Professional Documents
Culture Documents
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, reluctantly appears pro se, henceforth in the first person, gives Defendants’
set for July 18, 2017 at 10:00 AM in Courtroom 3B, Third Floor of the Marion County Judicial
Center, 110 NW First Avenue, Ocala, FL 34475, as described in three (3) attached Orders:
APPENDIX A
DEFENDANTS’ EMERGENCY MOTION TO CANCEL HEARING JULY 18, 2017
JURY HEARING currently set for July 18, 2017 at 10:00 AM is as follows:
3. Yesterday, July 13, 2017, I received in the U.S. mail an Order by the Office of the Clerk,
Supreme Court of the United States, dated July 10, 2017. Among other things, the Order requests
a corrected petition within 60 days from of the date of the Order. (Exhibit 4).
Petition for writ of certiorari to the Supreme Court of Florida, Case No.: SC17-561, with
an imbedded Rule 13.5 Application to combine Supreme Court of Florida, Case No.:
SC17-739 and extend the time to file a petition for writ of certiorari. (15 pages)
QUESTIONS PRESENTED:
1. Does the Seventh Amendment to the United States Constitution guarantee the right to
a trial by jury in a state court residential home foreclosure of a federal Home Equity
Conversion Mortgage [12 USC § 1715z–20; 24 CFR Part 206] also called a HECM
reverse mortgage?
2. Does a disabled homeowner age 61 have a right to assistance of counsel under the
federal Older Americans Act, 42 U.S. Code Chapter 35 - PROGRAMS FOR OLDER
AMERICANS, for old age, and disability including Post Traumatic Stress Disorder
(PTSD), and Traumatic Brain Injury (TBI)?
3. Can the Civil Rights Division, Voting Section, U.S. Department of Justice ignore the
enclosed Voting Section complaint against Florida’s rigged judicial elections?
4. Can the U.S. Department of Justice deny on May 18, 2017 my FOIA into the mental
health screening imposed by the Florida Supreme Court on bar applicants, because the
records you have requested pertain to an ongoing law enforcement proceeding?
2
DEFENDANTS’ EMERGENCY MOTION TO CANCEL HEARING JULY 18, 2017
5. Can the U.S. Supreme Court ignore wrongdoing in Petition 12-7747 for a writ of
certiorari as stated in the enclosed letter of Mr. Clayton Higgins on October 19, 2016?
6. Do time limits on civil litigation have any meaning? Pursuant to Fla. R. Jud. Admin.
2.250(a)(1)(B), the time standard for a civil trial case is 18 months from filing to final
disposition. Non-jury cases — 12 months (filing to final disposition)
5. The Supreme Court of the United States is the highest court of the United States,
established pursuant to Article III of the United States Constitution in 1789. It has ultimate
appellate jurisdiction over all federal courts and state court cases involving issues of federal law.
6. The Supreme Court of the United States has jurisdiction over issues of federal law in this
foreclosure of a federal Home Equity Conversion Mortgage [12 USC § 1715z–20; 24 CFR Part
7. The Supreme Court of the United States has jurisdiction over issues of federal law related
to me, a disabled homeowner age 61 and my a right to assistance of counsel under the federal
Older Americans Act, 42 U.S. Code Chapter 35 - PROGRAMS FOR OLDER AMERICANS, for
old age, and disability including Post Traumatic Stress Disorder (PTSD), and Traumatic Brain
8. The Supreme Court of the United States has jurisdiction over issues of federal law related
to my complaint against Florida’s rigged judicial elections to the Civil Rights Division, Voting
9. The Supreme Court of the United States has jurisdiction over issues of federal law related
to an ongoing law enforcement proceeding by the U.S. Department of Justice into the mental
health screening imposed by the Florida Supreme Court on bar applicants. (Exhibit 4).
10. The Supreme Court of the United States has jurisdiction over issues of federal law related
to judicial misconduct in this case involving Plaintiff’s lawyer Danielle Parsons and the federal
3
DEFENDANTS’ EMERGENCY MOTION TO CANCEL HEARING JULY 18, 2017
judge and federal magistrate in this case removed February 4, 2013 to U.S. District Court, Ocala
11. As of today Plaintiff’s counsel has not fully complied with my discovery request made
March 30, 2017 pursuant to Fla. R. Civ. Pro. 1.350 to produce all returned U.S. Mail for
12. The Plaintiff’s counsel has knowingly sent mail to the wrong address for Defendant
Elizabeth Bauerle, n.k.a. Elizabeth Bidgood, and her unknown spouse, n.k.a. Scott Bidgood.
13. During the course of this litigation counsel for the Plaintiff has sent U.S. Mail that should
have been returned by the U.S. Postal Service as undeliverable, for bad addresses shown on the
14. For example, Mr. Wilson e-filed a Certificate of Service on November 29, 2016, of his
Amended Civil Cover Sheet, Filing # 49396688 E-Filed 11/29/2016 03:32:41 PM, that appears
at Exhibit 5, at Exhibit 1. Mr. Wilson’s Certificate of Service shows the following bad addresses:
15. A Notice of Action November 9, 2015 to Foreclose Mortgage covering real and personal
property, signed November 10, 2015 by N. Hernandez, Deputy Clerk, for David R. Ellspermann,
4
DEFENDANTS’ EMERGENCY MOTION TO CANCEL HEARING JULY 18, 2017
Marion County Clerk of the Circuit Court and Comptroller, should have been returned by the
16. A Notice of Action January 15, 2016 to Foreclose Mortgage covering real and personal
property, signed January 19, 2016 by N. Hernandez, Deputy Clerk, for David R. Ellspermann,
Marion County Clerk of the Circuit Court and Comptroller, should have been returned by the
17. The correct address for Defendant Elizabeth Bauerle, n.k.a. Elizabeth Bidgood, and
Defendant Unknown spouse of Elizabeth Bauerle, n.k.a. Scott (Allen) Bidgood, appear here:
18. Plaintiff’s counsel has engaged in fraud upon the court. “Fraud upon the court is an
egregious offense against the integrity of the judicial system and is more than a simple assertion
5
DEFENDANTS’ EMERGENCY MOTION TO CANCEL HEARING JULY 18, 2017
of facts in a pleading which might later fail for lack of proof.” Wells Fargo Bank, N.A. v. Reeves,
19. “The integrity of the civil litigation process depends on truthful disclosure of facts. A
system that depends on an adversary's ability to uncover falsehoods is doomed to failure, which
is why this kind of conduct must be discouraged in the strongest possible way. . . . This is an area
where the trial court is and should be vested with discretion to fashion the apt remedy.” Cox v.
