11-001238FE In Re: Diane V. Bendekovic vs. *
 Status: Closed
Recommended Order on Monday, August 29, 2011.


View Dockets  
Summary: Respondent proved, by a preponderance of evidence, that she was entitled to attorney's fees and costs by establishing that Complainaint had malicious intent to injure her reputation by filing an ethics complaint with reckless disregard for the truth.

1STATE OF FLORIDA

4DIVISION OF ADMINISTRATIVE HEARINGS

8In RE: DIANE V. BENDEKOVIC , )

14)

15Respondent. ) Case No. 11 - 1238FE

22__________________________________)

23RECOMMENDED ORDER

25A hearing was conducted in this case pursuant to s ections

36120.569 and 120.57(1), Florida Statutes 1 b efore Administrative

45Law J udge Jessica Varn of the Division of Administrative

55Hearings (DOAH). The hearing was held on July 25 , 2011 , in Fort

67Lauderdale, Fl orida.

70APPEARANCES

71For Respondent : Jeremy J. Kroll , Esquire

78Bogenschutz, Dutko & Kroll, P.A.

83Fort Lauderdale, Florida 33301

87For Complainant : Robert W. Medoff

937480 Southwest 18th Street

97Plantation, Florida 33317

100STATEMENT OF THE ISSUE

104Whether Respondent is entitled to attorneyÓs fees pursuant

112to s ection 11 2.317(7), Florida Statutes , and Florida

121Administrative Code Rule 34 - 5.0291 .

128PRELIMINARY STATEMENT

130On September 27 , 2010, Robert W. Medoff (Medoff) filed an

140ethics complaint against Respondent, Diane V. Bendekovic

147(Respondent) with the Florida Commission on Ethics (Commission).

155The complaint alleged that Respondent misused her public

163position as a mem ber of the City Council of the C ity of

177Plantation in violation of section 112.313 (6) . M edoff filed an

189amended complaint on October 21 , 2010.

195The Commission undertook an inv estigation of the

203allegations in MedoffÓs complaint s and, on December 13, 2010,

213i ssued a Report of I nvestigation concluding that the allegations

224lacked merit. On December 29, 2010, the CommissionÓs Advocate

233recommended a finding of no probable cause to believe Respondent

243violated Florida law as alleged in the complaint s . Based on the

256AdvocateÓs recomme ndation, the Commission, on February 9, 2011,

265dismissed MedoffÓs ethics complaint s .

271On February 24 , 2011, Respondent filed a Petition for Costs

281and AttorneyÓs Fee s pursuant to section 112.317(7) and Florida

291Administrative Code Rule 34 - 5.0291. The Petition alleged that

301Medoff filed the ethics complaint s with malicious intent to

311injure her reputation, by filing the complaint s with knowledge

321that they contained one or more false allegations, or with

331reckless disregard for whether the complaint s contained one or

341more false allegations. Medoff disputed the Petition for Costs

350and AttorneyÓs Fees and the matter was forwarded to DOAH for a

362hearing.

363Pursuant to notice , the final hearing in this case was

373conducted on July 25 , 2011 . At the hearing, Respondent called

384Medoff, Susan Slattery, Sharon Uria, Rico Petrocelli, and Beau

393Jackson as witnesses. Additionally, Respondent offered E xhibits

4011 - 11 into evidence. Medoff called Jerry Fadgen, Daniel Keefe,

412Donald Lunny, and Annette Otiniano as witnesses. Medoff also

421offered E xhibits 1 - 4 into evidence.

429The transcript of the pr oceedings wa s filed with DOAH on

441August 11 , 2011. The parties timely filed P roposed F indings of

453F act and C onclusions of L aw, which have been considered in the

467preparation of this Recommended Order.

472FINDINGS OF FACT

4751. In September 23, 2 010, Respondent was a sitting

485Councilwoman for the City of Plantation . Medoff has been a

496resident of Plantation since 1987 , oftentimes following local

504politics. On September 22, 2010, then - sitting Mayor of

514Plantation, Rae Carol Armstrong, publicly announced her

521retirement and that she would not seek re - election.

5312. On September 22, 2010, Medoff sent Respondent an email

541containing the subject line: ÐTonights [ sic ] voteÑ. The email

552read as follows:

555Councilwoman Bendekovic:

557A vote to give raises tonight is a coffin

566nail in your political future. By approving

573the flawed budget, you are explaining why

580you are not fit to be mayor. I ask you to

591vote for what is right, even knowing that

599your vote has allegedly been bought already.

