Sie sind auf Seite 1von 20

IN THE CIRCUIT COURT OF THE

EIGHTEENTH JUDICIAL CIRCUIT, IN Ah[D


FOR BREVARD COUNTY, FLORIDA

CASE NO. 05-2015-CA-042159

CARRINGTON MORTGAGE SERVICES, LLC.

Plaintifl
VS

ABDIEL ECHEVERRIA ANd


%o*,
ISABEL SANTAMARIA
;'rWroo.
Defendants,
c?a
1

ABDIEL ECHEVERzuA ANd


ISABEL SANTAMARIA
Counter-Plaintiffs,
vs

CARRINGTON MORTGAGE SERVICES, LLC,


BANK OF AMERICA CORP., BANK OF AMERICA, N.A.,
BAC HOME LOANS SERVICTNG, LP.,
COUNTRYWIDE HOME LOANS, n{C., and
MARINOSCI LAW GROUP, P.C.
Counter-Defendants,

Page 1
Notice of ADA Violations
NOTICE Or yrorATroNs or THE AMETCANiS wru
DISABILITIES ACT (6'ADA'} AI{D AI}A
ACCOMMODATTONS VTOLATIOT{S By ALL

Purported Defendant in this action, Isabel Santam aria,


hereby gives notice to the Court and on the record, of the
unabated and deliberate ooAmericans with Disabilities Act"
violations against the undersigned in this instant action by all
adversarial counsel of record and the Court.

of
Defendant has given notice several times to the Court
opposing counsels' wanton discrimination and violations of
Defendant's rights and ADA Accommodations thereby
warranting their removal but to no avail.

The actions committed against Defendant Isabel


Santamaia on November 30, 2016 by the Court and by
opposing counsel, the same opposing counsel who have been
allowed by the Court to continue discriminating, mocking,
berating and violating the Defendants and Defendants'
accommodations, were in fact unnecessary and in violation of
Defendants' civil rights.

Notice of ADA Violations Page2


The most recent actions by opposing counsel occurred on
January 26, 2al7 by violating, once again, the Defendant,s
ADA Accommodations in schedul ing a "two (2) hour,, set for
hearing rescheduled for April lg, 2017 (See Exhibit c' 4"
attached hereto) with the approval of the Court (See Exhibit
"8"), is another deliberate violation of Defendant's
accommodations requiring that all hearings be scheduled for no
more than "one (1) hour" as had been requested with ADA
Coordinator Ty Berdeaux and as advised several times via email
to opposing counsel. (See Exhibit "C").

Such lack of compliance and deliberate behavior are


violationsof the Americans with Disabilities Act ("ADA")
1990, Anfuq.A 2008, ADATA.A 2016, Title II and III; Section
5A4 of the Rehabilitations Act; 28 C.F.R. PART 35 and Florida

Constitution, Anicle I, Section 9 and Section 21.

CERTIFICATE OF SERVICE

I certiff that a copy of this document was ( ) mailed


( ) faxed and mailed ( X ) emailed andlor ( ) hand-
delivered to the person(s) listed below on February 9,2017:

Notice of ADA Violations Page 3


SERYICE LIST:

Sahily Seradet
Liebler, Gonz alez & Portuondo
Courthouse Tower - 25'h Floor
44 West Flagler Street
Miami, Florida33130
(30s) 37e-040a
service@lgplaw.com
ss@lgBlaw,com

Scott R, Stengel, Esq.


Akerman, LLP
424 South Orange Avenue
Suite 1200
Orlando, Florida3}8A2
(407) 423-400A
scott. stenge I @ akerman. com
bill . gray@ akerman. com
Marily. n, c ance l@akerman. c om

William P. Heller, Esq.