20. The foregoing is a small fraction of misconduct in this case by Plaintiff’s counsel Curtis
Alan Wilson, Bar ID: 77669, and Danielle Nicole Parsons, Bar ID: 29364.
CANCEL HEARING JULY 18, 2017, and schedule no further hearings until my corrected
petition is filed with the U.S. Supreme Court, and a ruling is made on my petition.
6
Service List July 14, 2017
I hereby certify the names below with email addresses were served July 14, 2017 through the
Florida Portal. No service by U.S. mail. Service may include additional names on the Florida
Portal, see NOTICE OF SERVICE OF COURT DOCUMENTS generated by the Florida Portal.
Robert A. Stermer, Fla. Bar. No. 827967; Email sv1@atlantic.net; Email stermer.law@aol.com
7480 SW Hwy. 200, Ocala, FL 34476-9208, Office: (352) 861-0447, Fax: (352) 861-0494.
• Mr. Stermer represented Neil J. Gillespie & Penelope Gillespie / Gillespie Family Living
Trust Agreement dated February 10, 1997 (“Trust”) at the HECM closing on June 5, 2008.
• Mr. Stermer provided free client notary services to Neil J. Gillespie, and presided over the
transfer of the property free and clear to Neil J. Gillespie, but did not represent him.
• Mr. Stermer changed loyalties, and obtained Gillespie’s confidential client information to
benefit third parties. Mr. Stermer formerly represented the Defendants DECCA and ORHA.
Neil J. Gillespie owns the property free and clear at 8092 SW 115th Loop, Ocala, FL 34481;
Email: neilgillespie@mfi.net; the Trust terminated on February 2, 2015, see attached. The
HECM reverse mortgage is void (borrower incompetence), and voidable (§ 10(b) 1934 Act).
Neil J. Gillespie and Mark Gillespie as Co-Trustees of the Gillespie Family Living Trust
Agreement dated February 10, 1997; the Trust terminated on February 2, 2015, see attached; c/o
Neil J. Gillespie, 8092 SW 115th Loop, Ocala, FL 34481, Email: neilgillespie@mfi.net
Unknown Settlors/Beneficiaries of The Gillespie Family Living Trust Agreement dated
February 10, 1997; NONE; the Trust Terminated February 2, 2015, see attached; c/o Neil J.
Gillespie, 8092 SW 115th Loop, Ocala, FL 34481, Email: neilgillespie@mfi.net
Notice of Defendants’ Consent to Judgment, July 5, 2013, see attached
1. Mark Gillespie, and unknown spouse of Mark Gillespie n/k/a Joetta Gillespie, 7504 Summer
Meadows Drive, Ft. Worth, TX 76123, Email: mark.gillespie@att.net
2. Elizabeth Bauerle / Elizabeth Bidgood, 7926 SW 112th Lane, Ocala, Florida 34476-9164,
Email: oakrunner2000@yahoo.com;
Unknown spouse of Elizabeth Bauerle / Elizabeth Bidgood, n.k.a. Scott (Allen) Bidgood, 7926
SW 112th Lane, Ocala, FL 34476-9164. Email: c/o oakrunner2000@yahoo.com.
Termination of the Gillespie Family Living Trust Agreement Dated February 10, 1997
BEFORE ME, this day personally appeared NEIL J. GILLESPIE, who upon being duly
I. My name is Neil J. Gillespie. I am over eighteen years of age. This affidavit is given on
2. I am sole Trustee of the Gillespie Family Living Trust Agreement Dated February 10,
\ \
oeZ=::).. My Florida residential homestead property is the sole asset of the Trust, property address
..
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8092 SW 115th Loop, Ocala, Florida 34481, Marion County, Florida, (the "property") where I
have lived in the property continuously and uninterruptedly since February 9, 2005, Tax ID No.
Lot(s) ], Block G, OAK RUN WOODSIDE TRACT, according to the Plat thereof as
recorded in Plat Book 2 at Page(s) 106 through I ]2, inclusive of the Public Records of
Marion County, Florida.
4. Pursuant to my authority as Trustee of the Trust, and acting in that capacity, I transferred
the remaining trust property to the beneficiary, myself, on January 14, 2015.
5. Pursuant to my authority as Trustee of the Trust, and acting in that capacity, I hereby
terminate the Trust as provided by Fla. Stat. § 736.0414, and Article V, the Trust. The total fair
market value of the assets of the Trust is zero. The Trust served its intended purpose of
6. Pursuant to Fla. Stat. § 736.0414 Modification or tenn ination of uneconomic trust. (1)
After notice to the qualified beneficiaries, the trustee of a trust consisting of trust property
The foregoing instrument was acknowledged before me, this 2nd day of February, 2015,
1=l--'bL
- ti~u II~O SlD o;tl 0
by Neil J. Gillespie, who is personally known to me, or who has produced . as
. identification and· states that he is. the person who made this affidavit and that its co~tents are
r
Notary Public State of Florida
(SEAL) Angelica Cruz
My Commission EE067986 NOTAR UBLIC
Expires 02127/2015
~(?JI(s2. Lr0L
Print Na of Notary PublIc
I BILL TO
$0.00
1-30 DAYS PAST 31-60 DAYS PAST 61-90 DAYS PAST OVER 90 DAYS
CURRENT AMOUNT DUE
DUE DUE DUE PAST DUE
Neil Gillese!! _
To: <neilgillespie@mfi.net>
Subject: update
Neil, there may be a day or two delay in funding your loan. I just notified your attorney that a
small revision needed to be done because A) with all that signing, a signature line for your mom
was missed AND the interest rate for the week before, although a slight difference, was picked up
in closing package and identified prior to being sent to RUD.
Richard (at our expense) has agreed to go to your attorneys office to meet you there to sign the
corrections; and Mr. Stermer said that was fine with him. I am trying to confrrm with Liberty that
they will cover any cost incurred if a notary needs to go back out to Mark.
The difference in rate over the life of the loan is less than 1/8th percent. As soon as I know more I
will be in touch.
Sincerely,
Liz Baize
PAB
Since email is not a secure form of communication, please do not send any
confidential information using email.
6/10/2008
Plaintiff,
v.
Defendants.
_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _~I
Ocala, FL 34481 based on an "event of default" under the terms of the Adjustable Rate Note
under the terms of the subject loan. See paragraph 7(a) of the Note and 9(a) of the Mortgage.
5. The Defendants desire swift resolution to this action so they hereby give consent
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CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I have electronically filed via the Florida Courts eFiling
Portal and furnished a true and correct copy of the foregoing to Angela M. Brenwald, Esquire, of
McCalla Raymer LLC, 225 E. Robinson St., Orlando, FL 32801,
mrservice@mccallaraymer.com; via [xl Email Delivery, today July 5, 2013.
