Michelle Wilson, Executive Director,
RE: DISABILITY DISCRIMINATION COMPLAINT OF NEIL J. GILLESPIE
Submitted December 10, 2013 to the Commission, FCHR No. 201400117
Título original
Florida Commission on Human Relations, records request
Michelle Wilson, Executive Director,
RE: DISABILITY DISCRIMINATION COMPLAINT OF NEIL J. GILLESPIE
Submitted December 10, 2013 to the Commission, FCHR No. 201400117
Michelle Wilson, Executive Director,
RE: DISABILITY DISCRIMINATION COMPLAINT OF NEIL J. GILLESPIE
Submitted December 10, 2013 to the Commission, FCHR No. 201400117
Michelle Wilson, Executive Director RE: FCHR No. 201400117 J odi J ones, Regulatory Specialist Public Records Request Florida Commission on Human Relations (FCHR) 2009 Apalachee Parkway, Suite 100 Tallahassee, FL 32301 RE: DISABILITY DISCRIMINATION COMPLAINT OF NEIL J . GILLESPIE Submitted December 10, 2013 to the Commission, FCHR No. 201400117 Dear Ms. Wilson and Ms. J ones: This is a request for public records in complaint FCHR No. 201400117. Provide records showing the cover page stamped received by the Florida Commission on Human Relations (FCHR) for each of the following documents that I provided to the FCHR (copies enclosed): 1. New disability discrimination complaint by Neil J . Gillespie submitted December 10, 2013. 2. Email of Neil Gillespie December 30, 2013 to Ms. J ones re status of FCHR No. 201400117 3. Reply letter from Gillespie December 31, 2013 to Ms. J ones letter of December 26, 2013. 4. Reply email from Gillespie December 31, 2013 to Ms. J ones letter of December 26, 2013. 5. Follow up letter from Neil Gillespie to Ms. J ones/Gov. Scott J anuary 7, 2014. 6. Follow up email from Neil Gillespie to Ms. J ones/Gov. Scott J anuary 7, 2014. 7. Follow up email from Neil Gillespie to Ms. Wilson and Ms. J ones March 28, 2014. 8. Follow up email from Neil Gillespie to Ms. Wilson and Ms. J ones March 31, 2014. Provide records of the loyalty oath, as a recipient of public funds from the state of Florida, that he/she supports the Constitution of the United States, and Florida for, Michelle Wilson, Executive Director J odi J ones, Regulatory Specialist Provide records of the Oath of Office for the Chairman, Vice-Chairman, and each Commissioner of the FCHR required by Article II, Section 5(b), Fla. Const. Provide records showing the current status of complaint FCHR No. 201400117. As of today I do not show a response from the FCHR to my communication described in numbers 3-8 above. Sincerely, Neil J . Gillespie 8092 SW 115th Loop Telephone: 352-854-7807 Ocala, Florida 34481 Email: neilgillespie@mfi.net Enclosures: Copies of documents described in numbers 1-8 above. Ms. J ones letter of December 26, 2013 to Neil J . Gillespie. VIA V.P.S. No. lZ64589FNY94633807 December 10, 2013 Michelle Wilson, Executive Director Florida Con1mission on Human Relations 2009 Apalachee Parkway, Suite 100 Tallahassee, FL 32301 RE: New Complaint Enclosed Dear Ms. Wilson: Please find enclosed my complaint for civil rights violations and disability discrimination against the persons and entities shown below. 1. Pamela Jo Bondi, Attorney General of Florida 2. Diana R. Esposito, the Chief-Assistant Attorney General, Tampa 3. Kenneth V. Wilson, Assistant Attorney General, Tampa 4. Valerie Williford, employee of the Office of Attorney General, Tampa 5. Laura Martin, employee of the Office of Attorney General, Tampa 6. David A. Rowland, General Counsel, Thirteenth Judicial Circuit Florida 7. Sandra Burge, employee of the Thirteenth Judicial Circuit Florida 8. Thirteenth Judicial Circuit, Florida; Chief Judge Manuel Menendez Jr. 9. Claudia Rickert Isom, Circuit Judge 10. James M. Barton, II, Circuit Judge 11. Martha J. Cook, Circuit Judge 12. Gonzalo B. Casares, ADA Coordinator, Thirteenth Judicial Circuit Florida 13. Barker, Roden1s & Cook, P.A. 14. Ryan Christopher Rodems, Florida attorney 15. The Law Office of Robert W. Bauer, P.A. 16. Robert W. Bauer, Florida attorney 17. Eugene P. Castagliuolo, Florida attorney 18. Elisabeth Goodner, State Court Adminstrator 19. Laura Rush, General Counsel, Office of State Court Adminstrator 20. The Florida Bar, John F. Harkness, Executive Director, et al. 21. McCalla Raymer LLC, et al. Also enclosed are a number of supporting exhibits. Thank you. Gillespl 8692 SW 11 th Loop Ocala, Florida 34481 Telephone: (352) 854-7807 En1ail: neilgillespie@mfi.net TECHNICALASSISTANCEQUESTIONNAIRE Your answers to this questionnaire are confidential pursuant to Florida Statute 760.11 (12) I,NeilJ.Gillespie,herebywaiveconfidentiality;thedocumentsprovidedarepublic recordsofandaboutcourtproceedings. 1. EstablishingJurisdiction: a. Whatis today'sdate?12/10/2013 b. Whatis thenlostrecentorlastdatethatanallegeddiscriminatoryactoccurredagainstyou bytheestablishnlentyouarefiling aclaimagainst? ONGOING;todaywithOSCA,seebelow. TodayIreceivedemailfromLauraRush, GeneralCounsel,OfficeoftheStateCourtsAdnlinistrator, refusingto providedisabilityaccommodationgettingrecordsfromtheThirteenthJudicialCircuit. Theemailis enclosed. Ms. RushandtheOSCArefusedto complywithF.S. 282.601-282.606 AccessibilityofInformationandTechnology,andtheAmericanswithDisabilitiesAct(ADA),and theRehabilitationActof1973,etc.,etc. anyandallotherdisabilitylaw. TheStateofFloridahasahistoryofcivilrightsviolationsanddisabilitydiscriminationtowardme beginningwiththeFLDiv. VocationalRehabilitation(DVR). ImadeacomplaintDVRin 1998, whichis enclosedwithmylettertoPres. JimmyCarterofOctober25,2013.Igotaresponsefronl FCHROctober31,2013 whichis enclosed,togetherwithmyletterto FCHRofSeptember30,2013. 2. ContactInformation: a. Name:NeilJ. Gillespie MailingAddress: 8092 SW 115thLoop,OcalaFlorida34481 ZipCode: 34481 City: Ocala County: Marion State: Florida b. Ifyouwantustocontactyoubye-mail,pleaseprovideyoure-mailaddress: neilgillespie@mfi.net c. HomePhone: (352)854-7807 WorkPhone: N/A CellPhone: decline DateofBirth: 03/19/1956 d. If youwillberepresentedbyanattorney,pleaseprovidetheattorney'snameandphonenumber: Name: noattorney e. Pleaseprovidethenameandtelephonenumberofan individualwhodoesnotlivewithyoubut wouldknowhowto reachyou: Name: Dr. KarinHuffer,3236MountainSpringRoad,LasVegas,NV89146;Tel. 702-528-9588, Email: legalabuse@gn1ail.con1 f. HaveyoufiledacomplaintofdiscriminationwiththeFCHR,EEOC,HUD,oranylocalagency withinthelastyear? Ifyes,completebelow: AgencyName: N/A 3. BasisforDiscrimination a. Onwhatbasisdoyoubelieveyouwerediscriminatedagainst? Pleasecheckonlytheboxorboxesthatapplyto yourchargeofdiscrimination RACE: COLOR: NATIONALORIGIN SEX CREED )(PHYSICALDISABILITY/HANDICAP b. Intheboxbelow,provideadescriptionoftheallegeddiscriminatoryactoractsthatthe establishmenttookagainstyou. Yourdescriptionshouldincludethefollowing: 1. Whathappened,whotooktheactionsagainstyou,andwhen(whatdates)theactions occurred. Ongoingdenialofdisabilityaccommodation,violationofCivilRights, chapter825 FS, AbuseNeglect,ExploitationofElderlyPersonsandDisabledAdults. FraudorimpairmentofmyPetitionNo. 