606Warren Medoff

6083 . Respondent filed her Statement of Candidacy for the

618position of Mayor of the City of Plantation on September 23,

6292010. The election for this position was to be held on March 8,

6422011.

6434 . On or about September 23rd, according to Susan Slattery,

654the City Clerk for the City of Plantation, Medoff picked up a

666packet of paperwork for persons who intend to run for the office

678of Mayor.

6805 . On September 23, 2010, Medoff sent Respondent an email

691with a s ubject line that read: ÐTime to get out of politics!Ñ

704The email read as follows :

710Doubleflush,

711The Mayor is smart enough to know when to

720exit gracefully and without an i ndictment.

727L earn from the Bell, California indicted

734c urrent and past elected officials.

740Official m isconduct is a third - degree felony

749punishable b y up to five years in the state

759Department of Corrections and a $5,000 fine.

767Have a nice day.

771Warren Meddoff

773Medoff explained at the hearing that the nickname ÐDoubleflushÑ

782had been gi ven to Respondent after she had championed double

793flush toilets as an example of her commitment to the

803environment.

8046 . On September 24, 2010, on the internet blog for The

816Plantation Journal , Medoff posted the following blog entry,

824referring to Respondent:

827She suffers from battered wife syndrome,

833meglomania [ sic ] and most likely is

841compensating for childhood incest and forced

847devient [ sic ] sexual behaviors as an adu lt.

857Pity her and pray for her.

8637 . Also on September 24, 2010, Medoff sent Respondent an

874email, with a subject line that read: ÐNepotism, incest,

883consorting with criminalsÑ. The email stated:

889Councilwoman Bendekovic, you are an

894embarrassment to the City of Plantation.

900ÐIÓm up to the challenge,Ñ Bendekovic said.

908She sa id she learned how to serve the city

918Ðlike osmosis. It was part of our family.

926ItÓs an asset to be my mother and fatherÓs

935daughter and because my father was mayor for

94324 years and my mother was volunteer

950extraordinaire.Ñ

951Nepotism, incest, devient [ sic ] sex ,

958solicitation of bribes and consorting with

964convicted elected officials of the school

970board are not qualifications for public

976office.

977Warren Meddoff

9798 . On Saturday, September 25, 2010, Medoff received a

989phone call from Frances Petrocelli , who had been involved in

999politics for a long time in the City of Plantation . Mr.

1011Petrocelli told Medoff that he had heard rumors that on Friday,

1022September 24, 2010, Respondent had been campaigning and

1030soliciting support for her mayoral campaign in areas of City

1040H all that were restricted from access to the general public.

1051Mr. Petrocelli told Medoff that he had learned thi s information

1062from an individual who had called Mr. Petrocelli , but he did not

1074know t he identity of the caller . Mr. Petrocelli did not know

1087whet her t he caller had first, second, third or fourth - hand

1100knowledge of the alleged conduct.

11059 . That same day, Mr. Petrocelli and Medoff exchanged

1115emails regarding the upcoming mayoral election. In those

1123emails, Medoff asked Mr. Petrocelli to identify suppo rters of

1133RespondentÓs mayoral campaign.

113610 . Also on September 25, 2010, Medoff called Sharon Uria,

1147a City Councilwoman, and asked her if she had seen Respondent in

1159City Hall on Friday, September 24 , 2010 . Ms. Uria replied that

1171she had seen Respondent in the mail room on that day; however,

1183she possessed no knowledge of RespondentÓs alleged inappropriate

1191conduct. 2

119311 . Medoff conducted no other investigation into the

1202alleged conduct on September 24, 2010. He did not call

1212Respondent, any other City employee, or anyone else who may have

1223actually been in attendance when the alleged conduct took place.

123312 . Instead of reasonable inquiry regarding the rumor he

1243had heard , Medoff filed a Complaint with the Florida Commission

1253on Ethics. It stated as follows:

1259This complaint is filed on September 25,

12662010, regarding the actions and activities

1272of Diane Veltri Bendekovic, an elected

1278memb er of the City Council of the City of

1288Plantation,Florida.