The above named entity submits this statement for the purpose of changing its registered office or registered agent, or both, in the State of Florida.
SIGNATURE:
Electronic Signature of Registered Agent Date
Officer/Director Detail :
Title DIRECTOR Title S
Name MESSEROLL, TERRI Name SKOWRONSKI, LINDA
Address 10962 SW 82ND TR Address 10779 SW 71ST CR
City-State-Zip: OCALA FL 34481 City-State-Zip: OCALA FL 34476
Continues on page 2
I hereby certify that the information indicated on this report or supplemental report is true and accurate and that my electronic signature shall have the same legal effect as if made under
oath; that I am an officer or director of the corporation or the receiver or trustee empowered to execute this report as required by Chapter 617, Florida Statutes; and that my name appears
above, or on an attachment with all other like empowered.
t -r'.. .·'S~
Defendants. 't ,C'Oi»;rr~O~
\\\ , .....'
--------------_/
THIS CAUSE having come before the Court upon the Plaintiffs Motion for Extension of Time,
filed APlil 28, 2017, the Court having reviewed the file and being otherwise fully informed, finds as
follows:
B. On March 30, 2017, the Defendant filed a Discovery Demand to Plaintiff Reverse
Mortgage Solutions, Inc. The deadline for the Plaintiff to respond was thirty (30) days thereafter or, on
C. On ApJi128, 2017, the Plaintiff filed its Motion for Extension of Time to respond to the
Defendant's discovery demand. Notwithstanding, the Plaintiff failed to suggest a reasonahle amount of
D. On Aptil 5, 2017, this Court entered an Order Setting Non-Jury Tlial which set a two (2)
hour tJial for May 19, 2017 or, seventeen (17) days from today's date. Therefore, in order for the
Plaintiff to comply with the Defendant's Discovery Demand and the Defendant to have a reasonable
amount of time to review any discovery produced in response to the Defendant's Discovery Demand, the
1. The Plaintiff's Motion for Extension of Time, filed Aplil 28,2017, is GRANTED.
Electronically Filed Marion Case # 13CA000115AX 05/03/2017 07:57:53 AM
1
Revere Mortgage Solutions, Inc. v. Gillespie
2013-CA-115-S
Order Granting Motion for Extension of Time and Order H.escheduling Non-Jury Trial
2. The Plaintiff shall have an additional thirty (30) days frOll1 the date of this Order to file its
3. The non-julY trial scheduled for May 19., 2017., at 10:00 a.m. is cancelled.
4. A Non-jury Trial on the present Complaint and all defenses asserted, if any, will
be held before Judge Ann Melinda Craggs in Courtroom 3B, Third Floor, Marion COllnty
Judicial Center, 110 NW First Avenue, Ocala, FL 34475 on July 18,2017 at 10:00 a.m. Two
attendance is not permitted. If a Defendant elects not to appear in Court, the Court will
assume that the Defendant who does not appear does not contest the entry of the Final Judgment
of Foreclosure.
6. The scheduling of this Non-jury Trial does not preclude either party from filing a
timely dispositive motion and having that motion set for hearing.
7. Local counsel n1ay not appear on behalf of any party unless counsel specifically
8. Do not call the Judicial Assistant to reschedule this Non-jury Trial. It has been set
by the Court and can only be changed by Court Order upon proper written motion.
9. If Plaintiff seeks to proceed under §702.065(1), Fla. Stat., and avoid personal
attendance by the client, and this statute is otherwise applicable to the proceedings, Plaintiff must
file a Motion advising the Court of the same no later than 10 days prior to trial with a written
Waiver of Deficiency by the Mortgagee. All original documents (e.g., Promissory Notes, etc.)
must also be filed prior to entry of the Final Judgnlent and, in any event, no later than the
2
Revere Mortgage Solutions, Inc. v. Gillespie
2013-CA-115-S
Order Granting Motion for Extension of Time and Order R.escheduling Non-Jury Trial
10. The Court reserves jurisdiction of the parties and of this cause.
DONE AND ORDERED at Ocala Florida this _3rd_ _ day of May, 2017.
a...u·~~
Ann Melinda Craggs
Circuit Judge
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on this 3rd day of May, 2017, a true copy of this order was
furnished via U.S. Mail to:
Mr. Curtis Wilson, Esquire
McCalla Raymer Pierce, LLC
225 E. Robinson Street, Stet 660
Orlando, FL 32801
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 115 th Loop
Ocala, FL 34481
Neil J. Gillespie
8092 SW 115 th Loop
Ocala, FL 34481
Mark Gillespie
7504 Sun1n1er Meadows Drive
Ft. Worth, EX 76123
By: 1A~>~~$JI
£r.~I. Berrios
_
Judicial Assistant
4
filing'# 55895836 E-Filed 05/03/2017 09:29:26 AM
Plaintiff,
Defendants.
--------------_/
THIS CAUSE having come before the COUlt upon the Plaintiffs Motion for Extension of Time,
filed April 28, 2017, the COUlt having reviewed the file and being otherwise fully informed, finds as
follows:
B. On March 30, 2017, the Defendant filed a Discovery Demand to Plaintiff Reverse
Mortgage Solutions, Inc. The deadline for the Plaintiff to respond was thirty (30) days thereafter or, on
C. On April 28, 2017, the Plaintiff filed its Motion for Extension of Time to respond to the
Defendant's discovery demand. Notwithstanding, the Plaintiff failed to suggest a reasonable amount of
D. On April 5, 2017, this COUlt entered an Order Setting Non-Jury Trial which set a two (2)
hour trial for May 19, 2017 or, seventeen (17) days from today' s date. Therefore, in order for the
Plaintiff to comply with the Defendant's Discovery Demand and the Defendant to have a reasonable
amount of time to review any discovery produced in response to the Defendant's Discovery Demand, the
2
Revere Mortgage Solutions~ Inc. v. Gillespie
2013-CA-115-S
Amended Order Granting Motion for Extension of Titne and Order Rescheduling Non-lury Trial
1. The Plaintiffs Motion for Extension of Time, filed April 28, 2017, is GRANTED.
2. The Plaintiff shall have an additional thirty (30) days from the date of this Order to file its
3. The non-jury trial scheduled for May 19, 2017, at 10:00 a.m. is cancelled.
4. A Non-jury Trial on the present Complaint and all defenses asserted, if any, will
be held before Judge Ann Melinda Craggs in Courtroonl 3B, Third Floor, Marion County
Judicial Center, 110 NW First Avenue, Ocala, FL 34475 on July 18,2017 at 10:00 a.m. Two
attendance is not permitted. If a Defendant elects not to appear in Court, the Court will
assume that the Defendant who does not appear does not contest the entry of the Final Judgment
of Foreclosure.
