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Government of the people, by the people, for the people

www.nosue.org/neil-j-gillespie-for-president
www.nosue.org/2016-election

Neil J. Gillespie for President, FEC Principal Campaign Committee ID: C00627810; Candidate ID: P60022993 (write-in candidate)

Neil J. Gillespie For President - Leadership in Times of Adversity


Email: neilgillespie@mfi.net - 8092 SW 115th Loop, Ocala, Florida, 34481
2016, SEC Whistleblower Submission #TCR1458580189411, Re: Bank of America/DOJ/AG Bondi
2013, U.S. Supreme Court, Pro Se Petition No. 13-7280 for writ of certiorari; denied/IFP granted
2012, U.S. Supreme Court, Pro Se Petition No. 12-7747 for writ of certiorari; denied/IFP granted
2012, U.S. Supreme Court, Pro Se Application No. 12A215 granted by Justice Clarence Thomas
2005, Gillespie v. HSBC Bank, et al, Case 5:05-cv-362-Oc, U.S.D.C. M.D. FL, Ocala Div. (settled)
Story of the Justice Network - www.nosue.org/my-vision/

blog - www.nosueorg.blogspot.com/

www.facebook.com/pages/The-Justice-Network/150432974991704

Twitter @Justice_Network

Justice Network is engaged in advocacy, education, news gathering & dissemination, and helping
people fight injustice. Justice Network is part of my therapy as a survivor of legal injustice.
FaceMattersOrg raising awareness of craniofacial anomalies, www.nosue.org/facematters-org/
Please note: I am not a lawyer, I did not attend law school, and I am not licensed to practice law.
________________________________________________________
THE EVERGREEN STATE COLLEGE (TESC), OLYMPIA, WASHINGTON (age 39)
Bachelor of Arts (BA), December 16, 1995, concentration in craniofacial anomalies
WHARTON SCHOOL, EVENING DIVISION, UNIVERSITY OF PENNSYLVANIA, PHILADELPHIA
Associate in Business Administration (ABA), December 23, 1988 (age 32)
_______________________________________________________
2010-present, Founder and unpaid editor of the Justice Network website www.nosue.org
2005-2009 - Home caregiver in Ocala Florida for my Mother who died of Alzheimers Disease.
1998-2004 - Part-time temp work, taxi driver, homeless; Bk/Ch 7 Tampa (8:02-bk-14021-TEB).
1993-1997 - Vocational rehabilitation denied in Florida. Received VR services in Olympia, WA.
1989-1992 - Failed business1; US Bankruptcy Court, Reading PA, Chapter 7 (92-20222-tmt).
1980-1988 - Kar Kingdom, Inc., Langhorne, PA, president, owner-operated PA licensed
auto dealer, seven employees, $2M annual sales. Sold the property June 29, 1988 for $1.9M.
1976-1980 - Longshore Auto Sales, Langhorne, PA, manager. Pic-A-Car. Neil Gillespie Motors.
1974-1976 - Friendly Ice Cream Corporation, locations in PA. Entry level to shift supervisor.
1974-1975 - United States Steel Corporation, Fairless Works, PA. Rod mill laborer.
1970-1974 - Cut lawns, delivered newspapers and scooped ice cream during high school.
1

August 20, 1988 traumatic brain injury, crime survivor. Social Security determined me totally disabled in 1993.

Neil J. Gillespie For President - Supporting Documents


Neil J. Gillespie vs. Kenneth J. Detzner, Secretary, Petition SC16-2031
http://jweb.flcourts.org/pls/docket/ds_docket?p_caseyear=2016&p_casenumber=2031
https://www.scribd.com/collections/17624767/Gillespie-vs-Secretary-of-State-Ken-Detzner

Federal Elections Commission - Committee ID: C00627810; Candidate ID: P60022993


Office of the Whistleblower, U.S. Securities and Exchange Commission (SEC), 2016 letters of
Sean McKessy and Jane Norberg to Neil J. Gillespie, TCR Submission TCR1458580189411.
https://www.scribd.com/collections/17625021/SEC-Whistleblower-Office

Letter to President Obama, racial assault on African American student, cover-up in Ocala, Fla.
Letter to Gary G. Lynch, Vice Chairman, Bank of America, regulatory capture of legal system.
U.S. Department of Justice, Federal Bureau of Investigation (FBI) letter April 4, 2014 Public
Corruption Unit Chief Brian J. Nadeau to Neil J. Gillespie, referral FBI Tampa Field Office.
United Nations Deputy Secretary-General Jan Eliasson, et al, re UDHR all are created equal.
President Obama, letter to Neil Gillespie, re the Syrian conflict, with my letter to the President.
United Nations Fight Against Corruption training, U.N. Convention Against Corruption.
American Bar Association, Jeanne P. Gray, Director, Center for Professional Responsibility.
Secretary of Defense/USN Capt. C.P. Arendt, re letter on voluntary service in the U.S. military.
Jay J. Ruben, MD, re home caregiver in Ocala for my Mother who died of Alzheimers Disease.
Letter of the Peace Corps to Neil J. Gillespie re volunteer service.
The Evergreen State College, Bachelor of Arts (BA) degree, December 16, 1995.
J. Peter Hoguet, National Foundation for Facial Reconstruction, to Neil J. Gillespie.
The Wharton School, Evening Division, University of Pennsylvania, Associate of Business
Administration (ABA) degree, cum laude, December 23, 1988. See photos below.
Kar Kingdom, Inc., owner-operated PA licensed auto dealer, with letter by my accountant.
Wharton School graduation day May 21, 1989

Neil J. Gillespie

Filing # 48702306 E-Filed 11/09/2016 02:13:17 PM

Supreme Court of Florida


Office of the Clerk
500 South Duval Street
Tallahassee, Florida 32399-1927
JOHN A. TOMASINO
CLERK
MARK CLAYTON
CHIEF DEPUTY CLERK
KRISTINA SAMUELS
STAFF ATTORNEY

PHONE NUMBER: (850) 488-0125

www.floridasupremecourt.org

ACKNOWLEDGMENT OF NEW CASE


November 9, 2016
RE:

NEIL J. GILLESPIE

vs.

KENNETH J. DETZNER,
SECRETARY

CASE NUMBER: SC16-2031


The Florida Supreme Court has received the following documents reflecting a filing
date of 11/9/2016.
Motion to Proceed In Forma Pauperis
Petition for Writ of Mandamus with Appendices
The Florida Supreme Court's case number must be utilized on all pleadings and
correspondence filed in this cause.
tr
cc:
ADAM SCOTT TANENBAUM
NEIL J. GILLESPIE
HON. LEE E. GOODMAN, COMMISSIONER
HON. ELLEN L. WEINTRAUB, COMMISSIONER
HON. MATTHEW S. PETERSEN, CHAIRMAN
HON. CAROLINE C. HUNTER, COMMISSIONER
DAVID HUYNH
CHRISTINA SCHAENGOLD
HON. STEVEN WALTHER, COMMISSIONER
HON. ANN M. RAVEL, COMMISSIONER

http://jweb.flcourts.org/pls/docket/ds_docket?p_caseyear=2016&p_casenumber=2031

Florida Supreme Court Docket

Case Docket
Case Number: SC16-2031 - Closed
NEIL J. GILLESPIE vs. KENNETH J. DETZNER, SECRETARY
Right-click to copy shortcut directly to this page

Date
Doc. Docketed
11/09/2016

Description
PETITION-MANDAMUS

Filed By
PS Neil J. Gillespie BY: PS Neil J. Gillespie

11/09/2016
11/09/2016

No Fee - Insolvent
APPENDIX-PETITION

PS Neil J. Gillespie BY: PS Neil J. Gillespie

11/09/2016

APPENDIX-PETITION

PS Neil J. Gillespie BY: PS Neil J. Gillespie

11/09/2016

APPENDIX-PETITION

PS Neil J. Gillespie BY: PS Neil J. Gillespie

11/09/2016

APPENDIX-PETITION

PS Neil J. Gillespie BY: PS Neil J. Gillespie

11/09/2016

MOTION-IN FORMA
PS Neil J. Gillespie BY: PS Neil J. Gillespie
PAUPERIS
ACKNOWLEDGMENT
Supreme Court Florida FSC BY: Supreme Court
LETTER-NEW CASE
Florida FSC
ORDER-IN FORMA PAUPERIS
Petitioner's motion for leave to proceed in forma pauperis
GR
is hereby granted.
DISP-TSFR CIRC CT/DCA
The petition for writ of mandamus is hereby transferred,
(HARVARD - TIME
pursuant to Harvard v. Singletary, 733 So. 2d 1020 (Fla.
SENSITIVE)
1999), to the Circuit Court of the Second Judicial Circuit,
in and for Leon County, Florida. The transfer of this case
should not be construed as an adjudication or comment on
the merits of the petition, nor as a determination that the
transferee court has jurisdiction or that the petition has
been properly denominated as a petition for writ of
mandamus. The transferee court should not interpret the
transfer of this case as an indication that it must or should
reach the merits of the petition. The transferee court shall
treat the petition as if it had been originally filed there on
the date it was filed in this Court and is instructed to
consider expediting the petition as it appears to be time
sensitive based upon the allegations; however, a
determination to expedite consideration is at the
discretion of the transferee court. Any determination
concerning whether a filing fee shall be applicable to this
case shall be made by the transferee court. Any and all
pending motions in this case are hereby deferred to the
transferee court. Any future pleadings filed regarding this
case should be filed in the above mentioned circuit court
at Attn: Special Processes Division, 301 South Monroe
Street, #100, Tallahassee, Florida 32301. NOT FINAL
UNTIL TIME EXPIRES TO FILE REHEARING
MOTION AND, IF FILED, DETERMINED.

11/09/2016
11/09/2016
11/10/2016

Notes

11/19/2016 3:46 PM

Filing # 48915708 E-Filed 11/15/2016 02:37:59 PM

https://webforms.fec.gov/webforms/form1/final.htm

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11/3/2016 12:27 PM

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CANDIDATE INFORMATION
C00627810

GILLESPIE, NEIL J.

ID:
P60022993

Name: NEIL J. GILLESPIE FOR PRESIDENT


Address: 8092 SW 115TH LOOP, OCALA, FL
34481

Office: P - Presidential
State: US, District: 00

Treasurer Name: GILLESPIE, NEIL J.


