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Petition No: 13-7280
IN THE
SUPREME COURT OF THE UNITED STATES
____________________
NEIL J. GILLESPIE - PETITIONER
VS.
REVERSE MORTGAGE SOLUTIONS, INC., ET AL - RESPONDENTS
________________________
PETITION FOR A WRIT OF CERTIORARI - C.A.11, 13-11585-B
______________________
Petitioners Supplemental Brief
Separate Volume Appendix
______________________
Attorney Eugene P. Castagliuolo
Correspondence referencing Neil J. Gillespie and/or
the Social Security Disability Administration
_______________________
Appendix 1 Letter June 19, 2013 Eugene Castagliuolo to Susan Bloemendaal, The Florida Bar
I have collected a large pile of the many, many documents filed in various, places by
Gillespie over the past several years, and I am looking forward to furnishing that pile to
the SSDI abuse investigator for Florida....Once the SSA reviews the fruits of Gillespie's
labor, I'm confident that his handicap status will be very much at issue.
The letter shows cc: Office of the Inspector General, Social Security Disability Administration
(by regular U. S. Mail).
Appendix 2 Bar Counsel Leonard Clark provided 23 pages of email from Mr. Castagliuolo,
included here with Mr. Clarks letter to Neil Gillespie. Mr. Castagliuolo threatened Mr. Clark byemail February 12, 2013 at 11:13 AM, and called his veracity into question:
Mr. Clark, I cannot remember when (if ever) in my career that I've been so deceived and
outright lied to by an attorney in a position such as yours. I am seriously considering
filing an ethics violation against YOU myself, but I want to calm down and consider this
situation rationally before I do.
BRIEF NOT FILED:Petitioner's
Supplemental Briefwas not filed. I
was unable to file due to illness and
disability.
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2
No, Mr. Clark, you most certainly did NOT tell me that, following the chair's
"recommendation," that you would yourself have to make yet another
"recommendation." What you explicitlytold me was that both you and the chair were
in complete agreement that not a scintilla of evidence existed in support of this creep's
complaint(s), not only against me, but against the other attorneys as well. You made it
quite clear that this matter was done and over with . There was no indecision on yourpart, other than that you planned to wait until Gillespie's ridiculous Florida Supreme
Court pleading deadline had passed (on or about December 10, 2012) before you would
send out the letter advising me of your decision, and advising him that, once again, he
was a loser.
As you well know, Mr. Clark, the REAL problem with this matter is that The Florida Bar
shivers and quakes whenever Gillespie opens his mouth or begins to type. Gillespie
certainly has received far more consideration from your Office than I, a Florida Bar
member, has enjoyed. By seeking to avoid Gillespie's venom, you have thrown me and
several other Florida Bar membersunder the bus. That you and your colleagues do not
protect Florida Bar memberswho have been savaged by garbage like Gillespie is sad.
I assure you that this is not the end of this Mr. Clark.
EPC
Mr. Castagliuolo wrote Mr. Clark February 12, 2012 at 9:56 AM:
Kindly reply to my previous 2 e-mails and my telephone call to your office last week, all
of which have gone unanswered. If I don't hear from you in due course, my next call will
be to your boss in Tallahassee. Thanks Eugene
Mr. Castagliuolo wrote Mr. Clark February 6, 2013 at 11:57 AM:
Dear Mr. Clark:
First, please adjust your records to reflect my new e-mail address.
Secondly, please provide me with a letter of final disposition of this Gillespie
abomination. I have a whistleblower complaint about this fool to file with the Social
Security Administration, but I want to receive your letter first.
Thank you EPC,
Eugene P. Castagliuolo, Esquire
Mr. Castagliuolo sent copies of his email to The Florida Bar cc to Mr. Rodems and Mr.
Laurato, each of who rebuffed Castagliuolos contact.
Email response of Ryan Rodems 02/12/2013 12:16 PM
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3
Mr. Clark:
I am not sure why Mr. Castagliuolo has copied me on this e-mail he wrote to you. I am at
a complete loss to understand why he has written this to you. I assure you that I do not
share his sentiments.
Sincerely,
Ryan Christopher Rodems
Barker, Rodems & Cook, P.A.
Email response of Michael Laurato, 02/12/201301:03:37 PM
What does all of this have to do with me? And, why am I receiving emails on this?
Michael V. Laurato
Mr. Castagliuolo wrote Mr. Clark 04/16/2013 10:27:21 AM
Thank you Mr. Clark. And I'm sorry for giving you a hard time a few months ago, but
this guy is like a snake, and for someone claiming to be handicapped, he never gives up.
We as lawyers have little or no defense to attacks like his, but lucky for us, there aren't
too many Gillespies out there.
Eugene
It ain't about how hard you hit, it's about how hard you can GET hit....and keep moving
forward Rocky Balboa
The foregoing is representative of the 23 pages of email of Mr. Castagliuolo.
Appendix 3 Email Oct-22-2012, Mr. Castagliuolo to Theodore Littlewood, The Florida Bar,
provided by letter of Bar Counsel Leonard Clark October 26, 2012.
But can you possibly tell me exactly how much longer I must endure the slings and
arrows of this piece of garbage Gillespie before you will act upon his "complaint" ?
I plan to sue Gillespie as soon as The Florida Bar complaint is closed.
Appendix 4 Response Aug-30-2012, Castagliuolo to Florida Bar complaint, 2013-10,162(D)
This is my response to the nonsensical complaint filed against me by my former client,
Neil J. Gillespie...Gillespie is on the government dole, perhaps wrongfully...
Indeed he is a "professional complainant" who gives new meaning to the phrase useless human being.
The response shows cc: Office of the Inspector General, Social Security Disability
Administration (by regular U. S. Mail).
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4
Appendix 5 Response Sep-19-2012, Castagliuolo to Mr. Littlewood, The Florida Bar
Once again, it's hard to imagine how Gillespie, while being saddled with such a long
laundry list of handicaps, would be capable of producing this epic 59 page tome! I'm
quite sure that will be the first question asked by the SSDI Benefits Fraud Unitinvestigators after they examine the entire public record of this debacle. All in good time,
all in good time...
Letter shows evidence of coordinated racketeering, cc: to Mr. Rodems and Mr. Bauer.
Appendix 6 Email Oct-26-2012, Castagliuolo to Leonard Clark, The Florida Bar
Each of these filings, like all of his previous filings, sound like the rantings of a lunatic.
As such, I will not dignify either with a detailed response, other than to generally deny
each and every statement uttered by Gillespie in these filings.
I must make one clarification, however, of a point that I raised in my previous rebuttals. I
had previously stated that "in my spare time" I would challenge Gillespie's handicapped
status with the Social Security Administration. I no longer feel this way. Instead, I plan to
devote whatever time and energy is necessary to bring Gillespie's prolific defamatory
statements and conduct to the attention of the SSA as crystal clear evidence that he is not
handicapped. My pursuit of this goal will be anything but casual.
Furthermore, I have a lawsuit drafted and ready to be filed in Pinellas County against
Gillespie just as soon as you close this case...
Appendix 7 ADA Accommodation Request, October 26, 2012, Neil Gillespie to Florida BarCounsel Leonard Clark, cc: "Karin Huffer" ; "Paul F Hill"
; "Kenneth Lawrence Marvin" ; "Theodore P
Littlewood"
Dear Mr. Clark: Attached you will find my letter to Mr. Littlewood dated October 25,
2012 relative to Mr. Castagliuolos ongoing criminal harassment of me in violation of
Section 784.048(2), Florida Statutes. Included is my September 25, 2012 notice to Mr.
Castagliuolo not to send email.
Today I received email from you at 2:02 p.m. that forwarded Castagliuolos email below.
This is not acceptable. In the future please respond to me in writing. This is a disabilityaccommodation request made under the Americana With Disabilities Act (ADA), 42
USC 12101 et seq., and Sections 504 and 508 of the Rehabilitation Act of 1973, and any
other applicable law.
As soon as possible I plan to make more formal and detailed disability accommodation
request to Paul Hill. But the nature of my disability has delayed that request.
Castagliuolos threats and harassment today have delayed my complaint to ACAP about
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5
Robert W. Bauer, so Castagliuolos ongoing criminal harassment is preventing, delaying
or interfering with my use the services of, or participation in programs or activities
provided by the Florida Bar, a public entity.
In addition, Florida Bar Rule 4-8.4(d) states "A lawyer shall not engage in conduct in
connection with the practice of law that is prejudicial to the administration of justice,including to knowingly, or through callous indifference, disparage, humiliate, or
discriminate against litigantson any basis, including, but not limited to disability."
This is a request to include each such disability-based threat, humiliation, disparagement,
or discrimination by Mr. Castagliuolo against me as a new ethics violation.
I suppose Mr. Castagliuolo is free to file lawsuits against me, or "challenge Gillespie's
handicapped status with the Social Security Administration." But it is not appropriate or
lawful to use the Florida Bar complaint process as a basis for that behavior. Thank you.
