Esq.
McCalla Raymer, LLC
225 E. Robinson St. Suite 660
Orlando, FL 32801
Email: MRService@mccallaraymer.com
Fla. Bar No.: 77669
Delilah Lugo, dhl@mccallaraymer.com
Litigation Hearing Department
McCalla Raymer, LLC

Jane Bond, Managing Partner


Litigation & Trial Practicebond
McCalla Raymer LLC
Email: jane.bond@mccallaraymer.com
Robyn Katz, Managing Partner
Florida Foreclosure
McCalla Raymer LLC
Email: rrk@mccallaraymer.com

Ms. Patricia Ann Toro Savitz


The Florida Bar
1000 Legion Place, Suite 1625
Orlando, Florida 32801-1050
Email: psavitz@flabar.org

Mr. Jon Marshall Oden


Ball Janik L.L.P.
201 E. Pine St. Ste. 825
Orlando, Florida 32801-2764
Email: joden@balljanik.com

Mr. Barry R. Davidson (for Respondent)


Hunton & Williams LLP
Barclays Financial Center
1111 Brickell Ave. Floor 25
Miami, Florida 33131-3101
Email: bdavidson@hunton.com

Mr. Frank Harlan Killgore Jr.


Killgore, Pearlman, Stamp, Ornstein & Squires
2 South Orange Avenue
P.O. Box 1913
Orlando, Florida 32801
Email: FHKILLGORE@KPSOS.COM

I certify that today November 14, 2014 I served the foregoing parties by email as shown my PDF
letter to Curtis Wilson, Esq. Hearing on Case Management Conference on all pending Motions

Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481
Telephone: 352-854-7807
Email: neilgillespie@mfi.net

Electronically Filed 07/08/2013 07:33:04 PM ET

IN THE CIRCUIT COURT OF THE


FIFTH JUDICIAL
CIRCUIT OF
FLORIDA IN AND MARION COUNTY
GENERAL JURISDICTION DIVISION
REVERSE MORTGAGE SOLUTIONS, INC.,

Case No.:

2013-CA-000115

Plaintiff,

v.
MARK GILLESPIE, et al.,
Defendants.

_ _ _ _ _ _ _ _ _ _ _ _ _ _ _~I
NOTICE OF DEFENDANTS' CONSENT TO ,JUDGMENT
Defendants, MARK GILLESPIE and JOEITA GILLESPIE AKA UNKNOWN SPOUSE
OF MARK GILLESPIE and ELIZABETH BAUERLE NKA ELIZABETH BIDGOOD
(hereinafter, the "Defendants"), file this Notice of Defendant's Consent to Judgment:
1.

The Defendants,

MARK GILLESPIE and JOETTA GILLESPIE AKA

UNKNOWN SPOUSE OF MARK GILLESPIE and ELIZABETH BAUERLE NKA


ELIZABETH BIDGOOD, have been named as Defendants in this action.
2.

Plaintiff is seeking to recover the property located at 8092 SW 115th Loop,

Ocala, FL 34481 based on an "event of default" under the terms of the Adjustable Rate Note
(Home Equity Conversion) a/kIa "reverse mortgage".
3.

Because this is a reverse mortgage, the Defendants have no financial liability

under the terms of the subject loan. See paragraph 7(a) of the Note and 9(a) of the Mortgage.
4.

Defendants do not wish to contest entry of final judgment against Defendants.

5.

The Defendants desire swift resolution to this action so they hereby give consent

to having Judgment entered in favor of the Plaintiff in this action.

KEL File #13LAW34876

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I have electronically filed via the Florida Courts eFiling
Portal and furnished a true and correct copy of the foregoing to Angela M. Brenwald, Esquire, of
McCalla
Raymer
LLC,
225
E.
Robinson
S1.,
Orlando,
FL
32801,
mrservice@mccallaraymer.com; via [x] Email Delivery, today July 5, 2013.
KAUFMAN, ENGLETT & LYND, PLLC
/s/ Anthony J. Solomon
Anthony J. Solomon, Esq.
Florida Bar No. 93057
111 N. Magnolia Avenue, Suite 1600
Orlando, FL 32801
Telephone No.: (407) 513-1900
Primary Email: asolomon@kelattorneys.com
Secondary Email: KELinbox@kelattomeys.com
Attorney for Defendants:
MARK GILLESPIE and
JOETIA GILLESPIE AKA UNKNOWN SPOUSE OF
MARK GILLESPIE

KEL File #13LAW34876

http://www.americanbar.org/groups/legal_aid_indigent_defendants/initiatives/civil_right_to_counsel.html

Home > ABA Groups > Standing Committee on Legal Aid and Indigent Defendants > Initiatives > Civil
Right to Counsel

Civil Right to Counsel


NEW! Law Governing Appointment of Counsel in State Civil
Proceedings
The map below provides access, by clicking each state, to a
research report detailing existing authority for appointment of
counsel in various types of civil proceedings. Additional prefatory
material and appendices are available through links below.
Prefatory Information
Foreword
Acknowledgments
Appendix: International Law Relating to Appointment
of Counsel in Civil Proceedings

Civil Appt. Authority

Additional Resources
ABA Toolkit for a Right to Counsel in Civil
Proceedings

ABA House of Delegates Policy Resolution Urging


Recognition of a Civil Right to Counsel

The Toolkit includes in one package the "ABA Basic


Principles for a Right to Counsel in Civil Proceedings"

For additional information regarding civil right to

and "The ABA Model Access Act," which provide two

counsel issues, please visit:

important tools for jurisdictions seeking to implement a


civil right to counsel.