12-7747totheU.S. SupremeCourt(fordenialofdisability accomn10dation, civilrights,disabilityrights),alegitimategovernmentactivity, 18U.S.C. 371,by AttorneyGeneralPamBondiandothersinheremploy,whoconspiredwithRespondentDavidA. Rowland,GeneralCounselforRespondentThirteenthJudicialCircuitFlorida,andotherRespondents andnon-respondents,inaconspiracyagainstmyrights, 18 U.S.C. 241,to deprivemeof rights undercoloroflaw, 18 U.S.C. 242.ADA: 42USC12202- A Stateshallnotbein1mune. AttorneyGeneralBondietal arecurrentlyengagedinongoingMisuseofPublicPositioninPetition No. 13-7280totheU.S. Supren1eCourt,whereTheFloridaBaris across-partyforpolitical persecutionofmeinretaliationformyPetitionNo. 12-7747to theGovernmentforaredressof grievancesprotectedbytheFirstAmendment;ADA: 42USC 12202- A Stateshallnotbeimmune; ADA: 42USC12203 - Prohibitionagainstretaliationandcoercion;under760.51 F.S. Violationsof constitutionalrights,theFloridaAttorneyGeneralhadauthorityanddutyto representmebutdidnot. Enclosedyouwillfindthefollowing documents: PetitionNo. 12-7747totheU.S. SupremeCourt,andguide PetitionNo. 13-7280totheU.S. SupremeCourt; ComplainttotheFloridaCon1missiononEthics UrgentAppealtotheUnitedNations,withtwo Supportingaffidavits ConsolidatedAmendedMotionforDisabilityAccommodation,DeclaratoryRelief,Waive Confidentiality;NoticeE-filingProhibitionbyDistrictCourt;Affidavitof Conflict,ADAdenial c. Inthe boxbelow, identify any customers who havebeenin the same situationas you, butweretreatedmorefavorablybecausetheyhaveadifferentprotectedclass thanyou (Forexample,theyareadifferentrace,sex,nationalorigin,etc.). Provideabriefdescription ofhowtheseemployeesweretreateddifferentlythanyou. Unknown. Attachedis aletterfromDr. KarinHuffer,whowasmyAmericanswithDisabilityAct(ADA) advocate. Dr. I-Iuffermaybeabletoprovidethisinfoffi1ation. Address: 3236MountainSpringRoad, LasVegas,NV89146;Tel. 702-528-9588,Email: legalabuse@gmail.com 2 4. ContactInformation: Providethenameofthebusinessyouarefilingthisclaimagainst. TheAttorneyGeneralofFloridaetal, theThirteenthJudicialCircuitetatandthe Defendants/Respondentsin PetitionNo. 12-7747andPetitionNo. 13-7280,personsnamedinthecomplainttothe FloridaCommissionon Ethics,ElisabethGoodner, StateCourtAdministrator, andLauraRush,GeneralCounsel,Officeofthe StateCourtsAdministrator; andcross-partyTheFloridaBarinPetitionNo. 13-7280. McCallaRaymerLLC,225 E. RobinsonSt., Suite660, Orlando,FL32801,Respondent,Petition 13-7280 NOTE:McCallaRaymerLLC,aForeignLimitedLiabilityCompany,isshowing"Inactive"status ontheFloridaDivisionofCorp. website,"ADMINDISSOLUTIONFORANNUALREPORT" Providethenameof theHumanResourcesOfficeorothermanagementlevelcontactpersonforthis business. PamBondiAG; CJManuelMenendezJr., 13thCircuit; JohnHarkness,FloridaBar,ElisabethGoodner,OSCA. MartyStone,manageretal forMcCallaRaymerLLC,seeattached2012AnnualReport. Mailingaddressofthebusiness: FLAttorneyGeneral, 101 W. GainesStreet,CollinsBldg,TallahasseeFL ThirteenthJudicialCircuitFlorida, 800E. TwiggsStreet,Suite603,Tampa,Florida33602 Officeofthe StateCourtsAdministrator,500SouthDuvalStreet,Tallahassee,FL32399-1900 TheFloridaBar,651 E. JeffersonStreet,Tallahassee,FL32399-2300 McCallaRaymerLLC,225 E. RobinsonSt., Suite660,Orlando,FL32801 I understand that information on this questionnaire may be shared, in whole or part, by the Florida Commission on Human Relations with the U.S. Equal Employment Opportunity Commission and theRespondent indicated. With theexception ofthese parties, this information willbekeptconfidential. I unde tand,agreeandrequestCommissionassistance
Neil Gillespie From: "Laura Rush" <RushL@flcourts.org> To: "'Neil Gillespie'" <neilgillespie@mfi.net> Sent: Monday, December 09, 2013 12:47 PM Subject: RE: Disability accommodation request, assistance getting public records from the Thirteenth J udicial Circuit Page 1of 5 12/10/2013 Dear Mr. Gillespie,
This e-mail responds to your December 5, 2013, request for assistance in obtaining public records within the custody of the Thirteenth J udicial Circuit as a disability accommodation, presumably under Title II of the Americans with Disabilities Act (ADA).
Pursuant to Title II of the ADA, the Office of the State Courts Administrator will make reasonable modifications in policies, practices, and procedures; furnish auxiliary aids and services; and afford program accessibility through the provision of accessible facilities, the relocation of services or programs, or the provision of services at alternative sites, as appropriate and necessary.
However, no provision of Title II of the ADA requires the Office of the State Courts Administrator to provide legal advice or counsel, or administrative assistance, as a disability accommodation.
Therefore, for the reasons stated here and in my November 22, 2013, e-mail to you, the Office of the State Courts Administrator will not assist you with your records request to the Thirteenth J udicial Circuit.
Sincerely, Laura Rush General Counsel Office of the State Courts Administrator 500 South Duval Street Tallahassee, FL 32399-1900 (850) 488-1824
From: Neil Gillespie [mailto:neilgillespie@mfi.net] Sent: Friday, December 06, 2013 10:25 AM To: osca; Lisa Goodner; Laura Rush; Cal Goodlett; Special Rapporteur Gabriela Knaul; Shuaib Chalklen Special Rapporteur Disability; InfoDesk UN Geneva; Hyacinthe Medenou; Gianni Magazzeni UN Geneva; Eunice Ajambo; Revi Kumar; Css Intern1 Ohchr; Eugene K. Pettis; Gregory W. Coleman; J ack Harkness; Paul Hill; J ohn Thomas Berry; Kenneth Lawrence Marvin; Mary Ellen Bateman; William Abbuehl; USAFLM.State.Foreclosures@usdoj.gov; Tiffany Caparas2; Tiffany Caparas1; McCalla Raymer E-service; Hon. Hale Ralph Stancil; Gregory J ones; AG Pamela J o Bondi; Bridget Kellogg Smitha; Renee Elise Thompson; Patricia Moring; J ohnnye Ladine Friedrich; Barbara Burke; neilgillespie@mfi.net Subject: Fw: Disability accommodation request, assistance getting public records from the Thirteenth J udicial Circuit
Elisabeth Goodner, State Courts Administrator Office of the State Courts Administrator 500 South Duval Street Tallahassee, FL 32399-1900 (850) 488-1824
RE: Disability accommodation request, assistance getting public records from the Thirteenth J udicial Circuit
Dear Ms. Goodner,
When can I expect a response to my request for disability accommodation, made to your counsel Laura Rush shown below, assistance getting public records from the Thirteenth J udicial Circuit?