Sincerely,Neil J. Gillespie
8092 SW 115th Loop
Ocala, FL 34481
Appendix 8 October 25, 2012 letter w/enc. of Neil Gillespie to Theodore P. Littlewood Jr.,
Bar Counsel, re threatening and harassing communication of Eugene P. Castagliuolo.
Appendix 9 October 22, 2012 letter of Eugene P. Castagliuolo to Neil Gillespie.
TAKE CAREFUL NOTICE that I shall continue to send you copies of all of my filings
and responses to and with The Florida Bar bye-mail and ONLY BY E-MAIL.
I couldn't care less whether this is to your liking, whether you read my e-mails, or
whether you don't read my e-mails. Note further that at least one and possibly as many as
three have already been sent by email. The fact that you have chosen to "delete them
unread" is your problem and not mine.
Be mindful that this message is being mailed to you via U. S. Mail as a one-time courtesy
only. There will not be a second notice.
Appendix 10 September 25, 2012 letter, Neil Gillespie to Eugene P. Castagliuolo, please do not
send me email, it is not welcome.
Note: I am not certain that the above contains every such contact that was received.
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CASTAGIIUIIIUW, P A.
8 1 West Bay
Drive Suite 3 1
727) 7 1 2 3 3 3 3
Largo, FL
33770
June19,2013
SusanVarnerBloemendaal
ChiefBranchDisciplineCounsel
THEFLORIDABAR
4200GeorgeJ.BeanParkway,Suite2580
Tampa,FL 33607-1496
RE: ComplaintbyNeil
J
Gillespie
TheFloridaBarFileNo. 2013-10,162(60)
Dear
Ms.
l o ~ m e n d a a l
Iam in receiptofmycopyof yourlettertoGillespiedatedJune13,2013. Evidently,Gillespie"appealed"
Mr.Clark'sdecisiontoclosetheabove-referencedfile,whichisinteresting,becausehefailedtoprovide
mewithanynoticewhatsoever
of
his"appeal." Yourletterwas"my firstnoticeof thisaction.
WhileIampleasedtolearnthatthisloserhasnotbrokenhis"losingstreak"(whichhasincludedlosing
beforetheSCOTUS),Iamappalledthathefailedtoserveanynotice
of
his"appeal"uponme.
Ihavecollectedalarge
pi'le
of themany, manydocumentsfiledin various,placesbyGillespieoverthe
pastseveralyears,andIam lookingforwardtofurnishingthatpiletotheSSDIabuseinvestigatorfor
Florida. Therefore, Iam herebyrequesting,fromeitheryourofficeor fromthe"complainant"
himself, completeand exhaustive copies
of
a,ny paperswhatsoeverfiled byGillespiein his
"appeal"
of
Mr.
Clark'sdecision.
Iwillbeaddingthese
new
documentstothepile. OncetheSSA
reviewsthefruitsof Gillespie'slabor,I'mconfidentthathis"handicap"statuswillbeverymuchatissue.
Thankyouforyouranticipatedpromptattentiontothisrequest.
Verytrulyyours,
EUGENE
P
CASTAGLIUOLO
cc: RobertW Bauer,Esquire(bye-mail)
RyanChristopherRodems,Esquire(bye-mail)
Office' oftheInspectorGeneral,SocialSecurityDisabilityAdministration(byregularU. S. Mail)
Gillespie
8092 W
11S
th
Loop
Ocala,FL34481
Append
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The Florida Bar
Tampa Branch Office
4200 George
J.
Bean
Parkway
Suite 2580
John
F. Harkness,
Jr.
Tampa Florida 33607-1496
(813) 875-9821
Executive Director
www.FLORIDABAR.org
May 16,2013
Mr. Neil J Gillespie
8092 S.W. 115th Loop
Ocala, FL 34481
Re: Complaint of Neil
J
Gillespie against Eugene
P
Castagliuolo
The Florida Bar File No. 2013-10,162 (6D)
Dear Mr. Gillespie:
am writing you on behalf of Gwynne Young, President of the Florida Bar, in
response to your letter dated May 13,2013. On January 4 2013 you submitted an
additional complaint against Mr. Rodems. Your secondary complaint was
incorporated with your original complaint against Mr. Rodems. As you are aware,
that case was closed by a staff and chair dismissal on April 11, 2013. On May 13,
2013, you notified the undersigned that you disagreed with the decision to close
the Rodems matter. Per your request, the Rodems case has been referred to the
designated reviewer, Sandra Diamond, to determine if the closing was appropriate.
Your letter also requested a status update on the complaint you filed against Mr.
Castagliuolo. Mr. Castagliuolo's case closed on May 13,2013, as a staff and chair
dismissal. The Florida Bar sent you a letter dated May 13,2013, notifying you of
the closure. By the time you read this letter, you should be in receipt of the May
13
letter.
Previously, you made a public records request in the Castagliuolo case, but the Bar
was unable to provide you with records because the case was still open. Now that
the case is closed, I have attached the public records in the case that have not been
previously provided to you. The attachment consists of e-mails primarily between
the undersigned and Mr. Castagliuolo. All other public records involved in this
Append
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Re: Florida Bar File
No.
2013-10,162 (6D)
Leonard E Clark
to:
Eugene P Castagliuolo, Esq.
Bee: Carol B Sullivan
11/28/2012 03:50 PM
Okay, that is fine.
Leonard E
Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J
Bean Pkwy, 8te. 2580
Tampa, FI 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
Eugene P Castagliuolo, Esq.
I'm on another call but will call you
i
11/28/2012 03:46:33
PM
From:
To:
Date:
Subject:
Eugene
P
Castagliuolo, Esq.
Leonard E Clark
11/28/2012 03:46 PM
Re: Florida Bar File No. 2013-10,162 60)
I'm on another call but will call you
in
about 15 minutes.
Thanks
Eugene
www TampaConsumerLawyer com
Eugene
P
Castagliuolo, Esquire
CASTAGLIUOLO LAW:
P
A
801 West Bay Drive
Suite 301
Largo, Florida 33770
(727) 712-3333
CONFIDENTIALITY: This e-mail message (and any associated files) from Castagliuolo Law, P
A is
for
the sole use of the intended recipient or recipients and may contain confidential and privileged information.
Any unauthorized review, use, disclosure, distribution, or other dissemination of this e-mail
m ~ s g
and/or the information contained therein is strictly prohibited. If you are not the intended recipient of this
e-mail message, please contact the sender by reply email or by telephone at (727) 712-3333 and destroy
all copies of the original message.
From: Leonard E Clark
To: Eugene P Castagliuolo, Esq.
Sent: Wednesday, November
28,2012
3:43 PM
Subject:
Re:
Florida Bar File No. 2013-10,162
60)
Mr. Castagliuolo,
Please call me when you have time to discuss the current status of you case. Thank
you.
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Leonard E. Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J
Bean Pkwy, 5te. 2580
Tampa,
FI
33607
Phone: (813) 875-9821
Fax: (813) 872-6953
From: "Eugene P. Castagliuolo, Esq."
To: Leonard
E
Clark
Date: 11/28/2012 03:37 PM
Subject:
Re:
Florida Bar File No. 2013-10,162 (6D)
Dear Mr. Clark:
You stated that you would give me a status check on this matter, and I am requesting one. Is there any
chance you might be able to tell me when your investigation will be completed and your findings revealed?
Thanks
Eugene
www.TampaConsumerLawyer.com
Eugene P. Castagliuolo, Esquire
CASTAGLIUOLO LAW P A.
801
est
Bay Drive
Suite
301
Largo, Florida 33770
(727) 712-3333
CONFIDENTIALITY: This e-mail message (and any associated files) from Castagliuolo Law,
P.
A. is for
the sole use of the intended recipient or recipients and may contain confidential and privileged information.
Any unauthorized review, use, disclosure, distribution, or other dissemination of this e-mail message
and/or the information contained therein is strictly prohibited. If you are not the intended recipient of this
e-mail message, please contact the sender by reply email or by telephone at (727) 712-3333 and destroy
all copies
of
the original message.
From:
Leonard E Clark
To: "Eugene
P.
Castagliuolo, Esq."
Cc: Gillespie
Sent: Friday, October 26, 2012 2:02 PM
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Subject: Re: Florida Bar File No. 2013-10,162 (60)
Dear Mr. Castagliuolo,
I am currently assigned to your case. I believe I have all the information I need
to complete the investigation of your case. If I require additional information from you or Mr . Gillespie, I will
let you know. Additionally, I will keep you updated on the status of your case.
Leonard
E
Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J
Bean Pkwy, Ste. 2580
Tampa,
FI
33607
Phone: (813) 875-9821
Fax: (813) 872-6953
From: "Eugene P Castagliuolo, Esq."
To: Leonard Clark
Cc:
Gillespie mfLnet>
Date: 10/26/2012 01 :45 PM
Subject: Florida Bar File No 2013-10,162 (6D)
Dear Mr. Clark,
t
is my understanding that you are now handling the
above-referenced
complaint filed
against me.
This
e-mail constitutes
my response to the
latest
of Gillespie's endless filings; these
last
two
were dated October 18
and
October 22, 2012.
Each of these filings, like all of his previous filings, sound like
the rantings
of a lunatic.