National Coalition for a Civil Right to Counsel

Law Addressing Authorizaton or Requirement to Appoint Counsel in


Specifc Types of Civil Proceedings
1. SHELTER
Federal Statutes and Court Decisions Interpretng Statutes
The federal Fair Housing Act, contained within Title VIII of the Civil Rights Act of 1968,
provides that [a]n aggrieved person may commence a civil acton in an appropriate United
States district court or State court. 42 U.S.C. 3613 (a)(1)(A). Further, [u]pon applicaton
by a person alleging a discriminatory housing practce or a person against whom such a practce
is alleged, the court may-- (1) appoint an atorney for such person. 42 U.S.C. 3613(b).
2. SUSTENANCE
Federal Statutes and Court Decisions Interpretng Statutes
Title VII of the Civil Rights Act of 1964 prohibits employment discriminaton. While
nearly all Title VII claims are brought in federal court, the U.S. Supreme Court has specifed that
state courts have concurrent jurisdicton with federal courts for Title VII claims. Yellow Freight
System Inc. v. Donnelly, 494 U.S. 820, 826 (1990).
Title VII provides that [u]pon applicaton by the complainant and in such circumstances
as the court may deem just, the court may appoint an atorney for such complainant. 42
U.S.C. 2000e-5(f)(1). In Poindexter v. FBI, the D.C. Court of Appeals observed:
Title VII's provision for atorney appointment was not included simply as an
aferthought; it is an important part of Title VII's remedial scheme, and therefore courts
have an obligaton to consider requests for appointment with care. In actng on such
requests, courts must remain mindful that appointment of an atorney may be essental
for a plaintf to fulfll the role of a private atorney general, vindicatng a policy of the
highest priority. Once the plaintf has triggered the atorney appointment provision,
courts must give serious consideraton to the plaintf's request such discretonary
choices are not lef to a court's inclinaton, but to its judgment; and its judgment is to
be guided by sound legal principles. Furthermore, in exercising this discreton, the
court should clearly indicate its dispositon of the request for appointment and its basis
for that dispositon.
737 F.2d 1173, 1183-85 (D.C. Cir. 1984).
ABA DIRECTORY OF LAW GOVERNING APPOINTMENT OF COUNSEL IN STATE CIVIL PROCEEDINGS FLORIDA 2012

Law Addressing Authorizaton or Requirement to Appoint Counsel in


Civil Proceedings Generally
State Statutes and Court Decisions Interpretng Statutes
Fla. Stat. 29.007 (2011) (Court-appointed counsel) provides:
For purposes of implementng s. 14, Art. V of the State Consttuton [relatng to funding
of the judiciary], the elements of court-appointed counsel to be provided from state
revenues appropriated by general law are as follows:
(1)Private atorneys appointed by the court to handle cases where the defendant is
indigent and cannot be represented by the public defender or the ofce of criminal
confict and civil regional counsel.
(2)When the ofce of criminal confict and civil regional counsel has a confict of
interest, private atorneys appointed by the court to represent indigents or other classes
of litgants in civil proceedings requiring court-appointed counsel in accordance with
state and federal consttutonal guarantees and federal and state statutes.
...
This secton applies in any situaton in which the court appoints counsel to protect a
litgants due process rights.
A private atorney appointed by a court pursuant to 29.007 (2011) shall be
reimbursed for reasonable and necessary expenses incurred during representaton. Fla. Stat.
27.5304 (2011). Fla. Stat. 27.5304 lists the fat fees to be awarded to private atorneys.
Counsel may seek compensaton in excess of the fat fees listed in 27.5304 only if
compensaton on an hourly basis at a rate of $75.00 would be at least double the fat fee.
Justce Admin. Comm'n v. Shaman, 59 So. 3d 1231 (Fla. App. 2011).
Federal Statutes and Court Decisions Interpretng Statutes
The federal Servicemembers Civil Relief Act (SCRA), which applies to each state 14 and to
all civil proceedings (including custody),15 provides:
If in an acton covered by this secton it appears that the defendant is in military service,
14

50 App. U.S.C.A. 512(a) states, This Act [sectons 501 to 515 and 516 to 597b of this Appendix] applies to--
(2) each of the States, including the politcal subdivisions thereof
15
50 App. U.S.C. 521(a) states, This secton applies to any civil acton or proceeding, including any child custody
proceeding, in which the defendant does not make an appearance.
ABA DIRECTORY OF LAW GOVERNING APPOINTMENT OF COUNSEL IN STATE CIVIL PROCEEDINGS FLORIDA 2012

16

http://www.leg.state.fl.us/Statutes/index.cfm?App_mode=Display_Statute&Search_String=&URL=0000-0099/0029/Sections/0029.007.html

Select Year:

The 2014 Florida Statutes


Title V
JUDICIAL BRANCH

Chapter 29
COURT SYSTEM FUNDING

View Entire Chapter

29.007
Court-appointed counsel. For purposes of implementing s. 14, Art. V of the State Constitution,
the elements of court-appointed counsel to be provided from state revenues appropriated by general law are
as follows:
(1) Private attorneys appointed by the court to handle cases where the defendant is indigent and cannot
be represented by the public defender or the office of criminal conflict and civil regional counsel.
(2) When the office of criminal conflict and civil regional counsel has a conflict of interest, private
attorneys appointed by the court to represent indigents or other classes of litigants in civil proceedings
requiring court-appointed counsel in accordance with state and federal constitutional guarantees and federal
and state statutes.
(3) Reasonable court reporting and transcription services necessary to meet constitutional or statutory
requirements, including the cost of transcribing and copying depositions of witnesses and the cost of foreign
language and sign-language interpreters and translators.
(4) Witnesses, including expert witnesses, summoned to appear for an investigation, preliminary hearing,
or trial in a case when the witnesses are summoned on behalf of an indigent, and any other expert witnesses
approved by the court.
(5) Mental health professionals appointed pursuant to s. 394.473 and required in a court hearing involving
an indigent, mental health professionals appointed pursuant to s. 916.115(2) and required in a court hearing
involving an indigent, and any other mental health professionals required by law for the full adjudication of
any civil case involving an indigent person.
(6) Reasonable pretrial consultation fees and costs.
(7) Travel expenses reimbursable under s. 112.061 reasonably necessary in the performance of
constitutional and statutory responsibilities.
Subsections (3), (4), (5), (6), and (7) apply when court-appointed counsel is appointed; when the court
determines that the litigant is indigent for costs; or when the litigant is acting pro se and the court determines
that the litigant is indigent for costs at the trial or appellate level. This section applies in any situation in
which the court appoints counsel to protect a litigants due process rights. The Justice Administrative
Commission shall approve uniform contract forms for use in processing payments for due process services
under this section. In each case in which a private attorney represents a person determined by the court to be
indigent for costs, the attorney shall execute the commissions contract for private attorneys representing
persons determined to be indigent for costs.
History.s. 7, ch. 2000-237; s. 43, ch. 2003-402; s. 16, ch. 2005-236; s. 18, ch. 2007-62.