6. The scheduling of this Non-jury Trial does not preclude either party from filing a
timely dispositive illotion and having that motion set for hearing.
7. Local counsel may not appear on behalf of any party unless counsel specifically
8. Do not call the Judicial Assistant to reschedule this Non-jury Trial. It has been set
by the Court and can only be changed by Court Order upon proper written motion.
9. If Plaintiff seeks to proceed under §702.065(1), Fla. Stat., and avoid personal
attendance by the client, and this statute is otherwise applicable to the proceedings, Plaintiff must
file a Motion advising the Court of the same no later than 10 days prior to trial with a written
Waiver of Deficiency by the Mortgagee. All original documents (e.g., Promissory Notes, etc.)
must also be filed prior to entry of the Final Judgnlent and, in any event, no later than the
2
Revere Mortgage Solutions~ Inc. v. Gillespie
2013-CA-115-S
Amended Order Granting Motion for Extension of Tilne and Order Rescheduling Non-Jury Trial
10. The Court reserves jurisdiction of the parties and of this cause.
DONE AND ORDERED at Ocala Florida this ._3r_dL--_ day of May, 2017.
~U'wL-~
Ann Mehnda Craggs
Circuit Judge
CERTIFICATE OF SERVICE
I IIEREBY CERTIFY that on this _3rd_ _ day of May, 2017, a true copy of this order was
furnished via U.S. Mail to:
Mr. Ctlrtis Wilson, Esquire
Orlando, FL 32801
Tampa, FL 33602
PO Box 1030
Ocala, FL 34478-1030
Ocala, FL 34476
3
Revere Mortgage Solutions~ Inc. v. Gillespie
2013-CA-115-S
Amended Order Granting Motion for Extension of Time and Order Rescheduling Non-Jury Trial
Neil J. Gillespie and Mark Gillespie as Co-Trustees of the Gillespie Fanlily Living Trust
Agreenlent dated February 10,1997; Ternlinated Trust, February 2,2015
8092 SW 115 th Loop
Ocala, FL 34481
Neil J. Gillespie
8092 SW 115 Lh Loop
Ocala, FL 34481
Mark Gillespie
7504 Sunllller Meadows Drive
Ft. Worth, EX 76123
By:~M~errios
AAaLu...AJ~""-=-:-$Y_ _
Judicial Assistant
4
II
Plaintiff,
v. Case No.:
Defendants.
---------------_/
THIS CAUSE having come before the COUli upon the Plaintiffs Motion for Extension of Time,
filed April 2R, 2017, the Court having reviewed the file and being othclwise fully informed, finds as
follows:
B. On March 30, 2017, the Defendant filed a Discovery Demand to Plaintiff Reverse
Mortgage Solutions, Inc. The deadline for the Plaintiff to respond was thirty (30) days thereafter or, on
C. On April 28, 2017, the Plaintiff filed its Motion for Extension of Time to respond to the
Defendant's discovery demand. Notwithstanding, the Plaintiff failed to suggest a reasonable amount of
D. On April 5, 2017, this Court entered an Order Setting Non-Jury Trial which set a two (2)
hour tJial for May 19,2017 or, seventeen (17) days from today's date. Therefore, in order for the
Plaintiff to comply with the Defendant's Discovery Demand and the Defendant to have a reasonable
amount of time to review any discovery produced in response to the Defendant's Discovery Demand, the
3
Revere Mortgage Solutions~ Inc. v. Gillespie
2013-CA-115-S
Amended Order Granting Motion for Extension of Time and Order Rescheduling Non-Jury Trial
1. The Plaintiff's Motion for Extension of Time, filed April 28, 201 7, is GRANTED.
2. The Plaintiff shall have an additional thirty (30) days from the date of this Order to file its
3. The non-jury trial scheduled for May 19, 2017, at 10:00 a.m. is cancelled.
4. A Non-jury Trial on the present Complaint and all defenses asserted, if any, will
be held before Judge Ann Melinda Craggs in Courtroonl 3B, Third Floor, Marion County
Judicial Center, 110 NW First Avenue, Ocala, FL 34475 on July 18,2017 at 10:00 a.m. Two
attendance is not permitted. If a Defendant elects not to appear in Court, the Court will
assume that the Defendant who does not appear does not contest the entry of the Final Judgment
of Foreclosure.
6. The scheduling of tl1is Non-jury Trial does not preclude either party from filing a
tinlely dispositive motion and having that motion set for hearing.
7. Local counsel may not appear on behalf of any party unless counsel specifically
8. Do not call the Judicial Assistant to reschedule this Non-jury Trial. It has been set
by the Court and can only be changed by Court Order upon proper written motion.
9. If Plaintiff seeks to proceed under §702.065(1), Fla. Stat., and avoid personal
attendance by the client, and this statute is otherwise applicable to the proceedings, Plaintiffnlust
file a Motion advising the Court of the same no later than 10 days prior to trial with a written
Waiver of Deficiency by the Mortgagee. All original documents (e.g., Pronlissory Notes, etc.)
must also be filed prior to entry of the Final Judgnlent and, in any event, no later than the
2
Revere Mortgage Solutions, Inc. v. Gillespie
2013-CA-115-S
Amended Order Granting Motion for Extension of Time and Order Rescheduling Non-Jury Trial
10. The Court reserves jurisdiction of the parties and of this cause.
DONE AND ORDERED at Ocala Florida this _31_"dL..--_ day of May, 2017.
~u·~~
Ann Melinda Craggs
Circuit Judge
CERTIFICATE OF SERVICE
I IIEREBY CERTIFY that on this _3rd_ _ day of May, 2017, a true copy of this order was
furnished via u.S. Mail to:
Mr. Curtis Wilson., Esquire
Orlando, FL 32801
Tampa, FL 33602
PO Box 1030
Ocala, FL 34478-1030
Ocala, FL 34476
3
Revere Mortgage Solutions~ Inc. v. Q'illespie
2013-CA-115-S
Amended Order Granting Motion for Extension of Time and Order Rescheduling Non-Jury Trial
Neil J. Gillespie and Mark Gillespie as Co-Trustees of the G'illespie Fall1ily Living Trust
Agreement dated February 10,1997; Ternlinated Trust, February 2,2015
8092 SW 115 th Loop
Ocala, FL 34481
Neil J. Gillespie
8092 SW 115 th Loop
Ocala, FL 34481
Mark Gillespie
7504 SUll1mer Meadows Drive
Ft. Worth, EX 76123
By:-AatuA}~
Maria. errios
Judicial Assistant
4
SUPREME COURT OF THE UNITED STATES
WASHINGTON, DC 20543-0001
July 10,2017
Neil J. Gillespie
8092 SW 115th Loop
Ocala, FL 34481
The above-entitled petition for writ of certiorari was postmarked June 30, 2017 and
received July 5,2017. The papers are returned for the following reason(s):
The notarized affidavit or declaration of indigency does not comply with Rule 39 in
that all questions must be answered completely.
