Attorney Michael Markcity filed documents with the court where he claimed he represented myself and my legal interests. I've never met him, hired him, retained his services or were even aware that he had filed a lawsuit claiming had the legal right to represent my interests.
Attorney Michael Markcity filed documents with the court where he claimed he represented myself and my legal interests. I've never met him, hired him, retained his services or were even aware that he had filed a lawsuit claiming had the legal right to represent my interests.
Attorney Michael Markcity filed documents with the court where he claimed he represented myself and my legal interests. I've never met him, hired him, retained his services or were even aware that he had filed a lawsuit claiming had the legal right to represent my interests.
The Florida Bar
Inquiry/Complaint Form
PART ONE (See Page 1, PART ONE ~ Complainant Information,):
‘Your Name: James MeLynas
Organization:
Address: 449 129th Ave East, Unit U1
City, State, Zip Code: Madeira Beach Florida 33708
Telephone: 727-599-4374
E-mail: karguy!2@yahoo.com
ACAP Reference No.:
Does this complaint pertain to a matter currently in litigation? Yes rain to a matter currently in litigation? Yes !_No IX
PART TWO (See Page 1, PART TWO ~ Attorney Information.):
Attorney's Name: Michael R. Markcity Florida Bar No.: 486220
‘Address; 8181 West Broward Blvd. Suite 300
City, State, Zip Code: Plantation Florida 33324
Telephone:
PART THREE (See Page 1, PART THREE - Facts/Allegations.): The specific thing or things I
am complaining about are: (attach additional sheets as necessary)
Attorney Michael R. Markcity and the firm of Markcity, Rothman and Cantwell PA filed a litigation in
the County Court of Pinellas County (case# 12-1822-SC) and in doing 60, illegally filed claims on behalf
‘of myself, James McLynas, without the consent, permission, authorization or knowledge of PlaintifF
McLynas. At no point in time did Attorney Markcity inform Mr. McLynas that he was filing this
lawsuit, seeking damages on behalf of Mr. McLynas or pursuing claims or interests in his name. While I
‘am aware of Progressive Insurance company ‘ s possible subrogated interests, Attomey Markcity filed
the suit with portions of the claim that were NOT the subrogated interest of Progressive Insurance
company that remained the sole claim of myself James McLynas, including but not limited to a $500"
loss of use" claim. Furthermore, Progressive's subrogated interests are secondary to the insured's right to
me made whole. In filing this lawsuit in the name of Mr. MeLynas, Attomey Markcity failed to inform
Mr. MeLynas that he was a participant in this litigation, failed to pursue ALL damaged owed Mr.
McLynas, failed to inform Mr. McLynas that they were only seeking to recover a portion of his losses
‘and thus damaged and harmed Mr, McL ynas’ legal right to recover. Furthermore, Progressive Insurance
‘Company sent multiple correspondences to Mr. McLynas informing him that they were "working very
hard” to recover Mr. McLynas’ $500 deductible, but neither Progressive, nor Attomey Markcity ever 50
much as ASKED the at fault party for Mr. McL-ynas' $500 deductible, causing McLynas to falsely
believe that Progressive was pursuing this loss on behalf of their insured, Mr. McLynas, when no such
thing was occurring through Progressive or Attorney Markcity, (See Attached)