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VIA U.S.

Priority Mail December 8, 2016


Tracking No. 9405803699300357634415

Jane Norberg, Chief Email: NorbergJ@sec.gov


SEC Office of the Whistleblower TCR Submission #TCR1458580189411
100 F Street NE Submission dated: March 15, 2016
Washington, DC 20549 https://www.sec.gov/whistleblower

Dear Chief Norberg:

Please find enclosed the following:

1. Response by U.S. Supreme Court Deputy Clerk Clayton R. Higgins, Jr., on behalf of
Scott S. Harris, Clerk, to my letter June 29, 2016 to Justice Clarence Thomas about tampering
with my Petition No. 12-7747 for writ of certiorari to the U.S. Supreme Court. Higgins wrote:

In reply to your letter or submission, received July 1, 2016, I regret to inform you that
the Court is unable to assist you in the matter you present.

Under Article III of the Constitution, the jurisdiction of this Court extends only to the
consideration of cases or controversies properly brought before it from lower courts in
accordance with federal law and filed pursuant to the Rules of this Court.

Your papers are herewith returned.

2. It has come to my attention that after honoring your request not to be served via the
Florida E-filing Portal, I have inadvertently failed to provided the documents by US Mail.
Enclosed in paper format is,

DEFENDANTS DEMAND FOR JURY TRIAL


This is a Contested HECM Foreclosure
Filing # 45714607 E-Filed 08/26/2016 05:38:34 AM

Also enclosed is a CD-ROM with Documents #311 through #390 in PDF format. Reverse
Mortgage Solutions, Inc. v Neil J Gillespie et al, Case No. 2013-CA-00115, Marion County
Circuit Civil Court, Fifth Judicial Circuit. HECM reverse mortgage foreclosure.

On November 16, 2016 @ 4:35 PM I called the SEC office of the Whistleblower and left
message about a new TCR submission. Ms. Wharton returned my call the next day, November
17, 2016 at 11:07 AM and I explained I believe had resolved the issue regarding a new TCR
submission. I hope to get that filed in a week or two. But honestly, unlawful behavior in the
HECM reverse mortgage foreclosure is taking all my time. This is domestic terrorism.
Digitally signed by Neil J Gillespie
Sincerely,
Neil J Gillespie DN: cn=Neil J Gillespie, o, ou,
email=neilgillespie@mfi.net, c=US
Date: 2016.12.08 10:20:42 -05'00'
Neil J. Gillespie
8092 SW 115th Loop Tel. 352-854-7807
Ocala, Florida 34481 Email: neilgillespie@mfi.net Enclosures
SHIP
P
NEIL GILLESPIE
$6.45

100 F ST NE
OCALA FL 34481-3567
8092 SW 115TH LOOP
usps.com

Flat Rate Env


US POSTAGE

12/08/2016 1 lb 0 oz

TO: JANE NORBERG, CHIEF

USPS TRACKING #
SEC OFFICE OF THE WHISTLEBLOWER
Mailed from 34481

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PRIORITY MAIL 2-DAY

WASHINGTON DC 20549-2000
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Expected Delivery Date: 12/12/16


Cut on dotted line.

Instructions Click-N-Ship Label Record


1. Each Click-N-Ship label is unique. Labels are to be USPS TRACKING # / Insurance Number:
used as printed and used only once. DO NOT PHOTO
COPY OR ALTER LABEL. 9405 8036 9930 0357 6344 15
Priority Mail Postage: $6.45
Trans. #: 391544017
2. Place your label so it does not wrap around the edge of Print Date: 12/08/2016 Insurance Fee $0.00
the package. Ship Date: 12/08/2016 Total $6.45
Expected
Delivery Date: 12/12/2016
3. Adhere your label to the package. A self-adhesive label Insured Value: $5.00
is recommended. If tape or glue is used, DO NOT TAPE
OVER BARCODE. Be sure all edges are secure. From: NEIL GILLESPIE
8092 SW 115TH LOOP
4. To mail your package with PC Postage, you OCALA FL 34481-3567
may schedule a Package Pickup online, hand to
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drop in a USPS collection box.
To: JANE NORBERG, CHIEF
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selected when creating this label. 100 F ST NE
WASHINGTON DC 20549-2000

