??
NO RESPONSE TO PETITIONER'S
MOTION AND AFFIDAVIT
??
Patricia A. Draper, Arbitrator                                 VIA FACSIMILE: (850) 413-0132 & U.S. MAIL
Department of Business and Professional Regulation, Arbitration Section
1940 North Monroe Street, Tallahassee, Florida 32399-1029
IN RE: PETITION FOR ARBITRATION                                                         Case No. 00-1960
MANUEL BLANCO,v.THE VILLAGE OF KINGS CREEK CONDOMINIUM ASSOCIATION, INC.
Petitioner                      Respondent
____________________________________________________________/
  NO RESPONSE TO PETITIONER’S MOTION PURSUANT TO RULE  61B-45.044(1)
Up to and including March 28, 2001 the Petitioner has not received via U.S. Mail a copy of any response to the PETITIONER’S MOTION FOR REHEARING dated March 13, 2001 and to the PETITIONER’S ADDENDUM TO MOTION FOR REHEARING dated March 13, 2001. 

The designated time period allowed for the filing of any response to the PETITIONER’S MOTION FOR REHEARING AND ITS ADDENDUM has terminated, pursuant to the Florida Administrative Code Rule 61B-45.044(1) which reads in pertinent part “Any response to the motion must be filed within 10 days of service of the motion”

I certify that a copy hereof has been furnished to Jorge L. Piedra, Phillips, Eisinger, Koss, Rothstein & Rosenfeldt, P. A., Presidential Circle, 4000 Hollywood Boulevard, Suite 265 South, Hollywood, Florida 33021 by U. S. mail this 29th day of March, 2001.
 

         SIGNATURE 

Manuel Blanco, Petitioner
7915 Camino Real, Unit N-302
Miami, Florida 33143
(305) 554-5771

 
Patricia A. Draper, Arbitrator 
Department of Business and Professional Regulation, Arbitration Section
1940 North Monroe Street, Tallahassee, Florida 32399-1029

IN RE: PETITION FOR ARBITRATION                                                           Case No. 00-1960

MANUEL BLANCO, v.THE VILLAGE OF KINGS CREEK CONDOMINIUM ASSOCIATION, 
                                       INC. 
Petitioner                      Respondent
________________________________________________________________/
                               PETITIONER MANUEL BLANCO’S AFFIDAVIT

STATE OF FLORIDA           )
                                                ) SS.
COUNTY OF MIAMI-DADE )

BEFORE ME, the undersigned authority, this day personally appeared MANUEL BLANCO, personally known to me, who, after being duly sworn, did depose and state as follows:

1. I am the Petitioner in the Arbitration Case No. 00-1960.

2. The PETITIONER’S MOTION FOR REHEARING and the PETITIONER’S ADDENDUM TO MOTION FOR REHEARING were both on March 13th, 2001 mailed via U.S. Mail and faxed via (850) 413-0132 to Arbitrator Patricia A. Draper, Department of Business and Professional Regulation, Arbitration Section, 1940 North Monroe Street, Tallahassee, Florida 32399-1029. 

3. A copy of the PETITIONER’S MOTION FOR REHEARING and a copy of the PETITIONER’S ADDENDUM TO MOTION FOR REHEARING were both on March 13th, 20001 mailed via U.S. Mail to Jorge L. Piedra, PHILLIPS, EISINGER, ROTHSTEIN & ROSENFELDT, P. A., Presidential Circle, 4000 Hollywood Boulevard, Suite 265 South, Hollywood, Florida 33021.

4. The NO RESPONSE TO PETITIONER’S MOTION PURSUANT TO RULE 61B-45.044(1) was on March 29th, 2001 both mailed via U.S. Mail and faxed via (850) 413-0132 to Arbitrator Patricia A. Draper, Department of Business and Professional Regulation, Arbitration Section, 1940 North Monroe Street, Tallahassee, Florida 32399-1029. 

5. A copy of the NO RESPONSE TO PETITIONER’S MOTION PURSUANT TO RULE 61B-45.044(1) was on March 29th, 2001 mailed via U.S. Mail to Jorge L. Piedra, PHILLIPS, EISINGER, ROTHSTEIN & ROSENFELDT, P. A., Presidential Circle, 4000 Hollywood Boulevard, Suite 265 South, Hollywood, Florida 33021. 

6. I have not received a response to the PETITIONER’S MOTION FOR REHEARING and to the PETITIONER’S ADDENDUM TO MOTION FOR REHEARING from Arbitrator Patricia A. Draper.

7. I have not received a response to the PETITIONER’S MOTION FOR REHEARING and to the PETITIONER’S ADDENDUM TO MOTION FOR REHEARING from the Respondent’s Law Firm PHILLIPS, EISINGER, KOSS, ROTHSTEIN & ROSENFELDT, P. A.

8. I am not in possession of any response to the PETITIONER’S MOTION FOR REHEARING and to the PETITIONER’S ADDENDUM TO MOTION FOR REHEARING. 

9. The PETITIONER’S RESPONSE TO MOTION FOR ATTORNEY’S FEES AND COST was mailed via U.S. Mail on April 14th, 2001 and faxed via (850) 413-0132 on April 15, 2001 to Arbitrator Patricia A. Draper. 

FURTHER AFFIANT SAYETH NAUGHT.

______________________
                                                                                                                                  MANUEL BLANCO

The foregoing instrument was acknowledged before me this 21st day of April, 2001, by MANUEL BLANCO, who is personally known to me and who did take an oath.
 

____________________________________________
                                                                                                             Notary Public, State of Florida
My commission expires:

CERTIFICATE OF SERVICE

I certify that a copy hereof has been furnished to Jorge L. Piedra, PHILLIPS, EISINGER, KOSS, ROTHSTEIN & ROSENNFELT, P. A., Presidential Circle, 4000 Hollywood Boulevard, Suite 265 South, Hollywood, Florida 33021 by U.S. mail this 21st day of April, 2001. 

________________________
Manuel Blanco, Petitioner
7915 Camino Real, Unit N-302
Miami, Florida 33143
(305) 554-5771