95-003637
Division Of Real Estate vs.
Geraldine A. Ruesel
Status: Closed
Recommended Order on Tuesday, September 3, 1996.
Recommended Order on Tuesday, September 3, 1996.
1STATE OF FLORIDA
4DIVISION OF ADMINISTRATIVE HEARINGS
8DEPARTMENT OF BUSINESS AND )
13PROFESSIONAL REGULATION, DIVISION )
17OF REAL ESTATE, )
21)
22Petitioner, )
24) CASE NO. 95-3637
28vs. )
30)
31GERALDINE R. RUESEL, )
35)
36Respondent. )
38___________________________________)
39RECOMMENDED ORDER
41A hearing was held in this case in Bradenton, Florida on August 1, 1996,
55before Arnold H. Pollock, a Hearing Officer with the Division of Administrative
67Hearings.
68APPEARANCES
69For Petitioner: Steven D. Fieldman, Esquire
75Department of Business and
79Professional Regulation
81Division of Real Estate
85400 West Robinson Street, N308
90Post Office Box 1900
94Orlando, Florida 32802-1900
97For Respondent: Geraldine Ruesel, pro se
1035351 Gulf Drive
106Holmes Beach, Florida 34217
110STATEMENT OF THE ISSUE
114The issue for consideration in this matter is whether administrative
124disciplinary action should be taken against the Respondent because of the
135matters alleged in the Administrative Complaint filed herein.
143PRELIMINARY STATEMENT
145By Administrative Complaint dated May 3, 1995, Steven D. Fieldman, for the
157Secretary of the Florida Department of Business and Professional Regulation,
167sought to impose an administrative penalty against the Respondent herein
177because, it is alleged, she operated as a real estate broker or salesperson
190without holding a valid and current license to do so and had control of a
205brokerage corporation after her license was revoked and not reinstated; all in
217violation of Section 475.25(1), Florida Statutes. On May 26, 1995, the
228Respondent requested formal hearing on the allegations, and after several
238postponements, this hearing ensued.
242At the hearing, Petitioner presented the testimony of Peggy Jean Lasser, a
254licensed real estate broker and George B. Sinden, an investigator for the
266Department. Petitioner also introduced Petitioner's Exhibits 1 through 4.
275Respondent testified in her own behalf but did not present any other witnesses.
288She also offered Respondent's Exhibit A but retained the exhibit to make copies
301for the Hearing Officer. The copies were received on August 9, 1996.
313Shortly after the hearing, the undersigned, through his assistant, received
323a message from Respondent that she had arranged for a real estate broker to take
338over all her accounts. This message has not been confirmed. In a telephone
351response to the Notice of Ex Parte Communication filed by the undersigned on
364August 15, 1996, counsel for Petitioner advised he had received the same
376assurances from Respondent and attempted to verify them. His efforts indicated
387the assurances were not accurate and Respondent was still actively engaged in
399prohibited activity.
401No transcript was provided. Subsequent to the hearing, neither Petitioner
411nor Respondent submitted Proposed Findings of Fact.
418FINDINGS OF FACT
4211. At all times pertinent to the issues herein, the Petitioner was the
434state government licensing and regulatory agency charged with the responsibility
444to prosecute Administrative Complaints alleging misconduct by practitioners of
453the real estate profession in this state. The Florida Real Estate Commission is
466the state agency responsible for licensing real estate sales persons and brokers
478in Florida and for regulating the real estate profession in this state.
4902. By Administrative complaint dated May 1, 1992, Respondent and Nicholas
501G. Patsios were charged with various violations of Section 475.25(1), Florida
512Statute. At the time, Respondent was a licensed real estate salesperson at Gulf
525Beaches Realty, Inc. (Gulf Beaches) in Holmes Beach. Gulf Beaches was licensed
537as a real estate broker for which Mr. Patsios was the qualifying broker.
550However, Respondent was actually the owner of Gulf Beaches and registered as an
563officer of the corporation.
5673. On January 16, 1992, an investigator for the Department had attempted
579to audit Gulf Beaches' escrow account but could not do so because the records
593were not in order. This was the impetus for the investigation into the
606operation which resulted in the filing of the Administrative Complaint.
6164. Respondent actually operated the brokerage, and in the Administrative
626Complaint was alleged to have been registered as an officer of a brokerage
639corporation while licensed as a salesperson. She was also charged with having
651operated as a broker while licensed as a salesperson.
