Chene M.

Thompson Florida Bar 541540

Richard D. DeBoest, II

Condo & HOA Law Group, LLC

2030 McGregor Blvd. Fort Myers, FL 33901

Chene M. Thompson Florida Bar 541540

Richard D. DeBoest, II

Condo & HOA Law Group, LLC

2030 McGregor Blvd. Fort Myers, FL 33901

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CERTIFIED DELIVERIES TO THE ABOVE DEFENDANTS Chene M. Thompson: 1. You perjured yourself on the Court record. 2. You fraudulently concealed the public record evidence in support of the fraud and fraudulent “lien” by Granada Condominium Homes Association, Inc. 3. You fraudulently concealed the undersigned’s satisfactory and full payment of 1/12 share of the record expenses under the Association By-Laws, Declaration of Condominium, and Ch. 718, F.S. /s/Jorg R. Busse, M.D., M.M., M.B.A. SIGNATURE OF DEFENDANT AND CROSS-CLAIMANT State Certified Residential Appraiser, Licensed Real Estate and Mortgage Broker P.O. Box 11124, Naples, FL 34101-11124, jrbu@aol.com, 239-595-7074

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IN THE CIRCUIT COURT OF THE TWENTIETH JUDICIAL CIRCUIT IN AND FOR COLLIER COUNTY, FLORIDA GRANADA CONDOMINIUM HOMES ASSOCIATION, INC., et al., Plaintiffs, vs. DR. JORG BUSSE [“BUSSE, J. R.”], et al. Clerk’s Case Number: 09 02617CC

DEMAND FOR JURY TRIAL _________________________________________________________________/ MOTION(S) FOR JUDICIAL NOTICE OF PUBLICLY RECORDED ASSOCIATION BY-LAWS AND DECLARATION OF CONDOMINIUM AND IN SUPPORT OF MOTION(S) TO DECLARE TITLE AUTOMATICALLY QUIETED 1. Defendant Dr. Busse hereby moves this Court to take judicial notice of the following Collier County public records in support of the fraud and fraud on the Court by Counsel and Plaintiff Granada Condominium Homes Association, Inc.: a. By-Laws (O.R. 330 / 494 et sequ.); b. Declaration of Condominium (O.R. 330 / 466 et sequ.); c. Certificate of Amendment (O.R. 330 / 483 et sequ.).

THE PURPORTED “LIEN” IS NOT IN EFFECT 2. Pursuant to Collier County Official Records, Book 1332, Page 1750:

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“The lien is in effect until all sums secured by it have been fully paid or until barred by law.” Here, the “lien” was “barred by law” and procured through fraud; and all sums and/or expenses have been “fully paid”. DEF. DR. BUSSE FULLY SATISFIED HIS “LIABILITY” UNDER THE BY-LAWS 3. Pursuant to Collier County Official Records, Book 330, Page 472: “the making and collection of assessments against apartment owners for common expenses shall be pursuant to the By-Laws and subject to the following provisions … each apartment owner shall be liable for a one-twelfth [1/12] share of the common expenses, and shall share in the common surplus, such share being the same as his undivided share in the common elements.” PLAINTIFF ASSOCIATION REFUSED TO DISCLOSE AUDIT REPORTS 4. Pursuant to Collier County Official Records, Book 330, Page 499 [6.7]: “An audit of the accounts of the Association shall be made annually by a certified public accountant, not a member of the Association, and a copy of the report shall be furnished to each member not later than April 1st of the year following the year for which the report is made.” PLAINTIFF’S UNAPPROVED AND/OR FRAUDULENT ASSESSMENTS 5. Pursuant to Collier County Official Records, Book 330, Page 498 [6.2]: “The total of the assessments for recurring common expense shall be not more than 105% of the assessments for this purpose for the prior year unless approved in writing by apartment owners entitled to cast 9 votes in the Association.” 6. Here since 2003, the purported record “assessments for recurring common expense” were “more than 105% of the assessments” and “not approved in writing”. RECORD VIOLATIONS OF FLORIDA BAR UNIFORM TITLE STANDARDS 7. In support of Plaintiff’s and Counsel’s fraud and fraud on the Court, attached are the Uniform Title Standards by the Florida Bar. See Exhibits. Here, Plaintiff’s “lis pendens” was unsupported and for the unlawful purpose of extorting unauthorized and/or fraudulent assessments.