Type: P - PRESIDENTIAL
Designation: P - PRINCIPAL CAMPAIGN
COMMITTEE OF A CANDIDATE
Party: UNAFFILIATED

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ACCEPTED FEC-1112475 (Supersedes FEC-1098470)


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P60022993

Name: GILLESPIE, NEIL J. (O - OPEN)


Office Sought: P - PRESIDENT
Election Year: 2016
State: US - UNITED STATES, District: 00
Party: UNAFFILIATED

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~`~ ENO excya~c~

UNITED STATES

SECURITIES AND EXCHANGE COMMISSION

o~

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WASHINGTON, D.C. 20549

~'''~'nrx~~~ s

March 21, 2016

DIVISION OF
ENFORCEMENT

Jane Norberg, Deputy Chief


Office ofthe Whistleblower
Phone:(202)551-4790
Fax:(703)813-9322

Neil J. Gillespie
Heil illespienmfi.net
TCR Submission number: TCR1458580189411
Submission dated: March 15, 2016
Dear Mr. Gillespie:

Thank you for the information that you submitted under the SEC's Whistleblower Program. We greatly
appreciate your bringing this matter to our attention. The success of the whistleblower program depends
on individuals providing the Commission with specific, timely, and credible information.
Members ofthe staff ofthe Division of Enforcement may contact you for additional assistance or
information. In addition, we encourage you to submit any additional supporting information or materials
that you believe will assist us in analyzing and fully understanding this matter.
As a matter of policy, the SEC conducts its investigations on a confidential basis. The purpose of this
policy is to protect the integrity of any investigation from premature disclosure and to protect the privacy
of persons involved in our investigations. Accordingly, although working with whistleblowers and their
counsel is very important to us, there may be very limited information we can share with you regarding
what action, if any, we are taking in response to your submission. I hope you understand these
limitations.
The Commission is only authorized to conduct investigations into possible violations of the federal
securities laws. You should not expect the Commission to take any actions to the extent your information
relates to conduct outside the scope or coverage of the federal securities laws. We may, however, in
appropriate circumstances, refer your matter to another regulatory or law enforcement agency.
Thank you again for taking the opportunity to submit your information to us. Efforts by persons such as
yourself are critical to the success ofthis program.
Please do not hesitate to contact the Office of the Whistleblowec if you have any questions or concerns.
Best Regards,
G;~ ,

J ne Norberg~"

VIA UPS No: 1Z64589FNW90883932

UPS Next Day Air Saver


March 9, 2016

Sean McKessy, Chief


SEC Office of the Whistleblower
100 F Street NE
Washington, DC 20549
https://www.sec.gov/whistleblower

Mail Stop 5553


Mail Stop 5628
Phone: (202) 551-4790
Fax: (703) 813-9322

RE: SEC Whistleblower Program; APPLICATION TO CLAIM AN AWARD


https://www.sec.gov/about/offices/owb/owb-awards.shtml

Dodd-Frank Wall Street Reform and Consumer Protection Act


http://www.consumerfinance.gov/blog/the-cfpb-wants-you-to-blow-the-whistle-on-lawbreakers/

Dear Chief McKessy:


Enclosed is a paper Consumer Financial Protection Bureau Whistleblower Complaint I
made yesterday, March 8, 2016, online to whistleblower@cfpb.gov, and acknowledgment.
Since the SEC and CFPB Whistleblower programs originate with the Dodd-Frank Wall Street
Reform and Consumer Protection Act, can I assume they are essentially the same program?
Please find enclosed my complaint to CFPB/The Florida Bar, which I hereby provide to the
SEC/CFPB as a Whistleblower Complaint. I waive confidentiality. It appears Bank of America,
the U.S. Department of Justice, and the Florida Attorney General, engaged in fraud to show
Bank of America made a bona fide settlement when in fact it did not. See my complaint to TFB:
This complaint concerns two Florida lawyers, Pam Bondi and Mark Hamilton, and Floridas
$1 billion share of a Bank of America (BofA) settlement announced August 21, 2014 with the
U.S. Department of Justice. Mr. Hamilton, and Ms. Bondis office, denied Florida was part of the
BofA settlement in response to my public records request. Later I later found a letter dated August
21, 2014 from Jana Litsey, BofAs Deputy General Counsel, addressed to "Pamela J. Bondi, Esq."
Florida State Attorney General, confirming details of the Bank of America settlement:
"Of the $7 billion consumer relief package, we expect just in excess of $1 billion to be
effected within the state - in other words, one seventh of the entire package - benefiting
almost 17,000 Florida consumers."
Ms. Litseys letter was linked on the Florida Attorney Generals website with a press release by
Attorney General Bondi. Why then did Hamilton, and Bondis office, lie about Floridas $1 billion
share of a BofA settlement benefiting almost 17,000 Florida consumers, and where is the money?
Sincerely,
Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481
Tel. 352-854-7807
Email: neilgillespie@mfi.net

Neil J
Gillespie

Digitally signed by Neil J


Gillespie
DN: cn=Neil J Gillespie, o, ou,
email=neilgillespie@mfi.net,
c=US
Date: 2016.03.09 16:37:57 -05'00'

http://www.myfloridalegal.com/newsrel.nsf/newsreleases/71A6F40AD0BCB88B85257D3B005152C4

Attorney General Pam Bondi News Release


August 21, 2014
Contact: Whitney Ray
Phone: (850) 245-0150

en Espaol

Print Version

Tweet

Floridians to Receive More Than $1 Billion in Relief Under National Settlement with Bank of America
TALLAHASSEE, Fla.The Justice Department has entered a settlement with Bank of
America, which will provide nearly 17,000 Floridians in excess of $1 billion in relief.
Eligible Floridians will receive first and second lien principal reductions, loan forgiveness
and other relief. The total amount of consumer relief of the settlement nationally is $7
billion, and Floridas share equals one-seventh of that total.
"Our office worked closely with Bank of America to ensure that Florida homeowners would
be treated fairly in any settlement, and Im pleased that Floridians will be receiving
one-seventh of the overall consumer relief. As a result of the Justice Department's
settlement with Bank of America, it's expected that Florida will receive just over $1 billion
in homeowner relief, benefiting nearly 17,000 Florida homeowners, stated Attorney
General Pam Bondi.
We very much appreciate the extensive investment of time spent by you and your staff in
discussions with the Bank concerning the types and quantity of consumer relief to be
delivered to Florida residents as part of any settlement with the U.S. Department of
Justice, stated Jana J. Litsey, Deputy General Counsel with Bank of America, in a letter to
Attorney General Bondi.
The federal settlement addresses abuses primarily by Countrywide and Merrill Lynch
which greatly contributed to the mortgage crisis. These companies securitized residential
mortgage loans that had been obtained without ensuring that the borrowers could actually
afford the mortgages. They then sold them to investors as so-called residential mortgagebacked securities without disclosing the significant risk that the borrowers holding the
mortgages were unable to stay current on their loans because many of the loans had been
written without proper review to ensure that the borrowers could actually afford the loans.
Bank of America acquired Countrywide and Merrill Lynch shortly before the financial
crisis that resulted from unprecedented defaults on the ill-advised residential mortgage
loans sold to investors around the country.

Florida Toll Free Numbers:



 


 
       

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VIA Email: owbcorrespondence@sec.gov

April 27, 2016

Jane Norberg, Deputy Chief


SEC Office of the Whistleblower
100 F Street NE
Washington, DC 20549
https://www.sec.gov/whistleblower

Phone: (202) 551-4790


Fax: (703) 813-9322

TCR Submission number: TCR1458580189411


Submission dated: March 15, 2016
Dear Deputy Chief Norberg:
Thank you for your letter of March 21, 2016 received by email April 19, 2016. You wrote in
part, ...we encourage you to submit any additional supporting information or materials that you
believe will assist us in analyzing and fully understanding this matter. Please find enclosed:
x Letter March 30, 2016 of Mark S. Hamilton, Special Counsel, Office of Attorney General
Pam Bondi, with referral to Professor Eric D. Green, independent Monitor of the Consumer
Relief portion of the Bank of America Settlement Agreement announced August 21, 2014.
x My letter April 7, 2016 to Professor Eric D. Green; and email response on behalf of Prof.
Green by the Office of the Monitor of the 2014 Bank of America Mortgage Settlement.
x Email response of Jennifer Reeves Foster, CPA, Chief, Bureau of Financial Reporting,
Division of Accounting and Auditing, Florida Department of Financial Services, which
included a copy of the 37 page settlement agreement.
I also enclosed for reference SEC Release No. 72888 / August 21, 2014, SEC ACT OF 1934,
Administrative Proceeding File No. 3-16028, In the Matter of Bank of America Corporation,
x Order Instituting Cease-And-Desist Proceedings Pursuant To Section 21C of The Securities
Exchange Act of 1934, Making Findings, And Imposing Cease-And-Desist Order and Civil Penalty.

In my view, the foregoing responses show the 2014 Bank of America Mortgage Settlement does
not benefit consumers in any meaningful way. Instead, it was a GSE investor mortgage bailout.
Separately I will provide the responses I received from The Florida Bar. Thank you.
Sincerely,
Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481

Neil J Gillespie

Digitally signed by Neil J Gillespie


DN: cn=Neil J Gillespie, o, ou,
email=neilgillespie@mfi.net, c=US
Date: 2016.04.27 11:09:22 -04'00'

Tel. 352-854-7807
Email: neilgillespie@mfi.net

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UNITED STATES

SECURITIES AND EXCHANGE COMMISSION

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WASHINGTON, D.C. 20549

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DIVISION OF

October 4~ 2016

ENFORCEMENT

Jane Norberg, Chief


Office of the Whistleblower
Phone:(202)551-4790
Fax:(703)813-9322
Neil J. Gillespie
neil illespie e,mfi.net
TCR Submission number: TCR1458580189411
Submission dated: March 15, 2016
Additional information dated: August 10,2016
Dear Mr. Gillespie:
This letter will confirm our receipt ofthe additional information you provided in connection with the
referenced TCR submission. We appreciate your providing this additional information and have updated
your file.
Thank you for your continued interest in the Whistleblower Program.

Best Regards,

J e No erg

VIA Email: NorbergJ@sec.gov


U.P.S. No. 1Z64589FNW91048897
Jane Norberg, Acting Chief
SEC Office of the Whistleblower
100 F Street NE
Washington, DC 20549

August 10, 2016

TCR Submission #TCR1458580189411


Submission dated: March 15, 2016
https://www.sec.gov/whistleblower

Dear Acting Chief Norberg:


Congratulations on becoming Acting Chief of the SECs Office of the Whistleblower following
the departure of Sean McKessey, Chief of the SECs Office of the Whistleblower.
Today I submit three matters:
1.
No response to my letter June 29, 2016 to Justice Clarence Thomas about tampering with
my Petition No. 12-7747 for writ of certiorari to the U.S. Supreme Court. I wrote in part,
On September 13, 2012 you granted my Application 12A215 as captioned above, and as
shown on the enclosed correspondence, for CA11 cases 12-11028 and 12-11213.
On December 10, 2012 the Clerk docketed my Petition 12-7747 for a writ of certiorari
and motion for leave to proceed in forma pauperis as shown on the enclosed docket.
However, it appears CA11 case 12-11213 was removed from Petition 12-7747 as the
enclosed docket only shows CA11 case 12-11028. Also, the district court docket does not
show Petition 12-7747.
2.
My notice to the United Nations under the Convention against Corruption reporting
Florida Attorney General Pam Bondis role in obstructing justice in my U.S. Supreme Court
petitions; and evidence that I completed interactive learning in The Fight Against Corruption.
3.
My complaint to The Florida Bar yesterday for Carlos Rey, Assistant General Counsel,
Florida Department of State, for charging $6,946.40 for public records of the state of Floridas
Schedule of Trust Fund Revenues and Unreserved Fund Balances that the state provides free on
the Florida Fiscal Home Portal. This record is part of qui tam proceedings I plan to bring under
the False Claims Act (31 U.S.C. 37293733). Would the SEC Whistleblower represent me in
qui tam proceedings under the False Claims Act? I also plan to seek private counsel. Thank you.
Sincerely,
Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481

Neil J Gillespie

Digitally signed by Neil J Gillespie


DN: cn=Neil J Gillespie, o, ou,
email=neilgillespie@mfi.net, c=US
Date: 2016.08.10 06:18:16 -04'00'

Tel. 352-854-7807
Email: neilgillespie@mfi.net

Attachments: Letter June 29, 2016 to Justice Thomas; notice to the U.N. under the CAC; Florida
Bar complaint for Carlos Rey; your letter of March 21, 2016.