As
such, I will
not
dignify either
with
a detailed
response,
other
than
to
generally
deny each
and every statement
uttered
by Gillespie in these filings.
I must
make
one
clarification, however,
of a point that I raised in my
previous
rebuttals.
had
previously stated
that "in
my
spare time I
would
challenge Gillespie's handicapped
status with the
Social
Security Administration.
I no
longer
feel
this way. Instead,
I plan
to
devote
whatever time
and
energy
is necessary
to
bring
Gillespie's
prolific
defamatory
statements
and conduct to
the
attention of the SSA as crystal clear evidence that he is not
handicapped. My pursuit of
this
goal will be
anything but casual.
Furthermore,
I have a
lawsuit
drafted and
ready to
be filed in Pinellas
County against
Gillespie just as soon as you close this case. This case is
not
based upon
this complaint, but
rather, it
will be based upon
Gillespie's defaming me,
as well as his
independent
pUblication
of personal and
private
matters about me on the
internet.
I
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Thank you
EPC
www TampaConsumerLawyer com
Eugene
P
Castagliuolo, Esquire
CASTAGLIUOLO LAW P A.
801 West Bay Drive
Suite 301
Largo, Florida
33770
727) 712-3333
CONFIDENTIALITY: This e-mail message and any associated files) from Castagliuolo Law,
P
A
is
for
the sole use
of
the intended recipient
or
recipients and
may
contain confidential
and privileged information. Any unauthorized review, use, disclosure, distribution, or other
dissemination of this e-mail message and/or the information contained therein is strictly
prohibited. f you are
not
the intended recipient of this
message, please contact the
sender by reply email or by telephone at
727)
712-3333 and
destroy
all copies
of
the
original message.
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Fw: GILLESPIE
Leonard E Clark to: Carol B Sullivan
02/12/2013 12:38 PM
Leonard E Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J.
Bean Pkwy, Ste. 2580
Tampa, FI 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
----- Forwarded
by
Leonard E Clark/The Florida Bar on 02/12/2013 12:37 PM ----
From:
To:
"Leonard E Clark"
Cc:
[email protected], "Ryan Rodems"
Date:
02/12/2013 12:25 PM
Subject: RE: GILLESPIE
No way no how Mr. Clark.
You called me PRECISELY BECAUSE you had just spoken to the local chair.
This case was and is VERY important to me, it is the one case I have to think about, not
the hundreds or perhaps thousands that you have to think about. So my memory of
these events is flawless and perfect and I KNOW what you said to me. And so does
Mr. Rodems, because we spoke by phone after your news, we were both happy that
justice had finally been served.
No, try this on somebody else, Mr. Clark, it's not going to work with me.
Eugene
P.
Castagliuolo,
Esquire
Licensed To Practice aw n lorida
&
New Jersey
www.TampaConsumerLawyer.com
Graduate, Pete
Barry's
FDCPA Boot
Camp
....
. ~ ~ ~
NA .
rA NaUonal Association of
.
"
. . .
C()n'slJrtle'r /\dv()Ca:les
, lI..
I.." ........:.r..
CASTAGLIUOLO LAW,
P. A.
801
West
Bay Drive Suite
301
Largo, FL 33770
(727) 712-3333
CONFIDENTIALITY:
This e-mail message (and any associated files) from Castagliuolo
Law,
P.
A.
is
for the sole use
of
the intended recipient or recipients and may contain
confidential and privileged information. Any unauthorized review, use, disclosure,
distribution, or other dissemination of this e-mail message and/or the information
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
14/55
contained therein
is
strictly prohibited. If you are not the intended recipient of this e-mail
message, please contact the sender by reply email or by telephone at (727) 712-3333
and destroy all copies of the original message.
-------- Original Message -------
Subject:
RE:
GILLESPIE
From: Leonard E Clark
Date: Tue, February 12, 2013
12:
13 pm
To:
Mr Castagluiolo,
I never lied to you. I explained the process that I was looking into to attempt to
resolve this case as quickly as possible. When I spoke to you in early December, I had not yet received
the recommendation from the chair. Accordingly, it is impossible that I said the chair and I were in
complete agreement. My statement was if the chair and I were
in
complete agreement I would draft a
staff and chair dismissal letter , which is signed by the chair. As I previously stated, I now have that
recommendation and I wanted to consider a few things before I made my final decision. I anticipate that
decision will be made in the next few days. If you have any further questions about this case, feel free to
contact me.
Leonard
E
Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J
Bean Pkwy, Ste. 2580
Tampa, FI 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
From:
To:
"Leonard E Clark"
Cc:
[email protected], "Ryan Rodems" , "Michael Laurato" , [email protected]
Date: 02/12/201311:13AM
Subject: RE: GILLESPIE
Mr Clark, I cannot remember when (if ever) in my career that I've been so deceived
and outright lied to by an attorney in a position such as yours. I
am
seriously
considering filing an ethics violation against YOU myself, but I want to calm down and
consider this situation rationally before I do.
No, Mr. Clark, you most certainly did NOT tell me that, following the chair's
"recommendation," that you would yourself have to make yet another
"recommendation." What you
explicitly
told me was that both you and the chair
were in complete agreement that not a scintilla of evidence existed in support of this
creep's complaint(s), not only against me, but against the other attorneys as well. You
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made it quite clear that this matter
was
done and
over
with. There was no
indecision on your part, other than that you planned to wait until Gillespie's ridiculous
Florida Supreme Court pleading deadline had passed (on or about December 10,
2012) before you would send out the letter advising me
of
your decision, and advising
him that, once again, he was a loser.
As you well know, Mr. Clark, the REAL problem with this matter
is
that The Florida Bar
shivers and quakes whenever Gillespie opens his mouth or begins to type. Gillespie
certainly has received far more consideration from your Office than I a Florida Bar
member, has enjoyed. By seeking to avoid Gillespie's venom, you have thrown me
and several other Florida Bar members under the bus. That you and your colleagues
do not protect Florida Bar members who have been savaged by garbage like Gillespie
is sad.
I assure you that this is not the end of this Mr. Clark.
EPC
Eugene P. Castagliuolo, Esquire
Licensed
To
Practice aw n lorida
&
New Jersey
w w w T a m p a o n s u m e r L a w ~ e r c o m
Graduate, Pete Barry's FDCPA "Boot Camp"
'.
~ ~ :
N
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To:
Mr. Castagliuolo,
As I previously mentioned to you t your case was sent to the chair of the grievance
committee to consider a staff and chair dismissal. The chair of the aforementioned committee has made
a recommendation and I am in the process
of
determining what my recommendation will
be.
Once that is
completed a letter will be sent out to all of the parties. As you know, the complainant has alleged many
rule violations which need to be evaluated.
Leonard
E
Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J.
Bean PkwYt Ste. 2580
Tampa, FI 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
From:
To:
"Leonard Clark"
Date:
02/12/201309:56 AM
Subject:
GILLESPIE
Kindly reply to my previous 2 e-mails and my telephone call to your office last week, all
of which have gone unanswered.
If I don't hear from you
in
due course, my next call will be to your boss in Tallahassee.
Thanks
Eugene
Eugene P Castagliuolo, Esquire
Licensed
To
Practice aw
n
lorida New Jersey
www.TamRaConSumerLawyer.com
Graduate, Pete Barry's FDCPA
Boot
Camp
y
~ ~
N
A
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CONFIDENTIALITY
This e-mail message and any associated files) from
Castagliuolo Law, P A is for the sole use
o
the intended recipient or recipients and
may contain confidential and privileged information. Any unauthorized review, use,
disclosure, distribution, or other dissemination of this e-mail message and/or the
information contained therein is strictly prohibited. If you are not the intended recipient
o this e-mail message, please contact the sender by reply email or by telephone at
727) 712-3333 and destroy all copies
o
the original message.
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
18/55
RE: GILLESPIE
Leonard E Clark
to:
Michael Laurato
Bee: Carol
B
Sullivan
02 13 2013
08: 19 AM
I
have no idea why Mr. Castagliuolo copied you on the emails.
Leonard E Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George J
Bean Pkwy, Ste. 2580
Tampa, FI 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
Michael Laurato
What does all of this have to do with me? And, ...
02 12 2013 01
:03:37
PM
From:
To:
Date:
Subject:
Michael Laurato
Leonard E Clark
02 12 2013 01:03 PM
RE:
GILLESPIE
What does all
o
this have
to
do
with
me? And,
why
am I receiving emails on this?
Michael
V.
Laurato
From:
Leonard E Clark [mailto:LClark@ flabar.org]
Sent: Tuesday
February 12 2013
12:37
PM
To:
Ryan
Rodems
Subject: RE:
GILLESPIE
I am not sure either but thanks for the support.
Leonard
E.
Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J
Bean Pkwy, Ste. 2580
Tampa,
FI
33607
Phone: (813) 875-9821
Fax: (813) 872-6953
From: Ryan Rodems
To: Leonard E Clark
Date: 02/12/2013 12:16 PM
Subject: RE: GILLESPIE
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
19/55
Mr. Clark:
I am not sure why Mr. Castagliuolo has copied me on this e-mail he wrote to you. I am at a complete loss
to understand why he has written this to you. I assure you that I do not share his sentiments.
