Public Record and Recording Request, Hillsborough Clerk of the Circuit Court
Mr. Dale K. Bohner, Counsel to the Clerk, Office of the Hillsborough Clerk of the Circuit Court, Hillsborough County, Thirteenth Judicial Circuit
601 E. Kennedy Blvd., 13th Floor
Tampa, FL 33602
PUBLIC RECORD and RECORDING REQUEST
Dear Mr. Bohner:
This is a request for Certified Copies of records (below) in Hillsborough Case No. 05-CA-7205, Gillespie v Barker, Rodems & Cook, PA. Then I want the records recorded in the Official Records of Hillsborough County. Copies of the records are enclosed for identification.
Original Title
Public Record and Recording Request, Hillsborough Clerk of the Circuit Court
Public Record and Recording Request, Hillsborough Clerk of the Circuit Court
Mr. Dale K. Bohner, Counsel to the Clerk, Office of the Hillsborough Clerk of the Circuit Court, Hillsborough County, Thirteenth Judicial Circuit
601 E. Kennedy Blvd., 13th Floor
Tampa, FL 33602
PUBLIC RECORD and RECORDING REQUEST
Dear Mr. Bohner:
This is a request for Certified Copies of records (below) in Hillsborough Case No. 05-CA-7205, Gillespie v Barker, Rodems & Cook, PA. Then I want the records recorded in the Official Records of Hillsborough County. Copies of the records are enclosed for identification.
Public Record and Recording Request, Hillsborough Clerk of the Circuit Court
Mr. Dale K. Bohner, Counsel to the Clerk, Office of the Hillsborough Clerk of the Circuit Court, Hillsborough County, Thirteenth Judicial Circuit
601 E. Kennedy Blvd., 13th Floor
Tampa, FL 33602
PUBLIC RECORD and RECORDING REQUEST
Dear Mr. Bohner:
This is a request for Certified Copies of records (below) in Hillsborough Case No. 05-CA-7205, Gillespie v Barker, Rodems & Cook, PA. Then I want the records recorded in the Official Records of Hillsborough County. Copies of the records are enclosed for identification.
VIA Email bohnerd@hillsclerk.com Mr. Dale K. Bohner, Counsel to the Clerk Office of theHillsborough Clerk of the Circuit Court Hillsborough County, Thirteenth J udicial Circuit 601 E. Kennedy Blvd., 13th Floor Tampa, FL 33602 PUBLIC RECORD and RECORDING REQUEST Dear Mr. Bohner: This is a request for Certified Copies of records (below) in Hillsborough Case No. 05-CA-7205, Gillespie v Barker, Rodems & Cook, PA. Then I want the records recorded in the Official Records of Hillsborough County. Copies of the records are enclosed for identification. 1. 2006, 01-13-06, Order on Defendants' motion dismiss strike, Hillsborough 05-CA-7205 2. 2006, 04-25-06, Plaintiffs Motion for Summary J udgment-Hillsborough 05-CA-7205 3. 2006, 04-25-06, Plaintiffs Affidavit-Summary J udgment-Hillsborough 05-CA-7205 4. 2008, 03-27-08, Order Determining amount of sanctions, Hillsborough 05-CA-7205 5. 2008, 09-09-08, Order granting stay, Hillsborough 05-CA-7205 6. 2010, 09-27-10, Fax & Affidavit, J Cook mislead Clerk-Hillsborough 05-CA-7205 7. 2010, 09-27-10, Fax & Affidavit, HCSO, J Cook-ADA-Hillsborough 05-CA-7205 8. 2010, 10-22-10, letter from Dale Bohner, Hillsborough 05-CA-7205 9. 2011, 01-14-11, letter from Dale Bohner, Hillsborough 05-CA-7205 10. 2011, 03-22-11, Clerk's Certificate, Hillsborough 05-CA-7205 11. 2011, 05-31-11, Rodems letter to Pat Frank, Hillsborough 05-CA-7205 12. 2011, 06-01-11, Public Defender motion for clarification, Hillsborough 05-CA-7205 13. 