President Barack Obama


The White House
1600 Pennsylvania Avenue NW
Washington, DC 20500

September 27, 2016

Dear President Obama,


Mr. President, an African-American schoolgirl in Ocala, Florida may need assistance attending
public school, which is a federally protected activity under 18 U.S.C. 245(b)(2)(A).
Enclosed is a copy of my letter to Loretta E. Lynch, U.S. Attorney General. Something disrupted
next day delivery of my letter to Attorney General Lynch, shipped on September 22, 2016, UPS
tracking #1Z64589FNW92981779. FBI Director Comey got his letter delivered on time. But my
letter to the Attorney General was misdirected to the Lafayette Building, Veterans Affairs, 811
Vermont Ave. NW, Washington, DC 20571. As I write this, my letter to the Attorney General
still has not been delivered to the Department of Justice. I wrote Attorney General Lynch in part,
The Ocala Star-Banner reported January 29, 2016, "Racial incident at West Port: 3 students face
discipline after taunts while waiving Confederate flags." Meanwhile, the black schoolgirl being
intimidated by white supremacists with Confederate flags was wrongly cited in lieu of arrest.
U.S. Attorney Lee Bentley has jurisdiction, but there is no evidence USAFLM Bentley sought
justice for the black schoolgirl intimidated by white supremacists with Confederate flags.

Mr. President, long ago when I was a student in Levittown, Pennsylvania, the American Civil
War was taught as a history lesson. Today in Ocala, Florida, the Lost Cause of the Confederacy
is an ongoing current event. Too many folks here have not accepted the outcome of the
American Civil War, including powerful people like lawyers, judges, and perhaps Mr. Bentley.
The murder of 9 African-Americans in Charleston, South Carolina, on June 17, 2015 was a time
of change for many Americans on the Confederate flag issue. But not in Marion County. Instead,
Ocala doubled-down on its support for the flag. Unfortunately Confederate flags were used in a
racial incident at the West Port High School to commit a hate crime against an African-American
student, as defined by Fla. Stat. 775.085 Evidencing prejudice while committing offense;
reclassification, because the offense involved the race/color of a black student by three white
students who used Confederate flags in a threat of force, to injure, intimidate or interfere with the
African-American student while she was attending public school. Thank you.
Sincerely,

Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481

Telephone: (352) 854-7807


Email: neilgillespie@mfi.net

VIA UPS Next Day Air, Tracking No. 1Z64589FNT91572209

Enclosures

Legacy of Hate
Central Florida, Fifth Judicial Circuit, home of
the all-white bench, a Jim Crow bench in 2016

The Indoctrination of Keeper Greene, July 12, 2015


Intergenerational Confederate Propaganda (1861 - 2016)
Keeper Greene, a 2-year-old from of Clermont, draped in a Rebel flag, waves a Confederate
flag with his father, Brian, at the start of the Florida Southern Pride Ride at the Southeastern
Livestock Pavilion in Ocala, Fla., on Sunday. (BRUCE ACKERMAN/Ocala Star-Banner /Landov)
Confederate flag supporters flock to the 'Florida Southern Pride Ride' in Ocala: reports
Ocala police investigating after shots fired near Confederate flag rally WFTV - Orlando, FL
By Tobias Salinger, NEW YORK DAILY NEWS, Monday, July 13, 2015, 6:04 AM
http://www.nydailynews.com/news/national/confederate-flag-supporters-flock-central-florida-rally-article-1.2290300

http://www.ocala.com/news/20160129/racial-incident-at-west-port-3-students-face-discipline-after-taunts-while-waving-confederate-flags

Friday Posted Jan29,2016at5:20PM

By Joe CallahanStaff writer

Three West Port High School students who taunted classmates on Thursday by
waving Confederate flags during school will be disciplined, according to Marion
County School District officials.
West Port High School Principal Jayne Ellspermann said moments after the white
students two boys and a girl began taunting, an argument ensued and one
black female student threw a punch at the taunters. Within a few minutes,
teachers and the school's resource officer broke up the disturbance, which at that
point was almost entirely verbal.
Poor decisions of a few of our students led to this, said Ellspermann, adding
that she was pleased with the quick response from staff to keep things from
escalating.
Ellspermann, who was the nation's principal of the year in 2014, said social media
after the fact is now the biggest problem.
By late Thursday night, and all day Friday, posts on Facebook have portrayed the
incident as a race riot. School staff are looking into reports of related videos on

http://www.ocala.com/news/20160129/racial-incident-at-west-port-3-students-face-discipline-after-taunts-while-waving-confederate-flags

Facebook.
Ellspermann said that many more students, who are escalating the situation on
Facebook, will be disciplined by the time their investigation is completed.
Some people may argue that the students have freedom of speech when it comes
to Facebook postings, or even for waving the Confederate flags. The district says
that is not the case if those actions are causing a disruption at school.
For example: If an after-school Facebook post indicates that one person will do
harm to another student at school, the district can act and impose a suspension
because the actions could disrupt school.
Marion County Public Schools spokesman Kevin Christian said the flag-waving
students' prime objective was to disrupt school. And for that, they can be
disciplined.
It was a planned, calculated incident, Christian said. They were trying to solicit
a reaction.
One West Port High parent, Erika Boone, has a freshman attending the school.
She had heard rumors of race riots and called the Star-Banner. Once she was
contacted, she said she had since found out that the situation was handled
properly at West Port, but wished she would have known about it.
They should have called all the parents, said Boone, specifically talking about
the district's automated calling system.
The Ocala Police Department issued the female student who threw a punch a
citation in lieu of arrest, Christian said on Friday.

Joe Callahan can be reached at 867-4113 or at joe.callahan@starbanner.com.


Follow him on Twitter @JoeOcalaNews.

Loretta E. Lynch, U.S. Attorney General


U.S. Department of Justice
950 Pennsylvania Avenue, NW
Washington, DC 20530-0001
https://www.justice.gov/
VIA UPS No. 1Z64589FNW92981779
Dear AG Lynch, and Director Comey:

James Comey, FBI Director


Federal Bureau of Investigation
935 Pennsylvania Avenue, NW
Washington, D.C. 20535-0001
http://www.fbi.gov/
VIA UPS No. 1Z64589FNT91324183
September 22, 2016

The Ocala Star-Banner reported January 29, 2016, "Racial incident at West Port: 3 students face
discipline after taunts while waiving Confederate flags." Meanwhile, the black schoolgirl being
intimidated by white supremacists with Confederate flags was wrongly cited in lieu of arrest.
U.S. Attorney Lee Bentley has jurisdiction, but there is no evidence USAFLM Bentley sought
justice for the black schoolgirl intimidated by white supremacists with Confederate flags.
Fine, I bear witness to the ongoing plague of white supremacy racism in central Florida.
Enclosed is my complaint to The Florida Bar against School Board attorney Steven Eleazer Lake
for white supremacy racial discrimination, and obstruction of justice for concealing records.
The Ocala Police Department has not provided records for the "Racial incident at West Port: 3
students face discipline after taunts while waiving Confederate flags." See enclosed.
In my view this offense was a hate crime under FS 775.085 Evidencing prejudice while
committing offense; reclassification, because the offense involved the race/color of the black
student by three white students who used Confederate flags in a threat of force, to injure,
intimidate or interfere with the black student while she was engaged in a federally protected
activity, attending public school. 18 U.S.C. 245. The black schoolgirl was justified in punching
the perpetrator(s) under FS 776.012(1), use or threatened use of force in defense of person.
My Statement Of Candidacy (for president) appears on the Federal Elections Commission
website. It was accepted by the FEC on September 11, 2016, FEC-1098470, Candidate ID
P60022993. If elected, I plan, inter alia, a new type of Reconstruction for certain parts of the
South, to protect the rights of African-Americans forgotten by the US Department of Justice.
A joint statement by the American Bar Association and the NAACP Legal Defense and
Educational Fund addressing the troubling and destabilizing loss of public confidence in the
American criminal justice system is enclosed as part of the Florida Bar complaint. Thank you.
Sincerely,

Neil J. Gillespie, 8092 SW 115th Loop, Ocala, Florida 34481, Email: neilgillespie@mfi.net

September 15, 2016


Gary G. Lynch, Vice Chairman
Bank of America Corporate Center
100 North Tryon Street
Charlotte, NC 28255
VIA UPS No. 1Z64589FNW92116132

CORRECTED
Gary G. Lynch, Vice Chairman
Bank of America Corporation
One Bryant Park
115 West 42nd Street
New York, New York 10036
VIA UPS No. 1Z64589FNW91448946

Dear Mr. Lynch:


This letter concerns a number of legal matters with Bank of America, and its regulatory capture
of the public and private sectors, that prevent me from getting a fair resolution in the American
legal system. This letter is a notice. I plan to provide additional information as soon as possible.
This is a request to communicate by email as a reasonable disability accommodation.
The enclosed List of Financial Interests shows Bank of America for Senior United States District
Judge William Terrell Hodges, as emailed to Bank of America Investor Relations. Judge Hodges
refused to recuse in Reverse Mortgage Solutions, Inc., v. Neil J. Gillespie, et al, U.S. District
Court, Middle District of Florida, Case No: 5:13-cv-00058-oc-WTH-PRL, for a HECM reverse
mortgage, BofA Account No.: 68011002615899, FHA Case Number: 091-4405741.
Judge Hodges is the epitome of regulatory capture, and criminality on the federal bench. His IFP
rulings in my case were overturned by default by the U.S. Supreme Court, Petition No. 13-7280.
Regulatory capture is an important campaign issue. My Statement Of Candidacy (for president)
appears on the Federal Elections Commission website. It was accepted by the FEC on September
11, 2016, FEC-1098470, Candidate ID P60022993. A paper copy is enclosed.
Legal matters involving Neil J. Gillespie and Bank of America
1.
Ongoing litigation with Bank of America over a Home Equity Conversion Mortgage
(HECM), a reverse mortgage, see Reverse Mortgage Solutions, Inc. vs. Neil J. Gillespie, et. al,
Case No. 2013-CA-115, Marion County, Florida, Fifth Judicial Circuit. More cases below.
Florida Supreme Court Case No.: SC15-1145; Florida Fifth DCA Case No. 5D15-340.
Bank of America, N.A.
Account No.: 68011002615899

Federal Housing Authority (FHA)


FHA Case Number: 091-4405741

HUD Complaint, HUD Reverse Mortgage Handbook 7610.01, Section 4-19


Consumer Financial Protection Bureau, CFPB Complaint No. 120914-000082
Consumer Financial Protection Bureau, CFPB Complaint No. 140304-000750
Federal Reserve BOG OIG Hotline Complaint against CFPB attorney Gregory Evans
U.S. District Court, Middle District of Florida, Case No: 5:13-cv-00058-oc-WTH-PRL
U.S. Eleventh Circuit, Appeal No. 13-11585-B, granted leave under 28 U.S.C. 1651
U.S. Supreme Court, Petition No. 13-7280, writ of certiorari (denied/prevailed on IFP)