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Thank you for shipping with the United States Postal Service!
Check the status of your shipment on the USPS Tracking page at usps.com
Page 1 of 1

Neil Gillespie

From: "Neil Gillespie" <neilgillespie@mfi.net>


To: "Neil Gillespie" <neilgillespie@mfi.net>
Sent: Thursday, December 08, 2016 10:32 AM
Attach: IMG_5385.JPG
Subject: a picture for you

You have been sent 1 picture.

IMG_5385.JPG

These pictures were sent with Picasa, from Google.


Try it out here: http://picasa.google.com/

12/8/2016
Filing # 45714607 E-Filed 08/26/2016 05:38:34 AM

THIS IS NOT A COMMERCIAL FORCLOSURE IN THE CIRCUIT COURT OF THE


FIFTH JUDICIAL CIRCUIT FLORIDA
IN AND FOR MARION COUNTY

REVERSE MORTGAGE SOLUTIONS, INC., CASE NO.: 2013-CA-000115


42-2013-CA-000115-AXXX-XX
Plaintiff,
Residential reverse mortgage foreclosure
Home Equity Conversion Mortgage (HECM)
vs. 12 U.S.C. 1715z20 - 24 C.F.R. Part 206
FHA reverse mortgage program by HUD

NEIL J. GILLESPIE AND MARK GILLESPIE Florida Homestead of Neil J. Gillespie


AS CO-TRUSTEES OF THE GILLESPIE Section 4, Article X, Florida Constitution
FAMILY LIVING TRUST AGREEMENT F.S. 702.015(4) Note missing/defective copy
DATED FEBRUARY 10, 1997, ET AL. Rule 1.115 Pleading Mortgage Foreclosures
Rule 1.100(c)(2) Civil cover sheet wrong
Defendants. F.S. 837.06 False Official Statements
________________________________________/ F.S. 92.525 Verification of Documents

DEFENDANTS DEMAND FOR JURY TRIAL


This is a Contested HECM Foreclosure

Defendant Neil J. Gillespie, individually, and as former Trustee (F.S. Ch. 736 Part III) of

the terminated Gillespie Family Living Trust Agreement Dated February 10, 1997 (Terminated

Trust), an indigent non-lawyer, unable to obtain adequate counsel, a consumer of legal and

court services affecting interstate commerce, a consumer of personal, family and household

goods and services, consumer transactions in interstate commerce, a person with disabilities, a

vulnerable adult, henceforth in the first person, reluctantly appears pro se, and Demands Trial by

Jury for all issues so triable, and states:

1. I hereby demand Trial by jury, Article I, Section 22, Florida Constitution.

SECTION 22. Trial by jury.The right of trial by jury shall be secure to all and remain
inviolate. The qualifications and the number of jurors, not fewer than six, shall be fixed
by law.

2. Pursuant to Rule 1.430(b), Fla.R.Civ.Pro, Demand for Jury Trial, I hereby give Notice to

the Plaintiff of my demand for trial by jury for all issues so triable. (Exhibit 1)
DEFENDANTS DEMAND FOR JURY TRIAL
This is a Contested HECM Foreclosure

3. This is a Contested HECM Foreclosure. Defendant Neil J. Gillespie, individually, and as

former Trustee (F.S. Ch. 736 Part III) of the terminated Gillespie Family Living Trust

Agreement Dated February 10, 1997 (Terminated Trust) contests this HECM Foreclosure.

4. The response January 26, 2016 of Leslie Jacobs for Attorney General Pam Bondi does

not show jurisdiction of the Florida Courts over a disputed HECM Foreclosure. (Exhibit 2).