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ESSENTIAL RECORDS OF PLAINTIFF’S DEFUNCT AND/OR BANKRUPT AGENTS 8. The Plaintiff and/or Association’s agents have repeatedly refused to disclose the accounting and expense records of the previous defunct and bankrupt agents for Plaintiff Granada Condominium Homes Association, Inc., such as, e.g., a. “Collier Association Management, Inc.”; b. “Orion Bank”; c. “Palm Property Services, LLC”; d. “Asset Property Management & Services, LLC”. 9. Said records are essential in these and other judicial proceedings, and in particular, because the Plaintiff and Counsel fraudulently initiated a purported “lis pendens” in the absence of expense records and documentation. WHEREFORE, Defendant Dr. Busse demands 1. An Order taking judicial notice of the Plaintiff Association’s said By-Laws, Public Records, Declaration of Condominium, and Certificate(s) of Amendment; 2. An Order declaring the fraudulent lien null and void and/or not in effect and Defendant’s record title free and clear; 3. An Order declaring any and all unapproved assessments null and void under said By-Laws and Public Records; 4. An Order compelling the Association to disclose any and all accounting and other records since 2003 pursuant to said By-Laws, and Ch. 718, Condominiums, Florida Statutes, and in particular the records of said failed and/or defunct Association agents; 5. An Order sanctioning Chene M. Thompson, Esq., Florida Bar 541540, for the prima facie perjury and fraud on the Court she and her firm, Richard D. DeBoest, II, Condo & HOA Law

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Group, LLC, 2030 McGregor Blvd., Fort Myers, FL 33901, perpetrated on the record when Thompson swore to and filed the fraudulent Affidavit (01/28/2010) to mislead this Court. /s/Jorg R. Busse, M.D., M.M., M.B.A. SIGNATURE OF DEFENDANT State Certified Residential Appraiser, Licensed Real Estate and Mortgage Broker P.O. Box 11124, Naples, FL 34101-11124, jrbu@aol.com, 239-595-7074 CERTIFICATE OF SERVICE AND PUBLICATION I HEREBY CERTIFY that a true and correct copy of the above pleading has been furnished to the Plaintiff, Granada Condominium Homes Association, Inc., and/or its agent of record, Platinum Property Management, LLC, North Collier Corporate Center II, 1016 Collier Center Way, Suite 102, Naples, FL 34110, Chene M. Thompson, Esq., Florida Bar 541540, Richard D. DeBoest, II, Condo & HOA Law Group, LLC, 2030 McGregor Blvd., Fort Myers, FL 33901, and to reassigned Judge Eugene C. Turner, Naples Courthouse, 3301 E. Tamiami Trail, Naples, FL 34102, on this 2nd day of March, 2010. The pleading is also being published worldwide. See, e.g., www.scribd.com. /s/Jorg R. Busse, M.D., M.M., M.B.A. SIGNATURE OF DEFENDANT AND CROSS-CLAIMANT State Certified Residential Appraiser, Licensed Real Estate and Mortgage Broker P.O. Box 11124, Naples, FL 34101-11124, jrbu@aol.com, 239-595-7074 CC: Donna Woodruff, Facsimile: 239-252-8020, Clerk of Courts; Angela Turner, J.A.

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IN THE CIRCUIT COURT OF THE TWENTIETH JUDICIAL CIRCUIT IN AND FOR COLLIER COUNTY, FLORIDA GRANADA CONDOMINIUM HOMES ASSOCIATION, INC., et al., Plaintiffs, vs. DR. JORG BUSSE [“BUSSE, J. R.”], et al. Clerk’s Case Number: 09 02617CC