----- Original Message ----- From: Neil Gillespie To: Laura Rush ; Elisabeth Goodner ; Cal Goodlett Cc: J ohn Anthony Tomasino ; neilgillespie@mfi.net Sent: Thursday, December 05, 2013 10:12 PM Subject: Disability accommodation request, assistance getting public records from the Thirteenth J udicial Circuit
Laura Rush General Counsel Office of the State Courts Administrator 500 South Duval Street Tallahassee, FL 32399-1900 (850) 488-1824
RE: Disability accommodation request, assistance getting public records from the Thirteenth J udicial Circuit Dear Ms. Rush: Thank you for your response. Since at least 2010 Elisabeth H. Goodner communicated with me as "Lisa" Goodner. Please take notice that I do not work in your office, or in the judicial branch. Your response below to my request for assistance getting records is misplaced. The Thirteenth J udicial Circuit did not deny access to the records, so your citation to "the exclusive remedy for a denial of access to administrative records of the judicial branch is stated in rule 2.420(l)," Unfortunately it appears you, Ms. Goodner and Mr. Goodlett are misusing your public position to secure a special privilege, benefit, or exemption for himself, herself, or others - the Thirteenth J udicial Circuit, in violation of 112.313(6). Please stop this misconduct. Ms. Rush, I believe the information you provided is not correct. Rule 2.420(l) is not the exclusive remedy according to Section 16.60 F.S., the Public records mediation program within the Office of the Attorney General, although the Attorney General is not likely to assist me. So I am asking you for the final time, as a disability accommodation request, for assistance getting public records from the Thirteenth J udicial Circuit. I am also providing this email cc to the Hon. J ohn A. Tomasino, Clerk of the Florida Supreme Court. While it does not apply here, the remedy under Rule 2.420(l), an action for mandamus, presumes a fair, honest and functioning judiciary. Florida does not have a fair, honest and functioning judiciary. Instead, Florida courts operate as a system of favors. You may disagree, but it does not matter, because Rule 2.420(l) does not apply. I requested assistance with getting records because each attempt I make is met with harassment as defined by Florida Statutes, Chapter 784, Assault; Battery; Culpable Negligence Section 784.048 Stalking; definitions; penalties. (1) As used in this section, the term: (a) "Harass" means to engage in a course of conduct directed at a specific person which causes substantial emotional distress to that person and serves no legitimate purpose. (2) A person who willfully, maliciously, and repeatedly follows, harasses, or cyberstalks another person commits the offense of stalking, a misdemeanor of the first degree, punishable as provided in s. 775.082 or s. 775.083. (4) A person who, after an injunction for protection against repeat violence, sexual violence, or dating violence pursuant to s. 784.046, or an injunction for protection against domestic violence pursuant to s. 741.30, or after any other court-imposed prohibition of conduct toward the subject person or that persons property, knowingly, willfully, maliciously, and repeatedly follows, harasses, or cyberstalks another person commits the offense of aggravated stalking, a felony of the third degree, punishable as provided in s. 775.082, s. 775.083, or s. 775.084. As I stated earlier, you may consider my request made my request under disability law. Failure to comply with statutes or regulatory provision that either are designed to protect a particular class of persons from their inability to protect themselves or establish a duty to take precautions to guard a certain class of persons from a specific type of injury. Failure to do so establishes negligence per se. Florida Freight Terminals, Inc. v. Cabanas, 354 So. 2d 1222 (Fla. Dist. Ct. App., 3d Dist. 1978). Under the Eggshell Skull Rule, defendant is liable for the plaintiff's unforeseeable and uncommon reactions to the defendant's negligent or intentional tort. If the defendant commits a tort against the plaintiff without a complete defense, the defendant becomes liable for any injury that is magnified by the plaintiff's peculiar characteristics. http://www.law.cornell.edu/wex/eggshell_skull_rule You may comply with the ADA through sections 282.601 through 282.606, Florida Statutes. I believe the records are stored electronically. All electronic documents filed shall be accessible to persons with disabilities in the manner required by Section 508 of the Federal Rehabilitation Act, the Americans with Disabilities Act, sections 282.601 through 282.606, Florida Statutes ACCESSIBILITY OF INFORMATION AND TECHNOLOGY F.S. 282.601-282.606 282.602 Definitions.As used in this part, the term: (1) "Accessible electronic information and information technology" means electronic information and information technology that conforms to the standards for accessible electronic information and information technology as set forth by s. 508 of the Rehabilitation Act of 1973, as amended, and 29 U.S.C. s. 794(d), including the regulations set forth under 36 C.F.R. part 1194. 282.606 Intent.It is the intent of the Legislature that, in construing this part, due consideration and great weight be given to the interpretations of the federal courts relating to comparable provisions of s. 508 of the Rehabilitation Act of 1973, as amended, and 29 U.S.C. s. 794(d), including the regulations set forth under 36 C.F.R. part 1194, as of J uly 1, 2006. History.s. 73, ch. 2006-227. Ms. Rush, as a member of The Florida Bar, you have a duty to report misconduct of lawyers and judges as provided by Rule 4-8.3(a) and (b), that Page 2of 5 12/10/2013 includes J udge Menendez and Mr. Rowland. Rule 4-8.3 Reporting Professional Misconduct (a) Reporting Misconduct of Other Lawyers. A lawyer who knows that another lawyer has committed a violation of the Rules of Professional Conduct that raises a substantial question as to that lawyer's honesty, trustworthiness, or fitness as a lawyer in other respects shall inform the appropriate professional authority. (b) Reporting Misconduct of J udges. A lawyer who knows that a judge has committed a violation of applicable rules of judicial conduct that raises a substantial question as to the judge's fitness for office shall inform the appropriate authority. It appears you, Ms. Rush, have knowledge of the fraud and impairment of Petition No. 12-7747 by J udge Menendez and Mr. Rowland, and thus a duty pursuant to 18 U.S.C. 4 - Misprision of felony. Finally Ms. Rush, your continued obstruction, on behalf of Ms. Goodner, is an impairment of my current Petition No. 7280 to the US Supreme Court, deprivation of rights under color of law, and a conspiracy against rights. See the links below. Sincerely, Neil J . Gillespie 8092 SW 115th Loop Ocala Florida 34481 Telephone: 352-854-7807 Email: neilgillespie@mfi.net
Fraud or Impairment of a legitimate government activity, 18 U.S.C. 371. DOJ Criminal Resource Manual 923, paragraph 1 18 U.S.C. 371Conspiracy to Defraud the United States The general conspiracy statute, 18 U.S.C. 371, creates an offense "[i]f two or more persons conspire either to commit any offense against the United States, or to defraud the United States, or any agency thereof in any manner or for any purpose. (emphasis added). See Project, Tenth Annual Survey of White Collar Crime, 32 Am. Crim. L. Rev. 137, 379-406 (1995)(generally discussing 371). http://www.justice.gov/usao/eousa/foia_reading_room/usam/title9/crm00923.htm 925 Obstructing or Impairing Legitimate Government Activity http://www.justice.gov/usao/eousa/foia_reading_room/usam/title9/crm00925.htm 1739 Offenses Related to Obstruction of J ustice Offenses http://www.justice.gov/usao/eousa/foia_reading_room/usam/title9/crm01739.htm Deprivation of rights under color of law, 18 U.S.C. 242. DOJ Summary. Section 242 of Title 18 makes it a crime for a person acting under color of any law to willfully deprive a person of a right or privilege protected by the Constitution or laws of the United States. http://www.justice.gov/crt/about/crm/242fin.php Conspiracy against rights, 18 U.S.C. 241. http://www.law.cornell.edu/uscode/text/18/241 ----- Original Message ----- From: Laura Rush To: 'Neil Gillespie' Sent: Friday, November 22, 2013 2:04 PM Subject: RE: Please see attached PDF, paper letter delivered by UPS today
Mr. Gillespie:
This e-mail responds to your October 10, 2013, and November 22, 2013, correspondence directed to State Courts Administrator Lisa Goodner. I am General Counsel for the Office of the State Courts Administrator and authorized to respond to your correspondence on behalf of Ms. Goodner.