1290Complaint: On Friday, September 24, 2010,

1296during regular business hours, Diane Veltri

1302Bendekovic misused her position of

1307authority, in that as a Member of the City

1316Council of the City of Plantatio n, Florida,

1324she accessed areas of the City Hall and

1332other City facilities, restricted from

1337access by the general public, to campaign

1344and solicit support from City employees for

1351her campaign to be elected Mayor of the City

1360of Plantation. This position is b eing

1367vacated by sitting Mayor Rae Carol Armstrong

1374who has announced her retirement at the end

1382of her current term of office. This

1389complaint is being filed in the belief that

1397Ms. Veltri Bendekovic has misu s ed her public

1406position to obtain a special benefit and

1413privilege. Additionally it is alleged that

1419she has taken this action to coerce and

1427intimidate city employees in an effort to

1434obtain an advantage in the upcoming

1440election. It is alleged that Ms. Bendekovic

1447is in violation of 112.313 Standards of

1454C ond uct for public officers, employees of

1462agencies, and local government attorneys.

1467Please note: A former elected official of

1474the City of Plantation has provided the

1481complainant with the statement that Ms.

1487Veltri Bendekovic is being supported in her

1494election bid by Plantation Mayor Armstrong,

1500her husband, former State Representative Tom

1506Armstrong, former State Representative

1510Norman Ostrau, former Broward County

1515Commissioner Scott Cowan and Plantation City

1521Attorney Donald Lunny.

1524The complainant, Robert Warren Meddoff, does

1530hereby waive his right to confidentiality

1536and authorizes the release of the contents

1543of this complaint to the media and public at

1552large.

155313 . Medoff admits that at the time he filed the

1564c omplaint s , he had no person al knowledge of the allegat ions. He

1578concedes that the information he received from Mr. Petrocelli

1587regarding the alleged events of September 24, 2010 , could have

1597been fourth , fifth , or sixth - hand comments. Up to and including

1609the day of the final hearing in this case, h e did not id entify a

1625single person who possessed first - hand knowledge of the events

1636or conduct that allegedly occurred on September 24, 2010.

164514 . Medoff publicly declared his intention to run against

1655Respondent for the office of Mayor of the City o f Plantation on

1668Oct ober 1, 2010, just four days after filing the ethics

1679complaint.

168015 . On October 4, 2010, a staff attorney for the

1691Commission on Ethics wrote Medoff a letter regarding his

1700complaint. The letter informed Medoff that more information was

1709needed in order to better understand whether RespondentÓs

1717alleged behavior was in violation of any law. First, the

1727Commission asked M edoff to identify a City rule, policy, or

1738ordinance that prohi bited Respondent from engaging in

1746campaigning in the ÐrestrictedÑ areas. Second, the Commission

1754asked Medoff to provide more detail as to the events that had

1766allegedly occurred on September 24, 2010. Specifically, the

1774Commission asked Medoff to identify RespondentÓs conduct which

1782could be considered coercive and intimidating.

178816 . On October 26, 2010, the Commission received MedoffÓs

1798Amended Complaint. Medoff attached a copy of s ection 106.15,

1808Florida Statutes, a copy of RespondentÓs Statement of Candida te

1818wherein she confirms that she understands the requirements of

1827Chapter 106, Florida Statutes, and various sections of the City

1837of Plantation Employee Handbook. Medoff also added the

1845following details to the complaint:

1850It has been stated to the complaina nt

1858that,ÐDiane Bendekovic went to city

1864employees and made the statement that if

1871they did not support her and that if

1879Councilman Jerry Fadgen was elected Mayor,

1885that they would be fired.Ñ

1890The Commission should note that a criminal

1897investigation has been in stituted of the

1904actions of Ms. Bendekovic by the Special

1911Prosecution Unit of the Office of the State

1919Att orney, Seventeenth Judicial Circuit of

1925Florida.

1926Attached is an article from the Sun - Sentinel

1935Newspaper dated September 24, 2010 by which

1942she claims her nepotism as her primary

1949qualification for office.

1952Attached is a video of Ms. Bendekovic

1959admitting [ sic ] violation of the Sunshine

1967Law. Additional information in the form of

1974emails to and from City of Plantation

1981Officials and Law Enforcement outlining

1986po tentially unethical actions of Ms.

1992Bendekovic over a two year period prior to

2000this incident is available should the

2006Commission elect to proceed to an

2012i nvestigative stage.