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Case: 13-11585

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UNITED STATES COURT OF APPEALS


FOR THE ELEVENTH CIRCUIT
ELBERT PARR TUTTLE COURT OF APPEALS BUILDING
56 Forsyth Street, N.W.
Atlanta, Georgia 30303
John Ley
Clerk of Court

For rules and forms visit


www.ca11.uscourts.gov

July 25, 2013


Neil J. Gillespie
8092 SW 115TH LOOP
OCALA, FL 34481
Appeal Number: 13-11585-B
Case Style: Reverse Mortgage Solutions, In v. Neil Gillespie, et al
District Court Docket No: 5:13-cv-00058-WTH-PRL
This Court requires all counsel to file documents electronically using the Electronic Case
Files ("ECF") system, unless exempted for good cause.
The enclosed order has been ENTERED.
Sincerely,
JOHN LEY, Clerk of Court
Reply to: Melanie Gaddis, B/rvg
Phone #: (404) 335-6187
MOT-2 Notice of Court Action

Ms. Patricia Ann Toro Savitz


The Florida Bar
1000 Legion Place, Suite 1625
Orlando, Florida 32801-1050
Via Email: psavitz@flabar.org

Mr. Jon Marshall Oden


Ball Janik L.L.P.
201 E. Pine St. Ste. 825
Orlando, Florida 32801-2764
Via Email: joden@balljanik.com

Mr. Barry R. Davidson (for Respondent)


Hunton & Williams LLP
Barclays Financial Center
1111 Brickell Ave. Floor 25
Miami, Florida 33131-3101
Via Email: bdavidson@hunton.com

Mr. Frank Harlan Killgore Jr.


Killgore, Pearlman, Stamp, Ornstein & Squires
2 South Orange Avenue
P.O. Box 1913
Orlando, Florida 32801
Via Email: FHKILLGORE@KPSOS.COM

November 14, 2014


Re: Complaint of Neil J. Gillespie against Danielle Nicole Parsons
The Florida Bar File No. 2014-30,525 (09A)
Dear Ms. Savitz and Messrs. Killgore, Oden and Davidson:
On September 16, 2014 I emailed Mr. Killgore in part,
Kindly postpone until further notice my interview by telephone currently set for
tomorrow September 17 at 3:00PM. Among other things, I believe it is in my interest to
be represented by counsel without a conflict of interest. I am indigent and will seek
appointment of counsel under due process and the 5th and 14th Amendments.
Mr. Killgore, you may send written questions if you like, and I will review those and respond.
Also see my letter to Curtis Wilson about a counsel appointment.
I plan to file documents in the state foreclosure action by Monday November 17, 2014.
Sincerely,

Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481
Telephone: 352-854-7807
Email: neilgillespie@mfi.net

Jodi Jones, Regulatory Specialist


Florida Commission on Human Relations
2009 Apalachee Parkway, Suite 100
Tallahassee, FL 32301
Email: jodLjones@fchr.myflorida.com
VIA V.P.S. No. lZ64589FP295665527
December 31, 2013
Re: FCHR No. 201400117

Governor Rick Scott


Office of Governor Rick Scott
State of Florida, The Capitol
400 South Monroe Street
Tallahassee, Florida 32399-0001
Email: Rick.Scott@eog.myflorida.com
VIA UPS No. lZ64589FP295521539
Notice - F.S. 16.02 Appointment of person
person to act in case of disability of
Attorney General

Dear Ms. Jones:


Thank you for your letter dated December 26, 2013. I received your letter after emailing you
yesterday about the status of my complaint. In response to your letter, please note that I appear
pro se because I cannot obtain counsel. I am a nonlawyer and I did not attend law school.

My complaint alleged violations of constitutional civil rights and disability rights. My cover
letter December 10, 2013 to the FCHR stated, "Please find enclosed my complaint for civil rights
violations and disability discrimina~ion against the persons and entities shown below." So your
reliance on Section 509.92, Section 760.10, or Sections 760.23-25, Florida Statutes is misplaced.
My complaint was limited by the required FCHR form, but I did cite to F.8. 760.51 on page 2.
F.8. 760.51 Violations of constitutional rights, civil action by the Attorney General; civil
penalty. Here, the Attorney General, part of the Executive Branch, wrongly conspired with the
Judicial Branch (Fla. Const. Art. II, Sec. 3, branches of govt. ) to obstruct justice and violate my
constitutional civil rights and disability rights. My complaint includes 21 parties, not just the
Attorney General, see the attached complaint. The Florida Bar has opened two inquires:
1. The Florida Bar File No. 2014-30,525 (9A), for Danielle Nicole Parsons, Bar ID 29364.
2. Unlicensed Practice of Law Investigation of Yolanda I. Martinez, Case No. 2014303 1(9A).
The Florida Commission on Ethics gave notice December 17, 2013 of seven complaints for
Misuse of Public Position, 112.313(6) F.S. I hereby waive confidentiality, see attached:
Complaint No.
Complaint No.
Complaint No.
Complaint No.
Complaint No.

13-201, Pamela Jo Bondi, Attorney General of Florida, Executive Branch


13-202, Diana R. Esposito, Chief Asst. Attorney General, Executive Branch
13-203, Kenneth V. Wilson, Asst. Attorney General, Executive Branch
13-204, Valerie Williford, Employee of Attorney General, Executive Branch
13-205, Laura Martin, Employee of Attorney General, Executive Branch

Complaint No. 13-206, David Rowland, Gen. Counsel, Thirteenth Judicial Circuit, Judicial Branch
Complaint No. 13-207, Sandra Burge, paralegal, Thirteenth Judicial Circuit, Judicial Branch
Therefore, the Florida Commission on Human Relations should ask the Governor to appoint
another person to perform such duty in the Attorney General's stead as provided by F.8. 16.02.
This Jetter to Governor Scott also requests appointment of another person under F.8. 16.02.

Ms. Jodi Jones, Regulatory Specialist - FCHR


Notice - F.8. 16.02 to Gov. Rick Scott

December 31, 2013


Page - 2

F.8. 16.02 Appointment of person to act in case of disability of Attorney General.


In case of the disability of the Attorney General to perform any official duty devolving on him or
her, by reason of interest or othelWise, the Governor or Attorney General of this state may
appoint another person to perform such duty in the Attorney General's stead.
F.8. 760.51 Violations of constitutional rights, civil action by the Attorney General; civil
penalty.
(1) Whenever any person, whether or not acting under color of law, interferes by threats,
intimidation, or coercion, or attempts to interfere by threats, intimidation, or coercion, with the
exercise or enjoyment by any other person of rights secured by the State Constitution or laws of
this state, the Attorney General may bring a civil or administrative action for damages, and for
injunctive or other appropriate relief for violations of the rights secured. Any damages recovered
under this section shall accrue to the injured person. The civil action shall be brought in the
name of the state and may be brought on behalf of the injured person. The Attorney General is
entitled to an award of reasonable attorney's fees and costs if the Department of Legal Affairs
prevails in an action brought under this section.
(2) Any person who interferes by threats, intimidation, or coercion, or attempts to interfere by
threats, intimidation, or coercion, with the exercise or enjoyment by any other person of rights
secured by the State Constitution or laws of this state is liable for a civil penalty of not more than
$10,000 for each violation. This penalty may be recovered in any action brought under this
section by the Attorney General. A civil penalty so collected shall accrue to the state and shall be
deposited as received into the General Revenue Fund unallocated.