DEMAND FOR JURY TRIAL _____________________________________________________/

NOTICE OF MEETING AND PUBLICATIONS IN SUPPORT OF PLAINTIFF’S FRAUD (March 1, 2010) NOTICE OF PUBLICATIONS 10. Hereby, Defendant Dr. Busse gives this Court notice of the publications in support of Plaintiff’s fraud at: http://www.scribd.com/people/documents/23136066-granadafraud?popular=1 11. In particular, the publication of Defendant’s Affidavit on file can be found at: http://www.scribd.com/doc/27086132/AFFIDAVIT

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NOTICE OF DEFENDANT’S MEETING WITH PLAINTIFF’S AGENT, AND REPEAT REQUEST FOR PLAINTIFF’S RECORDS ON 03/01/2010 12. On Monday, March 1, 2010, at approximately 10:00 AM, on the premises of the subject property, Defendant Dr. Busse spoke to Charles “Chuck” Schumacher with Platinum Property Management, LLC, and again requested disclosure of Plaintiff’s accounting, expense, and other records since 2003 as previously and repeatedly requested. See previous and present legal actions in this Court. REPEAT REFUSAL TO DISCLOSE RECORDS IN ORDER TO DEFRAUD 13. Said agent of the Plaintiff again refused to disclose Plaintiff’s accounting and expense records pursuant to Defendant Dr. Busse’s multiple requests on record under Ch. 718, “Condominiums”, Florida Statutes. ESSENTIAL RECORDS OF PLAINTIFF’S DEFUNCT AND/OR BANKRUPT AGENTS 14. In particular, said agent stated in the presence of a witnessing agent that “he was not privy to” the accounting and expense records of the previous defunct and bankrupt agents for Plaintiff Granada Condominium Homes Association, Inc., such as, e.g., a. “Collier Association Management, Inc.”; b. “Orion Bank”; c. “Palm Property Services, LLC”; d. “Asset Property Management & Services, LLC”. 15. Said records are essential in these and other judicial proceedings, and in particular, because the Plaintiff and Counsel fraudulently initiated a purported “lis pendens”. WHEREFORE, Defendant Dr. Busse demands

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6. An Order compelling the Association to disclose any and all accounting records since 2003 pursuant to Ch. 718, Florida Statutes, and in particular the records of failed Orion Bank; 7. An Order sanctioning Chene M. Thompson, esq., FL Bar 541540, for the prima facie perjury and fraud on the Court she and her firm, Richard D. DeBoest, II, Condo & HOA Law Group, LLC, 2030 McGregor Blvd., Fort Myers, FL 33901, perpetrated on the record when Thompson swore to and filed the fraudulent Affidavit (01/28/2010) to mislead this Court; 8. An Order releasing the fraudulent lien based on said record evidence before this Court, because it fraudulently encumbered Defendant’s otherwise free and clear homestead. /s/Jorg R. Busse, M.D., M.M., M.B.A. SIGNATURE OF DEFENDANT State Certified Residential Appraiser, Licensed Real Estate and Mortgage Broker P.O. Box 11124, Naples, FL 34101-11124, jrbu@aol.com, 239-595-7074 CERTIFICATE OF SERVICE AND PUBLICATION I HEREBY CERTIFY that a true and correct copy of the above pleading has been furnished to the Plaintiff, Granada Condominium Homes Association, Inc., and/or its agent of record, Platinum Property Management, LLC, North Collier Corporate Center II, 1016 Collier Center Way, Suite 102, Naples, FL 34110, Chene M. Thompson, Esq., FL Bar 541540, Richard D. DeBoest, II, Condo & HOA Law Group, LLC, 2030 McGregor Blvd., Fort Myers, FL 33901, and to reassigned Judge Eugene C. Turner, Naples Courthouse, 3301 E. Tamiami Trail, Naples, FL 34102, on this 1 st day of March, 2010. The pleading is also being published worldwide. See, e.g., www.scribd.com. /s/Jorg R. Busse, M.D., M.M., M.B.A. SIGNATURE OF DEFENDANT AND CROSS-CLAIMANT State Certified Residential Appraiser, Licensed Real Estate and Mortgage Broker P.O. Box 11124, Naples, FL 34101-11124, jrbu@aol.com, 239-595-7074 CC: Donna Woodruff, F: 239-252-8020, Clerk of Courts; Angela Turner, J.A.

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