201517 . Investigator Beau Jackson conducted an investigation

2023of MedoffÓs complaints. Du ring the course of his investigation,

2033Jackson spoke with M edoff by telephone; however, Medoff does not

2044recollect this telephone conversation. Investigator JacksonÓs

2050report indicates that Medoff told him that he had no personal

2061first - hand knowledge of the allegations he made in the

2072c omplaint s , and he had no additional information beyo nd what he

2085had provided in the c omplaint s. He admitted that the c omplaint s

2099were based on rumors, but added that the alleged inappropriate

2109conduct had occurred in the CityÓs Fi nance Department, and that

2120perhaps those employees had direct knowledge of the alleged

2129activity. Medoff identified Mr. Petrocelli, Ms. Uria and Ms.

2138Slattery as people who might have knowledge of the alleged

2148misconduct on September 24, 2010.

215318 . Investigator Jackson spoke with Ms. Uria and Mr.

2163Petrocelli, who indicated that they had no personal knowledge

2172regarding the alleged misconduct, and they were unable to

2181identify any City employees who might have knowledge of the

2191alleged misconduct. Jackso n also canvassed City employees, to

2200attempt to find anyone who might have had knowledge of the

2211September 24, 2010 , events. He found no eye witnesses, no r

2222any one with personal knowledge of the alleged misconduct.

223119 . None of MedoffÓs witnesses (Jerry F adgen, Daniel

2241Keefe, Donald Lunny, and Annette Otiniano) had personal

2249knowledge of RespondentÓs alleged misconduct in September 2010,

2257and Medoff had not spoken to any of them regarding the alleged

2269misconduct prior to filing the ethics complaint. During th e

2279time between his first complaint and his amended complaint, h is

2290efforts to gain more evidence of the alleged misconduct , by

2300speaking to more people, only led to more rumo rs and second,

2312third, or fourth - hand comments. No one with first - hand

2324knowledge of the alleged misconduct was ever identified.

233220 . At hearing, Medoff explained that he never felt it was

2344his duty to investigate the veracity of his complaint s ; rather,

2355he felt that this duty fell upon the Commission on Ethics.

236621 . The omission of any inv estigation prior to filing his

2378initial complaint constitutes reckless disregard for the truth.

2386The offensive and disparaging emails and blog entries authored

2395by Medoff and directed at Respondent, coupled with the fact th at

2407Medoff eventually became Responde ntÓs opponent in the mayoral

2416race, demonstrate his malicious intent to injure RespondentÓs

2424reputation during the course of the mayoral race.

243222 . In order to defend herself, Respondent entered into a

2443retainer agreement with the firm of Bogenschutz, Dutk o & Kroll,

2454P.A. As of the date of the hearing, Respondent had in curred

2466fees in the amount of $37,088.00, and costs in the amount of

2479$5,275.55 . Additional fees in the amount of $7,525.00 and

2491$1,570.00 in costs have since been incurred. The parties have

2502s tipulated to the reasonableness of the hourly rates, hours

2512expended, and total fees and costs incurred. Given that

2521MedoffÓs ethics complaint was filed with malicious intent to

2530injure RespondentÓs reputation by filing complaint s with

2538reckless disregard of whether the complaint s contained false

2547allegations, Respondent is entitled to an award of attorneyÓs

2556fees and costs for her defense against MedoffÓs complaint s and

2567subsequent costs and fees associated therewith.

2573CONCLUSIONS OF LAW

257623 . The Division of Administrative Hearings has

2584jurisdiction over the parties to and subject matter of this

2594proceeding, pursuant to sections 120.569 and 120.57(1), Florida

2602Statutes.

260324 . Section 112.317(7), Florida Statutes, provides, in

2611part:

2612In any case in which the commission

2619d etermines that a person has filed a

2627complaint against a public officer or

2633employee with a malicious intent to injure

2640the reputation of such officer or employee

2647by filing the complaint with knowledge that

2654the complaint cont ains one or more false

2662allegations or with reckless disregard for

2668whether the complaint contains false

2673allegations of fact material to a violation

2680of this part, the complainant shall be

2687liable for costs plus reasonable attorneyÓs

2693fees incurred in the defen se of the person

2702complained against, including the costs and

2708reasonable attorneyÓs fees incurred in

2713proving entitlement to and the amount of

2720costs and fees.

272325 . Florida Administrative Code Rule 34 - 5.0291 also

2733provides as follows:

273634 - 5.0291 Award of Attor ney's Fees.

