03-001738
Marta Mantecon Comas vs.
Department Of Financial Services, Office Of Financial Regulation
Status: Closed
Recommended Order on Tuesday, September 30, 2003.
Recommended Order on Tuesday, September 30, 2003.
1STATE OF FLORIDA
4DIVISION OF ADMINISTRATIVE HEARINGS
8MARTA MANTECON COMAS, )
12)
13Petitioner, )
15)
16vs. ) Case No. 03 - 1738
23)
24DEPARTMENT OF FINANCIAL SERVICES, )
29OFFICE OF FINANCIAL REGULATION, )
34)
35Respondent. )
37__________________________________)
38RECOMMENDED ORDER
40Pursuant to notice, a final hearing was held in this case
51on July 23 and 24, 2003, in Miami, Florida, before Florence
62Snyder Rivas, an Administrative Law Judge of the Division of
72Administrative Hearings.
74APPEARANCES
75For Petitioner: Richard B. Marx, Esquire
81Law Offices of Richard B. Marx &
88Associates
8966 West Flagler Street, Second Floor
95Miami, Florida 33130
98For Respondent: James H. Harris, Esquire
104Department of Financial Servi ces
109200 East Gaines Street
113Tallahassee, Florida 32399 - 0350
118STATEMENT OF THE ISSUE
122Whether Petitioner has been rehabilitated sufficiently to
129warrant relicensing as a mortgage broker.
135PRELIMINARY STATEMENT
137Petiti oner Marta Mantecon Comas (Petitioner or Comas)
145formerly held a mortgage brokers license which was revoked on
155June 25, 2001, by the Department of Banking and Finance,
165statutory predecessor to Respondent Department of Financial
172Services, Office of Financi al Regulation (OFR). The
180revocation was affirmed following an appeal to the Third
189District Court of Appeal.
193Thereafter, Comas applied for relicensing as a mortgage
201broker. By letter dated March 17, 2003, OFR denied her
211application.
212Comas timely reque sted an administrative hearing to
220challenge the denial. A final hearing was held on July 23 and
23224, 2003.
234The identity of witnesses and attendant rulings is set
243forth in the record of the proceedings.
250Petitioner offered eleven exhibits, and Respondent
256off ered seven exhibits. At the conclusion of the hearing, the
267parties were afforded the opportunity to submit proposed
275recommended orders on or before ten days after the transcript
285of the final hearing was filed. The parties later requested
295and were granted an enlargement of time until September 22,
3052003.
306A transcript of the hearing was filed in two volumes on
317September 2, 2003. Proposed recommended orders were submitted
325and carefully considered in the preparation of this
333Recommended Order.
335It is noted th at Petitioner's Proposed Recommended Order
344includes a "Statement of the Issues" which arguably conflicts
353with the parties' stipulation (at page 266 of the transcript)
363regarding the issue of ultimate fact to be determined in this
374forum. Petitioner has not filed any motion directed to
383amending the stipulation.
386This apparent discrepancy is of no consequence because
394the record, viewed in the context of relevant statutory and
404case law, supports the conclusion that the parties'
412stipulation is, in fact, a correct statement of the issue.
422However, even if one accepts Petitioner's post - hearing
431characterization of the issue(s), it would make no difference
440to the result reached here. 1
446All citations are to Florida Statutes (2002) unless
454otherwise indicated.
456FINDINGS OF FACT
4591. OFR is the state agency charged with the duty to
470license, discipline and regulate persons engaged in the
478business of mortgage brokering and mortgage lending pursuant
486to Chapter 494.
4892. Comas was first licensed as a mortgage broker on
499June 16, 1 997. Her license was properly revoked by OFR's
510statutory predecessor on June 25, 2002.
5163. Three months later, on October 8, 2002, Comas
525reapplied for licensure. It is undisputed that she meets the
535educational and technical requirements for licensure at
542relevant times. The only issue is whether Comas has
551rehabilitated herself following the events which led to her
560license revocation.
5624. For the reasons set forth below, the record
571overwhelmingly establishes that Comas has not been
578rehabilitated and shoul d not be relicensed as a mortgage
588broker.
