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RCE eee eee ECE Princi ‘Trenton Garmon, Esquire a, @Associates Associates: Daniel Lewis, Esquire «= Sergio Llopiz, Esquire + 23 May 2020 (Saturday) Jeremy Richards, Esquite 4.» Paul Roberts, Esquire 4 Petia Tenev, Esquire + Ashley Weaver, Esquire « OF Counsel Frank Bailey, Esquire « Kent Hamilton, Esquire « Steven Taylor, Esquire + mmerci: ier Florida Department of Financial Services, Division of Risk Management 200 E, Gaines Street Tallahassee, Florida 32399-0338 Telephone: (850) 413-3122 Re: Statement of Claim with Exhibits Dear Agent of the Department of Financial Services: Please allow this to serve as a claim for damages related to the civil rights breaches and torts as setout in the attached Statement of Claim. The demanded monetary satisfaction is $2,500,000. Thus, please do consider the content herein and act accordingly. You or an agent of your company are welcome to contact me directly at 205-753-3998. Respgctfully, Dreier 1 armor TRENZON GARMON Page 1 of ‘TEhnuicharerhas ieciamatpiesues 2024 3rd Avenue North, Suite 210, Birmingham, Alabama 35203 £ 855-99-TRENT 105-588-0057 2 trent@trentongarmon.legal = wiww.trentongarmonlegal © IAL SERVI ‘lesion of Risk Menagentent STATEMENT OF CLAIM Deparment Pinas County Shae Cesarnert (u Caim to, ‘ REDE Nar: “Trenton Rogers Gaon Tetepnene: ass-998.7300 —TeenlenRogersGamoy seme ‘Aces 524 0h Beet South rave oartsi1979 —Seumhaietsows a Sata Petar, F975 Nama ot Spouse orParanit Mine NotAcpiesbia, a Dat os, © Levee Tine & Sith Avenue Noh & 271m Sst Noah Stoner st How Acer Ossras and be Bs fh Ci (Us Anal hott ticesay) Please 28 the ateched Aint regarding he civil rights vtaions and torts, {fate 4 Adee of Paro} Pesan! at Tina Aco Use Adon See! #Necersan) ' Telephone See Atocred ne; “atophone No Telephone No; Dessre MotrVatiels Own by Your Meter of Hoses ng Lanse Nunbe (Sale Ner Np ising) 2008 Honds Oeyeee Van Blue = FLAB13V Nome of surance Company en the Atove Vehies Farmers truranco Weryestnured? — X Yes Ne ese y {#¥ee,Complos the Foboving: cathe, Mat damages ae reeatonastine tom ar, sf uso afmy een, se 9FS-00-262, Rev, 118 e DEPARTMENT OF FINANCIAL SERVICE Division of REK Management st Doctors & Hospital Giving Treatment (Including Complete Name & Address) Dr. Lori Puterbaugh Re: counseling ‘Tobe provdesin Sgt “Tobe pode n Bogan oe ate ratte am tha rout of Total Docer a_i Heese Bm Legis, (erieed Bis Mast Be (lemized Bi 84u51 Be Atachad) ‘Ateches} ‘ra You Racohing Medel Trestrent t Present? Yes at ‘iar You nha Cours ef Employ? xyes aN. Die You Lope coms? x Yen ate Yee, Us Employes of Post 3 Years 4 2004-740 Thi Avenue North, Srdogham carmen Asscaies 25205 255.908.7368 Tiana al Company or Pesan Hares ire CCneoh ofa Coss ‘Acai offostvagos oust neta sed staomant Kom arpioer tenting date andpay est Date sb Begon 008 - te Retard Wk Septaror 2019 i you reeive damage to moo vehicle arpersarel proper? (it desciptonn etal, Ge eense rant) None to the vehicle List Any Other Expense (Nurses, Drugs Must Have Supporting Bils) (OFS.00252 Fev. 1108 Lost wages are claimed as $457,225 which Is Zz years 9foss given the lost me from work, Umma In $2,000,000.00 reputational damages, tat damages, mortar distress, mental anguish, and the like Sompensatory damages are made for a clalm of $2'$00,000.00 Fall Tlegal Do you have any existing ‘laim for workmen's compensation, personal injury? x Personal injury protection, or other claim oF Yes___No___ if yes, ist date, place, type of accident, and Injury. Ust any accident in which y (Use back for complete list Identify Policy Authority Investigating ou recelved any type of injury in the past years, nana, ndicale NONE. None prior to incident date ee ‘TRENTON GARMON, Pro Se 2024 Third Avenue North Birmingham, Alabama 35209 Olfice: 855-998-7368 DFS.00-25 Re 1105, Statement of Claim Submission 6th Amendment Jury Notice & Demanded This Statement of Claim is herein submitted under cath with tha supporting documentation to include an Affidavit. A Jury Trial is hereby noticed, requested and demanded. Note the Claimant/Plaintit ‘will be litigating, to include written discovery and depositions and any subsequent counsel who may enter lef appearance. | swear and affirm the statements made herein are truthful and accurate under penalty of perjury, GARMON For an Oath or Affirmations in compliance with Florida Statute 147.05{13]{a}) STATE OF ALABAMA) COUNTY OF ETOWAH) Personally appeared or in compliance with digital notary minimums before me, the undersigned authority in and for the aforesaid County and State, TRENTON GARMON, who acknowledged that he signed, executed and delivered the above and foregoing instrument on the date thereof and for the use ‘and purposes therein. Swom to or affirmed and subscribed before me this the {SM day of May 2020. LI elite Cone My commission expires: FS.00262, Roy 1105 STATE OF ALABAMA COUNTY OF ETOWAH Penalty of perjury under oath and doth de 1 AEEMavir COMES NOW, Trenton Garmon, Esquire, and after being duly sworn under ‘Dose and say as follows: sworn & empaneled Jury. ‘Gis tal resulted in a “Not Guilty” verdiet on the Driving Under the Influence (DUT charge, A felony for “Child Endangerment” vas indicated as an unofficial “charge” on the arrest report, but was subsequent tly not prosecuted per the letter dated ‘April 