The petition fails to comply with the content requirements of Rule 14. A guide for in
forma pauperis petitioners and a copy of the Rules of this Court are enclosed. The
guide includes a form petition that may be used.
The appendix to the petition does not contain the following documents required by
Rule 14.1(i):
The lower court opinion(s) must be appended.
It is impossible to determine the timeliness of the petition without the lower court
opinions.
Please correct and resubmit as soon as possible. Unless the petition is submitted to
this Office in corrected form within 60 days of the date of this letter, the petition will
not be filed. Rule 14.5.
A copy of the corrected petition must be served on opposing counsel.
4
When making the required corrections to a petition, no change to the substance of the
petition may be made.
Sincerely,
Clayton R. Higgins
(202) 479-3019
Enclosures
Filing # 54432366 E-Filed 03/30/2017 02:10:04 PM
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, reluctantly appears pro se, henceforth in the first person, demands discovery
from Plaintiff Reverse Mortgage Solutions, Inc., Fla. R. Civ. Pro. 1.350, as follows:
Curtis Alan Wilson, Bar ID: 77669, McCalla Raymer Pierce, LLC, 225 E Robinson St. Ste 155,
2. Danielle Nicole Parsons, Bar ID: 29364, represented the Plaintiff prior to Mr. Wilson. At
5
DISCOVERY DEMAND TO PLAINTIFF REVERSE MORTGAGE SOLUTIONS, INC. March 30, 2017
Rule 1.350 Fla. R. Civ. Pro. to Curtis Alan Wilson, Bar ID: 77669
3. During the course of this litigation counsel for the Plaintiff has sent U.S. Mail that should
have been returned by the U.S. Postal Service as undeliverable, for bad addresses shown on the
(a) Request; Scope. Any party may request any other party (1) to produce and permit the
party making the request, or someone acting in the requesting party’s behalf, to inspect
and copy any designated documents...
(b) Procedure. Without leave of court the request may be served on the plaintiff after
commencement of the action and on any other party with or after service of the process
and initial pleading on that party. The request shall set forth the items to be inspected,
either by individual item or category, and describe each item and category with
reasonable particularity...
5. Pursuant to Fla. R. Civ. Pro. 1.350, I demand Plaintiff RMS, by and through counsel of
record Mr. Wilson, produce all returned U.S. Mail for inspection and copying.
6. For example, Mr. Wilson e-filed a Certificate of Service on November 29, 2016, of his
Amended Civil Cover Sheet, Filing # 49396688 E-Filed 11/29/2016 03:32:41 PM, that appears
at Exhibit 1. Mr. Wilson’s Certificate of Service shows the following bad addresses:
7. A Notice of Action November 9, 2015 to Foreclose Mortgage covering real and personal
property, signed November 10, 2015 by N. Hernandez, Deputy Clerk, for David R. Ellspermann,
2
DISCOVERY DEMAND TO PLAINTIFF REVERSE MORTGAGE SOLUTIONS, INC. March 30, 2017
Rule 1.350 Fla. R. Civ. Pro. to Curtis Alan Wilson, Bar ID: 77669
Marion County Clerk of the Circuit Court and Comptroller, should have been returned by the
8. A Notice of Action January 15, 2016 to Foreclose Mortgage covering real and personal
property, signed January 19, 2016 by N. Hernandez, Deputy Clerk, for David R. Ellspermann,
Marion County Clerk of the Circuit Court and Comptroller, should have been returned by the
9. “The request shall specify a reasonable time, place, and manner of making the inspection
10. Time is of the essence in obtaining U.S. Mail that should have been returned by the U.S.
11. In lieu of inspection and copying all returned U.S. Mail, Mr. Wilson may provide a PDF
copy of the documents on the record through the Florida Portal as soon as possible.
3
Filing # 49396688 E-Filed 11/29/2016 03:32:41 PM
1
SERVICE LIST
Neil J. Gillespie
8092 SW l15th Loop
Ocala, FL 34481
neilgillespie@mfl.net
Neil J. Gillespie and Mark Gillespie as Co-Trustees of the Gillespie Family Living Trust
Agreement dated February 10, 1997
8092 SW l15th Loop
Ocala, FL 34481
Unknown Settlors/Beneficiaries of The Gillespie Family Living Trust Agreement dated February
10, 1997
8092 SW 115th Loop
Ocala, FL 34481
Mark Gillespie
7504 Summer Meadows Drive
Ft. Worth, TX 76123
5250341 12-02121-2
Form 1,997 AMENDED CIVIL COVER SHEET
The civil cover sheet and the information contained herein neither replace nor supplement the filing and service of
pleadings or other papers as required by law, This form shall be filed by the plaintiff or petitioner for the use of the
Clerk of the Court for the purpose of reporting judicial workload data pursuant to Florida Statutes Section 25.075.
I. CASE STYLE
II, TYPE OF CASE (If the case fits more than one type of case, select the most definitive category.) If
the most descriptive label is a subcategory (is indented under a broader category),
place an "x" in both the main category and subcategory boxes.
Condominium Homestead residential foreclosure $0 - $50,000
Contracts and indebtedness X Homestead residential foreclosure $50,001 -
$249,999
Eminent domain ____Homestead residential foreclosure $250,000 or more
Auto negligence Nonhomestead residential foreclosure
Negligence - other $0 - $50,000
Business governance Nonhomestead residential foreclosure
Business torts $50,001 - $249,999
Environmental/Toxic tort Nonhomestead residential foreclosure
Third party indemnification $250,000 or more
Construction defect ____Other real property actions $0 - $50,000
Mass tort ____Other real property actions $50,001 - $249,999
Negligent security Other real property actions $250,000 or more
Nursing home negligence Professional malpractice
Premises liability commercial Malpractice business
Premises liability - residential Malpractice - medical
Products liability Malpractice -- other professional
X Real Property/Mortgage Foreclosure Other
Commercial foreclosurc $0 - $50,000 Antitrust/Trade regulation
__Commercial foreclosurc $50,001 - $249,999 Business transactions
Commercial foreclosure $250,000 or more Constitutional challenge - statute or ordinance
5250322 12-02121-2
Constitutional challenge - proposed amendment Libel/Slander
__ Corporate trusts Shareholder derivative action
Discrimination - employment or other Securities litigation
Insurance claims Trade secrets
Intellectual property ___Trust litigation
I CERTIFY that th a rmation I have provided in this cover sheet is accurate to the best of my knowledge and
belief.