Sincerely,
Ryan Christopher Rodems
Barker, Rodems Cook, P.A.
501 East Kennedy Boulevard, Suite 790
Tampa, Florida 33602
813/489-1001 (Office)
813/205-1198 (Mobile)
E-mail: [email protected]
NOTICE: This message (including attachments)
is
covered by the Electronic Communication Privacy Act,
18 U.S.C. 2510-2521, is intended to be confidential, and is also protected by the attorney-client
privilege or other privilege. It is not intended for review or use by third parties or unintended recipients. If
you are not the intended recipient, you are requested to delete the data and destroy any physical copies.
Any retention, dissemination, distribution, or copying of this communication is strictly prohibited.
From:
eugene@tampaconsumerlawyer
.com
[mailto :[email protected]]
Sent: Tuesday
February
12 2013
11:14 AM
To: Leonard
E
Clark
Cc:
Ryan
Rodems; Michael Laurato; [email protected]
Subject:
RE:
GILLESPIE
Mr. Clark, I cannot remember when (if ever) in my career that I've been so deceived
and outright lied to by an attorney in a position such as yours. I am seriously
considering filing an ethics violation against YOU myself, but I want to calm down and
consider this situation rationally before I do.
No, Mr. Clark, you
most
certainly did NOT tell me that, following the
chair's
recommendation, that
you would yourself have
to
make yet
another
recommendation.
What you explicitly told me was that both you and the chair
were in complete agreement that not a scintilla of evidence existed in support of this
creep's complaint(s), not only against me, but against the other attorneys as well. You
made it quite clear that this matter was done and over with.
There was no
indecision on your part, other than that you planned to wait until Gillespie's ridiculous
Florida Supreme Court pleading deadline had passed (on or about December 10, 2012)
before you would send out the letter advising me of your decision, and advising him
that, once again, he was a loser.
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
20/55
As you well know, Mr. Clark, the REAL problem with this matter
is
that The Florida Bar
shivers and quakes whenever Gillespie opens his mouth or begins to type. Gillespie
certainly has received far more consideration from your Office than I a Florida Bar
member,
has enjoyed. By seeking to avoid Gillespie's venom, you have thrown me
and several other Florida Bar members under the bus. That you and your colleagues
do not protect Florida Bar members who have been savaged by garbage like Gillespie
is sad.
I assure you that this is not the end of this Mr. Clark.
EPC
Eugene P. Castagliuolo, Esquire
Licensed o Practice aw In lorida
&
New Jersey
w w w T a m ~ a o n s u m e r L a w y e r c o m
Graduate, Pete Barry's FDCPA
"Boot
Camp"
w
~ N ~ ~ ~ u ~ ~ ~ ~ ~ ~ ~ ~ f
CASTAGLIUOLO LAW, P. A.
801 West Bay Drive Suite 301
Largo,
FL
33770
(727) 712-3333
CONFIDENTIALITY: This e-mail message (and any associated files) from Castagliuolo
Law,
P.
A. is for the sole use of the intended recipient or recipients and may contain
confidential and privileged information. Any unauthorized review, use, disclosure,
distribution, or other dissemination of this e-mail message and/or the information
contained therein is strictly prohibited. If you are not the intended recipient of this e-mail
message, please contact the sender by reply email or by telephone at (727) 712-3333
and destroy all copies of the original message.
-------- Original Message
-------
Subject:
Re:
GILLESPIE
From: Leonard E Clark
Date: Tue, February 12, 2013
10:33
am
To:
Mr. Castagliuolo,
As I previously mentioned to you, your case was sent to the chair
of
the grievance
committee to consider a staff and chair dismissal. The chair
of
the aforementioned committee has made a
recommendation and I
am
in the process of determining what my recommendation will be. Once that
is
completed a letter will be sent out to all of the parties. As you know, the complainant has alleged many
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
21/55
rule violations which need to be evaluated.
Leonard E Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J
Bean Pkwy, Ste. 2580
Tampa, FI 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
From:
To: "Leonard Clark"
Date: 02/12/201309:56 AM
Subject: GILLESPIE
Kindly reply to my previous 2 e-mails and my telephone call to your office last week, all
of which have gone unanswered.
If I don't hear from you in due course, my next call will be to your boss in Tallahassee.
Thanks
Eugene
Eugene P Castagliuolo, Esquire
Licensed
To
Practice
aw
n lorida
&
New Jersey
www.TampaConsumerLaw.ler.com
Graduate, Pete
Barry's
FDCPA Boot Camp
N A N ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ r
CASTAGLIUOLO LAW, P A.
801
West Bay Drive Suite
301
Largo, FL 33770
(727) 712-3333
CONFIDENTIALITY: This e-mail message (and any associated files) from Castagliuolo
Law, P A is for the sole use of the intended recipient or recipients and may contain
confidential and privileged information. Any unauthorized review, use, disclosure,
distribution, or other dissemination
of
this e-mail message and/or the information
contained therein
is
strictly prohibited. If you are not the intended recipient of this e-mail
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
22/55
message, please contact the sender by reply email or by telephone at 727) 712-3333
and destroy all copies o the original message.
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
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Fw: FL Bar File No. 2013-10,162 (6D)
Leonard E Clark
to:
Carol B Sullivan
02 06 2013 01 :25 PM
Leonard
E
Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J
Bean Pkwy, Ste. 2580
Tampa, FI 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
----- Forwarded by Leonard E Clark /The Florida Bar on
02 06 2013 01
:25 PM ----
From:
To: "Leonard Clark"
Cc: "Michael Laurato" , neilgillespie@mfLnet
Date:
02 06 2013 11 :57 AM
Subject: FL Bar File No. 2013-10, 162 (6D)
Dear Mr. Clark:
First, please adjust your records to reflect my new e-mail address.
Secondly, please provide me with a letter of final disposition
of
this Gillespie
abomination. I have a whistleblower complaint about this fool to file with the Social
Security Administration, but I want to receive your letter first.
Thank you
EPC
Eugene
P.
Castagliuolo, Esquire
CASTAGLIUOLO LAW, P. A.
801
est
Bay Drive Suite
301
Largo, FL 33770 (727) 712-3333
CONFIDENTIALITY: This e-mail message (and any associated files) from Castagliuolo
Law,
P. A.
is for the sole use
of
the intended recipient or recipients and may contain
confidential and privileged information. Any unauthorized review, use, disclosure,
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
24/55
distribution, or other dissemination
o
this e-mail message and/or the information
contained therein s strictly prohibited. If you are not the intended recipient
o
this e-mail
message, please contact the sender by reply email or by telephone at 727) 712-3333
and destroy all copies o the original message.
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
25/55
RE: GILLESPIE
Leonard E Clark
to:
eugene
04/16/2013 11:37 AM
Bee:
Carol B Sullivan
No apology is necessary. I understand that the grievance process can be frustrating from time to time and
that you were
just
venting.
Leonard E Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George J. Bean Pkwy, Ste. 2580
Tampa,
FI
33607
Phone: (813) 875-9821
Fax: (813) 872-6953
Thank you Mr. Clark. And I'm sorry for giving yo...
04/16/2013 10:27:21 AM
From:
To:
"Leonard E Clark"
Date:
04/16/2013 10:27 AM
Subject:
RE: GILLESPIE
Thank you
Mr
Clark. And I'm sorry for giving you a hard time a few months ago, but
this guy is like a snake, and for someone claiming to be handicapped, he never gives
up We as lawyers have little or no defense to attacks like his, but lucky for us, there
aren't too many Gillespies out there.
Eugene
It
ain't about
how
hard you
hit, it's
about
how
hard you
can GET hit....
and
keep
moving forward
Rocky
Balboa
Eugene P Castagliuolo Esquire
Licensed To Practice Law In Florida
&
New Jersey
www.TampaConsumerLawyer.com
~ : I ~
,Nati()l1cll Assl1cja,tion of
~
Co:nS lJtller J\dvocates
CASTAGLIUOLO LAW,
P
A
801
West
Bay
Drive Suite
301
Largo, FL 33770 (727) 7123333
CONFIDENTIALITY: This e-mail message (and any associated files) from Castagliuolo Law, P A is for
the sole use of the intended recipient or recipients and
may
contain confidential and privileged information.
Any unauthorized review, use, disclosure, distribution,
or
other dissemination of this e-mail message
and/or the information contained therein is strictly prohibited. If you are not the intended recipient of this
e-mail message, please contact the sender by reply email or by telephone at (727) 712-3333 and destroy
all copies of the original message.
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
26/55
--------
Original Message -------
Subject:
RE: GILLESPIE
From: Leonard E Clark
Date: Tue, April
16 2013
9:55
am
To: < [email protected] >
Correct. The case will be closed as a staff and chair dismissal just like Mr . Rodems case.
Leonard
E
Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J
Bean Pkwy, 5te. 2580
Tampa, FI 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
From:
To: Leonard E Clark
Date:
04/16/201309:52
AM
Subject:
RE: GILLESPIE
By closing I presume you mean a
finding
of no probable cause?