5895. This is at least the third forum in which Comas has
601tried to portray herself as a victim of an unreasonable,
611impossible - to - please client, a dishonest boss, an incompetent
622lawyer, and inept or overzealous regul ators.
6296. To the contrary, the evidence established that Comas
638has never acknowledged that she and she alone is responsible
648for losing her license. After years in which to reflect upon
659the conduct which caused the state to take her license, Comas
670continu es to attempt, unconvincingly, to justify her actions
679at the expense of those she victimized.
6867. Comas timely exercised her due process rights to
695challenge the decision of state regulators to revoke her
704mortgage broker license. In so doing, she generated an
713appellate decision which concisely sets forth the conduct from
722which, to be relicensed, she must demonstrate rehabilitation.
7308. In Comas v. Department of Banking and Finance , 820
740So.2d 1088 (Fla. 3d DCA 2002), the court affirmed the license
751revocation and said of this Petitioner:
757Appellant's conduct in altering a
762customer check, depositing it in her
768personal account, and later writing a
774letter to the customer on company
780letterhead falsely stating that the funds
786were in the hands of the title company
794jeopardized not only the customer, but also
801her employer and the title company. This
808conduct violates the numerous statutory
813provisions referenced in the Final Order,
819casts considerable doubt on either
824Appellant's competence, integrity, or both,
829and clea rly warrants license revocation.
8359. In the foregoing passage, the customer referred to by
845the Third District is Sherry Lynn Sipple (Sipple), and the
855employer is Marc Mazis (Mazis). Both testified at the
864administrative hearing regarding the events summar ized by the
873Third District and referred to collectively here as the
882Sippel transaction.
88410. At the time of the Sipple transaction, Comas had
894been licensed as a mortgage broker for less than two years.
90511. Sippel was a first - time home buyer. She was seeking
917a fixed rate mortgage and engaged Comas to assist her. Sipple
928hoped for the lowest interest rate possible, but was willing
938to go as high as seven percent in order to achieve the
950predictability of a fixed rate mortgage.
95612. Like most first - time ho me buyers, Sipple was
967nervous, and relied heavily upon the professional expertise
975and trustworthiness of Comas, as she was entitled to do.
98513. Unlike most first - time homebuyers, Sipple read the
995documents she was given. She would not supinely take Comas'
1005word about matters related to the transaction and insisted
1014upon documentation.
101614. For being prudent about her money, Sipple has earned
1026Comas' hostility as a "difficult customer." The hearing was
1035suffused with testimony from Comas' associates and frien ds
1044reflecting the manner in which Comas' had complained about
1053Sipple.
105415. This passage from the testimony of Comas' husband
1063provides insight into the manner in which Comas' has sought to
1074justify her behavior to third parties:
1080A What do I recall that she said?
1088Q If she said anything about it?
1095A Starting from unhappy client,
1100unreasonable, she called the client before
1106the closing. I remember things like that.
1113Then the client and Marc getting the money
1121to the client and then her refusing to give
1130the cli ent the money. I remember things
1138like that. Big conflict and then
1144conversations I had with Marc Mazis.
1150Q Did Ms. comas ever say to you that what
1160she did was wrong?
1164A To be honest, at the beginning, she
1172probably didn't think she did something
1178wrong. But, I explained to her that even
1186though she didn't do it for malice, it was
1195wrong because of the actual check
1201situation.
120216. Malice, or lack thereof, is not an issue in this
1213case. What is significant is the consistency of the Third
1223District's decision w ith the evidence adduced at this hearing,
1233all of which established that Comas was a dishonest broker who
1244betrayed the trust of her customer. No credible evidence was
1254ever presented for why Comas required a $2,000 check from
1265Sipple. Had Sipple not demande d documentation for that check,
1275and had Comas not provided a letter which falsely stated that
1286the money was in the hands of a title company, Comas' misdeeds
1298might never have come to light.
130417. Undisputed and entirely credible testimony provided
1311by Mazis, Comas' employer, indicated that Comas would have had
1321no business reason to require a check in any amount in the
1333course of processing the Sipple transaction. Comas was not
1342authorized to require escrow funds, and there was no evidence
1352that Sipple's money wa s needed to pay any third party service
1364providers.