16, 2018 ftom Fred Schaub, Assistant State Attorney for the Office of the State Attorney, Sixth Judicial Gireuit of Florida for Pasos and Pinellas Counties. This overcharge is another damage and was not supported by a shred of evidence Proving yet again the malicious methods implemented, Specifically, Assistant State Attorney Schaub stated in his letter: *,. investigation has been conducted in the above-styled case and it has been Cetermined that the facts and circumstances as ‘presented do not warrant Prosecution at this time,” This letter was sent to “Holly Garmon, Parent of Sydne, Judah, Josiah & Sarah Garmon” who is my wife although we are ‘currently separated. The separation in large part was triggered by the fallout from the fics arrest, false allegations by the Sherii's Department, malicious prosecuting aa what would become Perjury of the Deputies involved, On ot about March 08, 2018 at approximately 6:16 pm after having picked four (1) of our five 5) children up from Liberty Christe, School 1 was encountered by two Deputies from the Pinellas County Sheriths Department. Given my wife and I elected to live ia a poor neighborhood to serve cas community as pestors police wosttate they patrolled the area, but had no idea how oppressive the police were, Regardless, the Officers eomplainea about arrived about one (1) ‘minute their report indicates after the phone call cf Concern over me taking a nap on the side of the road, 10. nh 8. 4. 16, I had not encountered Officer Hulm before, but had seen him frequent in uniform at the gas station across the street from the Wa‘fle House on 5th. Charles Blumberg and James Hulme acted inhuman, cruel and like bullies. 1 was a married man with 5 children and my wife living in my home, T paid my bills and had no government support above my partiel disability from my ante injury during my time in the Army. We were leading a church in the community. together. ‘They acted like beasts and animals and lied under oath which is on the record and preserved. Both Officer Blumberg and the other Officer Hulme committed clear perjury, destroyed evidence and generally breached my civil rights all in an attempt to create a framework of false light to gain revenue and thus personally provide from the Law, rather than act within their duties and should be training to serve and protect me as a citizen, not enemy of the state. Tn addition to destroying evidence, they also misquoted me which the records and video confirm as a means of further framing their intentions of simply gaining a conviction notwithstanding their duties and the actual law. While literally taking a nap in my own vehicle with the doors locked and my children in the vehicle watching a movie with the eleetric doors on child-safety lock, the Officers approached the vehicle leading eventually to one reaching aggressively without permission and no need into the vehicle, battecing me, yanking my keys out of my hand. This happened immediately upon rolling down the window while stil in my own van, safely parked on the side of the road less than one (1) block from our home and in front of and to the fear of my children, At the time we lived at 2797 g8th Avenue North, Saint Petersburg, Florida and hosted a weekly parenting group for the church that we were volunteer pastors for, literally. There were on average twelve (12) to twenty (20) people that would attend to include children and we would ent snacks together, feed the kids pizza and talk parenting over a bock or video. After picking up the children being very fatigued from work and travel, I decided to lawfully take a nap before arriving home to a crowded group which 1 was expected to host with my wife, ‘The Pinellas County Sheriffs Deputies at no time showed professionalism, objectivity or candor. Rather they were aggressive, nonsensical and abused my civil rights and police policy, During the trial, which the audio has been presecved and is being transcribed, doth lied under oath. The dispute was how much “wine” Ihad consumed given a plastic container of wine was placed next to me in the passenger seat and was resting there when they approached the vehicle along with no less than five (5) other bags of groceries, yy 38, 19. 20. 21, 22, 23. 24. 25. imed out of the bottle that was located in groceries all of which was Safely and legally packed on the side ofthe road, is hard to believe that it occurred, After I exited the vehicle as and srecnstitutional, the officers yelled and harassed In December of 1999 Surgical hardware was placed in my right ankle which now and at the time of the unlawful arrest, aseaitt and battery is considered to be g “20% impairment” to the body as a whole. ‘This among other opportunities to be reasonable, honorable and act legally were fered and/or availabe to the Deputies ad they hod ke ‘training and prudence tohave conducted a proper investigation, Tn fact, both were co cowardly that they fet it appropriate to batter and assault another man in civilian clothes just because they were Deputies Wearing green, JEwas and is quite asad thought with regards to whee they believe it means to be 2 "man’, much less an “Officer” ofthe Lan, 26, 27. 29. 30. 