Eugene P Castagliuolo, Esquire
CASTAGLlUOLO LAW,
P
A
www.TampaConsumerLawyer.com
727) 712-3333
From: Leonard E Clark
Sent: 4/16/2013 9:43 AM
Subject:
RE:
GILLESPIE
Mr. Castagliuolo,
I anticipate that your closing letter will be sent to the chair for his signature by the end
of
the week and
should be mailed out to you within the next two weeks.
Leonard
E
Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J
Bean Pkwy, 5te. 2580
Tampa, FI 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
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27/55
From:
To: Leonard E Clark
Date: 04/15/2013 02:52 PM
Subject:
RE:
GILLESPIE
Mr
Clark,
It's been 2 months since you sent me this e-mail telling me that you anticipate that [a]
decision will be made in the next few days with regard to Gillespie's complaint about
me.
It is my understanding that Mr Rodems has had his complaint dismissed, and it looks
like Gillespie
is
on his way to, once again, be denied rel ief by SCOTUS. When will I
get my relief?
Your prompt response will be appreciated.
Thank you
EPC
It ain't about
how
hard you hit, it's about how hard you can GET hit. and keep moving
forward Rocky
Balboa
Eugene P Castagliuolo, Esquire
Licensed
To
Practice Law In Florida & New
Jersey
www.TampaConsumerLawyer.com
CASTAGLIUOLO LAW,
P A
801
West
Bay Drive
Suite 301
Largo, FL 33770 (727) 7123333
CONFIDENTIALITY: This e-mail message (and any associated files) from Castagliuolo Law, P
A
is for
the sole use of the intended recipient or recipients and may contain confidential and privileged
information. Any unauthorized review, use, disclosure, distribution, or other dissemination of this e-mail
message and/or the information contained 'therein is strictly prohibited. If you are not the intended
recipient
of
this e-mail message, please contact the sender by reply email or by telephone at (727)
712-3333 and destroy all copies of the original message.
Original Message
-
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
28/55
Subject: RE GILLESPIE
From: Leonard E Clark
Date: Tue, February 12, 2013 12: 13 pm
To:
Mr. Castagluiolo,
I never lied to you. I explained the process that I was looking into to attempt to resolve
this case as quickly as possible. When I spoke to you in early December, I had not yet received the
recommendation from the chair. Accordingly, it is impossible that I said the chair and I were in complete
agreement. My statement was if the chair and I were in complete agreement I would draft a staff and
chair dismissal letter, which is signed by the chair. As I previously stated, I now have that
recommendation and I wanted to consider a few things before
I made my final decision. I anticipate that
decision will be made in the next few days. If you have any further questions about this case, feel free to
contact me.
Leonard E Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J
Bean Pkwy, Ste. 2580
Tampa, FI 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
From:
To "Leonard E Clark"
Cc sbloemen@flabar,org, "Ryan Rodems" , "Michael Laurato" I [email protected]
Date: 02 12 2013 11:13 AM
Subject: RE GILLESPIE
Mr. Clark, I cannot remember when (if ever) in my career that I've been so deceived
and outright lied to by an attorney
in
a position such as yours. I am seriously
considering filing an ethics violation against YOU myself, but I want to calm down and
consider this situation rationally before I do.
No, Mr. Clark, you most
certainly did
NOT tel l me that, following the
chair's
"recommendation,"
that
you would yourself have to make yet
another
"recommendation.
What you
explicitly
told me was that both you and the chair
were
in
complete agreement that not a scintilla of evidence existed
in
support of this
creep's complaint(s), not only against me, but against the other attorneys as well.
You
made it quite clear
that
this matter was done and over with.
There was no
indecision on your part, other than that you planned to wait until Gillespie's ridiculous
Florida Supreme Court pleading deadline had passed (on or about December 10,
2012) before you would send out the letter advising me
of
your decision, and advising
him that, once again, he was a loser.
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
29/55
As you well know, Mr. Clark, the REAL problem with this matter is that The Florida Bar
shivers and quakes whenever Gillespie opens his mouth
or
begins to type. Gillespie
certainly has received far more consideration from your Office than I a Florida Bar
member,
has enjoyed. By seeking to avoid Gillespie's venom, you have thrown me
and several other Florida Bar
members
under the bus. That you and your colleagues
do not protect Florida Bar
members
who have been savaged by garbage like Gillespie
is sad.
I assure you that this is not the end of this Mr. Clark.
EPC
Eugene P. Castagliuolo, Esquire
Licensed o Practice aw In lorida
&
New Jersey
w w w T a m ~ a o n s u m e r L a w y e r c o m
Graduate, Pete Barry's FDCPA
Boot
Camp"
CASTAGLIUOLO LAW,
P.
A.
801 West
Bay Drive Suite 301
Largo, FL 33770 (727) 712-3333
CONFIDENTIALITY:
This e-mail message (and any associated files) from
Castagliuolo Law, P. A. is for the sole use
of
the intended recipient or recipients and
may contain confidential and privileged information. Any unauthorized review, use,
disclosure, distribution, or other dissemination
of
this e-mail message and/or the
information contained therein is strictly prohibited. If you are not the intended recipient
of
this e-mail message, please contact the sender by reply email or by telephone at
(727) 712-3333 and destroy all copies
of
the original message.
-------- Original Message
-------
Subject: Re: GILLESPIE
From: Leonard E Clark
Date: Tue, February 12, 2013
10:33 am
To:
Mr. Castagliuolo,
As I previously mentioned to you, your case was sent to the chair of the grievance
committee to consider a staff and chair dismissal. The chair of the aforementioned committee has made
a recommendation and I am in the process of determining what my recommendation will be. Once that is
completed a letter will be sent out to all of the parties. As you know, the complainant has alleged many
rule violations which need to be evaluated.
Leonard E. Clark
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
30/55
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George J Bean Pkwy, Ste. 2580
Tampa, FI 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
From:
To:
"Leonard Clark"
Date: 02/12/201309:56 AM
Subject: GILLESPIE
Kindly reply to my previous 2 e-mails and my telephone call to your office last week, all
of
which have gone unanswered.
If I don't hear from you
in
due course, my next call will be to your boss
in
Tallahassee.
Thanks
Eugene
Eugene
P
Castagliuolo, Esquire
Licensed
To
Practice
aw n
lorida
&
New Jersey
w w w T a m p a o n s u m e r L a w ~ e r c o m
Graduate, Pete Barry's FDCPA Boot Camp
CASTAGLIUOLO LAW, P A.
801 West Bay Drive Suite 301
Largo, FL 33770 (727) 712-3333
CONFIDENTIALITY: This e-mail message (and any associated files) from
Castagliuolo Law, P
A
is for the sole use of the intended recipient or recipients and
may contain confidential and privileged information. Any unauthorized review, use,
disclosure, distribution, or other dissemination of this e-mail message and/or the
information contained therein is strictly prohibited. If you are not the intended recipient
of this e-mail message, please contact the sender by reply email or by telephone at
(727) 712-3333 and destroy all copies
of
the original message.
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
31/55
TFB
v
Castagliuolo
Leonard E Clark
to:
eugene
05/13/2013 10:59 M
Bee:
Carol
B
Sullivan
Mr. Castagliuolo,
Please find attached the staff and chair closing letter in the above referenced case. The original will be
placed
in
the mail to you today. Please let me know if you have any questions.
Staff and Chair NPC Letter.pdf
Leonard E Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George
J
Bean Pkwy, Ste. 2580
Tampa, FI 33607
Phone: 813) 875-9821
Fax: 813) 872-6953
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THE
FLORIDA
BAR
TAMPA BRANCH OFFICE
JOHN F. HARKNESS JR.
4200
GEORGE J BEAN
PARKWAY SlIlTE 2580 (813)875-9821
EXECUTIVE DIRECTOR
www.FLABAR.ORG
TAMPA
FLORIDA 33607-1496
October26 2012
Mr.NeilJ Gillespie
8092S.W.115ThLoop
Ocala,FL34481
Re: Con1plaint
by
NeilJ GillespieagainstEugenePCastagliuolo
TheFloridaBarFileNo.2013-10,162 (6D)
DearMr.Gillespie:
Pursuantto your public records request dated September 15, 2012, Ihave enclosedadditional
correspondencereceivedfromMr. Castagliuolo.Pleasefindattachedto thisletteranemailfrom
Mr.CastagliuolototheFloridaBardatedOctober
22 2012.
Inreviewing the tile, it appears that all othercorrespondence from Mr. Castagliuolohas been
provided to you. Specifically, Mr. Castagliuolo's response to the fifteen (15) day letter dated
August 30, 2012, andhisfollow upresponseto thefifteen(15) dayletterdated September19,
2012.If yourequireadditionalinformation,pleasecontact
me
attheabovereferencednumber.
Sincerelyyours,
LeonardEvansClark
BarCounsel
Append
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33/55
Gillespie
Eugene
P, Castagliuolo, Esq.
10/22/201203:40
PM
Please respond to Eugene P.
Castagliuolo,
Esq.