Gary G. Lynch, Vice Chairman, Bank of America


Re: BofA Account No.: 68011002615899

September 15, 2016


Page - 2

2.
Misconduct by Bank of America shareholder Judge William Terrell Hodges, refused to
recuse himself as trial judge in U.S. District Court, M.D. FL, No: 5:13-cv-00058-oc-WTH-PRL.
Misconduct by Plaintiffs Counsel McCalla Raymer n.k.a. McCalla Raymer Pierce, LLC a
Foreign Limited Liability Company (Roswell, Georgia)
Danielle Nicole Parsons, FL Bar ID 29364, and her paralegal Yolanda Martinez
The Florida Bar File No. 2014-30,525 (9A), Neil Gillespie v. Danielle Nicole Parsons
The Florida Bar UPL Investigation 20143031(9A) of paralegal Yolanda Martinez
Note: Danielle Nicole Parsons, FL Bar ID 29364 is no longer employed by Plaintiffs
Counsel McCalla Raymer n.k.a. McCalla Raymer Pierce, LLC.
Curtis Allen Wilson, FL Bar ID 77669 (at least 2 more bar complaints pending)
The Florida Bar, Request For Assistance (RFA) No. 15-13443, Gillespie v. Wilson
Misconduct by Marion County Circuit Judge Hale Ralph Stancil, JQC Docket No. 15-075
Misconduct by David R. Ellspermann, Marion County Clerk of Court & Comptroller
Misconduct by the Marion County Sheriffs Office, inter alia, Detective Erik Dice.
Misconduct by Brad King, State Attorney, Fifth Circuit, and ASA Mark Simpson.
Misconduct by Pam Bondi, Florida Attorney General in Petition No. 13-7280.
Misconduct by U.S. Senator Marco Rubio re Congressional Inquiry.
Misconduct by CFPB attorney Gregory Evans, according to FOIA documents received. Evans
told CFPB investigators that they could not speak with me due to privacy rules. BofA consumer
advocate Chris Pickle aided Evans. Later I learned deceased persons do not have privacy. I made
a complaint about Evans to the Fed-BOG OIG Hotline which has oversight of CFPB employees.
Privacy laws do not protect the privacy of dead people. Dead people do not have privacy rights.
Privacy rights are personal and die with the individual. Nestor v. Posner-Gerstenhaber, 857 So.
2d 953 (Fla. Dist. Ct. App. 3d Dist. 2003), review denied, 869 So. 2d 540 (Fla. 2004). [E]even
where a private confidentiality agreement is otherwise proper, it will not be enforced where its
effect becomes obstructive of the rights of non-parties. See, e.g., Nestor v. Posner-Gerstenhaber,
857 So. 2d 953, 955 (Fla. 3rd DCA 2003); Scott v. Nelson, 697 So. 2d 1300, 1301 (Fla. 1st DCA
1997). Quoted by U.S. Judge John E. Steele in Tardif, Trustee (Jason Yerk) v. PETA, USDC, SD
Fla. Fort Myers Div. Case No. 2:09-cv-537-FtM-29SPC, at the Pacer link,
Case 2:09-cv-00537-JES-SPC Document 179 Filed 11/04/11 Page 14 of 31 PageID 6050
Misconduct by Bank of America consumer advocates of Brian T. Moynihan, CEO and President.
All of the following invoked privacy for the decedent, Penelope M. Gillespie, to block my access
in the HECM reverse mortgage, that includes a Promissory Note bearing my signature. See BofA
Account No.: 68011002615899, FHA Case Number: 091-4405741, RMS No. 68011002615899.
Chris Pickle, Customer Advocate Office of the CEO and President
Jason Powell, Customer Advocate, Office of the CEO and President
Anthony Boney, Customer Advocate, Office of the CEO and President

Gary G. Lynch, Vice Chairman, Bank of America


Re: BofA Account No.: 68011002615899

September 15, 2016


Page - 3

Misconduct by Publix Supermarkets, by and though John Allen Attaway, Jr., Senior Vice
President, General Counsel, and Secretary; and a powerful Florida Bar operative. Attaway
disrupted my access to prescription medication from Publix Pharmacy in retaliation over my
request for my mothers pharmacy records showing her use of Alzheimers drugs, to introduce as
evidence in the reverse mortgage foreclosure. Attaway had Publix Pharmacy drastically increase
the price it charged me for my medications. (except drugs that Publix provides free). Fortunately
I found another pharmacy with even lower prices that I was paying for years at Publix.
3.
Exploitation of an elderly person, Penelope M. Gillespie, my mother, by Bank of
America, N.A., et. al. Enclosed you will find my letter to (former) Sheriff Ed Dean, Marion
County Sheriff, February 15, 2006.The foregoing loans were in response to exploitation by Bank
of America, in one way or another, either covering the exploited funds, or for litigation expenses.
4.
Merits of the Reverse-Mortgage Foreclose Case (enclosed), as stated in my successful
Motion to Disqualify Judge Steven Rogers (Recused)

The Plaintiffs Affidavit of Indebtedness shows one borrower: Penelope Gillespie.


The Plaintiff did not sue the only borrower, Penelope Gillespie.
The Plaintiff did not sue the Estate of Penelope Gillespie.
The Plaintiffs Complaint, paragraph 4: Plaintiff is entitled to enforce the Note and
Mortgage, pursuant to F.S. 673.3011, as the owner and holder of an instrument.
I filed Defenses and Claims in Recoupment - Section 673.3051(1)(a)2, Fla. Stat. lack of legal
capacity of the borrower, that extinguished all equities of redemption. (more defenses exist)
Available: Defenses and Claims in Recoupment - Section 673.3051(1)(a)3, Fla. Stat. Fraud
that induced the obligor to sign the instrument with neither knowledge nor reasonable
opportunity to learn of its character or its essential terms.
The Plaintiff does not have standing to sue anyone. The Plaintiff has not complied with F.S.
702.015(4), Elements of complaint; lost, destroyed, or stolen note affidavit.
The copy of the note that Mr. Harrell says is attached to the Complaint is defective and does
not have anything attached, no alonge, and nothing showing a chain of custody. That copy
was taken from my HUD complaint as an example of wrongdoing, not compliance with law.
A Home Equity Conversion Mortgage, or HECM, is a Federal Housing Administration
(FHA) reverse mortgage program administered by the Secretary, U.S. Department of
Housing and Urban Development, 12 U.S.C. 1715z20 et seq. and 24 C.F.R. Part 206.
Florida is a judicial foreclosure state. The citations to Floridas foreclosure statutes are:
Florida Statutes Sections 702.01 through 702.11, and
Florida Statutes Sections 45.031 through 45.0315.
Chapter 702, Foreclosure of Mortgages and Statutory Liens, is a forward foreclosure statute.
Florida does not have a judicial reverse mortgage foreclose statute. Therefore no jurisdiction.
The response January 26, 2016 of Leslie Jacobs for Attorney General Pam Bondi does not
show jurisdiction of the Florida Courts over a disputed HECM. (Exhibit 6).
RMS letter of September 26, 2013: Date of First Legal Filing: 01/02/2013. HECM
foreclosure must commence within 6 months. 24 C.F.R. 206.125(d)(1). The Plaintiffs First
Legal Filing is past the 6 month commencement 24 C.F.R. 206.125(d)(1). (Exhibit 7)

Gary G. Lynch, Vice Chairman, Bank of America


Re: BofA Account No.: 68011002615899
5.

September 15, 2016


Page - 4

State courts do not have jurisdiction over disputed or contested HECM

A Home Equity Conversion Mortgage, or HECM, is a Federal Housing Administration (FHA)


reverse mortgage program administered by the Secretary, United States Department of
Housing and Urban Development (Secretary or HUD) to enable home owners over 62 years old
access the subject home's equity. 12 U.S.C. 1715z20 et seq. and 24 C.F.R. Part 206.
A HECM does not require a homeowner to make mortgage payments as a conventional
mortgage does. Instead, a HECM does not become due and payable until the last surviving
homeowner dies or no longer lives in the home. 12 U.S.C. 1715-z20(j) Safeguard to prevent
displacement of homeowner. The HECM becomes due and payable in full if a mortgagor dies
and the property is not the principal residence of at least one surviving mortgagor....and no other
mortgagor retains title to the property. 24 C.F.R. 206.27(c).
On information and belief, when a substantial disputed issue of federal HECM law is a
necessary element of the foreclosing Plaintiffs state law claim that a HECM is due and payable,
the U.S. district court has subject matter jurisdiction under 28 U.S.C. 1331 and the U.S.
Constitution, Article III, Section 2 for all cases, in law and equity, arising under this
Constitution, [and] the laws of the United States, and the Due Process Clause of the Fifth
Amendment and Fourteenth Amendment of the Constitution of the United States:
The Constitution states only one command twice. The Fifth Amendment says to the
federal government that no one shall be "deprived of life, liberty or property without due
process of law." The Fourteenth Amendment, ratified in 1868, uses the same eleven
words, called the Due Process Clause, to describe a legal obligation of all states. These
words have as their central promise an assurance that all levels of American government
must operate within the law ("legality") and provide fair procedures. (Cornell Law LII)
http://www.law.cornell.edu/wex/due_process
A property right can be created only by state law. Once a property right is established, the
determination of what process is due before that right can be deprived is a question answered by
the federal Constitution. Kingsford v. Salt Lake City Sch. Dist., 247 F.3d 1123 (10th Cir. 2001).
U.S. Judge Thomas W. Thrash, Jr. in Thompson-El v. Bank of America, 1:12-CV-840TWT, District Court, N.D. GA held in an Order entered December 12, 2012:
Federal question cases are those arising under the Constitution, laws, or treaties of the
United States. 28 U.S.C. 1331 A case arises under federal law if federal law creates
the cause of action, or if a substantial disputed issue of federal law is a necessary element
of a state law claim. Pacheco de Perez v. AT&T Co., 139 F.3d 1368, 1373 (11th Cir.
1998) (citing Franchise Tax Bd. of Cal. v. Construction Laborers Vacation Trust for S.
Cal., 463 U.S. 1, 13 (1983)).
6.
About a year ago Reverse Mortgage Solutions, Inc. (RMS), began sending monthly
statements to me addressed to Estate of PENELOPE M. GILLESPIE see enclosed. Previously

Gary G. Lynch, Vice Chairman, Bank of America


Re: BofA Account No.: 68011002615899

September 15, 2016


Page - 5

RMS sent the monthly statements addressed to Penelope M. Gillespie. RMS has refused to
discuss the case with me due to privacy rules.
There is a lot more to my defenses, but time has run out today. Once you provide an email
address for correspondence, I will provide additional information. Thank you.
Sincerely,

Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481

Tel. 352-854-7807
Email: neilgillespie@mfi.net

Enclosures

This is a request to communicate by email as a reasonable disability accommodation.