3h 32. Regardless, after the harassment during my children’s egress from what the Deputies made into a crime scene (harassment, battery, disorderly conduct, destruction of evidence and eventually assault) the officers continued with their oppressive ways arresting me with intention “over cuffing”. T advised them that I have surgical hardware also in my right shoulder which underwent two (2) surgeries from having played college football. These men are cowardly enough to not even honor a front cuff request by a veteran of the United States Army who they approached sleeping in his own personal vehicle lawfully where no violence, but for theirs, was involved or alleged, ‘The shoulder pain was real, uncomfortable and unnecessary. Deputy Blumberg refused to place a seat belt on me after I cooperated and allowed him to arrest me and got into the back of the tax-payer owned and paid for Tahoe, ‘The cowardly actions continued as upon request to be belted given he was driving erratically and speeding on 62nd, the Deputy literally slammed on the brakes of ‘the Tahoe from a speed of no less than thirty-five (95) mph causing my face to strike the plexiglass. ‘The known “brake check” tactic was intentional and I reported it as such to the Sheriff's Department. This part of the incident is indicated in the medical records to include the bending of my glasses, but I was misquoted as saying id not know if it was intentional or not. Tt was very clear as intentional and was an assault further revealing the “culture of crime” I came to discover that is accepted many times among the Pinellas County Sherifi’s Department. As I entered the Jail [literally to further make the point walked a few feet over to my left rather than directly towards the door and walked no less than seven (7) steps heal to toe over a straight parking line to prave my capacities in the moments of initial oppression, false light and false accusation, At the Jail 1 requested medical attention which was provided by Katrina K. Ray, RN 55122, ‘Nurse Ray examined my face and eye where I was assaulted into the plexiglass. She did an eye scan to check for concussion and I asked her if my responsiveness appeared inpaired and she said “no”. Exhibit “O", has the narrative description in letter format of the incident wherein we sought to be reasonable and provide medical documentation of the sleep condition not inquired of by the Deputies in beack of policy. Given the charges 1 was foreed to expend money for a lawyer for the criminal defense and was foreed to hire an attorney for a bar inquiry which was filed. Roger Futerman, Esquire was paid $12,500 to defend me aiid Clark Hall, Esquire was paid $1,00 to address the bar inquiry. wish it were not true, but the arrest and charge was used by my wife to gain full custody and control over our children, There were costs for the DUI school costs and lost time of no less than twenty (20) hours for the programs, 1 was foteed to appeal the automatic suspension of my driver's license as well. 1 Jost no less than ten (10) days of working time which equates to approximately 33, 34. 36. a7. 38. $25,000 In total having 5 Fevocation was entered because of the se Attached as well is a handvmitten complaint that 1 Aled out after one of the Deputies threatened to take the life of an inmate if there ‘were any problems and literally said he would lie about it. So no only did T have to endure a false arrest, false charges, unbelievably Unprofessional offices who battered and assaulted all because of a false arrest and the abuses, Poor training and just general unprofessional ways of the Pinellas County Sherif?’s Department, friends for a parenting groups solidifies in my mind the and/or gross breaches of policy, procedure and Law Sheriffs Department has been routinely exticized for Sherif Gulatizes from what I understand has a policy that Deputies do not wear body cameras at the same time is pushing a research inchs to try and prove inadequate training that Pinellas County 39. 4o. there is a higher link to violent crime when drug charges are involved. I do not know him from Adam. But itis very clear that the Department is not capturing footage intentionally. The Deputies were physically and verbally abusive during the arrest which lead to absolutely nothing but a “Not Guilty” and revealing just how badly Pinellas County Sheriffs Department has implemented a de facto monetization of “Justice”. I hope for the safety of each Deputy. But I primarily hhope and pray for the safety of the citizenry if they encounter what 1 encountered and other have reported. Twas also greatly defamed and disparaged because of the arrest and treatment, It caused an infliction of emotional distress and was used as the primary basis for my removal from my position as a pastor which I really enjoyed. Because of the torts, civil rights breaches and general impairment of my rights, Thave been forced to suffer mental anguish, emotional distress, physical pain and suffering while being forced to sleep on a metal bed with a degenerative disc and vertebrae issue in my cervical region. My family and I moved to St, Petersburg on behalf of a non-profit organization and were leaders with a group that fed over 3,000 meals in a single day in downtown St. Petersburg, Glenn Davenport co-owner of GE Foods which is a multi-million dollar corporate in Pinellas County attended our church and can bear witness to the meals we distributed as an organization given his company donated