5. I raised the disputed HECM Foreclosure issue, inter alia, in the U.S. District Court,

which wrongly denied my motion to proceed in forma pauperis under 28 U.S.C. 1915(e)(2).

6. The U.S. Supreme Court granted without order my motion to proceed in forma pauperis

(IFP) in Petition No. 13-7280, which was extraordinary (Exhibit 3). I believe that overturned the

District Courts denial of IFP under 28 U.S.C. 1915(e)(2) in case 5:13-cv-00058-WTH-PRL.

7. The U.S. Eleventh Circuit in No. 13-11585-B allowed me by Order July 25, 2013

(Exhibit 4) leave to file a separate petition for writ of mandamus or prohibition under 28 U.S.C.

1651, the all writs act, and Fed.R.App.P.21. But Chief Judge Ed Carnes blocked my access to

court through the Clerk when I started that process. In my view that means the U.S. Eleventh

Circuit must be disqualified for bias from hearing any future case with me as a party.

8. The forgoing shows federal jurisdiction for the instant case, but for a Circuit Court

outside the U.S. Eleventh Circuit due to past judicial misconduct and bias.

RESPECTFULLY SUBMITTED August 26, 2016.

Neil J. Gillespie, individually, and former Trustee


F.S. Ch. 736 Part III, of the Terminated Trust
8092 SW 115th Loop
Ocala, Florida 34481
Tel. 352-854-7807
Email: neilgillespie@mfi.net

2
Service List August 26, 2016

I hereby certify the names below were served by email August 26, 2016 through the Florida
Portal, unless otherwise expressly stated.

Office of Inspector General, OIGHotline SEC Office of the Whistleblower


c/o Board of Governors of 100 F Street NE
the Federal Reserve System Washington, DC 20549
20th Street and Constitution Avenue, NW Phone: (202) 551-4790
Mail Stop K- 300 Fax: (703) 813-9322
Washington, DC 20551 Via U.S. Mail, First Class
Email: OIGHotline@frb.gov CFPB Complaint No. 120914-000082
CFPB Complaint No. 120914-000082 CFPB Complaint No. 140304-000750
CFPB Complaint No. 140304-000750 Not served on the Florida Portal

The Honorable Richard Cordray, Director Stefanie Isser Goldblatt


Consumer Finance Protection Bureau Senior Litigation Counsel
1700 G Street, NW Enforcement Division
Washington, DC 20002 Consumer Finance Protection Bureau
Email: Richard.Cordray@cfpb.gov Email: Stefanie.Goldblatt@cfpb.gov
CFPB Complaint No. 120914-000082 CFPB Complaint No. 120914-000082
CFPB Complaint No. 140304-000750 CFPB Complaint No. 140304-000750

FBI Tampa Division FBI Jacksonville Division


Special Agent in Charge, Paul Wysopal Special Agent in Charge, Michelle S. Klimt
Website: https://www.fbi.gov/tampa Website: https://www.fbi.gov/jacksonville
Email: tampa.division@ic.fbi.gov Email: jacksonville@ic.fbi.gov

The Honorable Don F. Briggs The Honorable Ann Melinda Craggs


Chief Judge, Fifth Judicial Circuit Circuit Court Judge, Fifth Judicial Circuit
Lake County Judicial Center Marion County Judicial Center
550 W. Main Street 110 NW 1st Ave.
Tavares, FL 32778-7800. Ocala, FL 34475
Tel. 352-742-4224 Tel: 352-401-6785
Email: dbriggs@circuit5.org Email: amcraggs@circuit5.org