In addition, I believe the wrongful foreclose of my home involving age discrimination, civil
rights, and disability discrimination gives standing under F.S. 760.20, Florida Fair Housing Act.
Many of the accusations in my complaint to the FCHR under F.S. 760.51 cite to federal law
because the U.S. Supreme Court is a federal court. In compliance with ''the rights secured by the
State Constitution or laws of this state" provision ofF.S. 760.51, please see below. I believe
the person appointment under F.8. 16.02 can provide whatever else is needed.
Please refer to the accompanying lists - one list of22 related cases, a list of 18 Florida BarlUPL
complaints, and a list of 8 complaints to the Judicial Qualifications Com.mission. Those 48 legal
proceedings each show under F.S. 760.51 violations of my constitutional rights secured by the
State Constitution or laws of this state. Under the Supremacy Clause I believe rights secured by
the Constitution and laws of the United States are included, and Treaties of the United States.
Sincerely,

1f/~
Neil J. Gillespie - 8092 SW 115th Loop - Ocala Florida 34481
352-854-7807 - neilgillespie@mfi.net
See list of enclosures, and service list

State of Florida
Florida Commission on Human Relations
An Equal Opportunity Employer -Affirmative Action Employer

RJek Seou

Governor

2009 Apalachee Parkway. Suite 100 Tallahassee, Florida 32301-4857


(850) 488-7082

Marlo Valle

http://fchr.state.fI.us

Michelle Willoa

Chalnnan

ExecutiveDirector

December 26,2013
WI. Neil J. Gillespie

8092 South West 115th Loop

Ocala, FL 34481

Dear Mr. Gillespie:

Re: FCHR No. 201400117:


Neil J. Gillespie v. The Attorney General ofFlorida

The Florida Commission on Human Relations is in receipt of your inquiry concerning discrimination. Based on the
information you provided, we are unable to pursue this matter further.
A complaint under Section 509.92, Section 760.10, or Sections 760.23-25, Florida Statutes, must be related to
housing, employment and/or public accommodation (hotels or restaurants).

Under these circumstances, unless you advise us within 10 days of the date of this correspondence that the
information on which we have based our decision is incorrect, we will take no further action on your inquiry.

Sincerely,

~~NJ~
Jodi Jones

Regulatory Specialist

COMMISSIONERS
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Service List December 31, 2013

Witness to Injustice for Neil J. Gillespie


Gabriela Knaul, Special Rapporteur
Independence of Judges and Lawyers
Office of the United Nations High
Commissioner for Human Rights
United Nations Office at Geneva
8-14 Avenue de la Paix
1211 Geneva 10 Switzerland
Email: SRindependenceJL@ohchr.org

Witness to Injustice for Neil J. Gillespie


Shuaib Chalklen, Special Rapporteur on
Disability, United Nations Enable
Secretariat for the Convention on the Rights
of Persons with Disabilities @ Department
of Economic and Social Affairs
405 E. 42nd Street
New York, NY 10017
Email: enable@un.org

Governor Rick Scott


Office of Governor Rick Scott
State of Florida, The Capitol
400 South Monroe Street
Tallahassee, Florida 32399-0001
Email: Rick.Scott@eog.myflorida.com
VIA UPS No. lZ64589FP295521539

Adam H. Putnam, Commissioner


Florida Dept. of Agriculture and Consumer Services
Plaza Level 10, The Capitol
400 South Monroe Street
Tallahassee, Florida 32399-0800
Email: Adam.Putnam@freshfromflorida.com
VIA UPS No. lZ64589FP299993540

Attorney General of Florida


Office of Attorney General
State of Florida
107 West Gaines Street
Tallahassee, FL 32399-1050
Email: pam.bondi@myfloridalegal.com
VIA UPS No. 1Z64589FP299681556

Jeff Atwater, Chief Financial Officer


State of Florida
Florida Department of Financial Services
200 East Gaines Street
Tallahassee FL 32399
Email: Jeff.Atwater@myfloridacfo.com
VIA UPS No. IZ64589FP295185564

Virlindia A Doss, Executive Director


Morgan R. Bentley, Chair
Florida Commission on Ethics
Florida Commission on Ethics
325 John Knox Road
Bentley and Bruning PA
Building E, Suite 200
783 S Orange Ave Ste 220
Tallahassee, FL 32303
Sarasota, Florida 34236-4702
Email: mbentley@bentleyandbruning.com Email: doss.virlindia@Jeg.state.fl.us
VIA UPS No. lZ64589FP297105575
Gilbert Singer, Chairman
Florida Commission on Human Relations Michelle Wilson, Executive Director
Marcadis Singer PA
Florida Commission on Human Rela~ions
5104 S West Shore Blvd.
2009 Apalachee Parkway, Suite 100
Tampa, Florida 33611-5650
TaJlahassee, FL 3230I
Email: gsinger@marcadislaw.com
E-Mail: fchrinfo@fchr.myflorida.com
Elisabeth H. Goodner, Adminstrator
Office of the State Courts Administrator
500 South Duval Street
Tallahassee, FL 32399-1900
(850) 488-1824
Email: goodnerl@flcourts.org

Michael Schneider, General Counsel


Brooke s. Kennerly~ Executive Director
Judicial Qualifications Commission
1110 Thomasville Road
Tallahassee, FL 32303-6224
Email: mschneider@floridajqc.com

List of Enclosures
Letter of Jodi Jones, Regulatory Specialist, FCHR No. 201400117, December 26, 2013

My complaint to the FCHR, December 10,2013 (14 pages)


The Florida Bar File No. 2014-30,525 (9A), for Danielle Nicole Parsons, Bar ID 29364.
Unlicensed Practice of Law Investigation of Yolanda I. Martinez, Case No. 20143031 (9A).

My complaint to the Florida Commission on Ethics, December 9, 2013 (14 pages)


Supplement to the Florida Conlmission on Ethics, December II, 2013 (1 page cover only)
Notice, complaint No.
Notice, complaint No.
Notice, complaint No.
Notice, complaint No.
Notice, complaint No.