The Social Security Administration determined me disabled since 1992. I am a qualified person
with a disability. I request disability accommodation under the Americans with Disabilities Act
(ADA), as amended, 42 U.S.C. 12181 et. seq, including the ADA Amendments Act of 2008, as
amended, and the Rehabilitation Act of 1973, as amended, 29 U.S.C. 701 et. seq, including
Section 504 of the Rehabilitation Act, as amended, and Section 508 of the Rehabilitation Act, as
amended. This disability accommodation request also seeks a prohibition against disability
discrimination. Thank you.
Cc: Reverse Mortgage Solutions, Inc.
Name and Address of Current Registered Agent:
CT CORPORATION SYSTEM
1200 SOUTH PINE ISLAND ROAD
PLANTATION, FL 33324 US
McCalla Raymer Pierce, LLC
Registered Agent Name & Address
C T CORPORATION SYSTEM
1200 SOUTH PINE ISLAND ROAD
PLANTATION, FL 33324
Cc: Reverse Mortgage Solutions, Inc.
McCalla Raymer Pierce, LLC
Jane E. Bond, Owner/Member
Email: Jane.Bond@mrpllc.com
225 E. Robinson St. Suite 155
Orlando, FL 32801

Senior United States District Judge William Terrell Hodges


List of Financial Interests

Bank of America

Page 1 of 1

Neil Gillespie
From:
To:
Cc:
Sent:
Attach:
Subject:

"Neil Gillespie" <neilgillespie@mfi.net>


<i_r@bankofamerica.com>
"Neil Gillespie" <neilgillespie@mfi.net>
Tuesday, April 22, 2014 6:44 PM
HodgesInterestList.pdf
conflict of interest inquiry

Bank of America Corporation


Investor Relations
Dear Bank of America,
This is a conflict of interest inquiry to confirm the shareholder status of U.S. Judge Wm. Terrell Hodges
and his List of Financial Interests showing Bank of America. A PDF of Judge Hodges List of Financial
Interests is attached, and may also be found at the link below.
Financial Interests for U.S. Judge Hodges - Bank of America
https://www.flmd.uscourts.gov/judicialInfo/Ocala/HodgesInterestList.pdf
The Honorable Wm. Terrell Hodges
Senior United States District Judge, Ocala Division
United States District Court, Middle District of Florida
Golden-Collum Memorial Federal Building & U.S. Courthouse
207 N.W. Second Street
Ocala, Florida 34475
Telephone: 352-369-4860
Judicial information for U.S. Judge Hodges
https://www.flmd.uscourts.gov/judicialInfo/Ocala/JgHodges.htm
Judge Hodges resides in Gainesville, Florida.
Thank you in advance for the courtesy of a response.
Sincerely,
Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481
Telephone: (352) 854-7807
Email: neilgillespie@mfi.net

9/15/2016

Michelle S. Klimt, Special Agent in Charge


Federal Bureau of Investigation (FBI)
6061 Gate Parkway
Jacksonville, FL 32256
http://www.fbi.gov/jacksonville/
VIA UPS No. 1Z64589FNY92795664
March 5, 2014

James Comey, Director


FBI Headquarters
935 Pennsylvania Avenue, NW
Washington, D.C. 20535-0001
http://www.fbi.gov/
VIA UPS No. 1Z64589FNY92027672

RE: Referral - DOJ Public Integrity Section

Dear Director Comey and Special Agent in Charge Klimt:


The Department of Justice Public Integrity Section referred me to the FBI for investigation of
public corruption in Florida. In turn Florida corruption has affected my petitions to the U.S.
Supreme Court as shown in my letter February 18, 2014 to,
Robin C. Ashton, OPR Counsel
Office of Professional Responsibility
U.S. Department of Justice
950 Pennsylvania Avenue, NW, Suite 3529
Washington, DC 20530-0001

Deputy Secretary-General Jan Eliasson


Executive Office of the Secretary-General
Rule of Law Unit, United Nations Headquarters
First Avenue at 46th Street
New York, NY 10017 USA

Please find enclosed the following documents,

March 5, 2014 letter to Chief Justice John G. Roberts, Jr.


February 18, 2014 letter Ms. Ashton, OPR Counsel & Deputy Secretary-General Eliasson
New ethics complaint, Pam Bondi Florida AG
Ethics complaint, Pat Frank Clerk of Court, Hillsborough Co. FL, and Counsel Dale Bohner;
supplemental ethics violations for follow-up complaint.
Email letter February 18, 2014 to Senator Rubio, Senator Nelson, Acting US Attorney Lee
Bentley, AUSA Roger Handberg re Honest Services Fraud of Martha Cook and Mr. Rodems
Email letter February 18, 2014 to John M. Fitzgibbons, Esq., Chairman, Florida Federal JNC

Petition No. 13-7280, and related documents, with CD-ROM


Petition No. 12-7747, and related documents, with CD-ROM.
Sincerely,

Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481
Telephone: 352-854-7807
Email: neilgillespie@mfi.net
Enclosures

Deputy Secretary-General Jan Eliasson


Executive Office of the Secretary-General
Rule of Law Unit, United Nations Headquarters
First Avenue at 46th Street
New York, NY 10017 Email: rol@unrol.org
May 18, 2014 - by email only
Re: Records Request
For records of contacts made on my behalf,
or that pertain to Neil J. Gillespie

Special Rapporteur Shuaib Chalklen


Disability, United Nations Enable
405 East 42nd Street
New York, New York 10017
Email: enable@un.org
Special Rapporteur Gabriela Knaul
Independence of Judges and Lawyers
Office of the United Nations High
Commissioner for Human Rights
United Nations Office at Geneva
8-14 Avenue de la Paix
1211 Geneva 10 Switzerland
Email: SRindependenceJL@ohchr.org

Dear Deputy Secretary-General Eliasson, Mrs. Knaul,


Mr. Chalklen, and United Nations Associates,
On April 23, 2014 I made a records request of the United Nations. A copy of the records request
is attached. As of today I do not show a response. Please advise when I can expect a response.
President Barack Obama wrote me March 12, 2014 in response to my letter suggesting specific
action by the United Nations under the Rome Statute in lieu of unilateral aggression by the U.S.
against Syria. Our correspondence is attached. President Obama provided me a comprehensive
response, including a link to U.S. foreign policy on Syria on the White House website.
http://www.whitehouse.gov/issues/foreign-policy/syria
Tellingly President Obama did not mention or respond to my suggestions for specific action by
the United Nations under the Rome Statute. Honestly I am surprised President Obama would
respond to an ordinary person like me. But the United Nations did not responded to me, and
President Obama did not mention the U.N. in his letter, so perhaps I misinterpreted the role of
United Nations. If so, I regret any inconvenience to the United Nations. I also regret suggesting
to President Obama specific action by the U.N. under the Rome Statute if that was wrong.
Regarding disability, Ms. Zinnah Begum of Bangladesh was born with a craniofacial disorder.
Fortunately 58 year-old Zinnah finally got life-changing craniofacial surgery on May 24, 2010
through Touching Souls International for freedom of smile,
http://touchingsoulsintl.org/blog/2010/05/24/giving-freedom-of-smile/
A ten (10) page composite for Zinnah Begum accompanies this letter, and includes photos and
URL links, a white paper on The problems of establishing modern cleft lip and palate services
in Bangladesh (The Journal of Surgery, Volume 2, Issue 1, 2004), and a PDF of the World
Health Organization (WHO), Global Health Workforce Alliance for Bangladesh.

Deputy Secretary-General Jan Eliasson


Special Rapporteur Shuaib Chalklen
Special Rapporteur Gabriela Knaul

May 18, 2014


Public Records
Page -2

Ms. Zinnah Begum, Bangladesh. Unfortunately, not all persons are born or created equal.

Social stigma and sadness

Transformation and hope

Article 1 of The Universal Declaration of Human Rights states,


All human beings are born free and equal in dignity and rights. They are endowed with
reason and conscience and should act towards one another in a spirit of brotherhood.
http://www.un.org/en/documents/udhr/
The United States Declaration of Independence proclaims all men are created equal,
We hold these truths to be self-evident, that all men are created equal, that they are
endowed by their Creator with certain unalienable Rights, that among these are Life,
Liberty, and the Pursuit of Happiness. That to secure these rights, Governments are
instituted among Men, deriving their just powers from the consent of the governed.
http://en.wikipedia.org/wiki/All_men_are_created_equal
However it is self-evident that Zinnah Begum was not born or created equal because she needed
craniofacial surgery since the time of her birth to be free and equal in any meaningful way.
It took 58 years for Zinnah to get her face fixed, another fact that also calls into question whether
all men are created equal or All human beings are born free and equal in dignity and rights.
Does the United Nations consider Zinnah Begum disabled? Does the U.N. sponsor or facilitate
craniofacial surgery? I was not able to find this information on the U.N.s website. Thank you.
Sincerely,

Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481
Enclosures

Telephone: 352-854-7807
Email: neilgillespie@mfi.net
cc: U.N. email service list

THE WHITE HOUSE

WASHINGTON

~1arch

12, 2014

Mr. Neil J. Gillespie


Ocala, Florida
Dear Neil:
Thank you for writing. Three years into the Syrian conflict, we face a brutal and protracted civil
war, \vhich extremists are exploiting and which poses a threat to stability throughout the region. I am
glad you took the time to sllare your concerns.
The conflict in Syria began as a series of peaceful protests against the repressive regime of Bashar
aI-Assad. He responded with violence and further repressioII. Today, over 130,000 people have been
killed. Millions have been displaced arld are ill d.esperate need.
In response, the United States has stepped up as the largest donor of humanitarian assistance to
those affected by the war. Our aid has helped. ease the pressures this conflict has put on families and on
the region, but international efforts to pro\Tide more assistance have been blocked by regime obstruction
and insecurity. That is why we continue to demand greater humanitarian access to those in need.
Over the past 2 years, we have also worked with friends and allies to help the moderate Syrian
opposition and chart a path to a political resolution. The January 2014 launch of negotiations between the
Syrian government and opposition, mediated by the United Nations, was a critical step on that path.
One thing I have said since the beginning is that I will not pursue an open-ended military
intervention in Syria. Last year, when the Assad regime violated international law by using chemical
weapons in an attack that killed over 1,000 Syrians, I was prepared to respond through narrow and
targeted military action. But when a diplomatic option opened up, we took it-because I believe any
chance to remove the threat of chemical weapons without the use of force is one 'Ne must pursue.
Today, there is potential for progress. Anlerican diplomacy, backed by a willingness to use
military force, has paved the way for a plan to eliminate Syria's chemical weapons for good. Now, Syria
must meet its international obligations to implement that plan, and Russia has a responsibility to ensure
that Syria complies. And in the months ahead, we will contiIlue to work with the international community
to usher in the future the Syrian people deserve-oIle free from dictatorship, terror, and fear.
Thank you, again, for writing. You can stay up to date on the conflict in Syria and my
Administration's response at www. WhiteHouse. gOY/Issues/Foreign-Policy/Syria.
Sincerely,

President Barack Obama


The White House
1600 Pennsylvania Avenue NW
Washington, DC 20500

September 9, 2013

Dear President Obama,


There is an alternative to bombing or attacking Syria. You could propose the United Nations:
1. Evacuate the city of Damascus where Bashar al-Assad lives in the Presidential Palace.
2. Immediately relocate the population to protect the Syrian people from further harm.
3. Blockade Damascus to contain Assad and his supporters until they run out of supplies.
Eventually Assad will surrender or be captured and brought to justice under international law.
The Rome Statute applies because Syrian national systems have totally failed. The Prosecutor of
the International Criminal Court may open an investigation of Assad on referral by the United
Nations Security Counsel, or by a Pre-Trial Chamber. [The United States cannot make a referral
because we have not ratified the Rome Statute]. Then Assad may be prosecuted for international
crimes, and convicted if the evidence proves his guilt beyond a reasonable doubt. This plan may
be a viable alternative to pending unilateral aggression by the United States.
In my view the Slattery Report1 concept should also be considered instead of hostilities, now or
in a similar situation. People would support evacuating a civilian population to de-escalate a
situation like this one with Assad, so that justice may prevail while protecting the Syrian people.
You were given the Nobel Peace Prize in 2009. Give peace a chance first. Syria can always be
attacked later if necessary, and with better moral grounds than you have now. Thank you.
Sincerely,