Mr. Curtis Wilson, Esq. Ms. Colleen Murphy Davis, AUSA


McCalla Raymer Pierce, LLC 400 N. Tampa Street, Suite 3200
225 E. Robinson Street, Ste. 660 Tampa, FL 33602
Orlando, FL 32801 Email: USAFLM.HUD@usdoj.gov
Email: MRService@mrpllc.com JAXSFFORECLOSURES@hud.gov
JAXSFORECLOSURES@hud.gov
lydia.a.brush@gmail.com
Gregory C. Harrell David R. Ellspermann Marion County Clerk
General Counsel to David R. Ellspermann, of Court & Comptroller
Marion County Clerk of Court & Comptroller P.O. Box 1030
P.O. Box 1030 Ocala, Florida 34478-1030
Ocala, Florida 34478-1030 Email: Ellspermann@marioncountyclerk.org
Email: gharrell@marioncountyclerk.org

Development & Construction Corporation Oak Run Homeowners Association, Inc.


of America, c/o Carol Olson, Vice President c/o Board of Directors, orhaboard@yahoo.com
of Administration and Secretary-Treasurer,
for RA Priya Ghumman
10983 SW 89 Avenue
Ocala, FL 34481
Email: colson@deccahomes.com

Neil J. Gillespie and Mark Gillespie as Co-Trustees of the Gillespie Family Living Trust
Agreement dated February 10, 1997; Terminated Trust, February 2, 2015
8092 SW 115th Loop
Ocala, FL 34481
Email: neilgillespie@mfi.net

Neil J. Gillespie Mark Gillespie


8092 SW 115th Loop 7504 Summer Meadows Drive
Ocala, FL 34481 Ft. Worth, TX 76123
Email: neilgillespie@mfi.net Email: mark.gillespie@att.net

Unknown spouse of Mark Gillespie n/k/a Joetta Gillespie


7504 Summer Meadows Drive
Ft. Worth, TX 76123
Email: mark.gillespie@att.net

Unknown Settlors/Beneficiaries of The Gillespie Family Living Trust Agreement dated


February 10, 1997; (NONE); Terminated Trust, February 2, 2015
8092 SW 115th Loop
Ocala, FL 34481
Email: neilgillespie@mfi.net

Elizabeth Bauerle n/k/a Elizabeth Bidgood Unknown spouse of Elizabeth Bidgood,


8092 SW 115th Loop n.k.a. Scott Bidgood
Ocala, FL 34481 8092 SW 115th Loop
Email: neilgillespie@mfi.net Ocala, FL 34481
Email: neilgillespie@mfi.net

2
RULE 1.430. DEMAND FOR JURY TRIAL; WAIVER

(a) Right Preserved. The right of trial by jury as declared by the


Constitution or by statute shall be preserved to the parties inviolate.

(b) Demand. Any party may demand a trial by jury of any issue triable of
right by a jury by serving upon the other party a demand therefor in writing at any
time after commencement of the action and not later than 10 days after the service
of the last pleading directed to such issue. The demand may be indorsed upon a
pleading of the party.

(c) Specification of Issues. In the demand a party may specify the issues
that the party wishes so tried; otherwise, the party is deemed to demand trial by
jury for all issues so triable. If a party has demanded trial by jury for only some of
the issues, any other party may serve a demand for trial by jury of any other or all
of the issues triable by jury 10 days after service of the demand or such lesser time
as the court may order.

(d) Waiver. A party who fails to serve a demand as required by this rule
waives trial by jury. If waived, a jury trial may not be granted without the consent
of the parties, but the court may allow an amendment in the proceedings to demand
a trial by jury or order a trial by jury on its own motion. A demand for trial by jury
may not be withdrawn without the consent of the parties.

Committee Notes

1972 Amendment. Subdivision (d) is amended to conform to the decisions


construing it. See Wood v. Warriner, 62 So. 2d 728 (Fla. 1953); Bittner v. Walsh,
132 So. 2d 799 (Fla. 1st DCA 1961); and Shores v. Murphy, 88 So. 2d 294 (Fla.
1956). It is not intended to overrule Wertman v. Tipping, 166 So. 2d 666 (Fla. 1st
DCA 1964), that requires a moving party to show justice requires a jury.