6605. By Final Order dated August 18, 1992, the Florida Real Estate
672Commission found Respondent guilty of the alleged misconduct, fined her $100.00,
683reprimanded her and placed her on probation for one year conditioned, inter
695alia, upon her not violating any other provisions of Chapter 475.
7066. On May 21, 1993, the Department again charged Respondent with
717violations of Chapter 475, alleging that she: (1) continued to operate as a
730broker while licensed as a salesperson; (2) operated as a broker without holding
743a valid broker's license and (3) violated an order of the Commission. Though
756the matter was referred to the Division of Administrative Hearings, Respondent
767failed to respond to the Administrative Complaint, and pursuant to a motion to
780relinquish jurisdiction, the matter was returned to the Commission. Thereafter,
790by Final Order dated November 7, 1993, the Commission revoked Respondent's
801license as a salesperson.
8057. In the interim between that action and the filing of the instant
818Administrative Complaint, Peggy Jean Lasser, a licensed broker, became the
828qualifying broker for Gulf Beaches. She allowed Respondent, the owner of the
840brokerage, to control its operations, including interfacing with clients. When
850the Commission initiated action against Ms. Lasser for that infraction, she did
862not dispute the allegations, and as a result, by Final Order of the Commission
876dated August 15, 1995, her license was suspended for two years.
8878. Ms. Lasser immediately ceased operating as the broker for Gulf Beaches.
899To the best of her knowledge, however, Gulf Beaches is still operating as a real
914estate office without a broker, and Respondent is still operating as a
926salesperson without a broker.
9309. On July 29, 1996, George Sinden, an investigator for the Department,
942went to Gulf Beaches' office accompanied by another investigator. He found the
954door to the office open and Respondent seated at a desk beside the door. She
969was alone in the office. There were office machines present and it appeared to
983Sinden that the office was operating as a real estate office.
99410. During his visit, Mr. Sinden could find no one with a valid license as
1009a broker or salesperson. Respondent indicated she was trying to find a broker
1022to qualify the company. She admitted she was currently operating a real estate
1035business. Respondent also indicated she had four rentals which she was managing
1047and for which she was depositing funds into a trust account for the owners. She
1062also claimed to have an escrow account with over $2,000 in it. Sinden found
1077that Respondent was not complying with the Commission's monthly reconciliation
1087requirements and he could not determine to whom the funds in the escrow account
1101belonged. Respondent claims this money was deposit money placed by a
1112prospective purchaser in a sale between two parties, both of whom trusted her to
1126hold the funds. She claims she was to receive a 5 percent fee.
113911. Records of Secretary of State's office showed Ms. Lasser as the only
1152officer of Gulf Beaches. However, she no longer holds a valid broker's license.
1165Respondent indicated she was the sole owner of Gulf Beaches. She claimed when
1178Sinden interviewed her and at the hearing, where she again admitted the matters
1191set forth above and in the Complaint, that she has not take in any new business
1207since Ms. Lasser left.
121112. Respondent admits that she has attempted to divest herself of her
1223clients but claims that because the Complaints filed against her by the
1235Department have damaged her reputation, no broker will work with her or her
1248business since the action in 1992. Respondent either cannot or will not accept
1261the fact that she is operating illegally. Her primary concern seems to be the
1275fact that this business is her way of making a living. She is 80 years old and
1292seeks only to operate for two more years, at which time she will "meet her
1307maker."
130813. The evidence is clear that since 1992, and before, Respondent has been
1321the owner of Gulf Beaches. From the departure of Mr. Patsios to the incumbency
1335of Ms. Lasser, and after the departure of that individual up to the present,
1349Respondent has operated the corporation without a broker. It is also clear that
1362since November 1993, Respondent has operated as a salesperson without a valid
1374license.
1375CONCLUSIONS OF LAW
137814. The Division of Administrative Hearings has jurisdiction over the
1388parties and the subject matter in this case. Section 120.57(1), Florida
1399Statutes.
140015. In its Administrative Complaint the Department seeks to take
1410administrative disciplinary action against the Respondent because, it alleges,
1419she operated as a real estate broker or salesperson without a valid and current
1433license to do so and operated a real estate brokerage without a licensed real
1447estate broker, both in violation of Section 475.25(1), Florida Statutes.