2011, 06-01-11, Order relieving Public Defender, Hillsborough 05-CA-7205 14. 2011, 06-01-11, Writ of Bodily Attachment, w description, Hillsborough 05-CA-7205 15. 2011, 07-11-11, Clerk's letter returned pleadings per order, Hillsborough 05-CA-7205 16. 2011, 09-22-11, Clerk's letter returning pleading per order, Hillsborough 05-CA-7205 There are a number of other documents for which I want certified copies to be recorded. So the above listed documents is an initial partial request. Time is of the essence. Enclosed you will find a draft copy not yet filed in SC14-1637, Declaration of Neil J. Gillespie: Verified Notice of Filing Official Records. Before I submit the pleading I would like a response from the Clerk to provide and record the records. F.S. 28.215 The clerk of the circuit court shall provide ministerial assistance to pro se litigants. In the past the Clerk failed to perform her ministerial duty to file my pleadings. As a ministerial officer of the court which she serves, the Clerk has no discretion to depart from the statutes or rules of court applicable to her duties. Pan American World Airways v. Gregory, 96 So.2d 669 (3 D.C.A. Fla., 1957). Furthermore, the order of Martha Cook that the Clerk claims she relied upon to breach her ministerial duty does not remotely comply with F.S. 68.093, the Florida Vexatious Litigant Law. The Clerk is not a party to the action, and therefore any orders from Martha Cook directed to the Clerk in my case are without jurisdiction and are meaningless. Mr. Dale K. Bohner, Counsel to the Clerk September 25, 2014 Office of theHillsborough Clerk of the Circuit Court Page - 2 PUBLIC RECORDS REQUEST: Pursuant to F.S. 68.093(6) The clerk of a court shall provide copies of all prefiling orders to the Clerk of the Florida Supreme Court, who shall maintain a registry of all vexatious litigants. A copy of the statute is enclosed. I demand the Clerk provide all records under F.S. 68.093(6) showing I am a vexatious litigant. Second DCA Appellate Case No. 2D10-5197 1. Amended Application For Order in Appellate Case No. 2D10-5197 was provided J une 12, 2014 to Hon. Pat Frank, Clerk of Circuit Court, with separate appendices. 2. Addendum to Amended Application For Order in Appellate Case No. 2D10-5197 was provided J une 17, 2014 to Hon. Pat Frank, Clerk of Circuit Court, with separate appendices. 3. The two previously served pleadings shown above were corrected by strikeout and text edit box, and were served in corrected paper format J une 23, 2014 to Hon. Pat Frank, Clerk of Circuit Court. All previously served appendices remain unchanged and were not served again. The Clerks online docket in Hillsborough 05-CA-7205 shows filing of, 1. Amended Application For Order in Appellate Case No. 2D10-5197 was provided J une 12, 2014 to Hon. Pat Frank, Clerk of Circuit Court, with separate appendices. The Clerks online docket in Hillsborough 05-CA-7205 does not show filing of items 2 and 3. Enclosed is page 23 from a PDF of online DOCKET 05-CA-7205 from today September 25th. I provided the documents to the Clerk, and expect them to be filed in Hillsborough 05-CA-7205. Please notify me of any fees for the services requested. A priority is the Order Granting Stay, number 5, 2008, 09-09-08, Order Granting Stay, Hillsborough 05-CA-7205, for a certified copy and recording in the Official Records of Hillsborough County. Thank you