them, And we did this twice along with other service projects in the county and city all of which were done voluntarily.Then, here 1 encountered some goon deputies who arrested a lawyer, lawfully and safely parked with his Kids on the side of the road in an air conditioned van, And they mock, scorn, batter and assault me, 100% breach of my civil rights and human dignities. aon L) semen TRENTON GARMON STATE OF ALABAMA COUNTY OF ETOWAH Personally appeared before me, the undersigned auth aforesaid County and State, Trenton Garmon, who acknowledged that he signed, the aid and delivered the above and foregoing jnstrument onthe date theregf, And for the use and purposes therein mentioned as her voluntary act and deed mniater, imy hand and official seal, this the asth day of May, 2020, x ority in and for the NOTARY PUBLIC PREPARED and/ot REVISED py. JEREMY RICHARD: Esqui Attorney at Law 750 Fortest Avenue Gadsden, AL 35901 Phone: 256/549-3401 Fax: 256/546-0908 EXHIBIT A CIRCUIT/COUNTY COURT, PINELLAS COUNTY, FLORIDA CRIMINAL DIVISION wen: REFNo. s : 522018CTO1865000APC ASEVIUE-E i 3 STATE OF FLORIDA 8 7 z ‘TRENTON ROGERS GARMON y PERSON 1D: 310851704 is 8 JUDGMENT TORY TRIAL JUDGMENT OF NOT GUILTY seis came on to be heard for tral befor a jury and, efter hearing all ofthe testimony and argument pf counsel, the jury rendered a verdict of "Not Guilty", ‘Thereupon, the defendant, having identified hineatt bofore this Court as being the defendant named herein, it is, he pati AND ADJUDGED that the dofendant isnot guilty es charged I the defendant was a iberty ‘on bond, the sureties in tho above cause shall stand discharged from liability, DONE AND ORDERED on April 17, 2019 in Clearwater, Florida. Kr leosuDo-m27639865 EXHIBIT B = Tron ies {Sa a | 4 Se eather - 4 ‘obama ABA FARMERS Evidence of insurance A esonanes Instructions i ey tunber 919085 sete ethervs229 L Fonsronaein youn veut | TESEen Cone 19 | com msreansy yout a ee ppd tlarceln your I oom | Secale be cheese ar Minced 20137 t ‘chet pgesnsone pein jour tone vuoan ss Sbeconparnet ‘i epvorounerts james aoe FOR STORAGE IN YOUR WALLET | Sep: Cuttng ne dota. sept fldslog the pe cadet co Extn smaton atcngout ‘S003:foldsongihe ne mae, “2h Fo ‘fate etna ih ha FARMERS etme one-run econ tne Wedesaemteyar wale onset Cai Daparmartrfeatuceseseance2ahowadayat | (eae er aig a 67) 7225255 L Feprea canst fmar.com ate Fames tt App er Carnet ihe teneofanacctne: bane tong Name sre an phone pmol eaccie pseage Soies Gittaaversteencerumertorenn she —ceroe pata rumternsarencomny and ley meer aes mobedvatc —frotortetiacoge ana peden ee. 2 Rootes the pop suai 5 Deratadmitfout nimetiason may tr reves youwere yp moore ss90 ag Boones mene EXHIBIT C ‘TRENTON GARMON & Associates Mail - Cheek p Ee 3} m w 2 me WES NbOOOe nips google conven 'k=bOSe2eDM7BviewaptSceatchel &permtidathread 034-4318] 489229596834 78s spa ArSHOITH9SENSTEI_ING 253 EXHIBIT D !Ha1UN GAKMON & Associates Mal. 2018 0403-TRENT ST. VINCENT'S EASTIKIM SCHMI MD MED REC REQ ABN Trenton Garmon “Tue, Ape 3, 2018 at 8:16 Al Reply-To: xerex@germontaifim corn ‘To: trent@garmoniawfim.com Ce: jessica@garmontawfirm.com, stile’ jarmonlawfirm.com Please open the attached document. It was scanned and sent to you using a Xerox WorkCentre. Number of Images: 2 Attachment File Type: POF Device Name: Xerox Device Location: For more information on Xerox products and solutions, please visit http:/vwn_ xerox com! img-403101628-0001.paf 314K Jessica Simmons Tue, Apr 3, 2018 at 10:44 AM To: Trenton Garmon They only take requests via USPS or in person. ‘The request will be mailed out today. [usted text hidcen} Trenton Garmon ‘To: Jessica Simmons Wed, Jul 18, 2018 at 3:45 PM. Did we get these back yet? [uoted txt idee} Respectfully, Trenton Rogers Garmon, JD, MA Garmon & Liddon, LLC werw.garmonliddon.com Toll Free - 877-717-LEGAL (5342) Gadsden - 256-543-3401 Birmingham - 205-933-5342 Fax- 208-588-0057 CONFIDENTIALITY NOTICE: This email transmission is protected by the Electronic Com Sections 2510 ~ 2521, and is Privile ications Privacy Act, 18 U sed Confidential Information under the Cede of Alabama 1975 § 34-320, This e-mail {iarission andthe attachments accompanying it my contain confidential information om the la firm of GARMON & LIDDON, LAL. that is protected by the attorney-client privilege. "Phe information is intended oly forthe use ofthe intended eipient Wf you are not the intended recipient, you are notified that any reading, disclosure, copying, distribution oF the conten of the e-milsstrictly probibited, Any unauthorized interception ofthis transmission is illegal. Ifyou have ceived this transmission in error, please do not read it, promplly nolity the sender by 1 ¥y teply e-mail, and then destroy all copies ofthe {ransmission, Thank you for your attention and proper response to this notice or te taking of any action as a result tps: gooye comin’ M2207 pacar permidthread SBA S673BS82S2BS GOD simplemeg FSA ISOGTIBSSPSSICOONS. 