145716. Section 455.228(1), Florida Statutes, provides that when the
1466Department has probable cause to believe that a non-licensed person has violated
1478a statute that relates to a regulated profession, or a rule adopted a regulatory
1492body regarding such regulated profession, it may deliver a cease and desist
1504notice to the offender. In addition, the Department may, under the provisions
1516of Chapter 120, impose an administrative penalty not to exceed $5,000 per
1529incident.
153017. The burden of proof in this case rests with the Petitioner to
1543establish, by clear and convincing evidence, that Respondent is in violation of
1555the statute regulating the profession or real estate and the rule of the
1568Division of Real Estate. Ferris v. Turlington, 510 So.2d 292 (Fla. 1987).
158018. Section 475.42(1)(a), Florida Statutes, provides that no person shall
1590operate as a broker or salesperson of real estate without being the holder of a
1605valid and current active license to do so. Rule 61J2-5.014, F.A.C. prohibits
1617control by a broker of a brokerage firm after that broker's license has been
1631revoked. Section 475.25(1)(e), Florida Statutes, allows the Department to take
1641action when an individual has violate any provision of Chapter 475 or any lawful
1655order or rule made or issued under the provisions of Chapter 475 or Chapter 455.
167019. In the instant case, the evidence clearly shows that Respondent is the
1683owner of Gulf Beaches Realty, Inc. in Holmes Beach and has been such since
1697before she was first disciplined by the Florida Real Estate Commission in 1992.
1710That initial discipline, which included a reprimand, a minimal fine and
1721probation failed to change Respondent's conduct. She continued to own and
1732operate the brokerage without holding a broker's license for a period until the
1745Commission again disciplined her by revoking her license as a salesperson in
17571993. Notwithstanding that second action, Respondent continued her unlawful
1766activity, including, for a time, operating the office without a broker,
1777notwithstanding the Commission's initiation of the current action. Her unlawful
1787activities continued up to and through the hearing on this matter.
179820. In defense of her actions, Respondent claimed only that the
1809Department's harassment of her had made it impossible for her to get any broker
1823to come in and manage her office. She claimed further that, at her advanced
1837age, this was the only way she could support herself. It is clear, however,
1851that Respondent was fully aware of the fact that she was required to be licensed
1866as a broker to serve as an officer of a brokerage corporation, and licensed to
1881operate as either a broker or a sales person. She further knew that she must
1896operate as a salesperson under the supervision of a licensed broker, and in
1909failing to comply with any of the above requirements, she violated the provision
1922of both the Department's rule and the statute requiring her to be licensed.
1935That misconduct, in all particulars, is a violation of Section 475.25(1)(e),
1946Florida Statutes, and supports discipline as called for in Section 475.42(1)(a),
1957Florida Statutes.
195921. The Department indicates its intention to impose the maximum penalty
1970available to it under Section 455.228, Florida Statutes, to-wit: an
1980administrative fine not to exceed $5,000. At hearing, counsel for the
1992Department also indicated its intent to take whatever other actions are
2003available to insure the Respondent ceased her illegal activity. Such action is
2015consistent with the terms of the statute, but in light of the fact that there is
2031no evidence that any client has lost funds as a result of Respondent's action,
2045appears excessive in amount.
2049RECOMMENDATION
2050Based on the foregoing Findings of Fact and Conclusions of Law, it is
2063recommended that the Florida Real Estate Commission enter a final order finding
2075Respondent guilty of the misconduct alleged in the Administrative Complaint and,
2086consistent with the provisions of Section 455.228, Florida Statutes, impose an
2097administrative fine in the amount of $2,500.00.
2105DONE and ENTERED this 3rd day of September, 1996, in Tallahassee, Florida.
2117___________________________________
2118ARNOLD H. POLLOCK, Hearing Officer
2123Division of Administrative Hearings
2127The DeSoto Building
21301230 Apalachee Parkway
2133Tallahassee, Florida 32399-1550
2136(904) 488-9675
2138Filed with the Clerk of the
2144Division of Administrative Hearings
2148this 3rd day of September, 1996.