in advance for the courtesy of a response. Sincerely, Neil J . Gillespie 8092 SW 115th Loop Ocala, Florida Telephone: (352) 854-7807 Email: neilgillespie@mfi.net Enclosures IN THE SUPREME COURT OF FLORIDA STATE OF FLORIDA NEIL J . GILLESPIE, Petitioner pro se (nonlawyer), CASE NO.: SC14-1637 VS. THE FLORIDA BAR, Respondent. _________________________________ / Declaration of Neil J . Gillespie: Verified Notice of Filing Official Records Pursuant to 28 U.S.C. 1746(2); and Fla. Stat. 92.525 Petitioner Neil J . Gillespie, an indigent disabled nonlawyer reluctantly appearing pro se, henceforth in the first person, gives verified notice of filing to establish a record in this petition of related Official Records recorded by the Hillsborough Clerk of the Circuit Court, including: 1. 2001, 11-13-01, Appeal Hillsborough 99-09730 Barker, Rodems & Cook, P.A. (BRC) 2. 2002, 05-20-02, Appeal Hillsborough 01 99-09730 Florida AAG Rodger Handberg 3. 2002, 07-02-02, 2DCA Order 2D01-5559 Gillespie v Clement, BRC 4. 2002, 07-02-02, Appeal Hillsborough 01 99-09730 Florida AAG Roger Handberg 5. 2006, 08-14-06, Appeal Hillsborough 05-CA-7205 Gillespie pro se 6. 2006, 09-08-06, 2DCA Order 2D06-3803 Gillespie pro se petition dismissed 7. 2007, 02-07-07, Voluntary Dismissal-Hillsborough 05-CA-7205 Gillespie pro se 8. 2007, 02-15-07, Withdrawal-Voluntary Dismissal-Hillsborough 05-CA-7205 Gillespie pro se 9. 2007, 08-31-07, Order Granting P's Motion Withdrawal Vol-Dismissal-Hillsborough 05-CA-7205 10. 2008, 02-08-08, 2DCA Order 2D07-4530 Denied Rodems petition 11. 2008, 04-02-08, Final J udgment Hillsborough 05-CA-7205 J Barton $11,550 sanction draft 2 12. 2008, 04-28-08, Appeal Final J udgment Hillsborough 05-CA-7205 Gillespie pro se 13. 2008, 07-07-08, Final J udgment Defendant Cook Hillsborough 05-CA-7205 14. 2009, 10-28-09, 2DCA Mandate 2D08-2224 (Opinion filed Oct-09-2009) 15. 2010, 09-28-10, Voluntary Dismissal Counterclaims-Hillsborough 05-CA-7205 Rodems-BRC 16. 2010, 10-22-10, Appeal Final Sum-J udg-Ct I- Hillsborough 05-CA-7205 Gillespie pro se 17. 2010, 10-25-10, Final Summary J udgment Count I-Hillsborough 05-CA-7205 J Cook 18. 2010, 11-15-10, Order Directing Clerk to Close Case-Hillsborough 05-CA-7205 J Cook 19. 2010, 12-09-10, 2DCA Order 2D10-5529 Denied writ prohibition J Cook (J Crenshaw et al) 20. 2011, 05-04-11, 2DCA Order 2D11-2127 Denied habeas corpus (J J Crenshaw, Black, LaRosa) 21. 2011, 06-21-11, J oint Stipulation Dismissal W-Prejudice-Hillsborough 05-CA-7205 22. 2011, 06-22-11, Satisfaction of J udgment-Hillsborough 05-CA-7205-Rodems-BRC 23. 2011, 06-24-11, 2DCA Order 2D10-5197 Appeal dismissed (J oint Stipulation Dismissal) 24. 2013, 10-15-13, Order Unclaimed Court Registry Funds-Hillsborough 13-AF-000058 p31 $200 25. Not related: 2003, 06-05-03, J udgment of Dismissal 2000-017523 (mass dismissal old cases) 26. Not related: 2004, 06-10-04, J udgment of Dismissal 1997-15043 (mass dismissal old cases) 27. 2014, 09-23-14, Search results Hillsborough County Gillespie Neil Pursuant to Fla. Stat. 92.525, under penalties of perjury, I declare that I have read the foregoing Declaration and that the facts stated in it are true, or to the best of my knowledge and belief. Pursuant to 28 U.S.C. 1746(2), I declare under penalty of perjury that the foregoing is true and correct. Executed on this 15th day of September, 2014.