You have asked that the Office of the State Courts Administrator assist you in obtaining records you requested, but have not received, from the Thirteenth Judicial Circuit. Please be advised that the exclusive remedy for a denial of access to administrative records of the judicial branch is stated in rule 2.420(l), Florida Rules of Judicial Administration. That provision states:
(l) Denial of Access Request for Administrative Records. Expedited review of denials of access to administrative records of the judicial branch shall be provided through an action for mandamus or other appropriate relief, in the following manner: (1) When a judge who has denied a request for access to records is the custodian, the action shall be filed in the court having appellate jurisdiction to review the decisions of the judge denying access. Upon order issued by the appellate court, the judge denying access to records shall file a sealed copy of the requested records with the Page 3of 5 12/10/2013 appellate court. (2) All other actions under this rule shall be filed in the circuit court of the circuit in which such denial of access occurs.
The Office of the State Courts Administrator has no authority to administratively address or resolve a denial of access to records within the custody of the Thirteenth Judicial Circuit in lieu of the procedures stated in rule 2.420(l).
Your correspondence also contains allegations of misconduct by the court counsel and chief judge for the Thirteenth Judicial Circuit. The Office of the State Courts Administrator has no authority to investigate or otherwise address these allegations. Complaints of attorney misconduct should be directed to The Florida Bar. Information about how to file a complaint is contained on The Florida Bars Internet site at: http://www.floridabar.org/tfb/TFBConsum.nsf/0a92a6dc28e76ae58525700a005d0d53/dbac6623cf5c015f85257a3f0060b781! OpenDocument. Complaints of judicial misconduct should be directed to the Judicial Qualifications Commission. Information about how to file a complaint of judicial misconduct is contained on the Internet site for the Judicial Qualifications Commission at: http://www.floridajqc.com/images/JQCComplaintForm.pdf.
Sincerely, Laura Rush General Counsel Office of the State Courts Administrator 500 South Duval Street Tallahassee, FL 32399-1900 (850) 488-1824
From: Neil Gillespie [mailto:neilgillespie@mfi.net] Sent: Friday, November 22, 2013 2:53 AM To: osca; Lisa Goodner; Laura Rush; Cal Goodlett; Eugene K. Pettis; Gregory W. Coleman; J ack Harkness; Paul Hill; J ohn Thomas Berry; Kenneth Lawrence Marvin; Mary Ellen Bateman; Special Rapporteur Gabriela Knaul; Shuaib Chalklen Special Rapporteur Disability; InfoDesk UN Geneva; Hyacinthe Medenou; Gianni Magazzeni UN Geneva; Eunice Ajambo; Revi Kumar; Css Intern1 Ohchr; William Abbuehl; USAFLM.State.Foreclosures@usdoj.gov; Tiffany Caparas2; Tiffany Caparas1; McCalla Raymer E-service; Hon. Hale Ralph Stancil; Gregory J ones; AG Pamela J o Bondi; Bridget Kellogg Smitha; Renee Elise Thompson; Patricia Moring; J ohnnye Ladine Friedrich; Barbara Burke; neilgillespie@mfi.net Subject: Fw: Please see attached PDF, paper letter delivered by UPS today
Elisabeth H. Goodner, State Courts Adminstrator The Office of the State Courts Administrator (OSCA) 500 S Duval St. Tallahassee, Florida 32399-6556 Ms. Goodner: When can I expect a response from you to my October 10, 2013 letter, and disability request for assistance getting records from the Thirteenth J udicial Circuit of Florida, sent to you by email and in paper by United Parcel Service, No. 1Z64589FP296785173? The proof of delivery shows J . Moon signed for the letter October 11, 2013 at 10.02 AM. Therefore I conclude that you received the letter. Other than a limited response October 11, 2013 by General Counsel Laura Rush about the Second District Court of Appeal, I do not show a response from you, Elizabeth H. Goodner, State Courts Adminstrator. Kindly provide your response to my October 10, 2013 letter, and disability request for assistance getting records from the Thirteenth J udicial Circuit of Florida, so that I many inform the U.S. Supreme Court, and International Human Rights Organizations, and others about your position. Sincerely, Neil J . Gillespie 8092 SW 115th Loop Ocala, Florida 34481 Telephone: 352-854-7807 Email: neilgillespie@mfi.net ----- Original Message ----- From: Neil Gillespie To: Lisa Goodner Cc: Laura Rush ; Cal Goodlett Page 4of 5 12/10/2013 Sent: Friday, October 11, 2013 10:38 AM Subject: Please see attached PDF, paper letter delivered by UPS today
Page 5of 5 12/10/2013 Gillespie p1 of 2 1 DR. KARIN HUFFER Licensed Marriage and Family Therapist #NV0082 ADAAA Titles II and III Specialist Counseling and Forensic Psychology 3236 Mountain Spring Rd. Las Vegas, NV 89146 702-528-9588 www.lvaallc.com October 28, 2010 To Whom It May Concern: I created the first request for reasonable ADA Accommodations for Neil Gillespie. The document was properly and timely filed. As his ADA advocate, it appeared that his right to accommodations offsetting his functional impairments were in tact and he was being afforded full and equal access to the Court. Ever since this time, Mr. Gillespie has been subjected to ongoing denial of his accommodations and exploitation of his disabilities As the litigation has proceeded, Mr. Gillespie is routinely denied participatory and testimonial access to the court. He is discriminated against in the most brutal ways possible. He is ridiculed by the opposition, accused of malingering by the J udge and now, with no accommodations approved or in place, Mr. Gillespie is threatened with arrest if he does not succumb to a deposition. This is like threatening to arrest a paraplegic if he does not show up at a deposition leaving his wheelchair behind. This is precedent setting in my experience. I intend to ask for DOJ guidance on this matter. While my work is as a disinterested third party in terms of the legal particulars of a case, I am charged with assuring that the client has equal access to the court physically, psychologically, and emotionally. Critical to each case is that the disabled litigant is able to communicate and concentrate on equal footing to present and participate in their cases and protect themselves. Unfortunately, there are cases that, due to the newness of the ADAAA, lack of training of judicial personnel, and entrenched patterns of litigating without being mandated to accommodate the disabled, that persons with disabilities become underserved and are too often ignored or summarily dismissed. Power differential becomes an abusive and oppressive issue between a person with disabilities and the opposition and/or court personnel. The litigant with disabilities progressively cannot overcome the stigma and bureaucratic barriers. Decisions are made by medically unqualified personnel causing them to be reckless in the endangering of the health and well being of the client. This creates a severe justice gap that prevents the ADAAA from being effectively applied. In our adversarial system, the situation can devolve into a war of attrition. For an unrepresented litigant with a disability to have a team of lawyers as adversaries, the demand of litigation exceeds the unrepresented, disabled litigants ability to maintain health while pursuing justice in our courts. Neil Gillespies case is one of those. At this juncture the harm to Neil Gillespies health, economic situation, and general diminishment of him in terms of his legal case cannot be overestimated and this bell Gillespie p2 of 2 2 cannot be unrung. He is left with permanent secondary wounds.