136518. Through the time of the hearing, Comas falsely
1374claimed the transaction failed because Sipple was dissatisfied
1382with the interest rate Comas was able to obtain. This
1392testimony is rejected in favor of S ipple's much more
1402convincing explanation that she rejected the balloon payment
1410Comas proposed, insisting upon the fixed rate which she had
1420required from the beginning.
142419. As the Third Distinct noted and the evidence at
1434hearing confirmed, Sipple was not C omas' only victim. Her
1444employer, Mazis, suffered damage to his reputation by virtue
1453of his association with Comas. Mazis was required to expend
1463time and legal fees to straighten out the damage done in the
1475Sipple transaction; to figure out the status of C omas' other
1486accounts; and to deal with the law enforcement and regulatory
1496proceedings spawned by Comas' dishonesty.
150120. For all of the trouble Comas caused Sipple and
1511Mazis, she has never apologized to them. Although Comas
1520testified to the contrary on t hat point, her self - serving
1532testimony is not credible.
153621. Following the Sipple transaction Comas "left" Miami
1544Mortgage Lenders and went to work with her husband at RPM
1555Lenders, Inc. (RPM), which has been licensed as a mortgage
1565brokerage business through the date of the hearing. She has
1575not had any criminal or regulatory complaints in connection
1584with work at RPM, which includes handling money. Comas cites
1594this as evidence of rehabilitation. Instead, at most, it
1603shows that Comas works honestly in partner ship with her
1613husband in the business that they own.
162022. Taking into account the entire record, and having
1629had the opportunity to view the demeanor, credibility, ability
1638to perceive facts, knowledge of the facts and circumstances of
1648the events to which th ey testified, and motive to testify, of
1660each of the witnesses in close and stressful quarters, the
1670conclusion is inescapable that the victims' version of events
1679is entirely consistent with the truth. To the extent that
1689victims' recollections or characteri zations of material events
1697differ from those of Comas and her witnesses, the testimony of
1708the victims is credited.
171223. One element of rehabilitation is making restitution
1720to one's victims. Restitution was made in this case, but the
1731question of whether re stitution was made by Comas herself was
1742hotly contested. Upon a careful consideration of all
1750testimony and exhibits relevant to this matter, it is
1759concluded that Comas herself did not make restitution, nor was
1769her money used to make restitution.
177524. A fter her dishonesty was exposed, Comas attempted to
1785give Sipple a personal check for $2,000 in exchange for a
1797general release. Sipple took the check but refused to execute
1807the release. Comas then bounced the check.
181425. In hopes of ameliorating at least some of the harm
1825to Sipple and to his own business, Mazis made restitution.
1835Comas claims that Mazis reimbursed himself for what he paid to
1846make Sipple whole by deducting sums from commissions that were
1856owed to her and to her cousin, an allegation which M azis
1868flatly and convincingly denied.
187226. Mazis persuasively described being advised by one of
1881his real estate attorneys that if he attempted to recover what
1892he paid to Sipple from the pool of earned commissions due to
1904Comas, he may be subjecting himself t o both litigation and
1915discipline against his license. He therefore reluctantly
1922decided to eat the loss.
192727. Comas offered no documentation or independent
1934testimony on the restitution issue. Her self - serving
1943testimony in this regard is rejected.
194928. E ven if Comas' account of how Sipple got her money
1961back is credited in every detail, it hardly demonstrates
1970rehabilitation or trustworthiness. Having been caught
1976violating the law and professional ethics, her biggest
1984concern, by her own admission, was to c over herself with a
1996general release. When she did not get it, she felt justified
2007in reneging on her duty to see that Sipple was refunded money
2019which should never have been taken in the first place.
202929. Comas complains of the "damaging publicity,
2036humili ation and loss of privacy and prestige within the
2046community;[being] forced to proceed through the criminal
2054justice process in which [Comas] suffered severe financial
2062costs, as well as emotional and mental stress prior to the
2073[circuit court]judge ultimately dismissing the criminal case."