2744(1) If the Commission determines that a

2751person has filed a complaint against a

2758public officer or employee with a malicious

2765intent to injure the reputation of such

2772officer or employee by filing the complaint

2779with knowledge that the complaint c ontains

2786one or more false allegations or with

2793reckless disregard for whether the complaint

2799contains false allegations of fact material

2805to a violation of the Code of Ethics, the

2814complainant shall be liable for costs plus

2821reasonable attorney's fees incurred in the

2827defense of the person complained against,

2833including the costs and reasonable

2838attorney's fees incurred in proving

2843entitlement to and the amount of costs and

2851fees.

2852* * *

2855(4) The respondent has the burden of

2862proving the grounds for an award of costs

2870and attorney's fees.

287326 . Respondent has the burden of proof by a preponderance

2884of the evidence in this proceeding. Fla. Admn. Code R. 34 -

28965.0291(4), and § 120.57(l)(j), Fla. Stat. (2010).

290327 . In Brown v. Fla. CommÓn on Ethics , 969 So. 2d 553, 560

2917(Fla. 1 st DCA 2007), the complainant had filed an ethics

2928complaint without checking into the facts, and admitted that he

2938conducted no investigation prior to filing the ethics complaint.

2947T he court determined that the elements of a claim by a public

2960offi cial for costs and attorneyÓs fees are (1 ) the complaint was

2973made with a malicious intent to inju re the officialÓs

2983reputation; (2 ) the person filing the complaint knew that the

2994statements made about the official were false or made the

3004statements with reckl ess disregard for the truth; and (3 ) the

3016statements were material. In examining the phrase Ðreckless

3024disregard for the truth , Ñ the Brown court defined it as a

3036conscious indifference to the truth. Id. The court also

3045determined that the actual malice stan dard of New York Times Co.

3057v. Sullivan , 376 U.S. 254, 82 S. Ct. 710, 11 L. Ed. 2d 686

3071(1964) , does not apply to fees sought pursuant to section

3081112.317(7), Florida Statutes. Id. at 559. The Brown court

3090emphasized that even without the Sullivan standard, the statute

3099sets a high bar for recovery of fees. Ethics complaints which

3110allege facts insufficient to prove the elements of a violation

3120of an ethics statute will not render a complaint baseless.

3130Moreover, an award of attorneyÓs fees is not warranted in every

3141situation wherein an ethics complaint is dismissed for lack of

3151probable cause.

315328 . However, in this case, the evidence demonstrated that

3163Medoff maliciously intended to injure RespondentÓs reputation

3170during the course of the mayoral race. The content and tone of

3182MedoffÓs emails to Respondent, and the blog entries he authored

3192for the pub lic at large to read, reveal a desire to impugn

3205RespondentÓs reputation . Medoff demonstrated a conscious

3212indifference to the truth or falsity of his allegat ions when he

3224failed to make any independent effort to verify any of the facts

3236in the ethics complaint s .

324229 . Having proven the required elements as set forth in

3253s ection 112.317(7), by a preponderance of the evidence,

3262Respondent is entitled to an award of a ttorneyÓs fees and costs

3274for her defense against MedoffÓs complaint s and subsequent fees

3284and costs associated there with in the amount of $44,613.00 i n

3297attorneyÓs fees and $ 6,845 .55 in costs.

3306RECOMMENDATION

3307Based upon the foregoing Findings of Fact and Conclusions

3316of Law, it is hereby

3321RECOMMENDED that the Commission enter a Final Order

3329granting the Petition for Costs and AttorneyÓs Fees in the

3339amounts noted above.

3342DONE AND ENTERED this 2 9 th day of August , 2011 , in

3354Tallahassee, Leon County, Florida.

3358S

3359___________________________________

3360JESSICA E. VARN

3363Administrative Law Judge

3366Division of Administrative Hearings

3370The DeSoto Building

33731230 Apalachee Parkway

3376Tallahassee, Florida 32399 - 3060

3381(850) 488 - 9675

3385Fax Filing (850) 921 - 6847

3391www.doah.state.fl.us

3392Filed with the Clerk of the

3398Division of Administrative Hearings

3402t his 2 9 th day of August , 2011.

3411ENDNOTES

34121 / Unless otherwise noted, all references in this Recommended

3422Order to Florida Sta tutes are to Florida Statutes (2010).