Additionally, Neil Gillespie faces risk to his life and health and exhaustion of the ability to continue to pursue justice with the failure of the ADA Administrative Offices to respond effectively to the request for accommodations per Federal and Florida mandates. It seems that the ADA Administrative offices that I have appealed to ignore his requests for reasonable accommodations, including a response in writing. It is against my medical advice for Neil Gillespie to continue the traditional legal path without properly being accommodated. It would be like sending a vulnerable human being into a field of bullies to sort out a legal problem. I am accustomed to working nationally with courts of law as a public service. I agree that our courts must adhere to strict rules. However, they must be flexible when it comes to ADAAA Accommodations preserving the mandates of this federal law Under Title II of the ADA. While public entities are not required to create new programs that provide heretofore unprovided services to assist disabled persons. (Townsend v. Quasim (9th Cir. 2003) 328 F.3d 511, 518) they are bound under ADAAA as a ministerial/administrative duty to approve any reasonable accommodation even in cases merely regarded as having a disability with no formal diagnosis. The United States Department of J ustice Technical Assistance Manual adopted by Florida also provides instructive guidance: "The ADA provides for equality of opportunity, but does not guarantee equality of results. The foundation of many of the specific requirements in the Department's regulations is the principle that individuals with disabilities must be provided an equally effective opportunity to participate in or benefit from a public entity's aids, benefits, and services. (U.S. Dept. of J ustice, Title II, Technical Assistance Manual (1993) II-3.3000.) A successful ADA claim does not require excruciating details as to how the plaintiff's capabilities have been affected by the impairment, even at the summary judgment stage. Gillen v. Fallon Ambulance Serv., Inc., 283 F.3d. My organization follows these guidelines maintaining a firm, focused and limited stance for equality of participatory and testimonial access. That is what has been denied Neil Gillespie. The record of his ADAAA accommodations requests clearly shows that his well- documented disabilities are now becoming more stress-related and marked by depression and other serious symptoms that affect what he can do and how he can do it particularly under stress. Purposeful exacerbation of his symptoms and the resulting harm is, without a doubt, a strategy of attrition mixed with incompetence at the ADA Administrative level of these courts. I am prepared to stand by that statement as an observer for more than two years. State of Florida Florida Commission on Human Relations An Equal Opportunity Employer -Affirmative Action Employer Rick Scott 2009 Apalachee Parkway.Suite100 Tallahassee, Florida 32301-4857 Mario Valle Governor (850) 488-7082 Chairman http://fchr.state.fl.us Michelle Wilson Executive- December 26, 2013 :rv!r. Neil J. Gillespie 8092 South West 115th Loop Ocala, FL 34481 Dear Mr. Gillespie: Re: FCHR No. 201400117: Neil J. Gillespie v. The Attorney General of Florida The Florida Commission on Human Relations is in receipt of your inquiry concerning discrimination. Based on the infonnation you provided, we are unable to pursue this matter further. A complaint under Section 509.92, Section 760.10, or Sections 760.23-25, Florida Statutes, must be related to housing, employment and/or public accommodation (hotels or restaurants). Under these circumstances, unless you advise us within 10 days of the date of this correspondence that the infonnation on which we have based our decision is incorrect, we will take no further action on your inquiry. Sincerely, o c k ~ ~ Jodi Jones Regulatory Specialist COMMISSIONERS Gayle Cannon Derick Daniel Dr. Donna Elam Dr. Onelia Fajardo Lake City Tallahassee Orlando Miami Dr. Elena Flom Michael Keller Michell Long Gilbert Singer, Vice Chairman Cocoa Beach Tampa Jacksonville Tampa Billy Whitefox Stall Mario Valle, Chairman Panama City Naples ' ......- ..... ;\, 11& a'kill IIfI U.n.nl"&'.-f* r. . ,... . ,. .................; I lin; I tlT.I'.1.:-....11' FloridaCommission Fl323 I onHumanRelations 27DEt-: '2'l)'i3 PM2 L 2009ApalacheeParkwax._Suite#100 Tallahassee,Florida323<01-4830 ""'-c; ........ .,
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,lilt jJ J., 3448i ::::::1567 1/.1'1ii.l,lll iiII IIJ1iii"i IJ' iJJi j Ii" IiJJjiJj i JijIii1JIJiJI j/j 11 I ; 2 i . L 2L.. a ... I IILj
Neil Gillespie From: "Neil Gillespie" <neilgillespie@mfi.net> To: "J odi J ones" <jodi.jones@fchr.myflorida.com> Cc: "Neil Gillespie" <neilgillespie@mfi.net> Sent: Monday, December 30, 2013 3:07 PM Subject: status of my complaint Page 1of 1 7/16/2014 Ms. J odi J ones Florida Commission on Human Relations 2009 Apalachee Parkway, Suite 100 Tallahassee, FL 32301 Dear Ms. J ones, Good afternoon. Earlier today I called to check the status of my complaint submitted December 10, 2013. Barbara the complaint was assigned to you. Email works better for me, and Barbara provided your e-address to communicate. I hope that is okay. Over the next week or so I will be making additional court filings related to this matter, and will provide you with copies of the documents, which will explain this matter in more detail. Due to the cost and effort required to send paper documents, I prefer email if available. Otherwise I send the main document in paper, and voluminous exhibits on CR-ROM in PDF. Sometimes I use both methods when required by Supreme Court rules. Thank you. Sincerely, Neil J . Gillespie 8092 SW 115th Loop Ocala Florida 34481 Telephone: 352-854-7807 Email: neilgillespie@mfi.net
Neil Gillespie From: "Neil Gillespie" <neilgillespie@mfi.net> To: "Gov. Rick Scott" <Rick.Scott@eog.myflorida.com>; "Pam Bondi" <pam.bondi@myfloridalegal.com>; "J odi J ones" <jodi.jones@fchr.myflorida.com>; "FCHR" <fchrinfo@fchr.myflorida.com>; "Special Rapporteur Gabriela Knaul" <SRindependenceJ L@ohchr.org>; "Shuaib Chalklen Special Rapporteur Disability" <enable@un.org>; "Adam Putnam" <Adam.Putnam@freshfromflorida.com>; "J eff Atwater" <J eff.Atwater@myfloridacfo.com>; "Morgan Ray Bentley" <mbentley@bentleyandbruning.com>; "Virlindia A Doss" <doss.virlindia@leg.state.fl.us>; "Gilbert Singer" <gsinger@marcadislaw.com>; "Goodner, Elisabeth" <goodnerl@flcourts.org>; "Michael Schneider" <mschneider@floridajqc.com>; "Neil Gillespie" <neilgillespie@mfi.net> Sent: Tuesday, December 31, 2013 11:45 PM Attach: UPL No. 20143031(9A) Martinez, w ltr G.Coaxum-30p.pdf; 2013, 12-20-13, NJ G reply to M Schneider-J QC-confidentiality-6p.pdf; 2013, 12-31-13, NJ G reply-Ms-J ones-FCHR;Notice-Gov-Scott- 16.02-FS-Appoint-12p.pdf; Ethics Complaint, Notice No. 13-201-AG-Bondi-Dec-17-2013 et al- 14p.pdf; Ethics Complaints-(7)-NJ G to Fla Ethics Commission Dec-9th-11th-2013-14p.pdf; FCHR Complaint, NJ G to Michelle Wilson-760.51 FS-Dec-10-2013-14p.pdf; TFB 2014-30,525 (9A) complaint Danielle N Parsons-31p.pdf Subject: FCHR No. 201400117; Notice to Gov. Scott, F.S. 16.02 Appointment of person to act in case of disability of Attorney General Page 1of 3 7/16/2014 Governor Rick Scott Office of Governor Rick Scott State of Florida, The Capitol 400 South Monroe Street Tallahassee, Florida 32399-0001 Email: Rick.Scott@eog.myflorida.com VIA UPS No. 1Z64589FP295521539 Notice - F.S. 16.02 Appointment of person to act in case of disability of Attorney General
J odi J ones, Regulatory Specialist Florida Commission on Human Relations 2009 Apalachee Parkway, Suite 100 Tallahassee, FL 32301 Email: jodi.jones@fchr.myflorida.com VIA U.P.S. No. 1Z64589FP295665527 Re FCHR No. 201400117 Dear Ms. J ones: Thank you for your letter dated December 26, 2013. I received your letter after emailing you yesterday about the status of my complaint. In response to your letter, please note that I appear pro se because I cannot obtain counsel. I am a nonlawyer and I did not attend law school. My complaint alleged violations of constitutional civil rights and disability rights. My cover letter December 10, 2013 to the FCHR stated, "Please find enclosed my complaint for civil rights violations and disability discrimination against the persons and entities shown below." So your reliance on Section 509.92, Section 760.10, or Sections 760.23-25, Florida Statutes is misplaced. My complaint was limited by the required FCHR form, but I did cite to F.S. 760.51 on page 2. F.S. 760.51 Violations of constitutional rights, civil action by the Attorney General; civil penalty. Here, the Attorney General, part of the Executive Branch, wrongly conspired with the J udicial Branch (Fla. Const. Art. II, Sec. 3, branches of govt. ) to obstruct justice and violate my constitutional civil rights and disability rights. My complaint includes 21 parties, not just the Attorney General, see the attached complaint. The Florida Bar has opened two inquires: 1. The Florida Bar File No. 2014-30,525 (9A), for Danielle Nicole Parsons, Bar ID 29364. 2. Unlicensed Practice of Law Investigation of Yolanda I. Martinez, Case No. 20143031(9A). The Florida Commission on Ethics gave notice December 17, 2013 of seven complaints for Misuse of Public Position, 112.313(6) F.S. I hereby waive confidentiality, see attached: Complaint No. 13-201, Pamela J o Bondi, Attorney General of Florida, Executive Branch Complaint No. 13-202, Diana R. Esposito, Chief Asst. Attorney General, Executive Branch Complaint No. 13-203, Kenneth V. Wilson, Asst. Attorney General, Executive Branch Complaint No. 13-204, Valerie Williford, Employee of Attorney General, Executive Branch Complaint No. 13-205, Laura Martin, Employee of Attorney General, Executive Branch
Complaint No. 13-206, David Rowland, Gen. Counsel, Thirteenth J udicial Circuit, J udicial Branch Complaint No. 13-207, Sandra Burge, paralegal, Thirteenth J udicial Circuit, J udicial Branch Therefore, the Florida Commission on Human Relations should ask the Governor to appoint another person to perform such duty in the Attorney Generals stead as provided by F.S. 16.02. This letter to Governor Scott also requests appointment of another person under F.S. 16.02. F.S. 16.02 Appointment of person to act in case of disability of Attorney General.