13-20 I, Pamela Jo Bondi, Attorney General of Florida, Executive Branch


13-202, Diana R. Esposito, Chief Asst. Attorney General, Executive Branch
13-203, Kenneth V. Wilson, Asst. Attorney General, Executive Branch
13-204, Valerie Williford, Employee-Attorney General, Executive Branch
13-205, Laura Martin, Employee of Attorney General, Executive Branch

Notice, complaint No. 13-206, David Rowland, Gen. Counsel, Thirteenth Judicial Circuit, Judicial Branch
Notice, complaint No. 13-207, Sandra Burge, paralegal, Thirteenth Judicial Circuit, Judicial Branch
List of meritorious Complaints to The Florida Bar
List of meritorious judicial complaints made by Neil J. Gillespie
List of22 Related legal actions to Gillespie v. Barker, Rodems & Cook, PA, 05-CA-007205

My response to Letter of Mr. Schneider dated November 22, 2013, re Confidentiality

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FL COMMISSION OF ETHICS
325 JOHN KNOX RD
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Neil Gillespie
From:
To:

Sent:
Attach:

Subject:

"Neil Gillespie" <neilgillespie@mfi.net>


"Gov. Rick Scott" <Rick.Scott@eog.myflorida.com>; "Pam Bondi" <pam.bondi@myfloridalegal.com>;
"Jodi Jones" <jodi.jones@fchr.myflorida.com>; "FCHR" <fchrinfo@fchr.myflorida.com>; "Special
Rapporteur Gabriela Knaul" <SRindependenceJL@ohchr.org>; "Shuaib Chalklen Special Rapporteur
Disability" <enable@un.org>; "Adam Putnam" <Adam.Putnam@freshfromflorida.com>; "Jeff Atwater"
<Jeff.Atwater@myfloridacfo.com>; "Morgan Ray Bentley" <mbentley@bentleyandbruning.com>;
"Virlindia A Doss" <doss.virlindia@leg.state.fl.us>; "Gilbert Singer" <gsinger@marcadislaw.com>;
"Goodner, Elisabeth" <goodnerl@flcourts.org>; "Michael Schneider" <mschneider@floridajqc.com>;
"Neil Gillespie" <neilgillespie@mfi.net>
Tuesday, December 31, 2013 10:45 PM
UPL No. 20143031(9A) Martinez, w ltr G.Coaxum-30p.pdf; 2013, 12-20-13, NJG reply to M
Schneider-JQC-confidentiality-6p.pdf; 2013, 12-31-13, NJG reply-Ms-Jones-FCHR;Notice-Gov-Scott16.02-FS-Appoint-12p.pdf; Ethics Complaint, Notice No. 13-201-AG-Bondi-Dec-17-2013 et al14p.pdf; Ethics Complaints-(7)-NJG to Fla Ethics Commission Dec-9th-11th-2013-14p.pdf; FCHR
Complaint, NJG to Michelle Wilson-760.51 FS-Dec-10-2013-14p.pdf; TFB 2014-30,525 (9A)
complaint Danielle N Parsons-31p.pdf
FCHR No. 201400117; Notice to Gov. Scott, F.S. 16.02 Appointment of person to act in case of
disability of Attorney General

Governor Rick Scott


Office of Governor Rick Scott
State of Florida, The Capitol
400 South Monroe Street
Tallahassee, Florida 32399-0001
Email: Rick.Scott@eog.myflorida.com
VIA UPS No. 1Z64589FP295521539
Notice - F.S. 16.02 Appointment of person to act in case of disability of Attorney General
Jodi Jones, Regulatory Specialist
Florida Commission on Human Relations
2009 Apalachee Parkway, Suite 100
Tallahassee, FL 32301
Email: jodi.jones@fchr.myflorida.com
VIA U.P.S. No. 1Z64589FP295665527
Re FCHR No. 201400117
Dear Ms. Jones:
Thank you for your letter dated December 26, 2013. I received your letter after emailing you yesterday
about the status of my complaint. In response to your letter, please note that I appear pro se because I
cannot obtain counsel. I am a nonlawyer and I did not attend law school.
My complaint alleged violations of constitutional civil rights and disability rights. My cover letter
December 10, 2013 to the FCHR stated, "Please find enclosed my complaint for civil rights violations
and disability discrimination against the persons and entities shown below." So your reliance on Section
509.92, Section 760.10, or Sections 760.23-25, Florida Statutes is misplaced. My complaint was limited
by the required FCHR form, but I did cite to F.S. 760.51 on page 2.
F.S. 760.51 Violations of constitutional rights, civil action by the Attorney General; civil penalty.
Here, the Attorney General, part of the Executive Branch, wrongly conspired with the Judicial Branch
(Fla. Const. Art. II, Sec. 3, branches of govt. ) to obstruct justice and violate my constitutional civil

11/13/2014

Page 2 of 3

rights and disability rights. My complaint includes 21 parties, not just the Attorney General, see the
attached complaint. The Florida Bar has opened two inquires:
1. The Florida Bar File No. 2014-30,525 (9A), for Danielle Nicole Parsons, Bar ID 29364.
2. Unlicensed Practice of Law Investigation of Yolanda I. Martinez, Case No. 20143031(9A).
The Florida Commission on Ethics gave notice December 17, 2013 of seven complaints for Misuse of
Public Position, 112.313(6) F.S. I hereby waive confidentiality, see attached:
Complaint No. 13-201, Pamela Jo Bondi, Attorney General of Florida, Executive Branch
Complaint No. 13-202, Diana R. Esposito, Chief Asst. Attorney General, Executive Branch
Complaint No. 13-203, Kenneth V. Wilson, Asst. Attorney General, Executive Branch
Complaint No. 13-204, Valerie Williford, Employee of Attorney General, Executive Branch
Complaint No. 13-205, Laura Martin, Employee of Attorney General, Executive Branch
Complaint No. 13-206, David Rowland, Gen. Counsel, Thirteenth Judicial Circuit, Judicial Branch
Complaint No. 13-207, Sandra Burge, paralegal, Thirteenth Judicial Circuit, Judicial Branch
Therefore, the Florida Commission on Human Relations should ask the Governor to appoint another
person to perform such duty in the Attorney Generals stead as provided by F.S. 16.02. This letter to
Governor Scott also requests appointment of another person under F.S. 16.02.
F.S. 16.02 Appointment of person to act in case of disability of Attorney General.
In case of the disability of the Attorney General to perform any official duty devolving on him or her, by
reason of interest or otherwise, the Governor or Attorney General of this state may appoint another
person to perform such duty in the Attorney Generals stead.
F.S. 760.51 Violations of constitutional rights, civil action by the Attorney General; civil penalty.
(1) Whenever any person, whether or not acting under color of law, interferes by threats, intimidation, or
coercion, or attempts to interfere by threats, intimidation, or coercion, with the exercise or enjoyment by
any other person of rights secured by the State Constitution or laws of this state, the Attorney General
may bring a civil or administrative action for damages, and for injunctive or other appropriate relief for
violations of the rights secured. Any damages recovered under this section shall accrue to the injured
person. The civil action shall be brought in the name of the state and may be brought on behalf of the
injured person. The Attorney General is entitled to an award of reasonable attorneys fees and costs if
the Department of Legal Affairs prevails in an action brought under this section.
(2) Any person who interferes by threats, intimidation, or coercion, or attempts to interfere by threats,
intimidation, or coercion, with the exercise or enjoyment by any other person of rights secured by the
State Constitution or laws of this state is liable for a civil penalty of not more than $10,000 for each
violation. This penalty may be recovered in any action brought under this section by the Attorney
General. A civil penalty so collected shall accrue to the state and shall be deposited as received into the
General Revenue Fund unallocated.
In addition, I believe the wrongful foreclose of my home involving age discrimination, civil rights and
disability discrimination gives standing under F.S. 760.20, Florida Fair Housing Act.
Many of the accusations in my complaint to the FCHR under F.S. 760.51 cite to federal law because
the U.S. Supreme Court is a federal court. In compliance with "the rights secured by the State