34322 / There was conflicting testimony as to the content of this

3444conversation. Medoff recalls that at the time of this phone

3454conversation, Ms. Uria had also heard the rumor about

3463RespondentÓs alleged inappropriate conduct on September 24,

34702010, but that she could not identify who had told her about the

3483alleged conduct. Ms. UriaÓs testimony is credible and

3491consist ent with the sworn statement she gave Investigator

3500Jackson .

3502COPIES FURNISHED :

3505Jeremy J. Kroll, Esquire

3509Bogenschutz, Dutko & Kroll, P.A.

3514Fort Lauderdale, Florida 33301

3518Robert W. Medoff

35217480 Southwest 18 th Street

3526Plantation, Florida 33317

3529Kaye Starling, Agency Clerk

3533Florida Commission on Ethics

3537Post Office Drawer 15709

3541Tallahassee, Florida 32317 - 5709

3546Philip C. Claypool, General Counsel

3551Florida Commission on Ethics

35553600 Maclay Boulevard, South Suite 201

3561Tallahassee, Florida 32312

3564NOTICE OF RIGHT TO SUBMIT EXCEPTIONS

3570All parties have the right to submit written exceptions within

358015 days from the date of this recommended order. Any exceptions

3591to this recommended order should be filed with the agency that

3602will issue the final order in this case.