13 20 TRENTON GARMON & Associates Mall -2018.04-03-TRENT: ST. VINCENT'S EAST KIM SCHMIFT, MD MED REC REQ Jessica Simmons ‘Thu, Jul 19, 2018 at 9:45 AM ‘To: Trenton Gatmon Nope | have worked with them and werked with them finally called Dr. Schmit’s office this morning They told me thatthe records have been destroyed ‘They only keep them for 7 years. She did see where you came in for an appointment regarding this but the office records for the visit have been destroyed 2s well ‘She said the hospital completely changed systems years ago and that's why thay don't have them either. | asked her if there are any other options and she said no. (Quoted text hieeer) Respectfully, Jessica Simmons, Paralegal to Trent Garmon, Esq. 750 Forrest Avenue Gadsden, AL 35901 205-753-3998 jessica@garmonlawfirm.com Trenton Garmon To: Jessica Simmons ‘Thu, Jul 19, 2018 at 9:53 AM Did you order the sleep study from St. Vincent? not we need to do that, Thanks. Respectfully, Trenton Rogers Garmon, JD, MA Garmon & Liddon, LLC www.garmonliddon.com Toll Free - 877-717-LEGAL (5342) Gadsden - 256-543-3401 Birmingham - 205-933-6342 Fax- 205-588-0057 CONFIDENTIALITY NOTICE: Thi Sections 2510 ~ 25; email transmission is protected by the Electronic Communications Privacy Act, 18 U.S.C. «and is Privileged Conlidential Information under the Cos of Alabama 1975 § 343-20. This e-mail transmission and the attachments aecompanying it may contain confidentiat information from the law firm of GARMON & LIDDON, LLC. that is protected by the atiorney-client privilege. The informa saded only for he use of the intended recipient. IF you ‘re not the intended recipient, you are notified that any reading, disclosure, copying. disteibution, oF the taking of any’ action asa result of the contents ofthe e-mail is strictly prohibited. Any unauthorized interception of this transmission is illegal. I you have received {his transmission in error, please do not read it, promptly notity the sender by reply e-mail, and then clestroy all copies of the transmission. Thank you for your atention and proper response 4 this notiee. (uoted tet iden} Jessica Simmons ‘Thu, Jul 18, 2018 at 11:01 AM. itp iil goope comma 2 ik=b0 22H Avion =pisearehall permhidts sg FESALSOGTIBSSIESIOIONS,.. 23 feu 134 | S06573858258SA60 sg To: Trenton Garmon Okay, So, | have not ordered fram St. Vincent's, | have worked with Medical Center East and St. Vincent's East, as the recording suggested. But, | have spoken with St. Vincent's and they do have the records, Yay! | should have thought of that myself, sorry. They only accept mailed requests, so ! will be mailing a new request out today, Sorry, this has taken so long, Thanks, [voted tex nsden} Trenton Garmon To: Jessica Simmons Bcc: Roger Futerman ‘No worries, thanks for the update! [votes tox niddon} hpi google com/miby2ikbOte2e2 b7aview=pusseach-al& permshidetrend 113A L59673BSR259SSN04dsmplomsy FE3ALSIS7SBSR 2018-08 03 TRENT ST VINCENT'S EASTKIM SCHMITT, MID MED REC REQ ‘Thu, Jul 18, 2078 at 12:28 PM BSs60018 33 HIPPA COMPLIANT AUTHORIZATION FOR THE RELEASE OF PATIENT INFORMATION PURSUANT TO 45 CFR 164.508 PATIENT NAME: ton, Gi DATE OF BIRTH: 06.16.79 06. SSNo:__ag1-23-799 ‘TO:__Kim Schmit MD/ st, Vineent's East ADDRESS:__30 Medical Park Drive, Suite 4292, Binuinsham AL 383: Par arite and request the disclosure of al protected information peraning to sleep study and sleep stud results for the purpose of review and evaluation... expressly request thatthe designated record custodian of all covered quytts under HIPAA identified above disclose full and complete protected medical information, including the following: All medical records, meaning every page in my record, including but not limited to: office notes, face sheets, history and physical, consultation note, inpatient, curpatient and emergency room treatment, all clinical charts, eports, order shee, progress notes, nurse's notes, social worker record, clnie records, treatment plans, admission records, discharge surnmaries, requests for and reports of consultations, documents, conespondence, test rests, statements, quesionaareshistorie, correspondence, photograps [7 _ Videotapes, telephone messages, and records received by ther medicel provicers. All physica, ceeups nal and rehab requests, consultations, and progress notes. [satay eed or Meio esa, lini os nee of el oP All employment, personnel, or wage records. All autopsy, laboratory, histology, cytology, pathology, immmunohistochemisty recorés and specimens, ‘adiology records and films, including CT scan, MRI, MRA, EMG, bone sean, mylegram, uerve conduction study, echocardiogram, and cardiac eahetrization results, videos/CDsifilms/teel/and repos All pharmacy/preserpton records incloding NDC numbers and rug information handouts!monographs. Al billing records, including all statements insurance claim forms, i ‘— third peny payers and payment or denial of benefits for the period the present date lemized bills, and records of billing to {htough and including T understand the information to be released or disclosed m: iseases, cequired immunodeficiency syndrome (AIDS), or human immunodeficiency virus (HIV), and aleohol tad rug abuse, I authorize the release or dislosure of this type information. This protected health information is disclosed for the following purpose: Personal ‘This euthorization is given in compliance with the federal consent requirements for release of aleohol or substance abuse records of 42 CFR 2.31 the restrictions of which have been specifically considered and expressly waived Nou ate authorized to release the above records to the following representatives in the above entitled matter who brave agreed to pay reasonable charges made