Neil J. Gillespie
8092 SW 115th Loop
Ocala, Florida 34481
Telephone: (352) 854-7807
Email: neilgillespie@mfi.net
1

The Slattery Report, officially titled The Problem of Alaskan Development, was produced by the United States
Department of the Interior under Secretary Harold L. Ickes in 193940. It was named after Undersecretary of the
Interior Harry A. Slattery. The report, which dealt with Alaskan development through immigration, included a
proposal to move European refugees, especially Jews from Nazi Germany and Austria, to four locations in Alaska,
including Baranof Island and the Mat-Su Valley. Skagway, Petersburg and Seward were the only towns to endorse
the proposal. http://en.wikipedia.org/wiki/Slattery_Report

http://www.thefightagainstcorruption.org/certificate/user/view.php?id=883&course=1

An e-learning tool for the private sector on the UN Convention against Corruption and the UN
Global Compact's 10th principle against corruption

My name is Neil Gillespie, age 57, a law-abiding, indigent, disabled citizen of the United States. On October 25,
2013 I made an urgent appeal to the United Nations For Protection from Political Persecution in the United States,
and requested an observer in a new petition filed October 23rd in the U.S. Supreme Court, No. 13-7280. Initially I
believed the International Covenant of Political and Civil Rights (ICCPR) would protect me, but since the United
States did not sign the first optional protocol, that may render the ICCPR of little use to me or any other American.
Instead, I will invoke Article 6 of the United Nations Convention against Corruption (UNCAC) in a petition for
rehearing Petition No. 13-7280 that was denied January 13, 2014.
I am being persecuted by The Florida Bar, U.S. Judge William Terrell Hodges, and Florida attorneys Ryan
Christopher Rodems and Eugene P. Castagliuolo, in retaliation for petitioning the Government for a redress of
grievances in Petition No. 12-7747 for writ of certiorari to the U.S. Supreme Court, a First Amendment right.
Petition No. 12-7747 was compromised by fraud of the Respondents and the Attorney General of Florida. Specific
examples of current and ongoing political persecution of me include:
1. The Florida Bar for an open investigation of me for Unlicensed Practice of Law (UPL).
2. Mr. Rodems made the UPL complaint against me for representing myself and my interests.
3. Judge Hodges corruptly assisted McCalla Raymer in a wrongfully foreclosure of my home.
4. Mr. Castagliuolo ongoing threats to interfere with my Social Security disability income.
Petition No. 12-7747 was denied February 19, 2013. Rehearing was denied April 15, 2013.
In May 2013 I obtained public records showing Respondent David A. Rowland, General Counsel for Respondent
Thirteenth Judicial Circuit Florida, concocted with others a fraud to falsely portray to Kenneth Wilson, Florida
Assistant Attorney General, that I did not serve Mr. Rowland my petition as I certified under Supreme Court Rule
29. Mr. Wilson claims he relied on Rowlands fraud, and did not submit a brief in opposition due the Supreme Court
January 14, 2013. Evidence now shows Attorney General Bondi, et al, were co-conspirators.
Without a response, Florida Attorney General Pam Bondi denied me due process under the Fifth and Fourteenth
Amendments. The U.S. Supreme Court relies on opposition briefs as part of its adversarial process to properly
litigate and decide a petition. Floridas opposition brief was due January 14, 2013. AG Bondi did not respond for
Florida, thus no opposition brief was distributed for the Supreme Courts Conference February 15, 2013.
I provided two affidavits to the Untied Nations.
Affidavit of Neil J. Gillespie, Fraud or Impairment of Petition No. 12-7747, October 21, 2013 - To the Special
Rapporteur, Independence of Judges and Lawyers, Office of the United Nations High Commissioner for Human
Rights, and the Special Rapporteur on Disability, United Nations Enable (website), Secretariat for the Convention
on the Rights of Persons with Disabilities. Affidavit: Fraud or impairment of Petition No. 12-7747, a legitimate
government activity (18 U.S.C. 371), deprivation of my rights under color of law (18 U.S.C. 242), and
conspiracy against my rights (18 U.S.C. 241).
Affidavit of Neil J. Gillespie, I have a well-founded fear of political persecution, October 22, 2013 - To the Special
Rapporteur, Independence of Judges and Lawyers, Office of the United Nations High Commissioner for Human
Rights, and the Special Rapporteur on Disability, United Nations Enable, Secretariat for the Convention on the
Rights of Persons with Disabilities
I have kept in email contact with Gabriela Knaul, Special Rapporteur, Independence of Judges and Lawyers, and
Shuaib Chalklen, Special Rapporteur on Disability, U.N. Enable, and Associates of the United Nations.
Attorney General Bondi, et al, are now under an Ethics Commission investigation. Thank you. Neil J. Gillespie
Country: United States
City/town: Ocala
Email address: neilgillespie@mfi.net
Web page: http://nosueorg.blogspot.com/
Company/Organization/Institution: Justice Network
Courses: The Fight Against Corruption
First access: Monday, 23 December 2013, 12:21 AM (27 days 17 hours)
Last access: Sunday, 19 January 2014, 05:50 PM (1 min 44 secs)
Interests: People, Justice, Human Rights, and Disability Rights.

THE

AGAINST

TIO

23 December 2013
http://thefigntagsll'\$b:Q,m,.Iptio.l\.unodt.ore
http://thengl1t:agaillstCDfrup'tion.lmglo'balcompact.org

AMERICAN BAR ASSOCIATION


Associate Executive Director
ABA Public Services Group
Director, CPR
Jeanne P. Gray

February 19, 2013

ETHICS Unit
Lead Senior Counsel
Dennis Rendleman
Associate Counsel
Eileen B. Libby
Senior Counsel ETHICSearch Director
Peter H. Geraghty
ETHICSearch Associate Counsel
Susan Michmerhuizen

Center for Professional Responsibility


321 N. Clark Street
Chicago, IL 60654
Phone: (312) 988-5325
Fax: (312) 988-5491
Email: cpr@americanbar.org
Website: www.americanbar.org/

Neil J. Gillespie
8092 SW 115th Loop
Ocala, FL 34481
Dear Mr. Gillespie:

Lawyers Manual
Lead Senior Counsel and
Managing Editor
Ellen J. Bennett
Associate Counsel and Attorney Editor
Elizabeth J. Cohen
Attorney Editor
Helen Gunnarsson
Marketing and Planning Unit
Director
Angela L. Burke
Sr. Membership & Marketing Specialist
Benjamin Woodson
Program Specialist
Krista D. Herman
Policy and Program Unit
Director
Marcia Kladder
Senior Research Paralegal
Natalia Vera
Paralegal
Kimley Grant
Committee Specialist
Annie Kuhlman
Policy Implementation and
Client Protection
Lead Senior Counsel, Policy
Implementation and Client Protection
John A. Holtaway
Client Protection Counsel
Selina Thomas
Professionalism and Specialization
Deputy Director, CPR
Professionalism Counsel
Arthur H. Garwin
Senior Counsel
Paul A. Haskins
Senior Counsel Specialization
Martin Whittaker
Regulation

Your letter of February 18, 2013 addressed to ABA President Laurel G. Bellows was referred
to me for response. Your inquiry relates to the program of discipline system consultations
administered by the American Bar Association Standing Committee on Professional
Discipline, which is designed to assist the judiciary in developing and strengthening
professional disciplinary enforcement. The Standing Committee has developed lawyer
discipline consultation criteria adapted from the ABA Model Rules for Lawyer Disciplinary
Enforcement and from the 1992 McKay Commission Report, which was referenced in your
letter.
The principal component of this process is that it must be initiated by invitation of a
jurisdictions highest court requesting the ABA Standing Committee on Professional
Discipline to conduct an on-site review of the entire lawyer discipline system by a team of
national experts. The team conducts extensive interviews with disciplinary staff, discipline
system adjudicators, bar officials, complainants, respondents, respondents counsel, members
of the judiciary and others who have had contact with or a role in the states discipline system,
and reviews court rules, reports and statistics. Thereafter, the Standing Committee provides
its report and recommendations to the jurisdictions highest court on a confidential basis. The
report is designed to assist the court to improve its system by providing constructive
recommendations based upon the teams investigation, its collective knowledge and
experience, and consideration of the consultation criteria.
Without a direct invitation from the Florida Supreme Court, the Standing Committee is not
able nor authorized to provide lawyer discipline system consultation services. Since the
program is designed to assist the judicial branch of government in the execution of its
regulatory function, the jurisdictions highest court must affirmatively extend the invitation to
the American Bar Association.
Thank you for your interest in our consultation program.
I hope this letter is responsive to your inquiry.
Sincerely,

Lead Senior Counsel,


Regulation and Ethics 20/20
Ellyn S. Rosen
Deputy Regulation Counsel
Theresa Gronkiewicz
Associate Counsel,
National Lawyer Regulatory Data Bank
Vita Levar

Jeanne P. Gray
Associate Executive Director, ABA Public Services Group
Director, ABA Center for Professional Responsibility

NEUROLOGICAL ASSOCIATES
Jay J. RUbin, M.D.., P.A. Anette V. Nieves, M.D. Anna Y. Khanna, M..D.
Specializing in Neurological, NeLJromuscula~ Movement, Sleepl and Cerebrovascular Disorders
Florida Professional Park
2685 SW 32nd Place
Ocala, Fl. 34474

(352) 7329643
(352) 732-2243 fax
NeuroHealthinc.com

Del Webb Spruce Creek


14.031 Del Webb Blvd.
Summerfield. Fl34491

September 4, 2008

Christopher Grainger, M.D.


4600 SW 46th Court, #310
Ocala. Florida 34474

NEUROLOGICAL CONSULIATION
Re:

Chart #-. 56021

Penelope M. Gillespie

Dear Christopher:
Thank you for requesting a neurological consultation regarding this n-year-oJd female with Alzheimer's disease.
Mrs. Gillespie is accompanied by her son Who is a very good historian. He also provided a nIcely printed list
regarding her current medications.

History of Present Illness: Mrs. Gnlespie has a history of progressive short-tenn memory impairment culminating
with a diagnosis of AlZheimer's disease made by Dr. A. Singh in 2004. She was placed on Namenda and then
evaluated neurologicaUy by Dr. HoweU and treated with Aricepl In 2007. Aricept was stopped for eighteen days
whereupon her memory worsened. Mrs. Gillespie stopped driving in 2004. Her son cooks and manages her
medications. She generally eats and sleeps well, sleeping about eight to ten hours a day on the average. and she
infrequently awakens during the night. She wears Depends for incontinence end for occasional dianhea. She has
some episodes of increased confusion but no hallucinations. Generally, her disposition is very good and she is
quite cooperative.
More recentlyt she has been under the care of Dr. Gaya, but her son expressed an interest in the Alzheimer's
Investigational Study. Her son indicates that Mrs. Gillespie has had more confusion this year. For example, she
often does not seem to realize that her son Jives with her.