Select the PDF icon to view the document.
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Date
Proceedings
PDF:
Date: 10/25/2012
Proceedings: (Proposed) Order Amending Final Order Granting Attorney's Feens and Cost filed.
PDF:
Date: 08/23/2012
Proceedings: Order on Modification of Attorney`s Fee Award.
PDF:
Date: 08/14/2012
Proceedings: Motion to Modify Attorney Fee Award Consistent with Order [with Amended Certificate of Service] filed.
PDF:
Date: 08/13/2012
Proceedings: Motion to Modify Attorney Fee Award Consistent with Order filed.
PDF:
Date: 08/13/2012
Proceedings: Motion to Modify Attorney Fee Award Consistent with Order filed. (DOAH CASE NO. 12-2686F ESTABLISHED)
PDF:
Date: 10/27/2011
Proceedings: (Agency) Final Order Granting Attorney's Fees and Costs filed.
PDF:
Date: 10/26/2011
Proceedings: Agency Final Order
PDF:
Date: 09/09/2011
Proceedings: Undeliverable envelope returned from the Post Office.
PDF:
Date: 08/30/2011
Proceedings: Transmittal letter from Claudia Llado forwarding Depositions of Sharon Uria, Rico Petrocelli, and Jerry Fadgen, to attorney Jeremy Kroll.
PDF:
Date: 08/29/2011
Proceedings: Recommended Order
PDF:
Date: 08/29/2011
Proceedings: Recommended Order (hearing held July 25, 2011). CASE CLOSED.
PDF:
Date: 08/29/2011
Proceedings: Recommended Order cover letter identifying the hearing record referred to the Agency.
PDF:
Date: 08/23/2011
Proceedings: Notice of Filing Affidvait in Regard to Additional Costs Expended filed.
PDF:
Date: 08/22/2011
Proceedings: Proposed Recommended Order filed.
PDF:
Date: 08/22/2011
Proceedings: Notice of Filing Affidavit in Regard to Attorney's Fees filed.
PDF:
Date: 08/18/2011
Proceedings: Robert W. Meddoff's Proposed Recommended Order filed.
Date: 08/11/2011
Proceedings: Transcript of Proceedings Volume I-II (not available for viewing) filed.
Date: 07/25/2011
Proceedings: CASE STATUS: Hearing Held.
PDF:
Date: 07/25/2011
Proceedings: Notice of Filing Statement of Updated Billing Records and Costs (from 07-20-11 - 07/24-11) (all billings to date) filed.
PDF:
Date: 07/25/2011
Proceedings: Notice of Filing Statement of Updated Billing Records and Costs (from 07-20-11 - 07-24-11) (Fourth Billing) filed.
PDF:
Date: 07/22/2011
Proceedings: Notice of Filing Statement of Updated Billing Records and Costs (from 05-11-11 - 06-22-11) filed.
PDF:
Date: 07/21/2011
Proceedings: Respondent's Third Supplemental Witness List filed.
PDF:
Date: 07/21/2011
Proceedings: Notice of Filing of Exhibit List in Conformance with Court Order (exhibits not available for viewing).
PDF:
Date: 07/21/2011
Proceedings: Notice of Transfer.
PDF:
Date: 07/20/2011
Proceedings: Notice of Filing Statement of Updated Billing Records and Costs (from 06-23-11 - 07-19-11) filed.
PDF:
Date: 07/19/2011
Proceedings: Order Denying Motion to Dismiss.
PDF:
Date: 07/19/2011
Proceedings: Order Granting Motion to Quash Subpoena and for Protective Order.
PDF:
Date: 07/19/2011
Proceedings: Order Allowing Testimony by Telephone.
PDF:
Date: 07/18/2011
Proceedings: Motion to Dismiss filed.
PDF:
Date: 07/14/2011
Proceedings: Notice of Filing of Supplemental Exhibit, Number 18, for Purposes of July 25, 2011 Trial filed.
PDF:
Date: 07/12/2011
Proceedings: Notice of Filing of Supplemental Exhibit, Number 18, for Purposes of July 25, 2011 Trial (not available for viewing).
PDF:
Date: 07/08/2011
Proceedings: (Proposed) Order Granting Motion to Quash Subpoena and Granting Motion for Protective Order filed.
PDF:
Date: 07/08/2011
Proceedings: The Honorable Michael J. Satz' Objection to Subpoena, Motion to Quash Subpoena; and Motion for Protective Order with Regard to Subpoena for Final Hearing at 9:00 A.M. on Both July 25, 2011 and July 26, 2011 Issued for Assistant State Attorney Spencer J. Multack filed.
PDF:
Date: 06/27/2011
Proceedings: Letter to Judge Bauer from J. Kroll requesting for permission to have our witness filed.
PDF:
Date: 06/22/2011
Proceedings: Amended Re-Notice of Taking Deposition (reset from 06-27-22 @2:00 P.M.) (Anna Otiniano) filed.
PDF:
Date: 06/22/2011
Proceedings: Re-Notice of Taking Deposition (reset from 06-27-22@ 2:00 P.M.) (Anna Otiniano) filed.
PDF:
Date: 06/15/2011
Proceedings: Notice of Taking Deposition (Anna Otiniano) filed.
PDF:
Date: 06/07/2011
Proceedings: Order on Motion to Compel.
PDF:
Date: 06/06/2011
Proceedings: Response to Respondent's Motion to Compel filed.
PDF:
Date: 06/06/2011
Proceedings: Robert W. Meddoff's, Pro Se, Supplemental Witness List filed.
PDF:
Date: 06/03/2011
Proceedings: Motion to Compel filed.
PDF:
Date: 05/26/2011
Proceedings: Notice of Taking Deposition (Jerry Fadgen) filed.
PDF:
Date: 05/25/2011
Proceedings: Subpoena ad Testificandum (Jerry Fadgen) filed.