Notice of ADA Violations Page 4


Akerman,LLP
Las Olas Centre II
350 East Las Olas Blvd.,
Suite 1600
Ft. Lauderdale, FL 33301
wi lli am. he I ler@akeryan. c om
I orraine. cors aro@ akerman. qom
Michael T. Gelety
Marinosci Law Group, P.C.
100 V/est Cypress Creek Road
Suite 1045
Fort Lauderdale, Florida 33309
m gelety@ ml g- de faultl aw. com
gw"itt@ m I e- defaultl aw. c qm
s ervicefl @ml g- defaultl aw. com

servicefl2 @ m lg-d efa u ltlaw. com

Isabel Santamaria - Defendant


499 Cellini Ave NE
Palm Buy, Florida 32907
(321) 7s0-6697
andyecorso@yahoo.com
Notice of ADA Violations Page 5
Filing # 51689134 E-Filed AU26/2A17 03:20:56 pM

IN THE CIRCUIT COI'RT OF TITE


EIGHTEENTII JUDICIAL CIRCUIT, IN AND
FOR BREVARD COUNTY, TLORIDA

CARRINGTON MORTGAGE SERYICE,


LLC,

PIaintiff,

v.

ABDIEL ECHEVERRIA and ISABEL


SANTAMARIA, et al.,

Defendants.

ABI}EL ECITEVERRIA AND


ISABEL SAI\ITAMARIA,

Counter-Plaintiff,

Y.

CARRINGTON MORTGAGE SERYICES,


LLC; BAIIK OF AMERICA CORP; BAltiK OF
AMERICA' N.A.; BAC IIOME LOAI\iS
SERVICING, LP; COUNTRYWIDE HOME
LOAI{S SERYICING, LP; MARINOSCI LAw
GROIIP, P.C-

Counter-Defendants.

NOTICE OT IIEARING

l.OU ARE HEREBY NOTIFIED that we shall call up for hearing before, The

Honorable pp5irting Senior Judge, one of the Judges of the above-styled Court, in the

Brevard County Courthonse, Courtroom 28, Ifarry T. & Ifarriette Y. Moore Justice
Center, 2825 Judge Frsn Jamieson ky, Viera, Ftorida 32910 on the lfth day of Aprilo

2017 at 1:(X) p.m., or as soon thereafter may be heard:

l:1{i5? 161}8: i }
1. BAI\IK OF AMERICA'S MOTION TO DISIUISS TI{E
COUNTERCLAI]WTIIIRD PARTY CO}IPLAINT;

2. CARRINGTON'S REPLY AI\ID MOTION TO STRIKE AFFIRMATTYE


DEFENSES AND MOTION TO DISMISS COUNTERCLAIM;

3. COT]NTER-DETIENDAITT'S MOTION TO DISNdISS COUNTERCLAIM


AS TO MARINOSCI LAW GROUP

(2 hoars have been resen'ed)

Dated this 26th day of January,2014.


AKER]VIAN LLP

/s/ Scott R. Stenrel


William P. Gray, Esq.
Fla. Bar No. 0983993
Primary E-mail: bill.gray@akerrnan.com
Secondary E-mail: patricia.blouin@akerman.com
Scott R. Stengel, Esq.
Fla. Bar No. 0079086
Primary E-mail: scott.stengel@akerman.com
Secondary E-mail: marilyn.cancel@akerman.com
Post Office Box 231
420 South Orange Aveoue, Suite 1200
Orlando, FL 32802-0231
4074234A00 phone
407-843-6610 fa:r
- and-
William P. Heller, Esq.
Fla. Bar No. 0987263
Primary E-mail: william.heller@akerman.com
Secondary E-mail: lorraine.corsaro@akerrnan.com
Las Olas Centre II
350 East Las Olas Blvd., Suite 1600
Ft. Lauderdale, FL 33301
95M63-2700 phone
954463-2224 fax

Counsel for Plaintilf Counter-Defendant,


Carrington Mortgage Services, LLC

cERTTflcATE OF SER\rTCE

I HEREBy CERTIFY that on Jarntary 26,2A17, the foregoing document was filed with

the clerk of the court using the Florida Courts E-Filing Portal, and a copy was sent via e-mail to:

Donna Everfr., Esq., and servicefl2@mlg-defaultlaw'com),

{a057l6OE; I }
Marinosci Law Group, P.C., I00 West Cypress Creek Road, Suite 1045, Fort Laurderdale,
Florida33309;SahilySerrade!Esq.@),LiebIer,Gotualez&Portuondo,
Courthouse Tower, 25e Floor, 44 West Flagler Street, Miami, FL 33130; and via U.S. Mail and
e-mail to: Abdiel Echevarin and Isabel Santamaria (andyecorso@yahoo.com:

sharpfloridahouse@ hotmail.com\,499 Celliai Aveuue NE, Palm Bay, FL 320q7.

/s/ Scott R. Stensel


Attomey

If you are a person with a disability who needs any accommodation in order
to participate in this proceeding, you ere entitled, at no cost to you, to the

provision of certain assistance. Please contact AIIA Coordinator at Court

Administration, 2825 Judge Fran Jamieson W"y, 3rd floor, Viera, Florida,

32940-8006, (321) 633-2171, ext. 2, at least 7 days before your scheduled court

appearance, or immediately upon receiving this notification if the time before

the scheduted appearance is less than 7 days; if you are hearing or voice

impaired, call7Il.

(.00571608;l )
?Jgmfi Print

Subject: RE: Request to coordinate hearing for Canington v. Edrevenia, Case


No. 2015-CAO421S9
From: stt. stengel@akerman. oom (soott. stengel@akerman. om)
To: andpcors@yahoo.com ; SharpFloridaHouse@hotmail. com ;

bill.gray@akerman.com; marilyn.cancel@akerman.om; aas@lgplaw.@m; mgelety@mlgdefaultlaw.com;


Cc:
cwitt@mlgdefaultlaw. com; ss@lgplaw.@m ;

Date: Friday, January 20, ?f.17 2:24PM

Andy,

Good aftemoon. At the conclusion of the hearing on November 30, 201 6, Judge Davidson directed the parties to rcset the hearing
afrerlsabel passed in the courtmom. You elected rot to atterd the hearing on November 30,2016. We are not required to pmvide you
a motion ororderto coorrdinate a date forthe reset hearing pursuant to Judge Davidson's direction. please advise ifyou are refirsing to
coordinate a rsset h€ariog date. Ifwe do rot recsive a response by 5 PM, we will assume you arc agreeable with all of the dates listed
below. Thank you.

Sott Strrgd

Associac, Consumer Finmcial Services Practice Gloup

Akerma LLP I 420 South Oramge Avenue I Suite 12ffi I Orlmdo, FL 32E01{904

Ae 4$7.419.8423 | Maia: N7.423.M I Fx: 407.843.6610

scott.stergd@c!ma.com

From: Abdiel Echevenia [rnailto :andyecorso@yahoo.com]


Sent Friday, January 20,2017 2: I 6 PM
To: Stengel, Scott (Assoc{rl); SharpFloridaHouse@otmail.com
Cc: Gray, Bill (Ptnr-Or{); Cancel, Marilyn (LAAOT{); aas@lgplaw.com; rngelety@rrlgdefaultlaw.com; cwitt@nlgdefaultlaw.com;
s@lgplaw.com
Snbjec* Re: Request to coorrdinate hearing forCanington v. Echeverria, Case No.20l5{A442159

Mr. Stengel,

Please provide any Motions, Orders or written confinnatioa by Judge Davidsoa advising of the resched-uling of the hearirg. In
addition, my wife has bee,n in the ho-spital. Also, we have not received confirmation from Dr. Sharp of her availability for
those dates. We are sure she will advise as sooo as she is available. Thank you.

1t2
z8m17 Pri*l
Sincerely,

Abdiel Echeverria

(32r) 7s0-66e7

On Tuesday, January 17,2017 l:51 PM, "scott.stengel@kerman.com" <scott.stengel@akerman.com> wrote:

Andv- Isabel- Rebecca.