Neil J . Gillespie (signature) 8092 SW 115th Loop Ocala, Florida 34481 Telephone: 352-854-7807 Email: neilgillespie@mfi.net draft Search Results Showing 1 - 26 of 26 (3.406 seconds) Searched for the name 'Gillespie Neil' in ALL DOCUMENT TYPES type documents from '1/4/1965' to '9/23/2014' U = Unverified 1 [row] Status PartyType FullName CrossPartyName Date Doc Type Book Page Legal Instrument # 1 To GILLESPIE NEIL FLORIDA STATE ATTORNEY GENERAL 7/22/2002 COURT PAPER 11799 32 2002247982 2 From GILLESPIE NEIL CLEMENT EUGENE R 7/5/2002 COURT PAPER 11759 329 2002227155 3 To GILLESPIE NEIL FLORIDA STATE LEGAL AFFAIRS 5/29/2002 COURT PAPER 11667 942 2002179256 4 From GILLESPIE NEIL ACE CASH EXPRESS INC 11/26/2001 COURT PAPER 11221 1035 2001375217 5 A To GILLESPIE NEIL J HILLSBOROUGH COUNTY CLK 10/22/2013 ORDER 22218 722 O 22218/254 2013402233 6 To GILLESPIE NEIL J BARKER RODEMS & COOK PA 6/30/2011 SATISFACTION 20586 473 OR BK 18544 PG 410 2011214017 7 From GILLESPIE NEIL J BARKER RODEMS & COOK PA 6/30/2011 COURT PAPER 20585 188 2011213253 8 From GILLESPIE NEIL J BARKER RODEMS & COOK PA 6/29/2011 COURT PAPER 20584 1140 2011212832 9 From GILLESPIE NEIL J BARKER RODEMS & COOK PA 5/31/2011 COURT PAPER 20533 981 2011176056 10 From GILLESPIE NEIL J BARKER RODEMS & COOK PA 1/5/2011 COURT PAPER 20288 1953 2011006619 11 From GILLESPIE NEIL J BARKER RODEMS & COOK PA 11/16/2010 ORDER 20203 878 2010389172 12 To GILLESPIE NEIL J BARKER RODEMS & COOK PA 10/25/2010 JUDGMENT 20159 1448 2010361697 13 From GILLESPIE NEIL J BARKER RODEMS & COOK PA 10/22/2010 COURT PAPER 20158 1837 2010361026 14 From GILLESPIE NEIL J BARKER RODEMS & COOK PA 10/11/2010 COURT PAPER 20131 352 2010342274 15 From GILLESPIE NEIL J BAKER RODEMS & COOK PA 11/9/2009 COURT PAPER 19559 952 2009374181 16 To GILLESPIE NEIL J COOK WILLIAM J 7/10/2008 JUDGMENT 18744 1481 2008245790 17 From GILLESPIE NEIL J BAKER RODEMS & COOK PA 5/1/2008 COURT PAPER 18605 908 2008155652 18 To GILLESPIE NEIL J BARKER RODEMS & COOK PA 4/2/2008 JUDGMENT 18544 410 2008118236 19 To GILLESPIE NEIL J BARKER RODEMS & COOK PA 3/18/2008 COURT PAPER 18510 1703 2008097569 20 From GILLESPIE NEIL J BARKER RODEMS & COOK PA 9/17/2007 ORDER 18115 735 2007406176 21 From GILLESPIE NEIL J RODEMS RYAN CHRISTOPHER 3/2/2007 ORDER 17531 914 2007111227 22 From GILLESPIE NEIL J BARKER RODEMS & COOK PA 2/14/2007 COURT PAPER 17470 1712 2007081721 23 From GILLESPIE NEIL J BARKER RODEMS & COOK PA 10/5/2006 COURT PAPER 17021 222 2006477891 http://pubrec3.hillsclerk.com/oncore/search.aspx?bd=1/4/1965&ed=9/23/2014&n=Gillespie Neil&bt=O&d=9/23/2014&pt=-1&st=fullname 24 From GILLESPIE NEIL J BARKER RODEMS & COOK PA 8/16/2006 COURT PAPER 16835 1039 2006395587 25 To GILLESPIE NEIL J HILLSBOROUGH COUNTY JUDGE 7/12/2004 COURT PAPER 14013 524 DOCKET MULTIPLE CASES 2004264014 26 To GILLESPIE NEIL J HILLSBOROUGH COUNTY JUDGE 6/26/2003 COURT PAPER 12791 686 MULTIPLE DOCKETS 2003256831 1
ORDER FROM SUPREME COURT 2/11/14, [WITH ATTACHED APPLICATION FOR ORDER] SC11-1622 06/17/2014
COPY OF AMENDED APPLICATION FOR ORDER - FROM NEIL J. GILLESPIE 06/17/2014
COPY OF APPENDIX AMENDED APPLICATION FOR ORDER, JUNE 12, 2014. (EXHIBITS 1 16 ATTACHED) - FROM NEIL J. GILLESPIE 06/17/2014
COPY OF APPENDIX AMENDED APPLICATION FOR ORDER, JUNE 12, 2014. (SEPARATE APPENDIX: APPELLANT'S INITIAL BRIEF, 2D08-2224, BY ROBERT W. BAUER, ESQ. FOR NEIL GILLESPIE) - FROM NEIL J. GILLESPIE 06/17/2014
COPY OF APPENDIX AMENDED APPLICATION FOR ORDER, JUNE 12, 2014. (SEPARATE APPENDIX: LETTER TO VIRLINDIA A. DOSS, EXECUTIVE DIRECTOR, FLORIDA COMMISSION ON ETHICS) - FROM NEIL J. GILLESPIE 06/17/2014
COPY OF APPENDIX AMENDED APPLICATION FOR ORDER, JUNE 12, 2014. (SEPARATE APPENDIX: PUBLIC RECORDS, APPEAL NO. 2D10-5197, OCTOBER 17, 2013) - FROM NEIL J. GILLESPIE 07/24/2014
ORDER FROM DCA 7/22/14 2D10-5197 08/15/2014