2154COPIES FURNISHED:
2156Steven D. Fieldman, Esquire
2160Department of Business and
2164Professional Regulation
2166Division of Real Estate
2170400 West Robinson Street, N308
2175Post Office Box 1900
2179Orlando, Florida 32802-1900
2182Geraldine Ruesel, pro se
21865351 Gulf Drive
2189Holmes Beach, Florida 34217
2193Lynda Goodgame, General Counsel
2197Department of Business and
2201Professional Regulation
22031940 North Monroe Street
2207Tallahassee, Florida 32399-0792
2210Henry M. Solares, Division Director
2215Department of Business and
2219Professional Regulation
2221Division of Real Estate
2225400 West Robinson Street
2229Post Office Box 1900
2233Orlando, Florida 32802-1900
2236NOTICE OF RIGHT TO SUBMIT EXCEPTIONS
2242All parties have the right to submit written exceptions to the Recommended
2254Order. All agencies allow each party at least 10 days in which to submit
2268written exceptions. Some agencies allow a larger period within which to submit
2280written exceptions. You should consult with the agency that will issue the
2292Final Order in this case concerning their rules on the deadline for filing
2305exceptions to this Recommended Order. Any exceptions to this Recommended Order
2316should be filed with the agency that will issue the Final Order in this case.
- Date
- Proceedings
- Date: 08/15/1996
- Proceedings: Notice of Ex Parte Communication sent out.
- Date: 08/09/1996
- Proceedings: (Respondent) Hearing Exhibits filed.
- Date: 08/01/1996
- Proceedings: CASE STATUS: Hearing Held.
- Date: 07/29/1996
- Proceedings: Subpoena Duces Tecum (from S. Fieldman); Cover letter from J. McPaul filed.
- Date: 07/11/1996
- Proceedings: Amended Notice of Hearing as to Date Only sent out. (hearing set for 8/1/96; 1:00pm; Bradenton)
- Date: 06/17/1996
- Proceedings: Notice of Hearing sent out. (hearing set for 7/29/96; 1:00pm; Bradenton)
- Date: 06/14/1996
- Proceedings: (Petitioner) Response to Order filed.
- Date: 06/07/1996
- Proceedings: Order Directing Filing of Status Report sent out. (due in 10 days)
- Date: 04/05/1996
- Proceedings: (Petitioner) Order (dated 3/29/96) filed.
- Date: 03/28/1996
- Proceedings: (Petitioner) Notice of Withdrawal as Counsel filed.
- Date: 02/13/1996
- Proceedings: Order of Continuing Abeyance sent out. (Parties to file status report by 4/30/96)
- Date: 02/12/1996
- Proceedings: (Petitioner) Updated Status Report And Motion to Continue Abeyance; (Petitioner) Notice of Hearing filed.
- Date: 01/31/1996
- Proceedings: (Petitioner) Status Report; Notice of Hearing filed.
- Date: 11/28/1995
- Proceedings: Order of Abeyance sent out. (Parties to file status report by 2/1/96)
- Date: 11/27/1995
- Proceedings: (Petitioner) Motion to Hold In Abeyance And Continuance of Formal Hearing filed.
- Date: 11/13/1995
- Proceedings: (Petitioner) Notice of Taking Deposition by Telephone and to Perpetuate Testimony filed.
- Date: 11/07/1995
- Proceedings: Order Granting Motion for Taking Deposition by Telephone and to Perpetuate Testimony sent out.
- Date: 11/02/1995
- Proceedings: (Petitioner) Motion for Taking Deposition by Telephone and to Perpetuate Testimony filed.
- Date: 09/21/1995
- Proceedings: Amended Notice of Hearing As to Location Only sent out. (hearing set for 11/29/95; 1:00pm; Sarasota)
- Date: 09/19/1995
- Proceedings: Order Granting Motion for Continuance and Notice of Hearing sent out. (hearing rescheduled for 11/29/95; 1:00pm; Bradenton)
- Date: 09/14/1995
- Proceedings: (Petitioner) Motion for Continuance filed.
- Date: 09/11/1995
- Proceedings: Order Granting Motion for Taking Deposition by Phone sent out.
- Date: 09/08/1995
- Proceedings: (Petitioner) Motion for Taking Deposition by Telephone and to Perpetuate Testimony filed.
- Date: 08/08/1995
- Proceedings: Notice of Hearing sent out. (hearing set for 9/21/95; 11:00am; Bradenton)
- Date: 08/04/1995
- Proceedings: (Petitioner) Response to Initial Order filed.
- Date: 08/04/1995
- Proceedings: (Petitioner) Response to Initial Order filed.
- Date: 07/26/1995
- Proceedings: Initial Order issued.
- Date: 07/19/1995
- Proceedings: Administrative Complaint filed.
- Date: 07/18/1995
- Proceedings: Notice Of Filing Response To Interrogatories And Request For Admissions; Petitioner's First Request For Admissions And Interrogatories; Election Of Rights; Agency Referral Letter filed.