Good afternoon. Judge Davidson has directed that we coordinate a hearing time to continue the November 30,20l6headng. The
court has provided the following dateVtimes for a 2 hour special set hearing:

April 5,2017 at I PM;


April 12,2Ol7 at I PM; and
April 19,2017 at I PM.

Please let us know by 5 PM ou January 20,2017 which date worts best foryou. Ifwe do not receive a response by 5 PM on January
20,2017,we will assume you have no objection to any ofdates and proceed with setting the hearing. We look forward to yourtimely
reryotrse. Thank you.

Scofi Sleugd
Associate Consumer Fimcial Scrvics Practice Group
Akeman LI.P | 42O South Orargc Avenue I Suite 1200 | Clado, FL 32EOl-4904
Dir.407.419.?123 lMain: 407.423.400o I Fa.: 407.843.6610
sott.steagd@akama.com

l|fefm4 l:LP 65C- l.rttrr I 34 *a.r'enr I aherrs,l:.ffi

or catity nmed
CONFIDENTIALITy l€TE: The infornaion conrained ia this trusmission may bc privileged od confdotial, ad is intoded only for,tbe use of theinqvidual
abovc. If the rcader of this messqie is noi rhe inreodea rwipiant, you are her,&y norida urainy diss€miDdion, distribution ot copyilg of this
communjcdion is sttictly
pritiui,.a. tf you tave received this trasmission in enor, pleaseimmodiaely'cply to the s€nds that you have reived this communicaion in eror and then delae it. Thank you'

a2
tu-tHa*
EXHIBIT
CCC,?
2/8m17 prirfr

Subiect: RE: sERVlcE oF couRT DOCUMENT case No. 201rcA-042159-


Emait 1 of 2
From: Rebecca Sharp (sharpfloridahouse@hotmail.om)

To: ss@lgplaw.com;

Cc: aas@lgplaw.om; mgelet@mlgFdefaultlaw.oom: cwitt@mlgFdefaultlaw.oom; scott.stengel@akerman.com;


anrlyeoorso@yahoo. com ;

Date; Tuesday, July 12,2016 4:02 PM

Ms. Serradet,
First and foremost, it is not my JOB to educate you on the Americans
with Disabilities Act of 199A, Title I, II and III (specifically II) nor the
Amendments Act of 2008 or 28 C.F.R Part 35. One would sunxise after
the personal attack and further deliberate discrimination that occurred
outside the courtroorn on June 29,2A16 wherein you and your partners in
crimes, Scott Stengel and Michael Gelety, ernbarked on berating my client
and me. Specifically Scott Stengel repeated what he uttered in open court
on the record that he objects to Ms. Sharp's presence on the case, he will
continue to OBJECT on the record in spite of Ms. Sharp educating Scott
Stengel that every time he does this it will result in a $ 10,000 fine for
violating Ms. Santamaria's ADA Accommodations and discriminating
against a person with a disability. You and your cohorts are ignorant to the
ADA Act 1990, Amendments Act of 2008 and 28 C.F.R. Part 35 which is
no excuse for your continued violations and blatant verbal abuse and
unwarranted, illegal demands for "documentation" in reference to Ms.
Santamaria's disabilities. This attempt to remove Ms. Santamaria's ADA
Advoc,ate is identical in nature to Mr. Stengel demanding a veteran without
legs may enter the Courtroom but must leave his wheelchair outside, or a
deaf person may enter but the sign language interpreter must remain in the
hallway. This is a total violation! You all are on NOTICE that Ms. Sharp is
also disabled and protected under the same acts, laws, statutes and rules.