208030. Undoubtedly Comas suffered all these things. Such
2088harms naturally and probably follow the wrongs which Comas
2097committed. What also followed was financial loss, stress and
2106inconvenience for Sipple and Mazis, for which C omas has yet to
2118demonstrate genuine remorse or regret.
212331. Comas correctly notes that the Sipple transaction
2131occurred over four years ago, and that her criminal record has
2142now been expunged. What is more significant is that Comas had
2153been licensed less than two years when she ran afoul of the
2165law. Comas is entitled to argue that this is an "isolated
2176incident." State licensing authorities are equally entitled,
2183on the record in this case, to conclude that Comas is not
2195rehabilitated, and continues to be un fit to be a mortgage
2206broker.
220732. Comas notes that she has had a real estate license
2218since 1997. This does not add weight to her claim of
2229rehabilitation. There was no testimony that she has used the
2239license in a manner that suggests she has established a track
2250record of dealing honestly with the public's money in the
2260transient fiduciary relationships that are part and parcel of
2269regulated industries such as real estate and mortgage
2277brokering and lending.
228033. Similarly, on the record in this case, the only
2290inference that can be drawn from the fact that Comas fulfilled
2301the conditions necessary to have her criminal record expunged
2310is that it was in her best interests to do so. Indeed, she
2323was legally obligated to fulfill the terms and conditions of
2333the pretr ial intervention program to which she was sentenced.
2343The alternative was to risk further prosecution. Honoring
2351the terms of one's plea bargain is an element of
2361rehabilitation, but it is not, standing alone, persuasive
2369evidence that rehabilitation has in fact taken place.
237734. There is little, if any probative value on the issue
2388of rehabilitation that Comas has joined the Better Business
2397Bureau and donated money to the political party and
2406charit(ies) of her choice. There is no persuasive evidence
2415that reh abilitation requires the financial resources to engage
2424in philanthropy, or to be a political contributor.
243235. In her direct testimony, Comas further discredited
2440herself by introducing a "certificate of appreciation" she had
2449received from a local workfor ce development education program
2458for hiring a student intern to work at her business. This
2469testimony backfired when, on cross - examination, it was
2478revealed that the student was her own son.
248636. In making her case, Petitioner also saw fit to
2496challenge the competence and professionalism of the regulators
2504involved in denying her relicensure.
250937. Petitioner did not and cannot make, based upon this
2519record, a credible argument that any OFR employee considered
2528something the agency was not entitled to consider, or failed
2538to do something the agency was required to do. Yet,
2548Petitioner baldy asserts that "Respondent completely failed in
2556its obligations and duties. . . ."
256338. Three years after she was caught stealing from a
2573client, Comas exhibits a willingness t o harshly criticize
2582anyone who disagrees with her view of the facts, including the
2593people she victimized.
2596CONCLUSIONS OF LAW
259940. The Division of Administrative Hearings has
2606jurisdiction over the parties to, and the subject matter of,
2616this proceeding. Se ctions 120.569 and 120.57.
262341. In this proceeding, Comas contends that she is
2632rehabilitated and thus entitled to license. Petitioner
2639therefore bears the burden of persuasion. Department of
2647Banking & Finance v. Osborne, Stern & Co. , 670 So.2d 932 (Fla.
26591 996).
266141. For the reasons set forth above, Comas has failed to
2672demonstrate rehabilitation. Thus, the denial of relicensure
2679was correct.
2681RECOMMENDATION
2682Based on the foregoing Findings of Fact and Conclusions
2691of Law, it is RECOMMENDED that the Petition filed in this
2702cause be DISMISSED and Petitioner Marta Mantecon Comas be
2711DENIED a license.
2714DONE AND ENTERED this 30th day of September, 2003, in
2724Tallahassee, Leon County, Florida.
2728S
2729________________________ ___________
2731FLORENCE SNYDER RIVAS
2734Administrative Law Judge
2737Division of Administrative Hearings
2741The DeSoto Building
27441230 Apalachee Parkw ay
2748Tallahassee, Florida 32399 - 3060
2753(850) 488 - 9675 SUNCOM 278 - 9675
2761Fax Filing (850) 921 - 6847
2767www.doah.state.fl.us
2768Filed with the Clerk of the
2774Division of Administrative Hearings
2778this 30th day of September, 2003.