11/13/2014

Page 3 of 3

Constitution or laws of this state" provision of F.S. 760.51, please see below. I believe the person
appointment under F.S. 16.02 can provide whatever else is needed.
Please refer to the accompanying lists - one list of 22 related cases, a list of 18 Florida Bar/UPL
complaints, and a list of 8 complaints to the Judicial Qualifications Commission. Those 48 legal
proceedings each show under F.S. 760.51 violations of my constitutional rights secured by the State
Constitution or laws of this state. Under the Supremacy Clause I believe rights secured by the
Constitution and laws of the United States are included, and Treaties of the United States.
Sincerely,
Neil J. Gillespie - 8092 SW 115th Loop - Ocala Florida 34481
352-854-7807 - neilgillespie@mfi.net
See list of enclosures, and service list

11/13/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"Governor Rick Scott" <Rick.Scott@eog.myflorida.com>


"Neil Gillespie" <neilgillespie@mfi.net>
Tuesday, December 31, 2013 10:48 PM
Creating Jobs for Florida Families FOR WEB.pdf
Acknowledging the receipt of your email

Thank you for contacting Governor Rick Scott.


Due to the volume of emails sent to the Governor, there may be a delay in responding to your email.
You may wish to view the Governor's web site which provides information on current issues and
answers to frequently asked questions. http://www.flgov.com/helpful-information/
Under Florida law, all correspondence sent to the Governors Office, which is not exempt or
confidential pursuant to Chapter 119 of the Florida Statutes, is a public record. All public record
electronic mail sent to Governor Scott will be posted to Project Sunburst at
http://www.flgov.com/sunburst, and will be accessible to the public. If you do not want the public record
contents of your e-mail or your e-mail address to be published on this website or to be provided to the
public in response to a public records request, please do not send electronic mail to this entity. Please be
aware that personal information sent in your correspondence, such as home addresses and telephone
numbers, may be posted to the Sunburst public records website.
Sign up to receive Governor Scotts e-mail updates at www.FLGov.com/newsletter. Follow the
Governor on Twitter at @ItsWorkingFL
Thank you again for taking the time to contact Governor Scott.

11/13/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"Neil Gillespie" <neilgillespie@mfi.net>


"Neil Gillespie" <neilgillespie@mfi.net>
Tuesday, December 31, 2013 10:54 PM
ATT00036.txt
Read: FCHR No. 201400117; Notice to Gov. Scott, F.S. 16.02 Appointment of person to act in case
of disability of Attorney General

This is a receipt for the mail you sent to


"Gov. Rick Scott" <Rick.Scott@eog.myflorida.com>; "Pam Bondi" <pam.bondi@myfloridalegal.com>;
"Jodi Jones" <jodi.jones@fchr.myflorida.com>; "FCHR" <fchrinfo@fchr.myflorida.com>; "Special
Rapporteur Gabriela Knaul" <SRindependenceJL@ohchr.org>; "Shuaib Chalklen Special Rapporteur
Disability" <enable@un.org>; "Adam Putnam" <Adam.Putnam@freshfromflorida.com>; "Jeff Atwater"
<Jeff.Atwater@myfloridacfo.com>; "Morgan Ray Bentley" <mbentley@bentleyandbruning.com>;
"Virlindia A Doss" <doss.virlindia@leg.state.fl.us>; "Gilbert Singer" <gsinger@marcadislaw.com>;
"Goodner, Elisabeth" <goodnerl@flcourts.org>; "Michael Schneider" <mschneider@floridajqc.com>;
"Neil Gillespie" <neilgillespie@mfi.net> at 12/31/2013 10:45 PM
This receipt verifies that the message has been displayed on the recipient's computer at 12/31/2013
10:54 PM

11/13/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"Morgan Bentley" <mbentley@bentleyandbruning.com>


"Neil Gillespie" <neilgillespie@mfi.net>
Wednesday, January 01, 2014 12:09 AM
ATT00048.txt
Read: FCHR No. 201400117; Notice to Gov. Scott, F.S. 16.02 Appointment of person to act in case
of disability of Attorney General
Your message
To: Morgan Bentley
Subject: FCHR No. 201400117; Notice to Gov. Scott, F.S. 16.02 Appointment of person to act in case of disability of
Attorney General
Sent: Tuesday, December 31, 2013 10:45:25 PM (UTC-05:00) Eastern Time (US & Canada)
was read on Wednesday, January 01, 2014 12:09:22 AM (UTC-05:00) Eastern Time (US & Canada).

11/13/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"Gil Singer" <gsinger@marcadislaw.com>


"Neil Gillespie" <neilgillespie@mfi.net>
Wednesday, January 01, 2014 2:10 AM
ATT00052.txt
Read: FCHR No. 201400117; Notice to Gov. Scott, F.S. 16.02 Appointment of person to act in case
of disability of Attorney General
Your message
To: Gil Singer
Subject: FCHR No. 201400117; Notice to Gov. Scott, F.S. 16.02 Appointment of person to act in case of disability of
Attorney General
Sent: Tuesday, December 31, 2013 10:45:25 PM (UTC-05:00) Eastern Time (US & Canada)
was read on Wednesday, January 01, 2014 2:10:13 AM (UTC-05:00) Eastern Time (US & Canada).

This transmission is intended for the sole use of the individual and entity to whom it is addressed.
Privileged and confidential information may be contained in this message. You are hereby notified that
any dissemination, distribution, or duplication of this transmission by someone other than the intended
addressee or its designated agent is strictly prohibited. Opinions, conclusions and other information in
this message that do not relate to official business of my organization shall be understood as neither
given nor endorsed by it. If your receipt of this transmission is in error, please notify the sender
immediately by reply to this transmission.