ORDER FROM DCA 8/12/14 2D10-5197 09/23/2014
LETTER TO CLERK FROM NEIL J. GILLESPIE, PRO SE; RE: APPLICATION FOR ORDER 09/23/2014
APPLICATION FOR ORDER WITH ATTACHMENTS Party: GILLESPIE, NEIL J FINANCIAL INFORMATION
Defendant BARKER RODEMS & COOK PA Total Financial Assessment 271.54 Total Payments and Credits 271.54 Balance Due as of 09/25/2014 0.00
09/10/2008 Transaction Assessment 26.00 09/10/2008 Transaction Assessment 7.54 10/07/2008 In person payment Receipt #1415751 BARKER RODEMS & COOK PA (33.54) 06/04/2010 Transaction Assessment 100.00 06/04/2010 Transaction Assessment 3.00 06/04/2010 Transaction Assessment 85.00 06/04/2010 Mail in payment Receipt #1834571 BARKER RODEMS & COOK PA (188.00) 11/16/2010 Transaction Assessment 50.00 12/15/2010 Mail in payment Receipt #1956678 BARKER RODEMS & COOK PA (50.00) 05/10/2011 Transaction Assessment 50.00 05/10/2011 Entered in error 50.00
Other CA-CONVERTED, PAYOR Total Financial Assessment 54.00 Total Payments and Credits 4.00 Balance Due as of 09/25/2014 50.00
08/11/2005 Transaction Assessment 4.00 08/11/2005 In person payment Receipt #651328 GILLESPIE, NEIL J (4.00) 05/27/2011 Transaction Assessment 45.00 05/27/2011 Transaction Assessment 5.00
Plaintiff GILLESPIE, NEIL J Total Financial Assessment 1,688.10 Total Payments and Credits 1,100.33 Balance Due as of 09/25/2014 587.77
Select Year: The 2014 Florida Statutes Title VI CIVIL PRACTICE AND PROCEDURE Chapter 68 MISCELLANEOUS PROCEEDINGS View Entire Chapter 68.093 Florida Vexatious Litigant Law. (1) This section may be cited as the Florida Vexatious Litigant Law. (2) As used in section, the term: (a) Action means a civil action governed by the Florida Rules of Civil Procedure and proceedings governed by the Florida Probate Rules, but does not include actions concerning family law matters governed by the Florida Family Law Rules of Procedure or any action in which the Florida Small Claims Rules apply. (b) Defendant means any person or entity, including a corporation, association, partnership, firm, or governmental entity, against whom an action is or was commenced or is sought to be commenced. (c) Security means an undertaking by a vexatious litigant to ensure payment to a defendant in an amount reasonably sufficient to cover the defendants anticipated, reasonable expenses of litigation, including attorneys fees and taxable costs. (d) Vexatious litigant means: 1. A person as defined in s. 1.01(3) who, in the immediately preceding 5-year period, has commenced, prosecuted, or maintained, pro se, five or more civil actions in any court in this state, except an action governed by the Florida Small Claims Rules, which actions have been finally and adversely determined against such person or entity; or 2. Any person or entity previously found to be a vexatious litigant pursuant to this section. An action is not deemed to be finally and adversely determined if an appeal in that action is pending. If an action has been commenced on behalf of a party by an attorney licensed to practice law in this state, that action is not deemed to be pro se even if the attorney later withdraws from the representation and the party does not retain new counsel. (3)(a) In any action pending in any court of this state, including actions governed by the Florida Small Claims Rules, any defendant may move the court, upon notice and hearing, for an order requiring the plaintiff to furnish security. The motion shall be based on the grounds, and supported by a showing, that the plaintiff is a vexatious litigant and is not reasonably likely to prevail on the merits of the action against the moving defendant. (b) At the hearing upon any defendants motion for an order to post security, the court shall consider any evidence, written or oral, by witness or affidavit, which may be relevant to the consideration of the motion. No