Published on: 17783706. Robert D. Ross, Continental Realty Services, Inc.; The Notice of Petition for Declaratory Statement was published in Vol. 42, No. 66, of the April 5, 2016, Florida Administrative Register. The Commission considered the Petition at a duly-noticed public meeting held on April 19, 2016. The Petitioner sought the Commission’s interpretation of Section 475.25(1)(h) F.S., and Rule 61J2-10.028, F.A.C., and whether it was legal to pay a homeowner for a listing upon signing of the listing agreement.
The Commission denies the petition because of the potential antitrust implications that could arise if the Commission issued an Order.
Published on: 17379410. Robert D. Ross, on behalf of Continental Realty Services, Inc; The petition seeks the Commission’s opinion on the legality of paying a homeowner for a listing upon signing of the listing agreement.
Published on: 16501948. Angie Altamirano; The Notice of Petition for Declaratory Statement was published in Vol. 41, No. 109, of the June 5, 2015, Florida Administrative Register. The Commission considered the Petition at a duly-noticed public meeting held on August 18, 2015. The Petitioner sought the Commission’s opinion regarding how Rule 61J2-10.028, F.A.C., and whether property managers that manage various properties throughout Florida are required to have an active State of Florida broker or real estate license to manage these properties.
The Commission denies the petition because the Petitioner has not provided any information about what activities and responsibilities are performed by the property managers which would assist the Commission in determining whether such activities would require being licensed pursuant to Chapter 475, Florida Statutes.
Published on: 16052547. Jason Walowitz; The Notice of Petition for Declaratory Statement was published in Vol. 41, No. 14, of the January 22, 2015, Florida Administrative Register. The Commission considered the Petition at a duly-noticed public meeting held on February 17, 2015. The Petitioner sought the Commission’s opinion regarding how Rule 61J2-10.028, F.A.C., and whether the rule will allow credit restoration companies to issue compensation a/k/a referral fees to real estate licensees for referring clients to the credit restoration companies.
The Commission denies the petition because the Petitioner has not demonstrated how he was substantially affected by Rule 61J2-10.028, F.A.C., within the meaning of Section 120.565, Florida Statutes.
Published on: 15576083. Jason Walowitz; regarding whether companies and organizations that engage in credit restoration services are able to issue compensation (referral fees) to real estate professionals for client referrals.
Except for good cause shown, motions for leave to intervene must be filed within 21 days