Mr. LittJewood,
I have long ago disavowed the notion that The Florida Bar exists for the
professional welfare and benefit of its members,
of
which I am one.
t
clearly (and sadly) does not. But can you possibly tell me exactly how much
longer I must endure the slings and arrows of this piece
of
garbage Gillespie
before
you
will act upon his
complaint
I plan to sue Gillespie as soon as The Florida Bar complaint is closed. FYI
my
complaints will
be
based upon his publishing the details
of
my personal
life on
the
internet and his recording
of
our telephone conversations without
my
consent.
Thank you in advance for what I hope will be a prompt, meaningful
response.
Eugene
www.TampaConsumerLawyer.com
Eugene
P.
CastagHuolo
,
Esquire
CASTAGLIUOLO LAW
P.
A.
801 West
Bay Drive
Suite
301
Largo, Florida 33770
727) 712-3333
CONFIDENTIALITY: This e-mail message (and any associated files) from Castagliuoto Law,
P. A. is for the sole use of the intended recipient or recipients and
may
contain confidential
and privileged information. Any unauthorized review, use, disclosure, distribution,
or
other
disseminatjon
of
this e-mail message and/or the information contained therein is strictly
prohibited.
f you are
not the
intended
recipient of this
message, please
contact the
sender
by
reply email
or
y telephone at 727)
712-3333
and destroy all copies of the
original message.
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
34/55
~ G t S
. P / . , o S ~
.;.
-..
o
(Ii
a:
.
'
.
. . ,
DJ)+c:
PROfE.'':J\
THE
FLORIDA
BAR
T H E
FLORIDA
BAR
TAMPA OFFICE
4200 GEORGE J.
BEAN
PARKWAY
SUITE
2580
TAMPA, FL 33607
our website
www.FLORIDABAR.org
CONFIDENTIAL
.
'Hasler
1
0/25/2012
l l E ~ 1 r ; m l
Mr. Neil
J.
Gillespie
8092
S.w.
15Th Loop
Ocala, FL 34481
3
C
i-48 i
S:E:
7 9 2
I.
t
I
t
.11.1111111111 1
t .111 J 11 11. tIt II
f .It J.I ttl
tl
JI
J
til
f
FIRST-CLASS MAIL
00.45
2
ZIP 33607
011010627777
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Append
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37/55
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Append
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cc: Dr. Karin HufferPaul HillKenneth MarvinTheodore Littlewood
----- Original Message -----From:Leonard E Clark
To: Eugene P. Castagliuolo, Esq.Cc: GillespieSent:Friday, October 26, 2012 2:02 PMSubject:Re: Florida Bar File No. 2013-10,162 (6D)
Dear Mr. Castagliuolo,
I am currently assigned to your case. I believe I have all the information I
need to complete the investigation of your case. If I require additional information from you or Mr.
Gillespie, I will let you know. Additionally, I will keep you updated on the status of your case.
Leonard E. Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George J. Bean Pkwy, Ste. 2580
Tampa, Fl 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
From: "Eugene P. Castagliuolo, Esq."
To: Leonard Clark Cc: Gillespie
Date: 10/26/2012 01:45 PM
Subject: Florida Bar File No. 2013-10,162 (6D)
Dear Mr. Clark,
It is my understanding that you are now handling the above-referenced complaint filed against
me.
This e-mail constitutes my response to the latest of Gillespie's endless filings; these last two
were dated October 18 and October 22, 2012.
Each of these filings, like all of his previous filings, sound like the rantings of a lunatic. As such, I
will not dignify either with a detailed response, other than to generally deny each and every
statement uttered by Gillespie in these filings.
I must make one clarification, however, of a point that I raised in my previous rebuttals. I had
Page 2 of 3
10/27/2012
Appendix
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previously stated that "in my spare time" I would challenge Gillespie's handicapped status with
the Social Security Administration. I no longer feel this way. Instead, I plan to devote whatevertime and energy is necessary to bring Gillespie's prolific defamatory statements and conduct to
the attention of the SSA as crystal clear evidence that he is not handicapped. My pursuit of this
goal will be anything but casual.
Furthermore, I have a lawsuit drafted and ready to be filed in Pinellas County against Gillespie
just as soon as you close this case. This case is not based upon this complaint, but rather, it willbe based upon Gillespie's defaming me, as well as his independent publication of personal and
private matters about me on the internet.
Thank youEPC
w w w .Ta m p a Co n su m e r La w y e r .c o m
Eugene P. Castagliuolo, Esquire
CASTAGLI UOLO LAW , P . A .
801 West Bay DriveSuite 301Largo, Florida 33770
(727) 712-3333
CONFIDENTIALITY: This e-mail message (and any associated files) from Castagliuolo Law, P. A.is for the sole use of the intended recipient or recipients and may contain confidential and
privileged information. Any unauthorized review, use, disclosure, distribution, or otherdissemination of this e-mail message and/or the information contained therein is strictly
prohibited. If you are not the intended recipient of this e-mail message, please contact the sender
by reply email or by telephone at (727) 712-3333 and destroy all copies of the original message.
Page 3 of 3
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Neil Gillespie
From: "Neil Gillespie" To: "Leonard E Clark" Cc: "Karin Huffer" ; "Paul F Hill" ; "Kenneth Lawrence
Marvin" ; "Theodore P Littlewood" Sent: Friday, October 26, 2012 4:51 PM
Attach: Letter of Mr. Castagliuolo, File No. 2013-10,162 (6D).pdfSubject: Re: Florida Bar File No. 2013-10,162 (6D); ADA Disability Accommodation Request
Page 1 of 3
10/27/2012
Leonard E. Clark, Bar CounselTampa Branch Office, The Florida Bar
RE: Eugene P Castagliuolo; The Florida Bar File No. 2013-10,162 (6D)ADA Disability Accommodation Request
Dear Mr. Clark:
Attached you will find my letter to Mr. Littlewood dated October 25, 2012 relative to Mr.Castagliuolos ongoing criminal harassment of me in violation of Section 784.048(2), Florida
Statutes. Included is my September 25, 2012 notice to Mr. Castagliuolo not to send email.
Today I received email from you at 2:02 p.m. that forwarded Castagliuolos email below. This isnot acceptable. In the future please respond to me in writing. This is a disability accommodationrequest made under the Americana With Disabilities Act (ADA), 42 USC 12101 et seq., andSections 504 and 508 of the Rehabilitation Act of 1973, and any other applicable law.
As soon as possible I plan to make more formal and detailed disability accommodation request toPaul Hill. But the nature of my disability has delayed that request. Castagliuolos threats andharassment today have delayed my complaint to ACAP about Robert W. Bauer, soCastagliuolos ongoing criminal harassment is preventing, delaying or interfering with my usethe services of, or participation in programs or activities provided by the Florida Bar, a publicentity.
In addition, Florida Bar Rule 4-8.4(d) states "A lawyer shall not engage in conduct in connectionwith the practice of law that is prejudicial to the administration of justice, including toknowingly, or through callous indifference, disparage, humiliate, or discriminate againstlitigantson any basis, including, but not limited to disability."
This is a request to include each such disability-based threat, humiliarion, disparagement, ordiscrimination by Mr. Castagliuolo against me as a new ethics violation.
I suppose Mr. Castagliuolo is free to file lawsuits against me, or "challenge Gillespie's
handicapped status with the Social Security Administration." But it is not appropriate or lawfulto use the Florida Bar complaint process as a basis for that behavior. Thank you.
Sincerely,
Neil J. Gillespie8092 SW 115th LoopOcala, FL 34481
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42/55
cc: Dr. Karin HufferPaul HillKenneth MarvinTheodore Littlewood
----- Original Message -----From:Leonard E Clark
To: Eugene P. Castagliuolo, Esq.Cc: GillespieSent:Friday, October 26, 2012 2:02 PMSubject:Re: Florida Bar File No. 2013-10,162 (6D)
Dear Mr. Castagliuolo,
I am currently assigned to your case. I believe I have all the information I
need to complete the investigation of your case. If I require additional information from you or Mr.
Gillespie, I will let you know. Additionally, I will keep you updated on the status of your case.
Leonard E. Clark
Bar Counsel
Tampa Branch Office
The Florida Bar
4200 George J. Bean Pkwy, Ste. 2580
Tampa, Fl 33607
Phone: (813) 875-9821
Fax: (813) 872-6953
From: "Eugene P. Castagliuolo, Esq."
To: Leonard Clark Cc: Gillespie
Date: 10/26/2012 01:45 PM
Subject: Florida Bar File No. 2013-10,162 (6D)
Dear Mr. Clark,
It is my understanding that you are now handling the above-referenced complaint filed against
me.
This e-mail constitutes my response to the latest of Gillespie's endless filings; these last two
were dated October 18 and October 22, 2012.
Each of these filings, like all of his previous filings, sound like the rantings of a lunatic. As such, I
will not dignify either with a detailed response, other than to generally deny each and every
statement uttered by Gillespie in these filings.
I must make one clarification, however, of a point that I raised in my previous rebuttals. I had
Page 2 of 3
10/27/2012
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
43/55
previously stated that "in my spare time" I would challenge Gillespie's handicapped status with
the Social Security Administration. I no longer feel this way. Instead, I plan to devote whatevertime and energy is necessary to bring Gillespie's prolific defamatory statements and conduct to
the attention of the SSA as crystal clear evidence that he is not handicapped. My pursuit of this
goal will be anything but casual.