1
February 23, 2016 Florida Rules of Civil Procedure Page 127
Work Product of The Florida Bar
VIA Email: pam.bondi@myfloridalegal.com January 21, 2016

Attorney General Pam Bondi


Office of Attorney General
State of Florida
The Capitol PL-01
Tallahassee, FL 32399-1050

Public Records Request. F.S. 119.07(1)(c) All public records requests shall be acknowledged
promptly and in good faith. Access to public records and meetings, Art. I, Sec. 24, Fla. Const.

Dear Attorney General Bondi:

As the statewide elected official directed by the Florida Constitution to serve as the chief
legal officer for the State of Florida (Exhibit 1):

1. Provide records showing jurisdiction of Florida courts over a disputed foreclosure of a


federal reverse mortgage, called a HECM, or Home Equity Conversion Mortgage:

A Home Equity Conversion Mortgage, or HECM, is a Federal Housing Administration (FHA)


reverse mortgage program administered by the Secretary, United States Department of
Housing and Urban Development (Secretary or HUD) to enable home owners over 62 years old
access the subject home's equity. 12 U.S.C. 1715z20 et seq. and 24 C.F.R. Part 206.

A HECM does not require a homeowner to make mortgage payments as a conventional


mortgage does. Instead, a HECM does not become due and payable until the last surviving
homeowner dies or no longer lives in the home. 12 U.S.C. 1715-z20(j) Safeguard to prevent
displacement of homeowner. The HECM becomes due and payable in full if a mortgagor dies
and the property is not the principal residence of at least one surviving mortgagor....and no other
mortgagor retains title to the property. 24 C.F.R. 206.27(c).

2. On information and belief, when a substantial disputed issue of federal HECM law is a
necessary element of the foreclosing Plaintiffs state law claim that a HECM is due and payable,
the U.S. district court has subject matter jurisdiction under 28 U.S.C. 1331 and the U.S.
Constitution, Article III, Section 2 for all cases, in law and equity, arising under this
Constitution, [and] the laws of the United States, and the Due Process Clause of the Fifth
Amendment and Fourteenth Amendment of the Constitution of the United States:

The Constitution states only one command twice. The Fifth Amendment says to the
federal government that no one shall be "deprived of life, liberty or property without due
process of law." The Fourteenth Amendment, ratified in 1868, uses the same eleven
words, called the Due Process Clause, to describe a legal obligation of all states. These
words have as their central promise an assurance that all levels of American government
must operate within the law ("legality") and provide fair procedures. (Cornell Law LII)
http://www.law.cornell.edu/wex/due_process

2
Attorney General Pam Bondi January 21, 2016
Office of Attorney General Page - 2
State of Florida
PUBLIC RECORDS REQUEST

A property right can be created only by state law. Once a property right is established, the
determination of what process is due before that right can be deprived is a question answered by
the federal Constitution. Kingsford v. Salt Lake City Sch. Dist., 247 F.3d 1123 (10th Cir. 2001).

U.S. Judge Thomas W. Thrash, Jr. in Thompson-El v. Bank of America, 1:12-CV-840-


TWT, District Court, N.D. GA held in an Order entered December 12, 2012:

Federal question cases are those arising under the Constitution, laws, or treaties of the
United States. 28 U.S.C. 1331 A case arises under federal law if federal law creates
the cause of action, or if a substantial disputed issue of federal law is a necessary element
of a state law claim. Pacheco de Perez v. AT&T Co., 139 F.3d 1368, 1373 (11th Cir.
1998) (citing Franchise Tax Bd. of Cal. v. Construction Laborers Vacation Trust for S.
Cal., 463 U.S. 1, 13 (1983)).

Thank you for the courtesy of a response.