In case of the disability of the Attorney General to perform any official duty devolving on him or her, by reason of interest or otherwise, the Governor or Attorney General of this state may appoint another person to perform such duty in the Attorney Generals stead.
F.S. 760.51 Violations of constitutional rights, civil action by the Attorney General; civil penalty.
(1) Whenever any person, whether or not acting under color of law, interferes by threats, intimidation, or coercion, or attempts to interfere by threats, intimidation, or coercion, with the exercise or enjoyment by any other person of rights secured by the State Constitution or laws of this state, the Attorney General may bring a civil or administrative action for damages, and for injunctive or other appropriate relief for violations of the rights secured. Any damages recovered under this section shall accrue to the injured person. The civil action shall be brought in the name of the state and may be brought on behalf of the injured person. The Attorney General is entitled to an award of reasonable attorneys fees and costs if the Department of Legal Affairs prevails in an action brought under this section.
(2) Any person who interferes by threats, intimidation, or coercion, or attempts to interfere by threats, intimidation, or coercion, with the exercise or enjoyment by any other person of rights secured by the State Constitution or laws of this state is liable for a civil penalty of not more than $10,000 for each violation. This penalty may be recovered in any action brought under this section by the Attorney General. A civil penalty so collected shall accrue to the state and shall be deposited as received into the General Revenue Fund unallocated. In addition, I believe the wrongful foreclose of my home involving age discrimination, civil rights and disability discrimination gives standing under F.S. 760.20, Florida Fair Housing Act. Many of the accusations in my complaint to the FCHR under F.S. 760.51 cite to federal law because the U.S. Supreme Court is a federal court. In compliance with "the rights secured by the State Page 2of 3 7/16/2014 Constitution or laws of this state" provision of F.S. 760.51, please see below. I believe the person appointment under F.S. 16.02 can provide whatever else is needed. Please refer to the accompanying lists - one list of 22 related cases, a list of 18 Florida Bar/UPL complaints, and a list of 8 complaints to the J udicial Qualifications Commission. Those 48 legal proceedings each show under F.S. 760.51 violations of my constitutional rights secured by the State Constitution or laws of this state. Under the Supremacy Clause I believe rights secured by the Constitution and laws of the United States are included, and Treaties of the United States. Sincerely, Neil J . Gillespie - 8092 SW 115th Loop - Ocala Florida 34481 352-854-7807 - neilgillespie@mfi.net See list of enclosures, and service list Page 3of 3 7/16/2014 J odi J ones, Regulatory Specialist Governor Rick Scott Florida Commission on Human Relations Office of Governor Rick Scott 2009 Apalachee Parkway, Suite 100 State of Florida, The Capitol Tallahassee, FL 32301 400 South Monroe Street Email: jodi.jones@fchr.myflorida.com Tallahassee, Florida 32399-0001 VIA U.P.S. No. 1Z64589FP295665527 Email: Rick.Scott@eog.myflorida.com VIA UPS No. 1Z64589FP295521539 December 31, 2013 Notice - F.S. 16.02 Appointment of person Re: FCHR No. 201400117 person to act in case of disability of Attorney General Dear Ms. J ones: Thank you for your letter dated December 26, 2013. I received your letter after emailing you yesterday about the status of my complaint. In response to your letter, please note that I appear pro se because I cannot obtain counsel. I am a nonlawyer and I did not attend law school. My complaint alleged violations of constitutional civil rights and disability rights. My cover letter December 10, 2013 to the FCHR stated, Please find enclosed my complaint for civil rights violations and disability discrimination against the persons and entities shown below. So your reliance on Section 509.92, Section 760.10, or Sections 760.23-25, Florida Statutes is misplaced. My complaint was limited by the required FCHR form, but I did cite to F.S. 760.51 on page 2. F.S. 760.51 Violations of constitutional rights, civil action by the Attorney General; civil penalty. Here, the Attorney General, part of the Executive Branch, wrongly conspired with the J udicial Branch (Fla. Const. Art. II, Sec. 3, branches of govt. ) to obstruct justice and violate my constitutional civil rights and disability rights. My complaint includes 21 parties, not just the Attorney General, see the attached complaint. The Florida Bar has opened two inquires: 1. The Florida Bar File No. 2014-30,525 (9A), for Danielle Nicole Parsons, Bar ID 29364. 2. Unlicensed Practice of Law Investigation of Yolanda I. Martinez, Case No. 20143031(9A). The Florida Commission on Ethics gave notice December 17, 2013 of seven complaints for Misuse of Public Position, 112.313(6) F.S. I hereby waive confidentiality, see attached: Complaint No. 13-201, Pamela J o Bondi, Attorney General of Florida, Executive Branch Complaint No. 13-202, Diana R. Esposito, Chief Asst. Attorney General, Executive Branch Complaint No. 13-203, Kenneth V. Wilson, Asst. Attorney General, Executive Branch Complaint No. 13-204, Valerie Williford, Employee of Attorney General, Executive Branch Complaint No. 13-205, Laura Martin, Employee of Attorney General, Executive Branch Complaint No. 13-206, David Rowland, Gen. Counsel, Thirteenth J udicial Circuit, J udicial Branch Complaint No. 13-207, Sandra Burge, paralegal, Thirteenth J udicial Circuit, J udicial Branch Therefore, the Florida Commission on Human Relations should ask the Governor to appoint another person to perform such duty in the Attorney Generals stead as provided by F.S. 16.02. This letter to Governor Scott also requests appointment of another person under F.S. 16.02. Ms. J odi J ones, Regulatory Specialist - FCHR December 31, 2013 Notice - F.S. 16.02 to Gov. Rick Scott Page - 2 F.S. 16.02 Appointment of person to act in case of disability of Attorney General. In case of the disability of the Attorney General to perform any official duty devolving on him or her, by reason of interest or otherwise, the Governor or Attorney General of this state may appoint another person to perform such duty in the Attorney Generals stead. F.S. 760.51 Violations of constitutional rights, civil action by the Attorney General; civil penalty. (1) Whenever any person, whether or not acting under color of law, interferes by threats, intimidation, or coercion, or attempts to interfere by threats, intimidation, or coercion, with the exercise or enjoyment by any other person of rights secured by the State Constitution or laws of this state, the Attorney General may bring a civil or administrative action for damages, and for injunctive or other appropriate relief for violations of the rights secured. Any damages recovered under this section shall accrue to the injured person. The civil action shall be brought in the name of the state and may be brought on behalf of the injured person. The Attorney General is entitled to an award of reasonable attorneys fees and costs if the Department of Legal Affairs prevails in an action brought under this section. (2) Any person who interferes by threats, intimidation, or coercion, or