by you to supply copies of such records, include information relating to sexually transmitted Garmon Law Firm, 750 Forrest Avenue, Gadsden, AL 35901 | understand the following (see CFR § 164.5086(2)(ii) ‘& Ihave a right to revoke this authorization in weiting at any time, except to he extent information has been released in reliance upon this authorization. The information released in response to this authorization n My treatment oc payment for my treatment cannot be condi Any facsimile, copy or photocopy of the authorizat ‘This authorization shall be in force and effect un authorization expires => DRO ‘Signature of Patient or Legally Authorized Representative y be redisclosed to ather partes. ioned on the signing of tis authora ion shall authorize you to release the records requested herein, ‘wo (2) years from the date of execution at which time this oa fozlig ia —— Printed Name & Relationship of Legally Authorized Repregentative to Patient) . Me. 63 Witess Signature Date Q |GARMON Trenton R, Garon, 3D, MA & J. Flint Liddon, Esq, 3 LIDDON.. Jeremy Richards Esq Paul Roberts, Esq. Attornays fer the People Of Counsel: Steve Taylor, Esq. ¢ Kent Hamilton, Esq. ‘hemen Vero 03 April 2018 (Tuesday) VIA: USPS St. Vincent's East Kim Schmitt, MD ATIN: Medical Records 50 Medical Park Drive, Suite #222 Birmingham, AL 35235 Phone: 205-838-3000 Re: Patient: Trenton R. Garmon Date of Birth: 06/16/1979 Soe.Sec.No.: — 421-23-7990 Dear Dr. Schmitt or Medical Records Agent: Please allow this to serve as a request for specific medical records that I believe you have maintained in regards to the care that you rendered to me as a patient. Specifically I'm requesting a copy of the sleep study and results from the sleep study done in 2005-2006, which indicated that I have sleep apnea. Attached hereto is a signed medical authorization for release of information. I you have any questions or concerns please feel welcome to contact me directly at 256-504-8808. Or contact Jessica at my office. Respectfully, ‘Trenton Rogers Garmon *Dictated or shared, but not edited to avoid delay. ‘TRG/jls Enclosures: 1. HIPAA Compliant Authorization ‘The Law Center, 750 Forrest Avenue Gadsden, Alabama 35901 Offices in Birmingham & Gadsd wwe gacmoniiddoncom £7 : 256-542 HURT (4878) | QF :office®garmonliddon.com 1 : 256.546.0008 | an877-717-LEGAL (5382) EXHIBIT E aeuamo TRENTON GARMON & Asoo ai - Video Evid ‘Trenton Garmen Video Evidence S messages ‘Trenton Garmon Wed, Apr 4, 2018 at 9:20 PM To: futermaniaw@yahoo,com Ce: Holly Garmon Roger, ‘eee you are well. Attached is the certificate of successful completion for level DUI school, No futher treatment wasi required, aeite note that | would ke to have the video evidence outside the jail preserved and produced. Ifyou're notin ‘agreement with this, please call me so we can talk There will be footage of me walking heal to toe all the way down two what a field sobriety test in part would have required. As | conveyed just not by him. He was very aggressive and literally abusive, ainted parking lanes as a means of demonstrating to the officer, |was willing to take a field sobriely test And yes, | understand "how it work" or at least where there's an overlay years of my 11 year of practicing before focusing exclusively upon per {or 22 years. p in principles. | did criminal defense for the first § rsonal injury. And in total ve worked in law offices So | get that you have other cases, but please do be mindful that | wou! id like the case to be prepared for trial and as you know front end planning can make the difference in successful Iitigatio N verses a loss. And | am submitted to your advice, ‘We have ordered: (1) medical records regarding my sleep apnea and right knee surgery. And (2) we will be getting proof of the 10% im 's why 1 was also reluctant to give that officer the subjectivity of ‘examine me (2) medical records regarding my right ankle and ipaitment rating due to my ankle injury from the VA which field sobriety test. But did in fact allow the nurse to Attached isa leter simply designed to help you save time, Disregard itifyou' like, but | would lke that video coverage. BTW when we came by last week we did cal ahead and were given an 11 o'clock am appointment. | understand and akmos! begrudge when a cent “drops by" and | commit not todo thal. And if expenses Become an issue Imm open te compensating you additionally as my cash frees up. At this point we've paid the $7,800 in ful, 256-504-8808 is my cell. Please feel welcome to call me. ‘Thanks again for your help, My family and | are praying for you. And we trust your judgment, Respectfully, ‘Trenton Rogers Garmon, JD, MA Garmon & Liddon, LLC www.garmonliddon.com Toll Free - 877-717-LEGAL (5342) Gadsden - 256-543-3404 Birmingham - 208-933-5342 Fax- 205-588-0057 CONFIDENTIALITY NOTICE: This email transmission is protected by the Electonic Communications Privy Act, 18 USC. Sections 2510 2521, and is Privileged Confidential Information under the Code of Alabama 1973 § 313.20, This e-mail cy pion ae the attchments accompanying it may contain enteral informston from the la firm of GARMON & LIDDON, ELE. that is proected by the atom client privilege. The information is intended only forthe use ofthe intended recipient you am ot the intended recipient, you are notified that any reading, disclosure, copsing distribution, or the woking of any action as esl of the contens ofthe e-mail is stictly prohibited. Any unauthorized interception ofthis tansmisso tps iil google con maila22ik-bO 2eDHIT&view=pubseath isillegal. 