determination made by the court in such a hearing shall be admissible on the merits of the action or deemed to be a determination of any issue in the action. If, after hearing the evidence, the court determines that the plaintiff is a vexatious litigant and is not reasonably likely to prevail on the merits of the action against the moving defendant, the court shall order the plaintiff to furnish security to the moving defendant in an amount and within such time as the court deems appropriate. (c) If the plaintiff fails to post security required by an order of the court under this section, the court shall immediately issue an order dismissing the action with prejudice as to the defendant for whose benefit the security was ordered. http://www.leg.state.fl.us/statutes/index.cfm?App_mode=Display_Statute&Search_String=&URL=0000-0099/0068/Sections/0068.093.html (d) If a motion for an order to post security is filed prior to the trial in an action, the action shall be automatically stayed and the moving defendant need not plead or otherwise respond to the complaint until 10 days after the motion is denied. If the motion is granted, the moving defendant shall respond or plead no later than 10 days after the required security has been furnished. (4) In addition to any other relief provided in this section, the court in any judicial circuit may, on its own motion or on the motion of any party, enter a prefiling order prohibiting a vexatious litigant from commencing, pro se, any new action in the courts of that circuit without first obtaining leave of the administrative judge of that circuit. Disobedience of such an order may be punished as contempt of court by the administrative judge of that circuit. Leave of court shall be granted by the administrative judge only upon a showing that the proposed action is meritorious and is not being filed for the purpose of delay or harassment. The administrative judge may condition the filing of the proposed action upon the furnishing of security as provided in this section. (5) The clerk of the court shall not file any new action by a vexatious litigant pro se unless the vexatious litigant has obtained an order from the administrative judge permitting such filing. If the clerk of the court mistakenly permits a vexatious litigant to file an action pro se in contravention of a prefiling order, any party to that action may file with the clerk and serve on the plaintiff and all other defendants a notice stating that the plaintiff is a pro se vexatious litigant subject to a prefiling order. The filing of such a notice shall automatically stay the litigation against all defendants to the action. The administrative judge shall automatically dismiss the action with prejudice within 10 days after the filing of such notice unless the plaintiff files a motion for leave to file the action. If the administrative judge issues an order permitting the action to be filed, the defendants need not plead or otherwise respond to the complaint until 10 days after the date of service by the plaintiff, by United States mail, of a copy of the order granting leave to file the action. (6) The clerk of a court shall provide copies of all prefiling orders to the Clerk of the Florida Supreme Court, who shall maintain a registry of all vexatious litigants. (7) The relief provided under this section shall be cumulative to any other relief or remedy available to a defendant under the laws of this state and the Florida Rules of Civil Procedure, including, but not limited to, the relief provided under s. 57.105. History.s. 1, ch. 2000-314. Copyright 1995-2014 The Florida Legislature Privacy Statement Contact Us http://www.leg.state.fl.us/statutes/index.cfm?App_mode=Display_Statute&Search_String=&URL=0000-0099/0068/Sections/0068.093.html
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