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VIA U.P.S. No. 1Z64589FP294152636 and email to gyoung@carltonfields.

com March 13, 2013 Gwynne Alice Young President, The Florida Bar Carlton Fields, P.A. 4221 W. Boy Scout Boulevard, Suite 1000 Tampa, FL 33601-3239 Dear Ms. Young: Forwarded below is an email from Jenny R. Jolinski, Records Manager for the Florida Bar, who wrote in part: As to Mr Castagliuolo, any pending complaint record request should be directed to the bar counsel handling the inquiry. Ms. Jolinski knows I already requested the records of Mr. Castagliuolo and Mr. Rodems from bar counsel Leonard E. Clark, see the attached written request dated December 31, 2012 with proof of delivery to Mr. Clark January 2, 2013. I provided Ms. Jolinski a copy of my records request to Mr. Clark January 10, 2013, so her latest response is not helpful. As of today Mr. Clark has not responded. Ms. Young, when can I expect a response to the attached records request made over two months ago? Further excuses from Ms. Jolinski will not substitute for the requested records. I want the records Ms. Young, not more pretense. Time is of the essence Ms. Young. I may cite from the records in a petition for rehearing in the U.S. Supreme Court in No. 12-7747. The Bars delay in providing the records is prejudicial to the administration of justice. In the alternative you leave me no alternative than to cite in my petition your contunlacious disregard for my request, and that of the Florida Bar. Quite frankly Ms. Young, you and I know the Tampa Branch Office has no interest or intention in honestly resolving either complaint shown below. Ryan Christopher Rodems, TFB File No. 2013-10,271 (13E). Eugene P Castagliuolo, The Florida Bar File No. 2013-10,162 (6D). This is due, unfortunately, to Susan V. Bloemendaal, Tampa Chief Branch Discipline Counsel, who has personally obstructed my complaints for the past 10 years, conduct prejudicial to the administration of justice. I request my complaints be transferred elsewhere for investigation. Unfortunately Ms. Bloemendaal is a crony local discipline component. The ABA McKay Report recommended in 1992 elimination of local discipline components which it claimed foster cronyism as well as prejudice against unpopular respondents. The ABA Clark Report reached a similar conclusion in 1970. It is time to eliminate Ms. Bloemendaal and the Tampa Branch Office from further involvement in the above complaints.

Gwynne Alice Young President, The Florida Bar

March 13, 2013 Page - 2

Regarding my complaint against Robert W. Bauer, No. 2013-00,540 (8B), his response was due February 11, 2013 and is now a month late. Ms. Young, this is a request for the Bar to compel a response from Mr. Bauer, who was a referral from the Florida Bar Lawyer Referral Service, to litigate misconduct that Ms. Bloemendaal refused to honestly consider. Ms. Young, I submitted in January 2013 two complaints to ACAP, one for Mr. Rodems and one for Catherine B. Chapman. As of today I do not have a reply or acknowledgment from ACAP. Ms. Young, when can I expect a response from the Florida Bar for those complaints? Copies of this email are separately provided to a number of third parties to document my efforts. Ms. Young, when does your term expire as President of The Florida Bar? Thank you. Sincerely,

Neil J. Gillespie 8092 SW 115th Loop Ocala, Florida 34481 Telephone: (352) 854-7807 Enclosure

December 31, 2012 VIA U.P.S. Tracking No. 1Z64589FP292488484 Leonard E. Clark, Bar Counsel The Florida Bar, Tampa Branch Office 4200 George J. Bean Parkway, Suite 2580 Tampa, FL 33607 Dear Mr. Clark: This is a records request made under chapter 119 Florida Statutes, Rule 2.420, Florida Rules of Judicial Administration, and any other applicable law, for records in the following Florida Bar complaints: 1. Ryan Christopher Rodems, TFB File No. 2013-10,271 (13E). Kindly provide records subsequent to your letter dated October 26, 2012 (copy enclosed), including email. 2. Eugene P Castagliuolo, The Florida Bar File No. 2013-10,162 (6D). Kindly provide records subsequent to your letter dated October 26, 2012 (copy enclosed), including email. Thank you in advance for your prompt consideration. Sincerely

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

THE FLORIDA BAR


TAMPA BRANCH OFFICE JOHN F. HARKNESS, JR. EXECUTIVE DIRECTOR

4200 GEORGE J. BEAN PARKWAY, SUITE 2580 TAMPA, FLORIDA 33607-1496

(813) 875-9821
www.FLABAR.ORG

October 26,2012

Mr. Neil J. Gillespie


8092 S.W. 115Th Loop
Ocala, FL 34481
Re: Complaint of Neil J. Gillespie against Ryan Christopher Rodems
The Florida Bar File No. 2013-10,271 (6D)

Dear Mr. Gillespie: Pursuant to your public records request dated September 15,2012, and October 25,2012, please find attached a letter from Mr. Rodems to the Florida Bar dated September 24, 2012. In reviewing the file, it appears that all other correspondence from Mr. Rodems has been provided to you. Specifically, Mr. Rodems' response to the fifteen (15) day letter dated September 17, 2012. If you require additional information, please contact me at the above referenced number.

Sincerely yours,

Leonard Evans Clark Bar Counsel

THE FLORIDA BAR


TAMPA BRANCH OFFICE JOHN F. HARKNESS, JR. EXECUTIVE DIRECTOR

4200 GEORGE J. BEAN

PARKWAY, SlIlTE

2580

(813) 875-9821
www.FLABAR.ORG

TAMPA, FLORIDA 33607-1496

October 26,2012

Mr. Neil J. Gillespie 8092 S.W. 115Th Loop Ocala, FL 34481 Re: Con1plaint by Neil J. Gillespie against Eugene P Castagliuolo
The Florida Bar File No. 2013-10,162 (6D)

Dear Mr. Gillespie: Pursuant to your public records request dated September 15, 2012, I have enclosed additional correspondence received from Mr. Castagliuolo. Please find attached to this letter an email from Mr. Castagliuolo to the Florida Bar dated October 22,2012. In reviewing the tile, it appears that all other correspondence from Mr. Castagliuolo has been provided to you. Specifically, Mr. Castagliuolo' s response to the fifteen (15) day letter dated August 30, 2012, and his follow up response to the fifteen (15) day letter dated September 19, 2012. If you require additional information, please contact me at the above referenced number. Sincerely yours,

Leonard Evans Clark


Bar Counsel

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Neil Gillespie
From: "Jenny Jolinski" <JJolinski@flabar.org> To: "Neil Gellespie" <neilgillespie@mfi.net> Cc: "Paul Hill" <phill@flabar.org> Sent: Wednesday, February 20, 2013 11:38 AM Subject: Public Record Request - 2013/02/14 Dear Mr. Gillespie,

Your public record request dated February 14, 2013 was forwarded to me for response. I will be responding to your request per Rule 2.420, Florida Rules of Judicial Administration and applicable law. Please send correspondence regarding this request to my attention. Your Request:

Kindly provide any public records related to Petition No. 12-774


Bar President Gwynne Young and the General Counsel, Paul Hill, state that they have no records regarding your request above other than your email communication with attachments sent to them.

As to Mr Castagliuolo, any pending complaint record request should be directed to the bar counsel handling the inquiry. Other requests for public records should be directed to my attention. Regards, Jenny R. Jolinski, CRM CDIA+ Records Manager, The Florida Bar

651 East Jefferson Street 850-561-5708

Tallahassee, FL 32399-2300 Jjolinski@flabar.org

3/13/2013

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