Sincerely,

Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481
Tel. 352-854-7807
Email: neilgillespie@mfi.net

Cc: Leslie Jacobs, Email: Leslie.Jacobs@myfloridalegal.com

Enclosure
Page 1 of 2

Neil Gillespie

From: "Leslie Jacobs" <Leslie.Jacobs@myfloridalegal.com>


To: "Neil Gillespie" <neilgillespie@mfi.net>
Sent: Tuesday, January 26, 2016 3:08 PM
Subject: Re: Fw: Record Request_HECM_Reverse_Mortgage_to_FlaAttyGen_Jan-21-2016
January 26, 2016

Mr. Neil J. Gillespie


8092 SW 115th Loop
Ocala, FL 34481
Via email neilgillespie@mfi.net

Dear Mr. Gillespie:

This will respond to your January 21, 2016 email in which, pursuant to Ch. 119, F.S., you make the
following request for public records:

1. Provide records showing jurisdiction of Florida courts over a disputed foreclosure of a


federal reverse mortgage, called a HECM, or Home Equity Conversion Mortgage:
A Home Equity Conversion Mortgage, or HECM, is a Federal Housing Administration (FHA)
2. On information and belief, when a substantial disputed issue of federal HECM law is a
necessary element of the foreclosing Plaintiffs state law claim that a HECM is due and payable, the
U.S. district court has subject matter jurisdiction under 28 U.S.C. 1331 and the U.S. Constitution,
Article III, Section 2 for all cases, in law and equity, arising under this Constitution, [and] the laws
of the United States, and the Due Process Clause of the Fifth Amendment and Fourteenth Amendment
of the Constitution of the United States:
The Constitution

Our Office does not have any documents responsive to your specific inquiry dated January 21, 2016
regarding Home Equity Conversion Mortgages (HECM). The HECM is the reverse mortgage program
run through the Federal Housing Authority. In furtherance of trying to assist you, additional information
about that federal program may be found at:

http://portal.hud.gov/hudportal/HUD?src=/program_offices/housing/sfh/hecm/rmtopten

Thank you for the opportunity to assist you in this matter.

Sincerely,

Leslie Jacobs
Public Records Coordinator
Office of the Attorney General
PL 01, The Capitol
Tallahassee, FL 32399-1050
(850) 245-0140(o)
(850) 487-2564 (f)

"Neil Gillespie" ---01/26/2016 12:08:55 PM---TO: Attorney General Pam Bondi: I do not have an

8/15/2016
Page 2 of 2

acknowledgment for this record request. cc: Leslie

From: "Neil Gillespie" <neilgillespie@mfi.net>


To: "Pam Bondi" <pam.bondi@myfloridalegal.com>, "Leslie Jacobs" <Leslie.Jacobs@myfloridalegal.com>
Cc: "Neil Gillespie" <neilgillespie@mfi.net>
Date: 01/26/2016 12:08 PM
Subject: Fw: Record Request_HECM_Reverse_Mortgage_to_FlaAttyGen_Jan-21-2016

TO: Attorney General Pam Bondi: I do not have an acknowledgment for this record request.
cc: Leslie Jacobs.

Public Records Request. F.S. 119.07(1)(c) All public records requests shall be acknowledged
promptly and in good faith. Access to public records and meetings, Art. I, Sec. 24, Fla. Const.

----- Original Message -----


From: Neil Gillespie
To: Pam Bondi ; Leslie Jacobs
Cc: Neil Gillespie
Sent: Thursday, January 21, 2016 8:40 AM
Subject: Record Request_HECM_Reverse_Mortgage_to_FlaAttyGen_Jan-21-2016

[attachment "Record Request_HECM_Reverse_Mortgage_to_FlaAttyGen_Jan-21-2016.pdf" deleted by


Leslie Jacobs/OAG]

8/15/2016
http://myfloridalegal.com/pages.nsf/Main/F06F66DA272F37C885256CCB0051916F

The Role and Function of the Attorney General


The Attorney General is the statewide elected official directed by the Florida Constitution to serve as the chief
legal officer for the State of Florida. The Attorney General is responsible for protecting Florida consumers
from various types of fraud and enforcing the states antitrust laws. Additionally, the Attorney General protects
her constituents in cases of Medicaid fraud, defends the state in civil litigation cases and represents the people
of Florida when criminals appeal their convictions in state and federal courts.