2784ENDNOTE
27851/ To the extent that Petitioner's issue statement, as framed
2795in her Proposed Recommended Order, implies t hat this tribunal
2805should make a free - standing finding as to whether Comas is a
"2818person of good moral character" the undersigned disagrees and
2827declines to do so. While it may be possible to pass judgment
2839about a person's moral character, good or bad, it is neither
2850possible nor necessary to make such a finding on the record
2861presented here when evaluated against applicable law and
2869factual stipulations reached at hearing. The disposition of
2877this case depends upon whether Comas has demonstrated, by a
2887greater weight of evidence, sufficient rehabilitation to
2894justify - relicensure as a mortgage broker.
2901COPIES FURNISHED :
2904James H. Harris, Esquire
2908Department of Financial Services
2912200 East Gaines Street
2916Tallahassee, Florida 32399 - 0350
2921Richard B. Marx, Esquire
2925L aw Offices of Richard B. Marx & Associates
293466 West Flagler Street, Second Floor
2940Miami, Florida 33130
2943Honorable Tom Gallagher
2946Chief Financial Officer
2949Department of Financial Services
2953The Capitol, Plaza Level 11
2958Tallahassee, Florida 32399 - 0300
2963Mark Cast eel, General Counsel
2968Department of Financial Services
2972The Capitol, Plaza Level 11
2977Tallahassee, Florida 32399 - 0300
2982NOTICE OF RIGHT TO SUBMIT EXCEPTIONS
2988All parties have the right to submit written exceptions within
299815 days from the date of this Recomme nded Order. Any
3009exceptions to this Recommended Order should be filed with the
3019agency that will issue the Final Order in this case.
- Date
- Proceedings
- PDF:
- Date: 09/30/2003
- Proceedings: Recommended Order (hearing held July 23 and 24, 2003). CASE CLOSED.
- PDF:
- Date: 09/30/2003
- Proceedings: Recommended Order cover letter identifying the hearing record referred to the Agency.
- PDF:
- Date: 09/11/2003
- Proceedings: Order Granting Motion for Extension of Time. (the parties hereto shall have until September 22, 2003, in which to file their proposed recommended orders)
- PDF:
- Date: 09/11/2003
- Proceedings: Petitioner`s Motion for Extension of Time to Submit Proposed Final Judgment (filed via facsimile).
- Date: 09/03/2003
- Proceedings: Transcript (Volumes I and II) filed.
- PDF:
- Date: 08/05/2003
- Proceedings: Petitioner, Marta Mantecon Comas` Notice to the Court (filed via facsimile).
- PDF:
- Date: 07/24/2003
- Proceedings: Affidavit of Counsel in Support of Requested Excusal of Subpoena Duces Tecum to Silvia Aza filed by M. Trinchet.
- PDF:
- Date: 07/24/2003
- Proceedings: Letter to Judge Sartin from M. Trinchet attaching the affidavit in support of request to excuse Silvia Aza appearance from subpoena duces tecum filed.
- Date: 07/23/2003
- Proceedings: CASE STATUS: Hearing Held.
- PDF:
- Date: 07/23/2003
- Proceedings: Letter to Judge Sartin from M. Trinchet attaching a copy of the medical excuse for client Silvia Aza that was to follow the affidavit of counsel in support of requested excusal of Subpoena Duces Tecum to Silvia Aza (filed via facsimile).
- PDF:
- Date: 07/22/2003
- Proceedings: Petitioner`s Amended Pre-Hearing Statement (filed via facsimile).
- PDF:
- Date: 07/22/2003
- Proceedings: Respondent`s Response to Petitioner`s First Request for Production of Documents (filed via facsimile).
- PDF:
- Date: 07/21/2003
- Proceedings: Affidavit of Counsel in Support of Requested Excusal of Subpoena Duces Tecum to Silvia Aza (filed by M. Trinchet via facsimile).