1 you have received HN Kperidetieal 03 Armin SSRN IRTP OU 2s2020 TRENTON GARMON & Assossts Mul - Video Evidence this transmission in error, please do not read it, prompdly notify the seader by reply e-mail. and then destroy all copies of the transmission, Thank you for your attention and proper response to this notice. 2 attachments 2018-04.05-Garmon-preservation-letter.docx 7K ‘Bj 2018.04.06 - Trent Garmon-20180404215323.pdt eask Roger Futerman Fri, Apr6, 2018 at 3:37 PM ‘To: Trenton Garmon Cc: Holly Garmon Dear Trenton, Just FYI: today | submitted the request for the surveillance video outside the jail. | will let you know when it arrives. Regards, Melissa Loesch, Esq. (727) 344-5511 (usted ext hisden) Trenton Garmon Fri, Apr 6, 2018 al 3:59 PM ‘To: Roger Futerman Ce: Holly Garmon Thanks! [voted tet hide (uotad ext nin) ‘napmelt goog comma u/2k=BO4e2e20 78 vlew pt search-al prided 363A mmisi-115825524832572 04688 gp ASSASSSA-SOS06.. 22 ‘Suncoast Safety Council, Inc. DUI and Substance Abuse Program of Pinellas County ‘CERTIFICATE OF SUCCESSFUL COMPLETION This Cortes that Trenton R Garmon has participated in an evaluation and has euccossfully completed a ‘The 12 hour course of nsiruction demonstraiaa the adveTas Sects of chemical use on ving abity and meets ‘the requirments necessary for compliance wih Forge Sista Ste 316-163. tue on cates tuys sina mtb eae an a eater nanad in occonplcte saa esa mn Serna da tne be Con chy Soy —Searereateo Dever License F Pi us es ‘ut Program Manager sOEVIvE ‘Gass CompOais Eval Comp Bula TW cele ald on Vimoied wih tbe oe Progen nama Scanned with CamScanner EXHIBIT F COUNTY COURT, PINELLAS COUNTY, FLORIDA TRAFFIC DIVISION KEN BURKE, CPA CLERK OF THE CIRCUIT COURT AND COMPTROLLER, www-mypinellasclerk org Phone: (727) 464-7000 04/18/2018 PID: 310881704 CITATION NUMBER : A9EVIUE CASE NUMBER: ASEVIUE STATE OF FLORIDA vs. GARMON, TRENTON ROGERS UCN: 522018CTO18668000APC CHARGE(S): DRIVING UNDER THE INFLUENCE, “NOTICE OF PRE-TRIAL HEARING weeee* PLEASE BRING THIS NOTICE WITH YOU ***** veces APPROPRIATE ATTIRE REQUIRED *##** You are hereby notified that a hearing on your traffic violation has been scheduled for : 1:30 PM on Thursday, May 10, 2018, In Courtroom B, at the Pinellas County Government Center, 1800 66th Street North, St Petersburg, Florida 33710. All interested parties listed on the reverse side are notified of said PRE-TRIAL date. ‘You are further notified that attomey’s fees and mandatos you. Ifyou are requesting appointment of a Public Defender, you must bring a $50.00 fee to this hearing, If ‘you fail to appear as required by this court notice, and ar we not currently in custody, a warrant will be issued for your arrest, and your Release-On-Recognizance (ROR) will be revoked or yout surety o cash bond will be estreated. Fine/Costs must be paid in full atthe time of sentencing, If you are unable to pay, you must enter into a financial obligation agreement with the Clerk, Failure to pay or enter into a financial obrigation agreement will result in the suspension of your driver's license and additional penalties will be assessed, *** NOTICE #** If you need a foreign language interpreter for this hearing, please call (727) 453-7177. interprete el dia de su cita en la corte, favor de lamar al (727) 453-7177. ry and discretionary costs may be imposed against i usted ni *** See the reverse side for disability accommodation information, *** TRENTON ROGERS GARMON 2797 58TH AVE.,N ST PETERSBURG, FL 33714 KEN BURKE. CPA. Cuzax or Tus Cincut Court CONTROLER BONDSMAN/DEPOSITOR, ALL AROUND THE CLOCK BAIL BONDS ATTENTION ALLC WING UP4 “OURT. ‘YOU WILL BE REQUIRED TO REPORT TO THE HEARING TO MAKE PAYMENT ARRANGEMENTS, K OF COURT'S OFFICE IMMEDIATELY AFTER YOUR, Payments shall be made in cash, check, credit card or money order made payable to the Pinellas County Clerk of Court. Pay with your phone now! ee ‘Payment Options: Internet - wa mypinellaslercorg Automated Phone Payments (727) 464-4846 (Payments made by creditor debit cards are chargs 23.5% convenience fee.) AMSCOT accepts only cash payments ~ A $2.00 se harge will apply. Mail Payments or Correspondence to: Pinellas County Justice Center 14250 49th St, North Clearwater, FL 33762 Checks or Money Orders shall be made payable to the Pinellas County Clerk of the Circuit Court and shall include the Defendants Name and Case Reference Number. Pay in Person at: Pinellas County Justice Center Clerk's Tyrone Branch Office North County Branch Office 14250 49th St. North 1800 66th St. North 29582 US Highway 19 North Clearwater, FL 33762 St Petersburg, FL 33710, Clearwater, FL 33761 Ifyou are a person with a disability who needs any accommodation in order to participate in this proceeding, you are entitled, at no cost to you, to the provision of certain assistance. Please contact the Human Rights Office, 400 S. Ft. Harrison Ave., Ste. 300, Clearwater, FL 33756, (727) 464-4062 (V/TDD) at least 7 days before your scheduled court appearance, or immediately upon receiving this notification if the time before the scheduled appearance is less than 7 days; if you are hearing or voice