The ADA Coordinator, Ty, at ADA Coordinator at Brevard Court


Administratioo,2825 Judge Fran Jamieson Way, 3rd floor, Viera,
Florida ,3294A-8006
(321) 633-217l ext. 2 is required to keep Ms. Santamaria's medical
records under seal. You are only entitled to what accommodations you
1n
MUST provide and then provide them with dignity and compassion
as
follows: I) ADA Advocate Ms" Sharp 21 Tape"Reco.der 3t nry Erase
Board 4) Fluids (water, etc) 4) All proceedings in an open Courtroom, nor
in chambers S) r 6) proceedings
scheduled at least three (3) days apartT) All proceedings scheduled after I
p-m- 8) ?qJlze Times New Roman fonJ usecl in all documents, pleadings
and writ (no stairs)

Also be advised that any and all communications between Ms.


Santamaria and her ADA Advocateloral Interpreter are client privileged
and not fbr evidentiary purposes and are ne\rer to be disclosed to anyone
but the ADA Coordinator within the Judicial System. For you and your
cohorts to continue asking for our specific communications to be provided
to you is in direct violation of Ms. Santamaria's civil and constifutional
rights along with violating ADA.

After reviewing Ms. Santamaria's complete medical and court files, it is


well documented that your Client was made aware of Ms. Santamaria's
disability as far back as 2010 and Ackerman since 2}ll. This type of
malicious, deliberate, wanton violations of all her rights are among the
most egregious I have ever witnessed in my 20 years of advocating. It is
shock to my sense of humanity to witness such deplorable treatment of a
disabled person, surely the law schools that you are attended did not
TEACH you to behave with such disdain, lack of compassion and utter
ignorance in this particular situation, further I am also sure that your
parents taught you better manners? OR Did they teach you to always bully
those less fortunate than yourselves? Either way let me assure you this: It
stops with me and it stops NOW! Lawsuits for violating the ADA of 1990,
Title I, II and II (specifically II), Amendments Act of 2008 and 28 C.F.R.
Part 35 are just one avenue for retribution for this hyena behavior. Rest
assured that complaints are being filed as I write this to the DOJ in
Washington D.C., the ADA Florida State Coordinator, Ms. Debbie
Howells and Ty, Brevard County Coordinator and last but certainly not
least The Lawyer Regulation Division in Fort Lauderdale.

YOU WILL GOVERN YOURSELVES ACCORDTNGLY OR FACE THE


CONSEQUENCES OF YOUR CONTINUED DELIBERATE, \trIANTON,
&utdr*
MALCIOIJS ABUSES, VIOLATIONS AND ATTEMPTED
EXPLOI]ATION OF MY CLIENI MS. SANTAMARIA.
Committed to Fighting for Equal Access to the Judicial System with
Dignity and Justice For All,
Ms. Sharp
ADA Advocate on behalf of Ms. Santamaria

p.s. I direct your attention to the link below for further information regarding ADA

http://www.floridabar.org/DlVColWJN/JNNews0I.nsflRSSFeed/066lFFCDBEB0DFFC85ZS7CBg0046538A

From: ss@lgplaw.com
To: sharpfloridahouse@hotmail.com; andyecorso@yahoo.com
CC: aas@lgplaw.com; mgelety@mlgdefaultlaw.com; cwitt@mlg-defaultlaw.com; scott.stengel@akernan.com
Subjecc RE: SERVICE OF COURT DOCUMENT: Case No. 2015-C A-U2159- Email | of 2
Date: Tue, 12 JUI 201617:59:23 +0000

Ms. Sharp and Ms. Santamaria:

The notice of hearing will be issued this afternoon. Please provide documentation supporting the other requests below,
including medical records and specific legal authority.

Additionally, Ms. Sharp, during our last hearing you handed the judge a document which you stated contained legal
authority supporting your role as Ms. Santamaria's ADA advocate. Please provide a copy of that document to us also.