Your evaluation inclUded a head CT scan in 12107 at Advanced Imaging Center that showed an old appearing right
frontoparietal cortical stroke and atrophy. She had a nonnal TSH and 812 level in 06108. Her creatinine has
gradually been elevated and was 1.98 in July.

Past Medical/Surgical History: Is noteworthy for atrial fibrillation. mitral valve regurgitation. Alzheimer's disease.
TIA, hypertension. and irritable bowel syndrome. She is sIp bilateral total knee arthroplasty (in 1998 and 2000).
Current Medications: Namenda 10 mg bid (began in 2004), Aricept 10 mg q a.m. (began in 2005). Furosemide
20 mg qd, Spironolactone 25 mg qd. Coumadin, Nitroglycerin 0.4 mg pm, multivitamins, vitamins 86 & 812,
Imodium AD pm, and Tylenol pm. She is not to take Advil, A1eve, Motrin or Ibuprofen.

Allergies: Rythmol. Methotrexate, or fresh, frozen or canned com.


Social History: Mrs. Gillespie is widowed and has three children. She is a high school graduate. She smoked
minimally In the past. No history of any alcohol consumption. She is retired from retail work. She enjoys watching
teleVision and reading newspaper and magazines.
(Page

1 of 2)

C1

,
Penelope M. Gillespie

09/04/08 - Neurological Consultation

(Page 2 of2)

Her mother died at 83 years of age from a stroke. Her father died at 60 years of age with
myocardial infarction. Her brother is age 82 and her sjster is age 79, both with heart disease. Her maternal
grandmother also had dementia.
Family History:

Review of Systems:

Is noteworthy for weakness, fatigue. hypertension, occasional chest pains, irregular


heartbeat, daytime sleepiness, nocturia, back pain, pain with walking about half a block. confusion, and chronic
anxiety, but there is no history of depression according to Mrs. Gillespie or her son. Complete ROS ls available in
the chart and I reviewed this with Mrs. Gillespie.
NEUROLOGICAL EXAMINATION: Blood pressure is 120/80. Pulse 80 with slight irregularity. Height 5'5". Weight
157 Ibs. She is right-handed. Mrs. Gillespie appears short-stature. pleasant, cooperative, comfortable, and wtth a
somewhat flattened affect, and with mild bradykinesia. Chest is clear. Heart rate Is frequentty irregular. No heart

murmur or carotid bruits are present. She is disoriented and certainly confused. She recalled 0/3 objects in fIVe
minutes With poor visual spatiallkills. She scores 17130 on the Mini-Mental Status Examination. HEENT: PERRL.
Full visual fields and extraocular movements but with decreased smooth pursuit. Normal grimace, hearing,
elevation of palate, shrug and tongue movements. There Is mild atrophy present In the distal lower extremities but
strength is normal throughout. Sensation is only deaeased to vibration in the toes. Normal coordination and gait..
Deep tendon reflexes are diminished throughout but symmetrical. Babinski sign is present bilaterally but no
spasticity is present.
DIAGNOSES:

1.

Moderate dementia consistent with Alzheimer's disease, currently treated with Aricept and Namenda.

2.

History of right frontoparietal cortical stroke probably occurring two years ago by history and by head CT

scan.
3.

Chronic renal insufficiency.

RECOMMENDATIONS/PLAN: I reviewed the findings, diagnoses and treatment options with Mrs. Gillespie's son.
He is very intelligent. supportive and proVides many documents including a detailed list of all of her tests and

procedures between 10/05 and 07/08. Her son expresses much interest in helping his mother participate in a ~
research stUdy. Therefore t this Is being discussed. If she is a candidate, she wiD be screened for the study and if
her son is interested. then we will pursue appropriate treatment. Otherwise, I am going to recommend continued
current medications. We will also schedule a return appointment for Mrs. Gillespie and I look forward to folloWing
her along.
V'
It was a pleasure seeing this delightful lady today and I also appreciate the helpful records you provided.

JJRIwItv

OFFICE OF THE UNDER SECRETARY OF DEFENSE

4000 DEFENSE PENTAGON

WASHINGTON, D.C. 20301-4000

~EP

0 7 200~

PERSONNEL AND
READINESS

Mr. Neil J. Gillespie


8092 SW 115 th Loop
Ocala, FL 34481
Dear Mr. Gillespie:
Thank you for your letter to Secretary of Defense For Personnel and Readiness, Dr. David
S.C. Chu, regarding your request to serve our Nation. My office has been asked to respond.
Each Service establishes its own standards for enlistment under the authority of Title 10
of the United States Code. The age limit for initial enlistment, established by the United States
Code (10 USC, Section 505), is 35 years, although most Services set their maximum enlistment
age at 34 years or less.
However, the Department of Defense team consists of both military and civilian members.
Many civilian positions are available overseas in the theatre of operations in support of the
military. If you're interested in civilian employment you may contact the government agency
where employment is desired. A listing of government job vacancies is available from the U.S.
Office of Personnel Management at www.usajobs.opm.gov.
Alternatively, you may be interested in volunteer opportunities available through such
organizations as USA Freedom Corps, Citizen Corps, AmeriCorps, and America's Promise. You
can learn more about such opportunities through the following websites:
http://www.usafreedomcorps. gov/, http://www.citizencorps.gov/, http://www.americorps.org/,
and http://www.americaspromise.org/
I thank you for your interest in serving our great country and hope this information is
useful to you.
Sincerely,

C. P. Arendt
Captain, USN
Deputy Director, Accession Policy
(Military Personnel Policy)

PEACE CORPS

February 25, 1997


Neil J. Gillespie

1121 Beach Drive N.E., C-2

St. Petersburg, FL 33701

Dear Mr. Gillespie:


Thank you for your interest in opportunities with the Peace Corps.

You may have the background and skills to qualify for a Peace Corps

assignment.

Today's Peace Corps is more competitive than in the past, and

requires a college degree and/or work experience. Many times an

advanced degree coupled with work experience is required.


To make

your application more competitive you can: do ESL tutoring (for a

minimum of six months), in a program that has pre-service training;

get certified in CPR, first aid or EMT; volunteer in a hospital or

clinic for a minimum of three months, or obtain a minimum of three

months work experience in construction, masonry, carpentry or

plumbing.

The skills most frequently requested by the countries where Peace

Corps Volunteers serve are: agriculture and natural resources;

business or accounting; civil, structural or environmental

engineering; health, nutrition or nursing; industrial arts or

technical education; primary or secondary education in science or

math; special education; skill trades like carpentry or metalwork;

and Teaching English as a Second Language.

In addition to meeting skill and educational qualifications, a Peace


Corps applicant must be a u.S. citizen, at least 18 years old, in
good health, free of legal and financial obligations, and willing to
serve two years after successful completion of a three-month pre
service training program. The selection process from receipt of an
application to the beginning of the pre-service training averages ten
months.
Placement of married couples without dependent children is
sometimes possible but both spouses must qualify for assignments, and
the application process will take longer than for individuals.
Peace Corps is committed to showing the world our cultural diversity
and welcomes people of all ages, racial, and ethnic backgrounds.
An application and background material are enclosed.

Please

carefully review the material.


If you have additional questions,

call (800) 424-8580, and a recruiter will assist you.

Sincerely,

J4~
Maisha Strozier

Area Manager

Peace Corps Regional Office


100 Alabama Street
Building 1924, Suite 2R70
Atlanta, GA 30303

Phone: (404) 562-3456 or (800) 424-8580


Fax: (404) 562-3455
EMail: atlanta@peacecorps.gov

Printed on Recycled Paper

THE EVERGREEN STATE COLLEGE

In recognition of completion

of the course of study approved by the faculty

)Veil joseph (jillespie

is awarded the degree

BACHELOR OF ARTS

with all its honors, privileges and obligations, Conferred at Olympia,

Washington, the Sixteenth day of December,

Nineteen hundred and Ninety-Five.

The Evergreen State College

81vmpla, Washlnuton

This is to certify that

NEIL JOSEPH GILLESPIE

Has completed

The requirements for the degree

BACHELOR OF ARTS

This degree was awarded

At the conclusion of

Fall Quarter, 1995

(December 16, 1995)

Record Of Academic Achievement

Program
Contract No.

Program/Contract Title
(Suggested Course Equivalencies in Quarter Credit Hours)

Date
Began

Date
Ended

Evergreen
Units

Awarded
Otr. Cr.

HIGH SCHOOl
06-74

BISHOP EGAN HIGH SCHOOL


TRANSFER CREDIT ACCEPTED
BUCKS COUNTY COMMUNITY CO_LEGE
UNIVERSITY OF PENNSYLVANIA
PORTLAND STATE UNIVERSITY

4069G

EVERGREEN CREDIT
LIFE SPAN DEVELOAMENTAL PSYCHOLOGY
(8-LIFE SPAN DEVELOPMENTAL PSYCHOLOGY)
(4-THE PHILOSOPHICAL CONTENT OF FREUDIAN
THEORY)
(4-GROUP DYNAMICS)

02-76
06-85
06-94

05-80
05-90
08-94

15
115

01-95

03-95

16

4100G

PSYCHO_OGICAL ASPECTS OF HEALTH & HEALING


(3-GROWTH PSYCHOLOGY)
(3-HEALTH PSYCHOLOGY)
(l-PSYCHOTHERAPEAUTIC MODELS)
(I-THANATOLOGY)

04-95

06-95

4171M

GRANT WRITING
(4-GRANT WRITING)

06-95

08-95

4607C

PERSONALITY THEORY
(4-PERSONALITY THEORY)

06;95,
,

08-,95'

JUNGIAN STUDIES: DIRECTED RESEARCH


('C8-PHILOSOPHY OF JUNGIAN PSYCHOLOGY)
('C4-INTERPRETIVE THEORY , FEMINIST, POST
MODERN, CROSS-CULTURAL, AND LITERARY)
('C4-RESEARCH IN JUNGIAN PSYCHOLOGY)

10-95

12-95

5069G

BACHELOR OF ARTS DEGREE CONFERRED

;~d
-'

16

12-95,

1'...

.,

':'._5,~

(1

{J
; ...

"

tf

-<f

181

CUMULATIVE CREDIT

Evergreen Credit (Beginning Fall 1979) - Awarded In Quarter Credit Hours.


*1 Evergreen Unit (1971 Thru Summer' 973) - 5 Quarter Credit Hours.
**1 Evergreen Unit (Fall 1973 Thru Summer 1979) 4 Quarter Credit Hours.

.........

~ ~ TItS Rirotto fMV . .


Ii IEU.w:D to N4Y ~R PM" _ _

~.

National Foundation for


Facial Reconstruction

317 EAST 34TH STREET


NEW YORK, NY 10016
212-263-6656 1-800-422-FACE
FAX-212-263-7534

April 15, 1994


PRESIDENT
J. Peter Hoguet

VICE PRESIDENTS
Brownlee O. Currey, Jr
Frederick M. Friedman
John R. Gordon
Mrs. Demetrio Guerrini-Maraldi
Marguerite Prince Sykes, M.D.