Furthermore, I have a lawsuit drafted and ready to be filed in Pinellas County against Gillespie
just as soon as you close this case. This case is not based upon this complaint, but rather, it willbe based upon Gillespie's defaming me, as well as his independent publication of personal and
private matters about me on the internet.
Thank youEPC
w w w .Ta m p a Co n su m e r La w y e r .c o m
Eugene P. Castagliuolo, Esquire
CASTAGLI UOLO LAW , P . A .
801 West Bay DriveSuite 301Largo, Florida 33770
(727) 712-3333
CONFIDENTIALITY: This e-mail message (and any associated files) from Castagliuolo Law, P. A.is for the sole use of the intended recipient or recipients and may contain confidential and
privileged information. Any unauthorized review, use, disclosure, distribution, or otherdissemination of this e-mail message and/or the information contained therein is strictly
prohibited. If you are not the intended recipient of this e-mail message, please contact the sender
by reply email or by telephone at (727) 712-3333 and destroy all copies of the original message.
Page 3 of 3
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Via Email: [email protected], and October 25, 2012
U.P.S. No. lZ64589FP292045149
Theodore P. Littlewood Jr., Bar Counsel
The Florida Bar, ACAP
651
East Jefferson Street
Tallahassee, FL 32399-2300
Dear Mr. Littlewood:
Enclosed you will find Mr. Castagliuolo's letter to me dated October 22, 2012 that states:
TAKE CAREFUL NOTICE that I shall continue to send you copies
of
all
of
my filings
and responses to and with The Florida Bar bye-mail and ONLY
Y
E-MAIL.
I couldn't care less whether this is to your liking, whether you read my e-mails, or
whether you don't read my e-mails. Note further that at least one and possibly as many as
three have already been sent by email. The fact that you have chosen to delete them
unread is your problem and not mine.
Be mindful that this message
is
being mailed to you via
U
S. Mail as a one-time courtesy
only. There will not be a second notice.
Also enclosed is my September 25, 2012 notice to Mr. Castagliuolo not to send email.
As indicated in the enclosed email to Ms. Jolinski, Records Manager, I have requested copies
of
the files in the Castagliuolo complaint, and the Rodems complaint, and will do so weekly.
As for Mr. Castagliuolo's ongoing harassing and inappropriate behavior, I will address that issue
separately with Paul Hill and provide you a copy
of
the correspondence. Thank you.
Sinc
cc: First Class Mail, Eugene P Castagliuolo, File No. 2013-10,162 (6D)
cc: First Class Mail, Ryan Christopher Rodems, File No. 2013-10,271 (13E)
cc: Email, Paul Hill, General Counsel
cc: Email, Kenneth L. Marvin, Director of Lawyer Regulation
cc: Email, Ms. Jolinski, Records Manager
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CASTAGIIUOIOLAW P.A.
8 1 West Bay
Drive
Suite 3 1
(
727
7 2 3 3 3 3
Largo,
FL 33770
October 22, 2012
Gillespie
8092 S. W. 115th Loop
Ocala, FL 34481
TAKE CAREFUL NOTICE that I shall continue to send you copies of all of my filings and responses to
and with The Florida Bar
bye mail
and ONLY BY E-MAIL.
I couldn't care less whether this is to your liking, whether you read my e-mails,
or
whether you don't read
my e-mails. Note further that at least one and possibly as many as three have already been sent by e
mail. The fact that you have chosen to "delete them unread" is your problem and not mine.
Be mindful that this message is being mailed to you via
U.
S. Mail as a one-time courtesy only. There
will not be a second notice.
EUGENE
P.
CASTAGLIUOLO
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46/55
VIA UPS, No. lZ64589FP293065812
September 25, 2012
Eugene P. Castagliuolo
801
West Bay Drive, Suite 301
Largo, FL 33770
PLEASE TAKE NOTICE: STOP SENDING
ME EMAIL
Re: Eugene P Castagliuolo, The Florida Bar File No. 2013-10,162 (6D)
Dear Mr. Castagliuolo:
PLEASE TAKE NOTICE: Do not send me email.itis not welcome. Stop sending me email.
You have been on my blocked email list since July, 2011 in an attempt to block your harassing
and abusive email, including email falsely accusing me
of
crimes. You are engaged in a course
of
conduct directed at a me which causes substantial emotional distress to me and serves no
legitimate purpose. Your behavior is also a crime, see Section 784.048(2), Florida Statutes.
Because you are on my blocked email list, email from you is quarantined in my spam filter,
making email from you unreliable communication
in
the Bar complaint process. This recently
caused a problem with your response to my complaint dated August 30, 2012 that you did not
send by email until September 4, 2012, and which I did not receive until September 7, 2012.
On August
1
2012 you wrote by email: "Your e-mail is blocked from this point forward. Any
new e-mail addresses you dream up will similarly be blocked just as soon as I learn them." Your
subsequent email to me is marked "OUTGOING E-MAIL ONLY" making this an unequal
method
of
communication.
You are instructed not to send me email. Any future email from you will be deleted unread. You
are also not permitted to telephone me. Please communicate only by U.S. Mail or third-party
commercial carrier such as UPS or FedEx. Thank you
in
advance for your cooperation.
cc: Theodore P. Littlewood Jr., Bar Counsel
Attorney Consumer Assistance Program
The Florida Bar
651
East Jefferson Street
Tallahassee, FL 32399-2300
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Neil Gillespie
From: "Neil Gillespie" To: "Jenny Jolinski" Cc: "Theodore P Littlewood" ; "Kenneth Lawrence Marvin" ;
"Paul F Hill" Sent: Thursday, October 25, 2012 12:40 AM
Attach: Sep-15-12 Records request to Mr. Littlewood, re 2013-10,162 (6D) Castagliuolo.pdfSubject: New records request; Castagliuolo File No. 2013-10,162 (6D); Rodems File No. 2013-10,271 (13E)
Page 1 of 1
10/25/2012
Jenny R. Jolinski, CRM CDIA+Records Manager, The Florida Bar
Dear Ms. Jolinski,
Attached is a PDF copy of a records request I made September 15, 2010 to Mr. Littlewood in myopen complaint against Eugene Castagliuolo, File No. 2013-10,162 (6D). As of today, fiveweeks later, I do not have a response from Mr. Littlewood. Subsequently I received a letter fromMr. Castagliuolo announcing his refusal to provide copies all of his filings and responses to andwith The Florida Bar by mail.
Therefore I am making a new records request to you in the following two open cases for everyrecord or document in each file, including emails, and documents and records that I may haveprovided.
Eugene P Castagliuolo, File No. 2013-10,162 (6D)Ryan Christopher Rodems, File No. 2013-10,271 (13E)
I will renew this records request each week, in each of the above complaints, to make sure I amreceiving all the documents. I regret any inconvenience this may cause. Thank you.
Sincerely,
Neil Gillespie8092 SW 115th LoopOcala, FL 34481
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48/55
Via Email: [email protected], and
U.S. Postal Service First Class Mail
September 15, 2012
Theodore P. Littlewood Jr., Bar Counsel
Attorney Consumer Assistance Program
The Florida Bar
65 East Jefferson Street
Tallahassee, FL 32399-2300
Re: Records Request, Eugene P. Castagliuolo
The Florida Bar File No. 2013-10,162 (6D)
Dear Mr. Littlewood:
This is a request for records in the above captioned Bar complaint. I am requesting records that
mention me, Mr. Castagliuolo, or the Bar complaint, including records of the type of contact
reported by Castagliuolo in his August 30, 2012 response to you showing Mr. Rodems made an
unsolicited offer to assist Castagliuolo in any future Bar grievance from me. (p.3,
"My opposing counsel at Gillespie's deposition was Ryan Christopher "Chris" Rodems.
Chris once remarked to me, unsolicited, that he would be happy to speak to The Florida
Bar on my behalf if Gillespie grieved me the way he did Bob Bauer."
I do not need copies
of
letters I have sent you, because I already have those. Likewise, I have
your letter and enclosures dated August 17, 2012, and Mr. Castagliuolo's response of August 30,
2012, so I
don t
need those either.
Please consider this an ongoing records request in this matter. You may provide the records in
PDF by email
if
that is more convenient for you. Thank you.
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
49/55
Via Email: [email protected], and October 25, 2012
U.P.S. No. lZ64589FP292045149
Theodore P. Littlewood Jr., Bar Counsel
The Florida Bar, ACAP
651
East Jefferson Street
Tallahassee, FL 32399-2300
Dear Mr. Littlewood:
Enclosed you will find Mr. Castagliuolo's letter to me dated October 22, 2012 that states:
TAKE CAREFUL NOTICE that I shall continue to send you copies
of
all ofmy filings
and responses to and with The Florida Bar bye-mail and ONLY Y E-MAIL.
I couldn't care less whether this is to your liking, whether you read my e-mails, or
whether you don't read my e-mails. Note further that at least one and possibly as many as
three have already been sent by email. The fact that you have chosen to delete them
unread is your problem and not mine.