- PDF:
- Date: 07/21/2003
- Proceedings: Respondent`s Office of Financial Regulation`s Response to Petitioner Marta Comas` Motion to Shorten Time to Comply with Discovery Request and Motion for Sanctions for Prosecutorial Misconduct (filed via facsimile).
- PDF:
- Date: 07/21/2003
- Proceedings: Petitioner`s Amended Reponse to Request for Admissions (filed via facsimile).
- PDF:
- Date: 07/21/2003
- Proceedings: Petitioner, Marta Mantecon Comas` Motion for Sanctions for Prosecutorial Misconduct (filed via facsimile).
- PDF:
- Date: 07/21/2003
- Proceedings: Petitioner, Marta Mantecon Comas`, Motion to Shorten Time to Comply With Discovery Request (filed via facsimile).
- PDF:
- Date: 07/21/2003
- Proceedings: Petitioner, Marta Mantecon Comas`, Motion to Exclude Witnesses and Exhibits from Respondent`s Second Amended Pre-Hearing Statement (filed via facsimile).
- PDF:
- Date: 07/21/2003
- Proceedings: Third Amended Pre-Hearing Statement (filed by Respondent via facsimile).
- PDF:
- Date: 07/21/2003
- Proceedings: Respondent Office of Financial Regulation`s Response to Petitioner Marta Comas` Motion to Exclude Witnesses and Exhibits (filed via facsimile).
- PDF:
- Date: 07/18/2003
- Proceedings: Petitioner, Marta Mantecon Comas`, Motion to Exclude Witnesses and Exhibits from Respondent`s Second Amended Pre-Hearing Statement (filed via facsimile).
- PDF:
- Date: 07/18/2003
- Proceedings: Respondent Office of Financial Regulation`s Respnse to Petitioner Marta Comas` Motion to Strike Respondent`s Amended Prehearing Statement (filed via facsimile).
- PDF:
- Date: 07/18/2003
- Proceedings: Second Amended Pre-Hearing Statement (filed by Respondent via facsimile).
- PDF:
- Date: 07/18/2003
- Proceedings: Petitioner, Marta Mantecon Comas` Response in Opposition to Respondent`s Motion to Deem Admitted (filed via facsimile).
- PDF:
- Date: 07/15/2003
- Proceedings: Order Changing Style of Case; Granting in Part, and Denying in Part, Respondent`s Amended Motion for Order Compelling Discovery and Assessing Fees and Costs; Denying Respondent`s Second Motion for Order Compelling Discovery and Assessing Fees and Cost; and Denying Respondent`s Motion to Deem Admitted.
- PDF:
- Date: 07/11/2003
- Proceedings: Petitioner, Marta Mantecon Comas`, Motion to Strike Respondent Amended Pre-Hearing Statement (filed via facsimile).
- PDF:
- Date: 07/11/2003
- Proceedings: Petitioner, Marta Mantecon Comas` Motion for Protective Order (filed via facsimile).
- PDF:
- Date: 07/11/2003
- Proceedings: Petitioner, Marta Mantecon Comas` Response in Opposition to Respondent`s Amended Motion for Order Compelling Discovery and Assessing Fees and Costs (filed via facsimile).
- PDF:
- Date: 07/09/2003
- Proceedings: Third Amended Notice of Deposition, A. Torres, L. Valladares, N. Locke, M. Comas, R. Comas, R. DeVarona (filed via facsimile).
- PDF:
- Date: 07/09/2003
- Proceedings: Second Amended Notice of Deposition, A. Torres, N. Locke, M. Comas, R. Comas, R. DeVarona (filed via facsimile).
- PDF:
- Date: 07/09/2003
- Proceedings: Respondent`s Amended Motion for Order Compelling Discovery and Assessing Fees and Costs (filed via facsimile).
- PDF:
- Date: 07/08/2003
- Proceedings: Petitioner, Marta Mantecon Comas`, Response in Opposition to Respondent`s Motion for Order Compelling Discovery (filed via facsimile).