Thank you,

Sahily Serradet

Sahity Serradet
- Sefiior Attornely
Team Leader
LIEBLER, GONZALEZ & PORTUONDO

44 West Flagler Street I Courthour Tower 25th Floor I Miami, FL 33130 I Tet: (305) 379'O4AO I Fax (305) 379'9626 I Emait: ss@tgptaw.com I Web:

*ot{la*
28m17 Frrlrt
www.tgplaw.com
"Rep resenti ng Americ a,s Leadin g B usl nesses,.

ql Rtease consider the environment before printing this email message.

Cof'IFIDENTIALITY NOIICE: this dnail containt confdential information that is tegatty fivileged. 0o Not read this e-mait if you are not the intende{, reciptent. This
email trarrmission, and any docunents files or prerios emait messages attached to ii may iontain conffdentia( information that is tegatty privlteged. llyou are not

any of the infsmation contain€d in or attached to this transmission is SIRCTLY PRCiltATEb. tf you have rreived this tranrmission in effor, ptease immediately rrctifi/
us by repty e-mail, by forwarding this to ss@{gptaw.com or by tetephone at (305} 379-O4tX, and dCtroy flp ortginat transmisslon and tts attachmenrs without .ejdtng oi
saving in any manner,

From: Rebecca Sharp [maitto:sharpfloridahouse@hofnail.comJ


Sentr Tuesday, July 12,2016 12:03 PM
Tol Sahily Serradet
Ce Ana A. Sanchez; mgelety@mlgdefaulflaw.corn; cwitt@mlg-defruldaw.cqn; scott.sterpel@akerman.com; Abdiel
Edrcverria
Subjectr RE: SERWCE OF Cq.rRT DOCUMENT: Case No. 2015-CA-A42$9- Email 1 of 2

Ms. Serradet,
Confirmed for September 161 2016 at I p.m. in open Courtroom,
not in Chambers as required by Ms. Santamaria accommodations
request under the ADA of 199A, Title I, II and III, Amendments Act of
2008 and 28 C.F.R. Part 35. Additionally all pleadings,
correspondence, writitrgs, emails must be in 20 size font, TIMES NEW
ROMAN to accommodate Ms. Santamaria's Disabilities. Your
continued ignorance, complacency, or deliberate neglect to comply
with Ms. Santamariats accommodations continue to violate Ms.
Santamaria's ciyil and constitutional rights. That means ALL
PLEADINGS FILED WITH THE COURT MUST BE IN 2O SIZT,
FONT, TIMES FIEW ROMAN. PLEASE GOVERN YOURSELF
ACCORDINGLY.
CORDIALLY,
MS. SH.A.RP
ADA ADVOCATE/ORAL INTERPRETER ON BEHALF OF
MS. SAI{TAMARIA

4fi
Print
From: ss@lgplaw.com
To: sharpfloridahouse@hotmait.com; andyecorso@yahoo.com
CC: aas@lgplaw.com; mgelety@mlg-defaultlaw.com; cwitt@mlg-defaultlaw.com; scott.stengel@akerman.com
subject: RE: SERVICE oF couRT DOCUMENT: case No. 2015-cA-o4ztsg- Email 1 of 2
Date: Mon, tlJul2A762O:46:25 +OO@

Ms. Sharp, Mr. Echeverria, and Ms. Santamaria:

Based on your response, we will schedule the hearing for Septemb er !6,20LG at 1:00 p.m. The notice of hearing will
filed tomorrow.

Thank you,

Sahily Serradet

Sahity Serradet
Team Leader - Senior Attorney
LIEBLER, GONZALEZ & PORTUONDO

44WestFlaglerStreet l CourthouseTower25thFloor l lAiami, FL33130 lTel: (305) 379-0400 I Fax(305) 379-9626 | Email s@tptaw'com I Web:
www.lgptaw.com
"Representing America's Leading Eusinesses"

J Please consider the environment before printing this email message.