Within the Attorney Generals Office is the Office of Statewide Prosecution that targets widespread criminal
activities throughout Florida including identity theft, drug trafficking and gang activity. The Attorney
General's Office also conducts various programs to assist victims of crime.

The Attorney General defends the constitutionality of statutes duly enacted by the Legislature and is
authorized to issue formal legal opinions at the request of various public officials on questions relating to the
application of state law. The Office of the Attorney General houses the Florida Commission on the Status of
Women and the Council on the Social Status of Black Men and Boys. Also housed within the Attorney
Generals Office is the Office of Civil Rights, which investigates and takes legal action against violations of
Floridians civil rights.

The Attorney General serves as a member of the Florida Cabinet along with the Chief Financial Officer and
the Commissioner of Agriculture. As a Cabinet member, the Attorney General serves on the Clemency Board
and as a member of the various Cabinet boards and commissions that address state lands, state investments, and
rules pertaining to insurance and financial regulation. Also as a Cabinet member, the Attorney General serves,
collectively as agency head for the Departments of Highway Safety and Motor Vehicles, Law Enforcement,
Revenue and Veterans Affairs.

Frequently Asked Questions


AG Services and Units
Addresses, phone numbers and fax numbers for divisions and branch offices
Maps with directions for visiting our offices
Contact us

Florida Toll Free Numbers:


- Fraud Hotline 1-866-966-7226
http://www.supremecourt.gov/Search.aspx?FileName=/docketfiles/13-7280.htm

No. 13-7280
Title: Neil J. Gillespie, Petitioner
v.
Reverse Mortgage Solutions, Inc., et al.
Docketed: November 8, 2013
Lower Ct: United States Court of Appeals for the Eleventh Circuit
Case Nos.: (13-11585)
Decision Date: June 12, 2013
Rehearing
July 25, 2013
Denied:

~~~Date~~~ ~~~~~~~Proceedings and Orders~~~~~~~~~~~~~~~~~~~~~


Oct 23 2013 Petition for a writ of certiorari and motion for leave to proceed in forma
pauperis filed. (Response due December 9, 2013)
Nov 18 2013 Waiver of right of respondent The Florida Bar to respond filed.
Dec 9 2013 Waiver of right of respondent Reverse Mortgage Solutions, Inc. to respond
filed.
Dec 26 2013 DISTRIBUTED for Conference of January 10, 2014.
Jan 13 2014 Petition DENIED.
Feb 7 2014 Petition for Rehearing filed.
Feb 19 2014 DISTRIBUTED for Conference of March 7, 2014.
Mar 10 2014 Rehearing DENIED.

~~Name~~~~~~~~~~~~~~~~~~~~~ ~~~~~~~Address~~~~~~~~~~~~~~~~~~ ~~Phone~~~


Attorneys for Petitioner:
Neil J. Gillespie 8092 SW 115th Loop (352) 854-7807
Ocala, FL 34481
neilgillespie@mfi.net
Party name: Neil J. Gillespie
Attorneys for Respondents:
Danielle N. Parsons McCalla Raymer LLC (407) 674-1850
Counsel of Record 225 E. Robinson St., Suite 660
Orlando, FL 32801
Party name: Reverse Mortgage Solutions, Inc.

3
http://www.supremecourt.gov/Search.aspx?FileName=/docketfiles/13-7280.htm

Bridget Smitha Greenberg & Traurig, P.A. (850) 521-8570


101 East College Ave.
Tallahassee, FL 32301
Party name: The Florida Bar
Case: 13-11585 Date Filed: 07/25/2013 Page: 1 of 1

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