Signature Fla. Bar# 77669
torne ' (Bar # ifattorney)
Curtis Wilson
(type or print name) Date
5250322 12-02121-2
Service List March 30, 2017
I hereby certify the names below were served by email March 30, 2017 through the Florida
Portal, unless otherwise expressly stated. May include additional names on the Florida Portal.
The Honorable Joseph Negron, President The Honorable Richard Corcoran, Speaker
Email: joe@joenegron.com Email: richard@richardcorcoran.com
Florida Senate Florida House of Representatives
409, The Capitol 420 The Capitol
404 S. Monroe Street 402 South Monroe Street
Tallahassee, FL 32399-1100 Tallahassee, Florida 32399-1300
Tel: 850-487-5229 Tel: 850-717-5037
https://www.flsenate.gov/Offices/President http://www.myfloridahouse.gov/
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
BEFORE ME, this day personally appeared NEIL J. GILLESPIE, who upon being duly
I. My name is Neil J. Gillespie. I am over eighteen years of age. This affidavit is given on
2. I am sole Trustee of the Gillespie Family Living Trust Agreement Dated February 10,
\ \
oeZ=::).. My Florida residential homestead property is the sole asset of the Trust, property address
..
" ~:.
8092 SW 115th Loop, Ocala, Florida 34481, Marion County, Florida, (the "property") where I
have lived in the property continuously and uninterruptedly since February 9, 2005, Tax ID No.
Lot(s) ], Block G, OAK RUN WOODSIDE TRACT, according to the Plat thereof as
recorded in Plat Book 2 at Page(s) 106 through I ]2, inclusive of the Public Records of
Marion County, Florida.
4. Pursuant to my authority as Trustee of the Trust, and acting in that capacity, I transferred
the remaining trust property to the beneficiary, myself, on January 14, 2015.
5. Pursuant to my authority as Trustee of the Trust, and acting in that capacity, I hereby
terminate the Trust as provided by Fla. Stat. § 736.0414, and Article V, the Trust. The total fair
market value of the assets of the Trust is zero. The Trust served its intended purpose of
6. Pursuant to Fla. Stat. § 736.0414 Modification or tenn ination of uneconomic trust. (1)
After notice to the qualified beneficiaries, the trustee of a trust consisting of trust property
The foregoing instrument was acknowledged before me, this 2nd day of February, 2015,
1=l--'bL
- ti~u II~O SlD o;tl 0
by Neil J. Gillespie, who is personally known to me, or who has produced . as
. identification and· states that he is. the person who made this affidavit and that its co~tents are
r
Notary Public State of Florida
(SEAL) Angelica Cruz
My Commission EE067986 NOTAR UBLIC
Expires 02127/2015
~(?JI(s2. Lr0L
Print Na of Notary PublIc
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, reluctantly appears pro se, henceforth in the first person, gives Defendants’
Notice of Filing Notice of Address Change, for Defendant Elizabeth Bauerle, n.k.a. Elizabeth
Bidgood, and for Defendant Unknown Spouse of Elizabeth Bauerle, n.k.a. Scott Bidgood, and
states:
Judge Hale Stacil in Marion County Circuit Court Case # 2013-CA-000115, states:
THIS CAUSE came before the Court at a hearing on November 25, 2013, upon filing of
6
DEFENDANTS’ NOTICE OF FILING NOTICE OF ADDRESS CHANGE
Defendant Elizabeth Bauerle, n.k.a. Elizabeth Bidgood, and
Defendant Unknown Spouse of Elizabeth Bauerle, n.k.a. Scott Bidgood
2. That Tiffany Caparas, Esq. and the Law Firm of Kaufman, Englett & Lynd,
PLLC are hereby relieved from representing the Defendants, MARK GILLESPIE,
JOETTA GILLESPIE AKA UNKNOWN SPOUSE OF MARK GILLESPIE and
ELIZABETH BAUERLE (herein after "Defendants"), and relieved of any further
responsibility on behalf of Defendants.
3. In the event that Defendants fail to retain new counsel, they shall be deemed to
represent themselves and shall be served with all future papers and pleadings in this
action at: 7504 Summer Meadow Drive, Ft. Worth, TX 76123; Phone: (817) 361-
5911; Email: mark.gillespie@att.net.
4. Defendants shall have an affirmative duty to advise the Court of any change of
address.
DONE and ORDERED in Chambers, Marion County, Florida this 2 day of Dec 2013.
2. Pursuant to paragraph 4 of the Order, I hereby advise the Court of a change of address for
Defendants’ addresses.
2
DEFENDANTS’ NOTICE OF FILING NOTICE OF ADDRESS CHANGE
Defendant Elizabeth Bauerle, n.k.a. Elizabeth Bidgood, and
Defendant Unknown Spouse of Elizabeth Bauerle, n.k.a. Scott Bidgood
3
IN THE CIRCUIT COURT OF THE
FIFTH JUDICIAL CIRCUIT OF
FLORIDA IN AND MARION COUNTY
GENERAL JURISDICTION DIVISION
Plaintiff,
V.
Defendants.
THIS CAUSE came before the Court at a hearing on November 25, 2013, upon filing of
reviewed the Motion, and the Court file and being fully advised in the premises, it is therefore:
2. That Tiffany Caparas, Esq. and the Law Firm of Kaufman, Englett & Lynd,
PLLC are hereby relieved from representing the Defendants, MARK GILLESPIE, JOETTA
BAUERLE (herein after "Defendants"), and relieved of any further responsibility on behalf of
Defendants.
3. In the event that Defendants fail to retain new counsel, they shall be deemed to
represent themselves and shall be served with all future papers and pleadings in this action at:
7504 Summer Meadow Drive, Ft. Worth, TX 76123; Phone: (817) 361-5911; Email:
mark.gillespie@att.net.
1
4. Defendants shall have an affirmative duty to advise the Court of any change of
address.
0.61-2013.
Mailing List:
2
AFFIDAVIT OF NEIL J. GILLESPIE
STATE OF FLORIDA )
) SS.:
COUNTY OF MARION )
BEFORE ME, this day personally appeared NEIL J. GILLESPIE, who upon oath
deposes upon personal knowledge and states:
1. I am over the age of eighteen and am competent to testify as to the facts and matters set
forth herein. I make this affidavit upon personal knowledge unless otherwise expressly stated.