Be mindful that this message is being mailed to you via U S. Mail as a one-time courtesy
only. There will not be a second notice.
Also enclosed is my September 25, 2012 notice to Mr. Castagliuolo not to send email.
As indicated in the enclosed email to Ms. Jolinski, Records Manager, I have requested copies of
the files in the Castagliuolo complaint, and the Rodems complaint, and will do so weekly.
As for Mr. Castagliuolo's ongoing harassing and inappropriate behavior, I will address that issue
separately with Paul Hill and provide you a copy of the correspondence. Thank you.
Sinc
cc: First Class Mail, Eugene P Castagliuolo, File No. 2013-10,162 (6D)
cc: First Class Mail, Ryan Christopher Rodems, File No. 2013-10,271 (13E)
cc: Email, Paul Hill, General Counsel
cc: Email, Kenneth L. Marvin, Director
of
Lawyer Regulation
cc: Email, Ms. Jolinski, Records Manager
Append
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50/55
CASTAGIIUOIOLAW P.A.
8 1 West Bay
Drive
Suite 3 1
(
727
7 2 3 3 3 3
Largo,
FL 33770
October 22, 2012
Gillespie
8092 S. W. 115th Loop
Ocala, FL 34481
TAKE CAREFUL NOTICE that I shall continue to send you copies of all of my filings and responses to
and with The Florida Bar
bye mail
and ONLY BY E-MAIL.
I couldn't care less whether this is to your liking, whether you read my e-mails,
or
whether you don't read
my e-mails. Note further that at least one and possibly as many as three have already been sent by e
mail. The fact that you have chosen to "delete them unread" is your problem and not mine.
Be mindful that this message is being mailed to you via
U.
S. Mail as a one-time courtesy only. There
will not be a second notice.
EUGENE
P.
CASTAGLIUOLO
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51/55
VIA UPS, No. lZ64589FP293065812
September 25, 2012
Eugene P. Castagliuolo
801
West Bay Drive, Suite 301
Largo, FL 33770
PLEASE TAKE NOTICE: STOP SENDING
ME EMAIL
Re: Eugene P Castagliuolo, The Florida Bar File No. 2013-10,162 (6D)
Dear Mr. Castagliuolo:
PLEASE TAKE NOTICE: Do not send me email.itis not welcome. Stop sending me email.
You have been on my blocked email list since July, 2011 in an attempt to block your harassing
and abusive email, including email falsely accusing me
of
crimes. You are engaged in a course
of
conduct directed at a me which causes substantial emotional distress to me and serves no
legitimate purpose. Your behavior is also a crime, see Section 784.048(2), Florida Statutes.
Because you are on my blocked email list, email from you is quarantined in my spam filter,
making email from you unreliable communication
in
the Bar complaint process. This recently
caused a problem with your response to my complaint dated August 30, 2012 that you did not
send by email until September 4, 2012, and which I did not receive until September 7, 2012.
On August
1
2012 you wrote by email: "Your e-mail is blocked from this point forward. Any
new e-mail addresses you dream up will similarly be blocked just as soon as I learn them." Your
subsequent email to me is marked "OUTGOING E-MAIL ONLY" making this an unequal
method
of
communication.
You are instructed not to send me email. Any future email from you will be deleted unread. You
are also not permitted to telephone me. Please communicate only by U.S. Mail or third-party
commercial carrier such as UPS or FedEx. Thank you
in
advance for your cooperation.
cc: Theodore P. Littlewood Jr., Bar Counsel
Attorney Consumer Assistance Program
The Florida Bar
651
East Jefferson Street
Tallahassee, FL 32399-2300
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52/55
Neil Gillespie
From: "Neil Gillespie" To: "Jenny Jolinski" Cc: "Theodore P Littlewood" ; "Kenneth Lawrence Marvin" ;
"Paul F Hill" Sent: Thursday, October 25, 2012 12:40 AM
Attach: Sep-15-12 Records request to Mr. Littlewood, re 2013-10,162 (6D) Castagliuolo.pdfSubject: New records request; Castagliuolo File No. 2013-10,162 (6D); Rodems File No. 2013-10,271 (13E)
Page 1 of 1
10/25/2012
Jenny R. Jolinski, CRM CDIA+Records Manager, The Florida Bar
Dear Ms. Jolinski,
Attached is a PDF copy of a records request I made September 15, 2010 to Mr. Littlewood in myopen complaint against Eugene Castagliuolo, File No. 2013-10,162 (6D). As of today, fiveweeks later, I do not have a response from Mr. Littlewood. Subsequently I received a letter fromMr. Castagliuolo announcing his refusal to provide copies all of his filings and responses to andwith The Florida Bar by mail.
Therefore I am making a new records request to you in the following two open cases for everyrecord or document in each file, including emails, and documents and records that I may haveprovided.
Eugene P Castagliuolo, File No. 2013-10,162 (6D)Ryan Christopher Rodems, File No. 2013-10,271 (13E)
I will renew this records request each week, in each of the above complaints, to make sure I amreceiving all the documents. I regret any inconvenience this may cause. Thank you.
Sincerely,
Neil Gillespie8092 SW 115th LoopOcala, FL 34481
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53/55
Via Email: [email protected], and
U.S. Postal Service First Class Mail
September 15, 2012
Theodore P. Littlewood Jr., Bar Counsel
Attorney Consumer Assistance Program
The Florida Bar
65 East Jefferson Street
Tallahassee, FL 32399-2300
Re: Records Request, Eugene P. Castagliuolo
The Florida Bar File No. 2013-10,162 (6D)
Dear Mr. Littlewood:
This is a request for records in the above captioned Bar complaint. I am requesting records that
mention me, Mr. Castagliuolo, or the Bar complaint, including records of the type of contact
reported by Castagliuolo in his August 30, 2012 response to you showing Mr. Rodems made an
unsolicited offer to assist Castagliuolo in any future Bar grievance from me. (p.3,
"My opposing counsel at Gillespie's deposition was Ryan Christopher "Chris" Rodems.
Chris once remarked to me, unsolicited, that he would be happy to speak to The Florida
Bar on my behalf if Gillespie grieved me the way he did Bob Bauer."
I do not need copies
of
letters I have sent you, because I already have those. Likewise, I have
your letter and enclosures dated August 17, 2012, and Mr. Castagliuolo's response of August 30,
2012, so I
don t
need those either.
Please consider this an ongoing records request in this matter. You may provide the records in
PDF by email
if
that is more convenient for you. Thank you.
8/11/2019 Separate Appendix-Petition 13-7280-NOT SERVED
54/55
CASTAGIIUOIOLAW
P.A.
8 1
West Bay
Drive
Suite 3 1
( 727 7 2 3 3 3 3
Largo, FL 33770
October 22, 2012
Gillespie
8092 S. W. 115th Loop
Ocala, FL 34481
TAKE CAREFUL NOTICE that I shall continue to send you copies of all
of
my filings and responses to
and with The Florida Bar bye mail and ONLY BY E-MAIL.
I couldn't care less whether this is to your liking, whether you read my e-mails,
or
whether you don't read
my e-mails. Note further that at least one and possibly as many as three have already been sent by e
mail. The fact that you have chosen to "delete them unread" is your problem and not mine.
Be mindful that this message is being mailed to you via U. S. Mail as a one-time courtesy only. There
will not be a second notice.
EUGENE
P.
CASTAGLIUOLO
Append
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55/55
VIA UPS, No. lZ64589FP293065812
September 25, 2012
Eugene P. Castagliuolo
801
West Bay Drive, Suite
301
Largo, FL 33770
PLEASE TAKE NOTICE: STOP SENDING ME EMAIL
Re: Eugene P Castagliuolo, The Florida Bar File No. 2013-10,162 (6D)
Dear Mr. Castagliuolo:
PLEASE TAKE NOTICE: Do not send me email.itis not welcome. Stop sending me email.
You have been on my blocked email list since July, 2011 in an attempt to block your harassing
and abusive email, including email falsely accusing me
of
crimes. You are engaged in a course
of
conduct directed at a me which causes substantial emotional distress to me and serves no
legitimate purpose. Your behavior is also a crime, see Section 784.048(2), Florida Statutes.
Because you are on my blocked email list, email from you is quarantined in my spam filter,
making email from you unreliable communication
in
the Bar complaint process. This recently
caused a problem with your response to my complaint dated August 30, 2012 that you did not
send by email until September 4, 2012, and which I did not receive until September 7, 2012.
On August
1
2012 you wrote by email: "Your e-mail is blocked from this point forward. Any
new e-mail addresses you dream up will similarly be blocked just as soon as I learn them." Your
subsequent email to me is marked "OUTGOING E-MAIL ONLY" making this an unequal
method
of
communication.
You are instructed not to send me email. Any future email from you will be deleted unread. You
are also not permitted to telephone me. Please communicate only by U.S. Mail or third-party
commercial carrier such as UPS or FedEx. Thank you
in
advance for your cooperation.
cc: Theodore P. Littlewood Jr., Bar Counsel
Attorney Consumer Assistance Program
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