attempts to interfere by threats, intimidation, or coercion, with the exercise or enjoyment by any other person of rights secured by the State Constitution or laws of this state is liable for a civil penalty of not more than $10,000 for each violation. This penalty may be recovered in any action brought under this section by the Attorney General. A civil penalty so collected shall accrue to the state and shall be deposited as received into the General Revenue Fund unallocated. In addition, I believe the wrongful foreclose of my home involving age discrimination, civil rights and disability discrimination gives standing under F.S. 760.20, Florida Fair Housing Act. Many of the accusations in my complaint to the FCHR under F.S. 760.51 cite to federal law because the U.S. Supreme Court is a federal court. In compliance with the rights secured by the State Constitution or laws of this state provision of F.S. 760.51, please see below. I believe the person appointment under F.S. 16.02 can provide whatever else is needed. Please refer to the accompanying lists - one list of 22 related cases, a list of 18 Florida Bar/UPL complaints, and a list of 8 complaints to the J udicial Qualifications Commission. Those 48 legal proceedings each show under F.S. 760.51 violations of my constitutional rights secured by the State Constitution or laws of this state. Under the Supremacy Clause I believe rights secured by the Constitution and laws of the United States are included, and Treaties of the United States. Sincerely, Neil J . Gillespie - 8092 SW 115th Loop - Ocala Florida 34481 352-854-7807 - neilgillespie@mfi.net See list of enclosures, and service list State of Florida Florida Commission on Human Relations An Equal Opportunity Employer -Affirmative Action Employer Rick Scott 2009 Apalachee Parkway.Suite100 Tallahassee, Florida 32301-4857 Mario Valle Governor (850) 488-7082 Chairman http://fchr.state.fl.us Michelle Wilson Executive- December 26, 2013 :rv!r. Neil J. Gillespie 8092 South West 115th Loop Ocala, FL 34481 Dear Mr. Gillespie: Re: FCHR No. 201400117: Neil J. Gillespie v. The Attorney General of Florida The Florida Commission on Human Relations is in receipt of your inquiry concerning discrimination. Based on the infonnation you provided, we are unable to pursue this matter further. A complaint under Section 509.92, Section 760.10, or Sections 760.23-25, Florida Statutes, must be related to housing, employment and/or public accommodation (hotels or restaurants). Under these circumstances, unless you advise us within 10 days of the date of this correspondence that the infonnation on which we have based our decision is incorrect, we will take no further action on your inquiry. Sincerely, o c k ~ ~ Jodi Jones Regulatory Specialist COMMISSIONERS Gayle Cannon Derick Daniel Dr. Donna Elam Dr. Onelia Fajardo Lake City Tallahassee Orlando Miami Dr. Elena Flom Michael Keller Michell Long Gilbert Singer, Vice Chairman Cocoa Beach Tampa Jacksonville Tampa Billy Whitefox Stall Mario Valle, Chairman Panama City Naples ' ......- ..... ;\, 11& a'kill IIfI U.n.nl"&'.-f* r. . ,... . ,. .................; I lin; I tlT.I'.1.:-....11' FloridaCommission Fl323 I onHumanRelations 27DEt-: '2'l)'i3 PM2 L 2009ApalacheeParkwax._Suite#100 Tallahassee,Florida323<01-4830 ""'-c; ........ .,
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,lilt jJ J., 3448i ::::::1567 1/.1'1ii.l,lll iiII IIJ1iii"i IJ' iJJi j Ii" IiJJjiJj i JijIii1JIJiJI j/j 11 I ; 2 i . L 2L.. a ... I IILj Service List December 31, 2013 Witness to Injustice for Neil J. Gillespie Witness to Injustice for Neil J. Gillespie Gabriela Knaul, Special Rapporteur Shuaib Chalklen, Special Rapporteur on Independence of J udges and Lawyers Disability, United Nations Enable Office of the United Nations High Secretariat for the Convention on the Rights Commissioner for Human Rights of Persons with Disabilities @ Department United Nations Office at Geneva of Economic and Social Affairs 8-14 Avenue de la Paix 405 E. 42nd Street 1211 Geneva 10 Switzerland New York, NY 10017 Email: SRindependenceJ L@ohchr.org Email: enable@un.org Governor Rick Scott Adam H. Putnam, Commissioner Office of Governor Rick Scott Florida Dept. of Agriculture and Consumer Services State of Florida, The Capitol Plaza Level 10, The Capitol 400 South Monroe Street 400 South Monroe Street Tallahassee, Florida 32399-0001 Tallahassee, Florida 32399-0800 Email: Rick.Scott@eog.myflorida.com Email: Adam.Putnam@freshfromflorida.com VIA UPS No. 1Z64589FP295521539 VIA UPS No. 1Z64589FP299993540 Attorney General of Florida J eff Atwater, Chief Financial Officer Office of Attorney General State of Florida State of Florida Florida Department of Financial Services 107 West Gaines Street 200 East Gaines Street Tallahassee, FL 32399-1050 Tallahassee FL 32399 Email: pam.bondi@myfloridalegal.com Email: J eff.Atwater@myfloridacfo.com VIA UPS No. 1Z64589FP299681556 VIA UPS No. 1Z64589FP295185564 Morgan R. Bentley, Chair Virlindia A Doss, Executive Director Florida Commission on Ethics Florida Commission on Ethics Bentley and Bruning PA 325 J ohn Knox Road 783 S Orange Ave Ste 220 Building E, Suite 200 Sarasota, Florida 34236-4702 Tallahassee, FL 32303 Email: mbentley@bentleyandbruning.com Email: doss.virlindia@leg.state.fl.us VIA UPS No. 1Z64589FP297105575 Gilbert Singer, Chairman Florida Commission on Human Relations Michelle Wilson, Executive Director Marcadis Singer PA Florida Commission on Human Relations 5104 S West Shore Blvd. 2009 Apalachee Parkway, Suite 100 Tampa, Florida 33611-5650 Tallahassee, FL 32301 Email: gsinger@marcadislaw.com E-Mail: fchrinfo@fchr.myflorida.com Elisabeth H. Goodner, Adminstrator Michael Schneider, General Counsel Office of the State Courts Administrator Brooke S. Kennerly, Executive Director 500 South Duval Street J udicial Qualifications Commission Tallahassee, FL 32399-1900 1110 Thomasville Road (850) 488-1824 Tallahassee, FL 32303-6224 Email: goodnerl@flcourts.org Email: mschneider@floridajqc.com
Neil Gillespie From: "Neil Gillespie" <neilgillespie@mfi.net> To: "Gov. Rick Scott" <Rick.Scott@eog.myflorida.com>; "J odi J ones" <jodi.jones@fchr.myflorida.com>; "Pam Bondi" <pam.bondi@myfloridalegal.com>; "Michelle Wilson" <michelle.wilson@fchr.myflorida.com>; "Special Rapporteur Gabriela Knaul" <SRindependenceJ L@ohchr.org>; "Shuaib Chalklen Special Rapporteur Disability" <enable@un.org>; "Adam Putnam" <Adam.Putnam@freshfromflorida.com>; "J eff Atwater" <J eff.Atwater@myfloridacfo.com>; "Morgan Ray Bentley" <mbentley@bentleyandbruning.com>; "Virlindia A Doss" <doss.virlindia@leg.state.fl.us>; "Gilbert Singer" <gsinger@marcadislaw.com>; "Goodner, Elisabeth" <goodnerl@flcourts.org>; "Michael Schneider" <mschneider@floridajqc.com>; "Neil Gillespie" <neilgillespie@mfi.net> Sent: Tuesday, J anuary 07, 2014 10:54 AM Attach: 2014, 01-07-14, J odi J ones FCHR.pdf; Basic Principles, Guidelines, Right to a Remedy and Reparation.pdf; US State Dept - FCHR.pdf; Declaration of Basic Principles of J ustice.pdf Subject: Re: FCHR No. 201400117; F.S. 16.02 Appointment of person to act, Attorney General Page 1of 2 7/16/2014 Office of Governor Rick Scott State of Florida, The Capitol 400 South Monroe Street Tallahassee, Florida 32399-0001 Email: Rick.Scott@eog.myflorida.com