3. Elizabeth Bauerle (nee Gillespie), n.k.a. Elizabeth Bidgood, is my only sister. She is
called "Beth" in our family. I believed Beth lived in Illinois with husband Scott Bidgood.
4. On May 8, 2017 I emailed Mark that I saw Beth at the local Walmart store. (attached).
5. The Marion County Property Appraiser shows Scott [Allen] Bidgood owns a family
residence at 7926 SW 112TH LN, Ocala, FL 34476-9164 since October 2014. (attached).
6. The MyLife profile for Scott Bidgood shows his photo with Beth, and that he lives at
7926 SW 112TH LN, Ocala, FL 34476-9164. (MyLife screen shot and profile attached).
7. The MyLife profile for Elizabeth Bauerle shows that she lives at 7926 SW 112TH LN,
Ocala, FL 34476-9164. (MyLife screen shot and profile attached).
The foregoing instrument was acknowledged before me, this 't!-t\\ day of July, 2017,
by Neil J. Gillespie, who is personally known to me, or who has produced f=t., tb as
identification and states that he is the person who made this affidavit and that its contents are
truthful to the best of his knowledge.
~~~=DA
(SEAL)
NOTJGPlJBLIG
• • CclmmltFF114792
Expires 4/2112018
1(; r - -
------¥.-Q ~
oi ~o(Z.v\b
'f'
Print Name of Notary Public
My Commission Expires: q\L' l_'E>_ _
2
Page 1 of 1
Neil Gillespie
Mark,
Today while at walmart in Ocala I saw someone who looked like Beth. She looked at me but did not say
anything. She was driving a new maroon Chevrolet Impala large sedan, could have been a rental. She
parked in a handicapped spot. Do you know if Beth is in Ocala?
Neil
5/13/2017
http://216.255.243.135/DEFAULT.aspx?key=2344491&YR=2017
Powered by Translate
Property Information
BIDGOOD SCOTT ALLEN Taxes / Assessments: M.S.T.U.
7926 SW 112TH LN Map ID: 132 PC: 01
OCALA FL 34476-9164
Millage: 9002 Acres: 0.26
Property Description
Traverse
Building 1 of 1
7/10/2017 9:15 PM
http://216.255.243.135/DEFAULT.aspx?key=2344491&YR=2017
RES01=R32U24L24U9L12D9R4D24.
FGR02=L12U18R12D18.
FOP03=D6R14U6L14.U18
FST04=L12U6R12D6.U6L6
PTO05=U12L10D12R10.
Building Characteristics
Improvement 1F-SFR- 01 FAMILY RESID Year Built 1989
Effective Age 4 - 15-19 YRS Physical Deterioration 0 %
Condition 3 - 3 Obsolescence: Functional 0 %
Quality Grade 400 - FAIR Obsolescence: Locational 0 %
Inspected on 12/15/2011 by 197 Base Perimeter 138
Section: 1
Roof Style 10 GABLE Floor Finish 24 CARPET Bedrooms 1 Blt-In Kitchen Y
Roof Cover 08 FBRGLASS SHNGL Wall Finish 16 DRYWALL-PAINT 4FixBath 0 Dishwasher Y
Heat Meth 1 22 DUCTED FHA Heat Fuel 1 10 ELECTRIC 3FixBath 1 Garb Disposal N
Heat Meth 2 20 HEAT PUMP Heat Fuel 2 00 2FixBath 0 Garbage Compactor N
Foundation 7 BLK PERIMETER Fireplaces 0 XFixture 2 Intercom N
7/10/2017 9:15 PM
http://216.255.243.135/DEFAULT.aspx?key=2344491&YR=2017
A/C Y Vacuum N
Miscellaneous Improvements
Type Nbr Units Type Life Year In Grade Length Width Depr Value
190 SEPTIC 1-5 BTH 1.00 UT 99 1989 2 0.0 0.0
159 PAV CONCRETE 567.00 SF 20 1989 3 0.0 0.0
7/10/2017 9:15 PM
Scott Bidgood
Age 5¯ ¯ ¯ ¯ ¯ ¯
AKA
8e
¯leputal on Score ¯late _ _ _ .. Summary _
4.00
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https://www.mylife.com/scott-bidgood/e51232863210
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Summary: Summary: currently lives in Ocala , FL.
Before that, lived in Saint Charles , IL. is related to
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Age: 54 - 01/17/1963
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7/10/2017 9:27 PM
AFFIDAVIT OF MARK GILLESPIE
STATE OF TEXAS )
) SS.:
COUNTYOFTARRANT )
BEFORE ME, this day personally appeared MARK GILLESPIE, who upon oath
1. I am over the age of eighteen and am competent to testify as to the facts and matters set
forth herein. I make this affidavit upon personal knowledge unless otherwise expressly stated.
2. My name is Mark Gillespie. I reside with my wife Joetta Gillespie at 7504 Summer
Meadows Drive, Fort Worth, Texas 76123.
3. My sister, Elizabeth Bauerle (nee Gillespie) n/k/aJ Elizabeth Bidgood, does not and has
never resided at 7504 Summer Meadows Drive, Fort Worth, Texas 76123.
4. I do not consent to accept service of process here, or any place else, for Elizabeth Bauerle
(nee Gillespie) n/k/aJ Elizabeth Bidgood.
The foregoing instrument was acknowledged before me, this 3D day of May, 2017,
by Mark Gillespie, who is personally known to me, or who has producedl.t PfiwlS as
t..'(.~",se-
identification and states that he is the person who made this affidavit and that its contents are
My Commission Expires: h
biS ~ !?..e:> J"8
3
Service List July 14, 2017
I hereby certify the names below with email addresses were served July 14, 2017 through the
Florida Portal. No service by U.S. mail. Service may include additional names on the Florida
Portal, see NOTICE OF SERVICE OF COURT DOCUMENTS generated by the Florida Portal.
Robert A. Stermer, Fla. Bar. No. 827967; Email sv1@atlantic.net; Email stermer.law@aol.com
7480 SW Hwy. 200, Ocala, FL 34476-9208, Office: (352) 861-0447, Fax: (352) 861-0494.
• Mr. Stermer represented Neil J. Gillespie & Penelope Gillespie / Gillespie Family Living
Trust Agreement dated February 10, 1997 (“Trust”) at the HECM closing on June 5, 2008.
• Mr. Stermer provided free client notary services to Neil J. Gillespie, and presided over the
transfer of the property free and clear to Neil J. Gillespie, but did not represent him.
• Mr. Stermer changed loyalties, and obtained Gillespie’s confidential client information to
benefit third parties. Mr. Stermer formerly represented the Defendants DECCA and ORHA.