- PDF:
- Date: 07/08/2003
- Proceedings: Respondent`s Response in Opposition to Petitioner`s Motion to Strike Exhibits and Witnesses from Respondent`s Pre-Hearing Statement filed.
- PDF:
- Date: 07/08/2003
- Proceedings: Petitioner, Marta Mantecon Comas`, Response in Opposition to Respondent`s Second Verified Motion to Strike (filed via facsimile).
- PDF:
- Date: 07/08/2003
- Proceedings: Order Granting in Part and Denying in Part Second Verified Motion to Strike.
- PDF:
- Date: 07/03/2003
- Proceedings: Petitioner, Marta Mantecon Comas`s Response in Opposition to Respondent`s Second Motion for Order Compelling Discovery (filed via facsimile).
- PDF:
- Date: 07/02/2003
- Proceedings: Respondent`s Second Motion for Order Compelling Discovery and Assessing Fees and Costs (filed via facsimile).
- PDF:
- Date: 07/02/2003
- Proceedings: Petitioner, Marta Mantecon Comas`, Motion to Strike Exhibits and Witnesses from Respondent`s Pre-Hearing Statement (filed via facsimile).
- PDF:
- Date: 07/01/2003
- Proceedings: Petitioner, Marta Mantecon Comas, Compliance with Order of Pre-Hearing Instructions (filed via facsimile).
- PDF:
- Date: 07/01/2003
- Proceedings: Proposed Pre-Hearing Statement (filed by Respondent via facsimile).
- PDF:
- Date: 07/01/2003
- Proceedings: Respondent`s Motion for Order Compelling Discovery and Assessing Fees and Costs (filed via facsimile).
- PDF:
- Date: 06/27/2003
- Proceedings: Amended Notice of Deposition, A. Torres, N. Locke, M. Comas, R. Comas (filed via facsimile).
- PDF:
- Date: 06/20/2003
- Proceedings: Petitioner, Marta Mantecon Comas` Second Amended Petition for Administrative Hearing (filed via facsimile).
- PDF:
- Date: 06/17/2003
- Proceedings: Petitioner`s Response to First Set of Request for Admissions (filed via facsimile).
- PDF:
- Date: 06/13/2003
- Proceedings: Petitioner, Marta Mantecon Comas` Response and Memorandum of Law in Opposition to Respondent`s Verified Motion to Strike filed.
- PDF:
- Date: 06/11/2003
- Proceedings: Petitioner, Marta Mantecon Comas` Response and Memorandum of Law in Opposition to Respondent`s Verified Motion to Strike (filed via facsimile).
- PDF:
- Date: 05/28/2003
- Proceedings: Notice of Hearing issued (hearing set for July 23 through 25, 2003; 9:30 a.m.; Miami, FL).
- PDF:
- Date: 05/27/2003
- Proceedings: Compliance With Initial Order (filed by Petitioner via facsimile).
- PDF:
- Date: 05/22/2003
- Proceedings: Joint Response to Initial Order (filed by Respondent via facsimile).
- PDF:
- Date: 05/14/2003
- Proceedings: Respondent OFISR`s Request for Official Notice, F.S. 90.202-90.203, 120.569 (2) (i) filed.
- PDF:
- Date: 05/14/2003
- Proceedings: Certificate of Service of OFISR`s First Interrogatories to Petitioner Marta Mantecon Comas filed.
- PDF:
- Date: 05/14/2003
- Proceedings: OFISR`s First Request to Petitioner for Production of Documents filed.
- PDF:
- Date: 05/14/2003
- Proceedings: First Set of Request for Admissions to Marta Mantecon Comas filed.
- PDF:
- Date: 05/14/2003
- Proceedings: Order Dismissing Petition for Administrative Hearing With Leave to Amend filed.
Case Information
- Judge:
- FLORENCE SNYDER RIVAS
- Date Filed:
- 05/14/2003
- Date Assignment:
- 07/17/2003
- Last Docket Entry:
- 10/28/2003
- Location:
- Miami, Florida
- District:
- Southern
- Agency:
- ADOPTED IN TOTO
Counsels
-
James H. Harris, Esquire
Address of Record -
Richard B. Marx, Esquire
Address of Record