PDF:
Date: 05/23/2011
Proceedings: Order Re-scheduling Hearing (hearing set for July 25 and 26, 2011; 9:00 a.m.; Fort Lauderdale, FL).
PDF:
Date: 05/20/2011
Proceedings: Order Canceling Hearing.
PDF:
Date: 05/17/2011
Proceedings: Notice of Filing of Exhibit List in Conformance with Court Order (Part Two) (exhibits not available for viewing). filed.
PDF:
Date: 05/17/2011
Proceedings: Notice of Filing of Exhibit List in Conformance with Court Order (Part One, exhibits 1-17) (exhibits not available for viewing).
PDF:
Date: 05/17/2011
Proceedings: Letter to Ms. Llado from J. Kroll regarding notice of filing of exhibit list filed.
PDF:
Date: 05/16/2011
Proceedings: Response to Motion for Continuance filed.
PDF:
Date: 05/16/2011
Proceedings: Motion for Continuance filed.
PDF:
Date: 05/16/2011
Proceedings: Robert W. Meddoff's, Pro Se Witness List and Request to Issue Subpoena filed.
PDF:
Date: 05/16/2011
Proceedings: Response to Respondent's Motion to Exclude filed.
PDF:
Date: 05/13/2011
Proceedings: Exhibit List filed.
PDF:
Date: 05/13/2011
Proceedings: Third Re-Notice of Taking Deposition (change only as to Rico Petrocell's Deposition time from 9:30 a. m. to 3:00 p.m.) filed.
PDF:
Date: 05/13/2011
Proceedings: Respondent's Motion to Exclude filed.
PDF:
Date: 05/13/2011
Proceedings: Pre-hearing Statement filed.
PDF:
Date: 05/12/2011
Proceedings: Notice of Filing Statement of Billing Records and Costs in Compliance with May 5, 2011 Court Order.
PDF:
Date: 05/11/2011
Proceedings: Second Re-Notice of Taking Depositions (Change only as to Sharon Uria's Deposition Time From 10:15 A.M/ to 2:30 P.M.) filed.
PDF:
Date: 05/10/2011
Proceedings: Re-Notice of Taking Deposition (Reset from May 13, 2011) (Rico Petrocelli , Sharon Uria) filed.
PDF:
Date: 05/06/2011
Proceedings: Notice of Taking Deposition (Rico Peterocelli, Sharon Uria) filed.
PDF:
Date: 05/05/2011
Proceedings: Order on "Motion to Hold City of Plantation, Diane V. Bendekovic and Susan K. Slattery in Contempt".
PDF:
Date: 05/05/2011
Proceedings: Order on Motion to Compel.
PDF:
Date: 05/02/2011
Proceedings: Response to Motion to Compel and/or Invocation of Privilege and/or Motion for Protective Order filed.
PDF:
Date: 04/26/2011
Proceedings: Resondent's Second Supplemental Witness List filed.
PDF:
Date: 04/26/2011
Proceedings: Notice of Taking Deposition (Robert Warren Meddoff) filed.
PDF:
Date: 04/26/2011
Proceedings: Notice of Unavailability filed.
PDF:
Date: 04/25/2011
Proceedings: Robert W. Meddoff's Pro Se, Witness List and Request to Issue Subpoena filed.
PDF:
Date: 04/25/2011
Proceedings: Motion to Compel filed.
PDF:
Date: 04/21/2011
Proceedings: Respondent's Supplemental Witness List filed.
PDF:
Date: 04/18/2011
Proceedings: Motion to Hold the City of Plantation, Diane V. Benekovic and Susan K. Slattery in Contempt filed.
PDF:
Date: 04/15/2011
Proceedings: Second Request for Documents filed.
PDF:
Date: 04/11/2011
Proceedings: First Request for Documents filed.
PDF:
Date: 04/11/2011
Proceedings: Notice of Unavailability filed.
PDF:
Date: 04/06/2011
Proceedings: Respondent's Initial Witness List filed.
PDF:
Date: 03/21/2011
Proceedings: Order of Pre-hearing Instructions.
PDF:
Date: 03/21/2011
Proceedings: Notice of Hearing by Video Teleconference (hearing set for May 23 and 24, 2011; 9:00 a.m.; Lauderdale Lakes and Tallahassee, FL).
PDF:
Date: 03/21/2011
Proceedings: Response to Initial Order filed.
PDF:
Date: 03/18/2011
Proceedings: Notice of Filing (Respondent's response to Initial Order).
PDF:
Date: 03/11/2011
Proceedings: Initial Order.
PDF:
Date: 03/10/2011
Proceedings: Letter to K. Starling from M. Dutko regarding phone call on October 13, 2010 filed.
PDF:
Date: 03/10/2011
Proceedings: Letter to K. Starling from M. Dutko responding to your letter dated October 27, 2010 filed.
PDF:
Date: 03/10/2011
Proceedings: Complaint filed.
PDF:
Date: 03/10/2011
Proceedings: Petition for Costs and Attorney's Fees filed.
PDF:
Date: 03/10/2011
Proceedings: Advocate's Recommendation filed.
PDF:
Date: 03/10/2011
Proceedings: Complaint (Amendment) filed.
PDF:
Date: 03/10/2011
Proceedings: Determination of Investigative Jurisdiction and Order to Investigate filed.
PDF:
Date: 03/10/2011
Proceedings: Public Report filed.
PDF:
Date: 03/10/2011
Proceedings: Report of Investigation filed.
PDF:
Date: 03/10/2011
Proceedings: Agency referral filed.

Case Information

Judge:
JESSICA E. VARN
Date Filed:
03/10/2011
Date Assignment:
07/19/2011
Last Docket Entry:
10/25/2012
Location:
Fort Lonesome, Florida
District:
Middle
Agency:
ADOPTED IN TOTO
Suffix:
FE
 

Counsels

Related DOAH Cases(s) (1):

Related Florida Statute(s) (7):

Related Florida Rule(s) (1):