Mr. ~eil J. Gillespie


266 7th Ave NE, Apt 5
St. Petersburg, FL 33701

TREASURER
Daniel Rosenbloom

Dear Mr. Gillespie,

SECRETARY
Eduardo Gaffron

EXECUTIVE DIRECTOR
Arlyn S. Gardner

I am pleased to send you a copy of the proceedings of the National Foundation


for Facial Reconstruction's Conference, "SPECIAL FACES: Understandin~;
Facial Disfigurement" which you attended.

BOARD OF TRUSTEES
Robert E. Bochat
Mrs. H. Lawrence Bogert
Phillip R. Casson, M.D.
Brownlee O. Currey, Jr
Robert F Dall

Thanks to an outstanding panel of conference participants, this book will serve


as an invaluable aid to patients, families and professionals and help to further
the NFFR's goal to provide greater awareness and understanding about the
problem of facial disfigurement.

Frederick M. Friedman
Eduardo Gaffron
Mrs. Roswell L. Gilpatric
John R. Gordon
Mrs. Demetrio Guerrini-Maraldi
Anita Covington Heller
Steven M. Heller
Ernest Heyn
J. Peter Hoguet

Tne confer~ilce b&<ik. wiii b~ di,.si.lib~icd to medica} m}fari~s, parent and patiem
support groups, plastic surgery units and rehabilitation -agencies thrQughout the
country. It is our hope that the nearly 500,000 Americans who are disfigured
each year by congenital birth defects, fires, accidents and tumors will be the
ultimate beneficiaries and will be given the opportunity they deserve to become
happy and productive individuals.

William E. Jackson
Richard B. Jennings

Sincerely,

Joseph G. McCarthy, M.D.

~NorruJ-

Bruce Morrow
Phebe Miller Olcay
Elizabeth D. Old
Thomas D. Rees, M.D.
Cliff Robertson

J. Peter Hoguet

R. Bruce Robertson
Daniel Rosenbloom
Mrs. H. Virgil Sherrill
Marguerite Prince Sykes, M.D.
Mrs. Rawleigh Warner, Jr
Roger S. Weber

JPHljg

John C. Wohlstetter

Enclosure

Barbara H. Zuckerberg

Photo Journal of Kar Kingdom, Inc.

Reedman Motors (above left) established Langhorne, PA as a major auto center in the Northeast by
extensively advertising its 150 acre multi-million dollar auto center. Reedman Motors provided my
car business (above right) a large New York City client base, through its NYC marketing efforts.

In April 1980 I opened my business on a rented lot, with a used trailer for an office, and a small
inventory. The business allowed me time for craniofacial habilitation and surgery. My clientele
included non-native English speakers, a mitigating factor with my congenital speech impairment.

My business prospered. I bought the Edgehill school property (above) which I developed, together
with an adjoining property, into a successful business. I took Wharton evening classes part-time.
My employees included WW2 veterans, whos maturity and experience helped me succeed as a
24 year-old entrepreneur. My father was title clerk and manager for a time. On June 29, 1988 I sold
the property for $1.9M. (after the 1987 stock crash). August 20, 1988 during a robbery I sustained
traumatic brain injury (TBI) and disability. Unfortunately I was not properly diagnosed for years.

London Roadster Showroom


Kar Kingdom Service Center
I was an authorized new car dealer for London Roadster.

Neil J. Gillespie, President


Kar Kingdom, Inc. (age 29)

6<:.-

eit Gillespie, resident of Kar Kingdom in Middletown Township, displays the London Roadster.

New roadster has '40s imag

10~\(
Uv

Middletown dealer offers spiffy sports car

By Dave Chandler
Courier Times Business Editor
. 'Kar Kingdom, a Middletown
'1lo.wnship business, has be
'come the exclusive area auto
mobile dealer for the London
Roadster, an American-made
convertible that looks like a
British sports car of the 1940s.
"A lot of new cars today all
look alike," said Neil J. Gilles
pie, president of Kar Kingdom,
which is located at Lincoln
Highway and Route 213.
"But no one is going to con
fuse this car," he continued.
"Il's an original."
The London Roadster is Kar
Kingdom's first line of new
cars, Gillespie said. Up until
now, the dealership only sold

used cars.
The top-of-the-Iine London
Roadster model sells for $16,
985, Gillespie explained. "It
really is a fun kind of car," he
said.
The car is manufactured by
London Motors Corp. of Dear
born, Mich.
"The company has been in
business for 19 years," Gilles
pie said. "Up until now, the
company sold directly to the
public through ads in the Wall
Street Journal and the New
York Times.
"But now, they decided to in
crease their market share by
establishing dealers."
Gillespie, a Levittown native
and a,graduate of Bishop Egan
High School. said he found out

about the London Roadster in


an advertisement in the Wall
Street J ouma!.
"I called about getting a
dealership," he said. "I flew
out to Detroit and Iit<ed it. It's
very similar to the early MGs
(a British sports car) ofthe late
1940s and early 1950s.
"It's a very high-quality car.
It's 78-percent hand made."
The London Roadster has a
l.8-liter, 4-cylinder engine. It
has rack and pinion steering,
disc brakes in the front and
drum brakes in the rear, an in
dependent four-wheel suspen
sion, and a non-rust, fiberglass
body on a steel frame.
A customer interested in
buying a London Roadster
must know how to drive a car

with manual transmission.


"It's modeled after the line
of real sports cars, and they
didn't come with an automatic
shift," Gillespie said.
Kar Kingdom was started in
1980, Gillespie said. Its office
building is located in the for
mer Edge Hill School building,
which was built in 1894 and used
as a school until the 1940s.
After that, the building was
used as residence up until the
time Kar Kingdom bought it.
In order to display the Lon
don Roadster, Gillespie built a
showroom adjoining Kar King
dom's office building. The deal
ership also recently built a ser
vice center to handle all of its
cars.

https://www.corporations.state.pa.us/corp/soskb/Corp.asp?496028

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Business Entity Filing


History

Date: 10/7/2014 (Select the link above to view


the Business Entity's Filing
History)

Business Name History


Name

Name Type

KAR KINGDOM, INC.

Current Name

Business Corporation - Domestic - Information


Entity Number:

726273

Status:

Active

Entity Creation Date:

2/23/1981

Registered Office Address:

PO BOX 66, RTE. 213


LANGHORNE PA 19047-0
Bucks

Mailing Address:

No Address

Officers
Name:

NEIL J GILLESPIE

Title:

President

Address:

23 SWEETGUM RD
LEVITTOWN PA 19056-09

Copyright 2002 Pennsylvania Department of State. All Rights Reserved.


Privacy Policy | Security Policy

http://www.licensepa.state.pa.us/Details.aspx?agency_id=1&license_id=1748931&

For questions about this website, please Click Here to send an E-Mail , or to contact your Board directly, Click Here.

Click the X at the upper right corner to close this window and return to the list of licensees.
Person Information

Name:

KAR KINGDOM INCORPORATED AUTO SALES


Address Information

Address:

2240 EAST LINCOLN HWY


BOX 66 ROUTE ONE
LANGHORNE PA 19047
License Information

Number:
Vehicle Dealer Secondary Type:
VD011787A
Profession: Vehicle Board Status:
Inactive Date This Status: 9/26/1988
Issue Date: 5/12/1981
Expires:
5/31/1989 Last Renewed: 6/29/1987
Type:

Prerequisite Information

Licensee:

DEJOSEPH, DONALD M Relationship:

Business Relationship

Type:

Vehicle Salesperson

MV004376L

Date of Association:

Number:

Status:

Date of Expiration:

Licensee:

GILLESPIE, CORNELIUS LEO Relationship:

Business Relationship

Type:

Vehicle Salesperson

MV067801L

Number:

Date of Association:

Status:

Expired

Date of Expiration:

Licensee:

GILLESPIE, NEIL J Relationship:

Business Relationship

Type:

Vehicle Salesperson Number:

MV038083L

Date of Association:

Status:

Expired

Status:

Expired

Status:

Expired

Date of Expiration:

Licensee:

LEVINE, FAY

Type:

Vehicle Salesperson Number:

Business Relationship

Relationship:

Date of Association:

MV063518L

Date of Expiration:

Licensee:

ROSNER, BERT M Relationship:

Business Relationship

Type:

Vehicle Salesperson

MV057953L

Date of Association:

Revocation

Number:
Date of Expiration:

Discipline Action History

No disciplinary actions were found for this license.


The Information above is considered primary source for verification of license credentials.

http://www.licensepa.state.pa.us/Details.aspx?agency_id=1&license_id=711752&

For questions about this website, please Click Here to send an E-Mail , or to contact your Board directly, Click Here.

Click the X at the upper right corner to close this window and return to the list of licensees.
Person Information

Name:

NEIL J GILLESPIE
Address Information

Address(city state zipcode):

LEVITTOWN PA 19053
License Information

Number:
Vehicle Salesperson Secondary Type:
MV038083L
Profession: Vehicle Board
Status:
Expired Date This Status: 4/18/2001
Issue Date: 10/10/1975
Expires:
5/31/1989 Last Renewed: 6/29/1987
Type:

Prerequisite Information

Licensee:

KAR KINGDOM INCORPORATED AUTO


SALES

Relationship:

Business
Relationship

Type:

Vehicle Dealer

Number:

VD011787A

Date of
Association:

Date of
Expiration:
Discipline Action History

No disciplinary actions were found for this license.


The Information above is considered primary source for verification of license credentials.

Status:

Inactive

YAMPOLSKY, MANDELOFF, SILVER

&

COMPANY, P.C.

Certified Public Accountants


1420 WALNUT STREET. SUITE
PHILADELPHIA. PA 19102

200

TELEPHONE
FAX

(215)5454800
(215) 985-1161

December 13, 1991

To whom it may concern:


I have been requested to set forth a history of my relationship with Mr. Neil
Gillespie, which is as follows:
1)

I have known Neil since 1978 when I became his accountant.


Neil was an automobile sales person.

At that time,

2)

Several years after I began performing Neil's personal income tax work, he
began his own used automobile business which was incorporated under the
name of Kar Kingdom, Inc. The Company operated from a rental location for
approximately two years, at which time Neil purchased a car lot in
Langhorne, Pennsylvania to further the growth of the business. Under
Neil's,direction, Kar Kingdom, Inc. continued to grow from one year to the
next, realizing sales approaching $2,000,000 per year and employing
approximately seven individuals.

3)

Kar Kingdom, Inc. operated successfully through mid 1988, at which time the
lot was sold due to a down turn in the automobile business in Langhorne.

4)

During 1989 and 1990, Neil was instrumental in the formation of two
Companies, Automotive Specialists, Inc. and Global Business Services, Inc.
Neil lent his professional expertise to Automotive Specialists, Inc. while
he offered professional business consulting services through his Company,
Global Business Services, Inc.

5)

Neil maintained his personal residences in Philadelphia ~rom 1984 through


1989, most of this period residing at the John Wanamaker House.

6)

While Neil's business interests have suffered due to the ongoing current
recession, our office continues to consider Neil as a quality client and a
friend.

Page 2
Neil Gillespie
December 13, 1991

We would be happy to provide any other information required regarding Neil


Gillespie if requested.

Sincerely,

Terry D. Silver

TDS/kw/Gillespie

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