Neil J. Gillespie owns the property free and clear at 8092 SW 115th Loop, Ocala, FL 34481;
Email: neilgillespie@mfi.net; the Trust terminated on February 2, 2015, see attached. The
HECM reverse mortgage is void (borrower incompetence), and voidable (§ 10(b) 1934 Act).
Neil J. Gillespie and Mark Gillespie as Co-Trustees of the Gillespie Family Living Trust
Agreement dated February 10, 1997; the Trust terminated on February 2, 2015, see attached; c/o
Neil J. Gillespie, 8092 SW 115th Loop, Ocala, FL 34481, Email: neilgillespie@mfi.net
Unknown Settlors/Beneficiaries of The Gillespie Family Living Trust Agreement dated
February 10, 1997; NONE; the Trust Terminated February 2, 2015, see attached; c/o Neil J.
Gillespie, 8092 SW 115th Loop, Ocala, FL 34481, Email: neilgillespie@mfi.net
Notice of Defendants’ Consent to Judgment, July 5, 2013, see attached
1. Mark Gillespie, and unknown spouse of Mark Gillespie n/k/a Joetta Gillespie, 7504 Summer
Meadows Drive, Ft. Worth, TX 76123, Email: mark.gillespie@att.net
2. Elizabeth Bauerle / Elizabeth Bidgood, 7926 SW 112th Lane, Ocala, Florida 34476-9164,
Email: oakrunner2000@yahoo.com;
Unknown spouse of Elizabeth Bauerle / Elizabeth Bidgood, n.k.a. Scott (Allen) Bidgood, 7926
SW 112th Lane, Ocala, FL 34476-9164. Email: c/o oakrunner2000@yahoo.com.
Termination of the Gillespie Family Living Trust Agreement Dated February 10, 1997
BEFORE ME, this day personally appeared NEIL J. GILLESPIE, who upon being duly
I. My name is Neil J. Gillespie. I am over eighteen years of age. This affidavit is given on
2. I am sole Trustee of the Gillespie Family Living Trust Agreement Dated February 10,
\ \
oeZ=::).. My Florida residential homestead property is the sole asset of the Trust, property address
..
" ~:.
8092 SW 115th Loop, Ocala, Florida 34481, Marion County, Florida, (the "property") where I
have lived in the property continuously and uninterruptedly since February 9, 2005, Tax ID No.
Lot(s) ], Block G, OAK RUN WOODSIDE TRACT, according to the Plat thereof as
recorded in Plat Book 2 at Page(s) 106 through I ]2, inclusive of the Public Records of
Marion County, Florida.
4. Pursuant to my authority as Trustee of the Trust, and acting in that capacity, I transferred
the remaining trust property to the beneficiary, myself, on January 14, 2015.
5. Pursuant to my authority as Trustee of the Trust, and acting in that capacity, I hereby
terminate the Trust as provided by Fla. Stat. § 736.0414, and Article V, the Trust. The total fair
market value of the assets of the Trust is zero. The Trust served its intended purpose of
6. Pursuant to Fla. Stat. § 736.0414 Modification or tenn ination of uneconomic trust. (1)
After notice to the qualified beneficiaries, the trustee of a trust consisting of trust property
The foregoing instrument was acknowledged before me, this 2nd day of February, 2015,
1=l--'bL
- ti~u II~O SlD o;tl 0
by Neil J. Gillespie, who is personally known to me, or who has produced . as
. identification and· states that he is. the person who made this affidavit and that its co~tents are
r
Notary Public State of Florida
(SEAL) Angelica Cruz
My Commission EE067986 NOTAR UBLIC
Expires 02127/2015
~(?JI(s2. Lr0L
Print Na of Notary PublIc
I BILL TO
$0.00
1-30 DAYS PAST 31-60 DAYS PAST 61-90 DAYS PAST OVER 90 DAYS
CURRENT AMOUNT DUE
DUE DUE DUE PAST DUE
Neil Gillese!! _
To: <neilgillespie@mfi.net>
Subject: update
Neil, there may be a day or two delay in funding your loan. I just notified your attorney that a
small revision needed to be done because A) with all that signing, a signature line for your mom
was missed AND the interest rate for the week before, although a slight difference, was picked up
in closing package and identified prior to being sent to RUD.
Richard (at our expense) has agreed to go to your attorneys office to meet you there to sign the
corrections; and Mr. Stermer said that was fine with him. I am trying to confrrm with Liberty that
they will cover any cost incurred if a notary needs to go back out to Mark.
The difference in rate over the life of the loan is less than 1/8th percent. As soon as I know more I
will be in touch.
Sincerely,
Liz Baize
PAB
Since email is not a secure form of communication, please do not send any
confidential information using email.
6/10/2008
Plaintiff,
v.
Defendants.
_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _~I
Ocala, FL 34481 based on an "event of default" under the terms of the Adjustable Rate Note
under the terms of the subject loan. See paragraph 7(a) of the Note and 9(a) of the Mortgage.
5. The Defendants desire swift resolution to this action so they hereby give consent
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STATE Of FLORtDA.COIIdYOF,..
I HEREBY CERTIFY thIt tfIe
correct copy of pages.....L.:
='
Iflstrument ffied to this ofb.
~ true"
~ ..
"''1&:
- a. .",;" The onglnal Instrument filed ~
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.f!!.f' ThiS copy has no r~
I j.. ..•• ,.'.'I /./ C] ThJS copy has been redacted purSBlt to 1M
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CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I have electronically filed via the Florida Courts eFiling
Portal and furnished a true and correct copy of the foregoing to Angela M. Brenwald, Esquire, of
McCalla Raymer LLC, 225 E. Robinson St., Orlando, FL 32801,
mrservice@mccallaraymer.com; via [xl Email Delivery, today July 5, 2013.
The above named entity submits this statement for the purpose of changing its registered office or registered agent, or both, in the State of Florida.
SIGNATURE:
Electronic Signature of Registered Agent Date
Officer/Director Detail :
Title DIRECTOR Title S
Name MESSEROLL, TERRI Name SKOWRONSKI, LINDA
Address 10962 SW 82ND TR Address 10779 SW 71ST CR
City-State-Zip: OCALA FL 34481 City-State-Zip: OCALA FL 34476
Continues on page 2
I hereby certify that the information indicated on this report or supplemental report is true and accurate and that my electronic signature shall have the same legal effect as if made under
oath; that I am an officer or director of the corporation or the receiver or trustee empowered to execute this report as required by Chapter 617, Florida Statutes; and that my name appears
above, or on an attachment with all other like empowered.