COiIFIDEI{nALITY iOTICE: This e$ai[ contalE confdentiat lnfgmation that ii tegatty priviteged. Do ].lot read this e-mail if yql are not th€ interded recipient. This

the tntended reclPlent, or a pers(m resporElb{e for detiverlnB it to the intcnded rdipient, yos are h€reby notiff€d that any dieclcure, copyinS. distribution or use of
any of the information contained in or attach€d to thls transmission is STRICTLY PROI{IBIIED. lf you have received this transmission in error, ptease immediately notify
us by reply e-mait, by forwarding this to ss@lgptaw.colr or by telephone at (305) 379{4@ and destroy the originat transmission and its attachments without reading
or saving in any manner,

From : Rebeca Sharp [ma ilb : sharpfl orida house@hobnail. com]


Sent: Tuesday, July 05, 2016 11:31 AM
To: Ana A. Sandrez; Abdel Edeverria
Ce Sahily Serradet
Subjectr RE: SERVICE OF CCX.TRT DOCUMENT: Case No. 2015-CA-U2L5F Email 1 of 2

Ms. serradet:

*a*drl( 517
Thank you for the email. I am unavailable on this case until after September 1st,
2016. Right now any day
in September is fine, with the exception of g/L7...don't think anyone needs to do anything on that day but pray
for this Nation.

Dr. Sharp
ADA Advocate/Oral lnterpreter for Ms. lsabel Santamaria
Case #2015-CA-042159

From: aas@lgplaw.com
To: andyecorso@yahoo.com; sha rpfl oridahouse @ hotmail.com
CC: ss@lgplaw.com
subject: sERvlcE oF couRT DocuMENt case No. 2015-cA-042159- Email 1of 2
Date: Mon,2A lun 2ALG 2O:06:02 +OOO0

The attached court document is being delivered upon you via email pursuant to Fla. R. Jud. Admin. 2.5L6.

Court in which proceeding is pending: In the Circuit Court of the lSth Judicial Circuit in
and for Brevard Countv. Florida
Case Number: 2015-CA-042159
Name of initial party on each side Carringfon Mortgage Service, LLC v. Abdiel
Echeverria. et al.
Title of each documents served: Notice of Filing Bank of America's Motion to
Dismiss The Counterclaim/Third Party
Complaint
Sender's name & telephone Number: Sahilv Serradet (305) 379-0400

Ana A. Sanchez
Legal Asistant
LIEBLER, GONZALEZ & PORTUONDO

44 West Ftagter Srre€t I Courthouse Tower 25th Ftoor I lliami, FL 33130 | Tei: {305) 379-0400 I Fax (305) 379-96?6 I Email: aas@tgptaw-com I

\trleb: www.tgptaw. com


"RepresentlnS Arnerica's Leadlng Businesses"

J ilease consider the environment before printing this email message'

CO{FIDEMnAL|TY NO'IICE: Thls e*ait contairs confidentiat information that is tegatty


priviteged. Do Not read.this e-mait lf you are not lhe intended reciPient' This
e{ail trar6rni$lon, ana any'aoct n ents fites or prario.re-m"ii*ooges toii
attactrei may iontain confdcnlta! lformation that is tegatty Priviteged' lf you are not
the to[erded recipl$t, * Jp..rrr ;*p."iur. 16. a.rwJngiito tft"irt"ru.a .*icl-rt, y& are hereby mtified,that any disclosure, cogdrB, distrihfim or use of
any of the inturmation contained in or attached to this tiafiission is sIRICTLY pnr*nuri{r. lf yor have received thls tranrmissidt in error, ptease immediatety notif

eltHr&
agnfl ftirt
us by reply e,nail, by forwarding this to aa'@tgptaw.cor or by tetefione at (305) 37944{x) and dGtroy the original transmlsrion and its attachments wtthout reading
of saYin3 in any manner,

Attachments
. image0Mjpg (l.70IG)
. image005.gif(9658)
. image006jpg (l.70KB)
. imagecaldlS.JPc (24.81KB)
. image48a2al.GIF (9658)

v!7