J odi J ones, Regulatory Specialist Florida Commission on Human Relations 2009 Apalachee Parkway, Suite 100 Tallahassee, Florida 32301 Email: jodi.jones@fchr.myflorida.com VIA UPS No. 1Z64589FP297593593 J anuary 7, 2014 Re: FCHR No. 201400117; F.S. 16.02 Appointment of person to act, Attorney General Dear Governor Scott and Ms. J ones: This is a follow-up letter to my letter dated December 31, 2013. The U.S. Department of State shows the Florida Commission on Human Relations, Annex A to the Common Core Document of the United States, State, Local, Tribal, and Territorial Human Rights Organizations and Programs. A PDF copy is attached, and is found online at the link. http://www.state.gov/j/drl/rls/179782.htm 1. State, local, tribal, and territorial human rights organizations and programs play a critical role in U.S. implementation of the human rights treaties to which the United States is a party, including the International Covenant on Civil and Political Rights (ICCPR), the Convention on the Elimination of all forms of Racial Discrimination (CERD), the Convention Against Torture (CAT), and the Optional Protocol to the Convention on the Rights of the Child on the sale of children, child prostitution, and child pornography. This Annex contains information on state, local, tribal, and territorial laws, enforcement mechanisms, and outreach programs related to the issues addressed in the treaty reports... These documents were adopted by the UN General Assembly, attached in PDF, and online. Declaration of Basic Principles of J ustice for Victims of Crime and Abuse of Power Adopted by General Assembly resolution 40/34 of 29 November 1985 http://www.ohchr.org/EN/ProfessionalInterest/Pages/VictimsOfCrimeAndAbuseOfPower.aspx
Basic Principles and Guidelines on the Right to a Remedy and Reparation for Victims of Gross Violations of International Human Rights Law and Serious Violations of International Humanitarian Law. General Assembly resolution 60/147 of 16 December 2005. http://www.ohchr.org/EN/ProfessionalInterest/Pages/RemedyAndReparation.aspx Sincerely, Neil J . Gillespie 8092 SW 115th Loop Ocala Florida 34481 Telephone: 352-854-7807 Email: neilgillespie@mfi.net Page 2of 2 7/16/2014 J odi J ones, Regulatory Specialist Governor Rick Scott Florida Commission on Human Relations Office of Governor Rick Scott 2009 Apalachee Parkway, Suite 100 State of Florida, The Capitol Tallahassee, Florida 32301 400 South Monroe Street Email: jodi.jones@fchr.myflorida.com Tallahassee, Florida 32399-0001 VIA UPS No. 1Z64589FP297593593 Email: Rick.Scott@eog.myflorida.com J anuary 7, 2014 Re: FCHR No. 201400117; F.S. 16.02 Appointment of person to act, Attorney General Dear Governor Scott and Ms. J ones: This is a follow-up letter to my letter dated December 31, 2013. The U.S. Department of State shows the Florida Commission on Human Relations, Annex A to the Common Core Document of the United States, State, Local, Tribal, and Territorial Human Rights Organizations and Programs. A PDF copy is attached, and is found online at the link. http://www.state.gov/j/drl/rls/179782.htm 1. State, local, tribal, and territorial human rights organizations and programs play a critical role in U.S. implementation of the human rights treaties to which the United States is a party, including the International Covenant on Civil and Political Rights (ICCPR), the Convention on the Elimination of all forms of Racial Discrimination (CERD), the Convention Against Torture (CAT), and the Optional Protocol to the Convention on the Rights of the Child on the sale of children, child prostitution, and child pornography. This Annex contains information on state, local, tribal, and territorial laws, enforcement mechanisms, and outreach programs related to the issues addressed in the treaty reports... These documents were adopted by the UN General Assembly, attached in PDF, and online. Declaration of Basic Principles of J ustice for Victims of Crime and Abuse of Power Adopted by General Assembly resolution 40/34 of 29 November 1985 http://www.ohchr.org/EN/ProfessionalInterest/Pages/VictimsOfCrimeAndAbuseOfPower.aspx Basic Principles and Guidelines on the Right to a Remedy and Reparation for Victims of Gross Violations of International Human Rights Law and Serious Violations of International Humanitarian Law. General Assembly resolution 60/147 of 16 December 2005. http://www.ohchr.org/EN/ProfessionalInterest/Pages/RemedyAndReparation.aspx Sincerely, Neil J . Gillespie 8092 SW 115th Loop Telephone: 352-854-7807 Ocala Florida 34481 Email: neilgillespie@mfi.net
Neil Gillespie From: "Neil Gillespie" <neilgillespie@mfi.net> To: "Michelle Wilson" <michelle.wilson@fchr.myflorida.com>; "J odi J ones" <jodi.jones@fchr.myflorida.com>; "FL Comm Human Relations" <fchrinfo@fchr.myflorida.com> Cc: "Neil Gillespie" <neilgillespie@mfi.net> Sent: Friday, March 28, 2014 4:34 PM Subject: Re: FCHR No. 201400117 Page 1of 1 7/15/2014 Michelle Wilson, Executive Director J odi J ones, Regulatory Specialist Florida Commission on Human Relations 2009 Apalachee Parkway, Suite 100 Tallahassee, FL 32301 Re: FCHR No. 201400117 Dear Ms. Wilson and Ms. J ones: What is the status of my complaint, FCHR No. 201400117? I responded to Ms. J ones letter dated December 26, 2013 by and through my letters dated December 31, 2013, and J anuary 7, 2014. I do not show a reply from Ms. J ones or the FCHR. Thank you in advance for the courtesy of a response. Sincerely, Neil J . Gillespie 8092 SW 115th Loop Ocala Florida 34481 Telephone: 352-854-7807 Email: neilgillespie@mfi.net
Neil Gillespie From: "Neil Gillespie" <neilgillespie@mfi.net> To: "Michelle Wilson" <michelle.wilson@fchr.myflorida.com>; "J odi J ones" <jodi.jones@fchr.myflorida.com>; "FL Comm Human Relations" <fchrinfo@fchr.myflorida.com> Cc: "Neil Gillespie" <neilgillespie@mfi.net> Sent: Monday, March 31, 2014 4:00 PM Subject: FCHR No. 201400117 - When can I expect the courtesy of a response from you and the FCHR? Page 1of 2 7/16/2014 Michelle Wilson, Executive Director J odi J ones, Regulatory Specialist Florida Commission on Human Relations 2009 Apalachee Parkway, Suite 100 Tallahassee, FL 32301 Re: FCHR No. 201400117 Dear Ms. Wilson and Ms. J ones: When can I expect the courtesy of a response from you and the FCHR to my email forwarded below? Sincerely, Neil J . Gillespie 8092 SW 115th Loop Ocala Florida 34481 Telephone: 352-854-7807 Email: neilgillespie@mfi.net
----- Original Message ----- From: Neil Gillespie To: Michelle Wilson ; J odi J ones ; FL Comm Human Relations Cc: Neil Gillespie Sent: Friday, March 28, 2014 4:34 PM Subject: Re: FCHR No. 201400117
Michelle Wilson, Executive Director J odi J ones, Regulatory Specialist Florida Commission on Human Relations 2009 Apalachee Parkway, Suite 100 Tallahassee, FL 32301 Re: FCHR No. 201400117 Dear Ms. Wilson and Ms. J ones: What is the status of my complaint, FCHR No. 201400117? I responded to Ms. J ones letter dated December 26, 2013 by and through my letters dated December 31, 2013, and J anuary 7, 2014. I do not show a reply from Ms. J ones or the FCHR. Thank you in advance for the courtesy of a response. Sincerely, Neil J . Gillespie 8092 SW 115th Loop Ocala Florida 34481 Telephone: 352-854-7807 Email: neilgillespie@mfi.net Page 2of 2 7/16/2014
Kathy Jo Taylor, A Minor, by and Through David S. Walker, JR., Attorney at Law, As Guardian Ad Litem v. James G. Ledbetter, PH.D., 791 F.2d 881, 11th Cir. (1986)
Kathy Jo Taylor, A Minor, by and Through David S. Walker, JR., Attorney at Law As Guardian Ad Litem v. James G. Ledbetter, PH.D., 818 F.2d 791, 11th Cir. (1987)