11/13/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"Lisa Goodner" <goodnerl@flcourts.org>


"Neil Gillespie" <neilgillespie@mfi.net>
Wednesday, January 01, 2014 8:34 PM
ATT00056.txt
Read: FCHR No. 201400117; Notice to Gov. Scott, F.S. 16.02 Appointment of person to act in case
of disability of Attorney General
Your message was read on Wednesday, January 01, 2014 8:34:45 PM (GMT-05:00) Eastern Time (US & Canada).

11/13/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Subject:

"Doss, Virlindia" <DOSS.VIRLINDIA@leg.state.fl.us>


"Neil Gillespie" <neilgillespie@mfi.net>
Tuesday, December 31, 2013 10:56 PM
Out of Office: FCHR No. 201400117; Notice to Gov. Scott, F.S. 16.02 Appointment of person to act
in case of disability of Attorney General
I am out of the office Tuesday, December 31. If you need immediate assistance, please call (850) 488-7864.

11/13/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"FCHR Website Email" <fchrinfo@fchr.myflorida.com>


"Neil Gillespie" <neilgillespie@mfi.net>
Thursday, January 02, 2014 8:14 AM
ATT00017.txt
Read: FCHR No. 201400117; Notice to Gov. Scott, F.S. 16.02 Appointment of person to act in case
of disability of Attorney General

Your message
To:
Gov. Rick Scott; Pam Bondi; Jones, Jodi; FCHR Website Email;
Special Rapporteur Gabriela Knaul; Shuaib Chalklen Special Rapporteur
Disability; Adam Putnam; Jeff Atwater; Morgan Ray Bentley; Virlindia A
Doss; Singer, Gil; Goodner, Elisabeth; Michael Schneider; Neil Gillespie
Subject: FCHR No. 201400117; Notice to Gov. Scott, F.S. 16.02
Appointment of person to act in case of disability of Attorney General
Sent: Tue, 31 Dec 2013 22:45:25 -0500
was read on Thu, 2 Jan 2014 08:14:00 -0500

11/13/2014

Page 1 of 2

Neil Gillespie
From:
To:

Cc:
Sent:
Attach:
Subject:

"Neil Gillespie" <neilgillespie@mfi.net>


"Delilah Lugo" <dhl@mccallaraymer.com>; "McCalla Raymer E-service"
<MRService@mccallaraymer.com>; "Jane Bond" <jane.bond@mccallaraymer.com>; "Robyn Katz"
<rrk@mccallaraymer.com>; "Patricia Ann Toro Savitz" <psavitz@flabar.org>; "Jon Marshall Oden"
<joden@balljanik.com>; "Barry Rodney Davidson" <bdavidson@hunton.com>; "Frank Harlan Killgore
Jr." <FHKILLGORE@KPSOS.COM>
"Hon. Hale Ralph Stancil" <hstancil@circuit5.org>; "Mark Gillespie" <mark.gillespie@att.net>; "Neil
Gillespie" <neilgillespie@mfi.net>
Friday, November 14, 2014 5:05 PM
Response to Curtis Wilson, McCalla Raymer LLC 16p.pdf; Re Complaint against Danielle Nicole
Parsons.pdf; FCHR No. 201400117.pdf
Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 / Reverse
Mortgage Solutions v. Neil Gillespie, et al

See attached, thank you. Neil J. Gillespie


----- Original Message ----From: Delilah Lugo
To: mark.gillespie@att.net ; neilgillespie@mfi.net
Sent: Thursday, November 13, 2014 4:30 PM
Subject: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 / Reverse Mortgage
Solutions v. Neil Gillespie, et al

THIS LAW FIRM MAY BE DEEMED A "DEBT COLLECTOR" UNDER THE FAIR DEBT
COLLECTION PRACTICES ACT.
ANY AND ALL INFORMATION OBTAINED MAY BE USED FOR THE PURPOSE OF COLLECTING A
DEBT.

Mr. Gillespie,
As you know, our office represents the Plaintiff in the above action. I am attempting to coordinate a
Case Management Conference on all pending Motions. I have obtained the Courts availability and
was provided the below dates/times. Please review and advise as to your availability.
12/15 AM and PM available
12/16 AM and PM available
12/17 1-3
12/18 10-11; or 1-5
12/19 AM and PM available
*Note: If no response within 48 hours, we will assume no objection to the dates provided and schedule
accordingly.

Thank you,

Delilah Lugo
Litigation Hearing Department

McCalla Raymer, LLC


225 E Robinson St Suite 660

D
11/17/2014

Page 2 of 2

Orlando, Fl. 32801

Phone: (407) 674-1850


Direct: (407) 674-1678
Fax: (321) 248-0420
Long Distance: (855) 281-3909
Email: dhl@mccallaraymer.com
***Please send all Litigation Hearing requests to fllithearingdept@mccallaraymer.com and
Mediations requests to fllitmediationdept@mccallaraymer.com***
THIS LAW FIRM MAY BE DEEMED A "DEBT COLLECTOR" UNDER THE FAIR DEBT COLLECTION
PRACTICES ACT. ANY AND ALL INFORMATION OBTAINED MAY BE USED FOR THE PURPOSE OF
COLLECTING A DEBT. This message has been sent from a law firm and may contain
information that is confidential or privileged. If you are not the intended recipient, please
advise the sender immediately by reply e-mail and delete this message and any attachments
without retaining a copy. Any disclosure, copying, distribution or use of the contents of this
message is prohibited. If you have any questions, please feel free to call us. Thank you

11/17/2014

E-mail Service List November 14, 2014


RE: Hearing on Case Management Conference on all pending Motions
Reverse Mortgage Solutions, Inc. v. Neil J. Gillespie, et al., case no. 2013-CA-115.
Marion County Circuit Court, Fifth Judicial Circuit Florida
Curtis Wilson, Esq.
McCalla Raymer, LLC
225 E. Robinson St. Suite 660
Orlando, FL 32801
Email: MRService@mccallaraymer.com
Fla. Bar No.: 77669
Delilah Lugo, dhl@mccallaraymer.com
Litigation Hearing Department
McCalla Raymer, LLC

Jane Bond, Managing Partner


Litigation & Trial Practicebond
McCalla Raymer LLC
Email: jane.bond@mccallaraymer.com
Robyn Katz, Managing Partner
Florida Foreclosure
McCalla Raymer LLC
Email: rrk@mccallaraymer.com

Ms. Patricia Ann Toro Savitz


The Florida Bar
1000 Legion Place, Suite 1625
Orlando, Florida 32801-1050
Email: psavitz@flabar.org

Mr. Jon Marshall Oden


Ball Janik L.L.P.
201 E. Pine St. Ste. 825
Orlando, Florida 32801-2764
Email: joden@balljanik.com

Mr. Barry R. Davidson (for Respondent)


Hunton & Williams LLP
Barclays Financial Center
1111 Brickell Ave. Floor 25
Miami, Florida 33131-3101
Email: bdavidson@hunton.com

Mr. Frank Harlan Killgore Jr.


Killgore, Pearlman, Stamp, Ornstein & Squires
2 South Orange Avenue
P.O. Box 1913
Orlando, Florida 32801
Email: FHKILLGORE@KPSOS.COM

I certify that today November 14, 2014 I served the foregoing parties by email as shown my PDF
letter to Curtis Wilson, Esq. Hearing on Case Management Conference on all pending Motions

Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481
Telephone: 352-854-7807
Email: neilgillespie@mfi.net

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"Stancil, Hale" <hstancil@circuit5.org>


"Neil Gillespie" <neilgillespie@mfi.net>
Friday, November 14, 2014 5:19 PM
ATT00028.txt
Read: Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 /
Reverse Mortgage Solutions v. Neil Gillespie, et al
Your message
To: Stancil, Hale
Subject: Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 / Reverse Mortgage
Solutions v. Neil Gillespie, et al
Sent: Friday, November 14, 2014 5:05:39 PM (UTC-05:00) Eastern Time (US & Canada)
was read on Friday, November 14, 2014 5:19:12 PM (UTC-05:00) Eastern Time (US & Canada).

11/17/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"Neil Gillespie" <neilgillespie@mfi.net>


"Neil Gillespie" <neilgillespie@mfi.net>
Friday, November 14, 2014 5:09 PM
ATT00040.txt
Read: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 / Reverse
Mortgage Solutions v. Neil Gillespie, et al

This is a receipt for the mail you sent to


"Delilah Lugo" <dhl@mccallaraymer.com>; "McCalla Raymer E-service"
<MRService@mccallaraymer.com>; "Jane Bond" <jane.bond@mccallaraymer.com>; "Robyn Katz"
<rrk@mccallaraymer.com>; "Patricia Ann Toro Savitz" <psavitz@flabar.org>; "Jon Marshall Oden"
<joden@balljanik.com>; "Barry Rodney Davidson" <bdavidson@hunton.com>; "Frank Harlan Killgore
Jr." <FHKILLGORE@KPSOS.COM> at 11/14/2014 5:05 PM
This receipt verifies that the message has been displayed on the recipient's computer at 11/14/2014 5:09
PM

11/17/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Subject:

"Patti A. Savitz" <psavitz@flabar.org>


"Neil Gillespie" <neilgillespie@mfi.net>
Sunday, November 16, 2014 7:54 PM
Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 / Reverse
Mortgage Solutions v. Neil Gillespie, et al
Return Receipt
Your

Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 / Reverse

was

psavitz@flabar.org

document:
received

Mortgage Solutions v. Neil Gillespie, et al

by:
at:

11/16/2014 19:54:18

11/17/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"Frank Killgore" <fhkillgore@kpsos.com>


"Neil Gillespie" <neilgillespie@mfi.net>
Saturday, November 15, 2014 10:36 AM
ATT00010.txt
Read: Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 /
Reverse Mortgage Solutions v. Neil Gillespie, et al
Your message
To: Frank Killgore
Subject: Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 / Reverse Mortgage
Solutions v. Neil Gillespie, et al
Sent: Friday, November 14, 2014 5:05:39 PM (UTC-05:00) Eastern Time (US & Canada)
was read on Saturday, November 15, 2014 10:36:06 AM (UTC-05:00) Eastern Time (US & Canada).

11/17/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"Oden, Jon" <joden@balljanik.com>


"Neil Gillespie" <neilgillespie@mfi.net>
Friday, November 14, 2014 5:37 PM
ATT00020.txt
Read: Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 /
Reverse Mortgage Solutions v. Neil Gillespie, et al
Your message
To: Oden, Jon
Subject: Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 / Reverse Mortgage
Solutions v. Neil Gillespie, et al
Sent: Friday, November 14, 2014 2:05:39 PM (UTC-08:00) Pacific Time (US & Canada)
was read on Friday, November 14, 2014 2:37:12 PM (UTC-08:00) Pacific Time (US & Canada).

11/17/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"Davidson, Barry" <bdavidson@hunton.com>


"Neil Gillespie" <neilgillespie@mfi.net>
Friday, November 14, 2014 7:05 PM
ATT00016.txt
Read: Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 /
Reverse Mortgage Solutions v. Neil Gillespie, et al

Your message
To: Davidson, Barry
Subject: Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 /
Reverse Mortgage Solutions v. Neil Gillespie, et al
Sent: Friday, November 14, 2014 5:05:39 PM (UTC-05:00) Eastern Time (US & Canada)
was read on Friday, November 14, 2014 7:05:39 PM (UTC-05:00) Eastern Time (US & Canada).

11/17/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"Jane E. Bond" <jnb@mccallaraymer.com>


"Neil Gillespie" <neilgillespie@mfi.net>
Friday, November 14, 2014 5:26 PM
ATT00024.txt
Read: Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 /
Reverse Mortgage Solutions v. Neil Gillespie, et al
Your message
To: Jane E. Bond
Subject: Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 / Reverse Mortgage
Solutions v. Neil Gillespie, et al
Sent: Friday, November 14, 2014 5:05:39 PM (UTC-05:00) Eastern Time (US & Canada)
was read on Friday, November 14, 2014 5:26:16 PM (UTC-05:00) Eastern Time (US & Canada).

11/17/2014

Page 1 of 1

Neil Gillespie
From:
To:
Sent:
Attach:
Subject:

"Robyn R. Katz" <rrk@mccallaraymer.com>


"Neil Gillespie" <neilgillespie@mfi.net>
Friday, November 14, 2014 5:17 PM
ATT00032.txt
Read: Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 /
Reverse Mortgage Solutions v. Neil Gillespie, et al
Your message
To: Robyn R. Katz
Subject: Re: Coordinate hearing: Marion Case 42-2013-CA-000115-AXXX-XX / MR#12-02121 / Reverse Mortgage
Solutions v. Neil Gillespie, et al
Sent: Friday, November 14, 2014 5:05:39 PM (UTC-05:00) Eastern Time (US & Canada)
was read on Friday, November 14, 2014 5:17:06 PM (UTC-05:00) Eastern Time (US & Canada).

11/17/2014

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