impaired, call 711. soun0r0 Pre-trial Hearing 3 messages Trenton Garmon Fri, Apr 27, 2018 at 8:24 AM To: Roger Futerman Hey Roger, Hope you're well. The altached indicates that there is a pre-trial hearing set for May 10th at 1:30 pm. Should | plan to attend? "ve got a deposition in Alabama on May 11th, but I'l be wherever you tell me to be, Thanks. Respectfully, ‘Trenton Rogers Garmon, JD, MA Garmon & Liddon, LLC www.garmonliddon.com Toll Free -877-717-LEGAL (5342) Gadsden - 256-543-3401 Birmingham - 205-933-5342 Fox- 208-588-0087 CONFIDENTIALITY NOTICE: This email wansmission is protected by the Electronic Communications Privacy Act, 18 U.S.C. Sections 2510 ~ 2521 ,and is Privileged Confidential Information under the Cos of Alabama 1975 § 34-3-20. This e-mail transmission and the attachments accompanying it may contain confidential information from the law firm of GARMON & LIDDON, LLG thats protected by the atomey- To: Trenton Garmon Fri, Apr 27, 2018 at 9:13 AM You do NOT need to attend the hearing on May 10 at 1:30 p.m. [voted tox risen} Trenton Garmon To: Roger Futerman Fri, Apr 27, 2018 at 9:30 AM Ok, thank you. So grateful for you Roger. [usted tox niasen| [usted tot nissan} ‘uipsuimail google somimsitw2ik=BO4e2e24F2ie \Sscwch-alh permite a5 Ammin-49723 7236674721 54208simpiomsg AIANGIAGIISICT2.. t/ EXHIBIT G faethe SB Eenigy Video you requested 3 messages TRENTON GARMON & Assvits Mall - Video you requested Trenton Garmon Roger Futerman Mon, Apr 9, 2016 at 1:32 PM To: Trenton Garmon Dear Trenton, Attached is the video of you exiting the police vehicle and walking into the jail Regards, Melissa Loesch, Esq. (727) 344-5511 eee [Dy bftd7cca-Tbad-abte-bSad-664cfe5d6167 (1).mov 3730K Trenton Garmon Wed, Jul 18, 2018 at 4:29 PM. To: Roger Futerman ‘Thanks for spending time with me discussing the case, Would you send me the dash cam video? | would lke to have the audio transcribed. Thanks. (uote tox hdr} Respectfully, Trenton Rogers Garmon, JD, MA Garmon & Liddon, LLC www. garmonliddon.com Toll Free ~ 877-747-LEGAL (6342) Gadsden - 256-543-3401 Birmingham - 205-933-5342 Fax- 208-588-0057 CONFIDENTIALITY NOTICE: This email transmission is pro ected by the Electronic Communications Privacy Act, 18 US.C. Sections 2510-2521, and is Privileged Confidential Informati under the Cole of Atatama 1975 § 34-3-20, This e-mail transmission and the attachments accompanying it may contain confidential information from the law firm of GARMON & LIDDON. LAL. that is protected by the atomey-client privilege. The information is intended only for the use of the intended recipient. I you ate not the intended recipient, you ae notified that any reading, disclosure, copying, distribution, or the taking of any aetion asa result cf the contents ofthe e-mail is strictly prohibited. Any unauthorized interception ofthis transmission is illegal. Ifyou have received {his transmission in error, please do not ead it, promptly notify the sender by reply e-mail, andl then destroy all copies of the ‘ransmission, Thank you for your atention and proper response to this notice, Roger Futerman Wed, Jul 18, 2018 at 4:36 PM To: Trenton Garmon Yes I'll mail you a copy. Have a great night. EXHIBIT H OFFICE OF THE STATE ATTORNEY ‘SDXTH JUDICIAL CIRCUIT OF FLORIDA PASCO AND PINELLAS COUNTIES BERNIE MCCABE. State Attorney HOLLY GARNON PARENT OF SYDNEY, JUDAH, JOSTAH & SARAH GARMON 2737 SeTH AVE N ST PETERSBURG FL 33714 Re: State of Florida v, TRENTON GARMON Case Number 18-02901-cF-a Dear Ms. Garmon: Please be advised that an investigation has been conducted in the above-styled case and it has been determined that the facts and circumstances as presented do not warrant prosecution at this time. If you should have any questions regarding this case, you may call our office at 464~6221 and ask to speak to Fred Schaub. Fred Schaub Assistant State Attorney ARIE Date NIE2-ELS:B-SM/0326rb34 Post Office Box 5028, Clearwater, Florida $3758 Telephone (727) 464-6221, Scanned with CamScanner wave "TRENTON GARMON & Asso ls Mal Late rom State Attorney ‘Trenton Garmon Letter from State Attorney 2 messages ‘Trenton Garmon ‘Thu, Apr 19, 2018 at 11:09 AM To: futermanlew@yahoo.com Roger, Please see the attached. ''m presuming their decision to not prosecute at this time relates only to the Child Neglect charge. And that the driving under the influence charge will be prosecuted as for now, Please correct me if m incorrect, Thanks again for your help. By at80 19 12.03.59-Garmon-State-Attorne-20180419120533.pdf 320K Roger Futerman Thu, Apr 19, 2018 at 11:14 AM To: Trenton Garmon ‘Yes, In my discussions with the state and my meetings this is what we were hoping for. So this is a good step towards everything thanks ‘Sent from Yahoo Mall for iPhone [uctes text idee} ups: google comfrey ik-O4e2e2HTSviewaptseacch-ll&permth eal EBA L598191472038506505Gsimplamsg-%3A598191 4720355065058... 1 EXHIBIT I 424200 TRENTON GARMON & Associates Mail Diagnosis Diagnosis {message Trenton Garmon To: Roger Futerman ‘Trenton Garmon Tue, Sep 4, 2018 at 5:31 PM Ttiit ~ Pacesticg HANS 2 GARMOH, “TRENTON ADDRESS #1 : 345 FAMNIE AVE ADDRESS 42 = ciqy BIRHINGHAM STAZE/ZIP : AL 35737 PHONE (R) = (205) 849-0269 PHONE (W] = (205) 324-4009 FIN CLASS = B ACCIDENT ACCIDENT D7. ADM DATE/TIME: Dis DATE/TIME: DISCHG DISPOs: TANF 3 ACCOUNT # ssi BIRTHDATE =: set. MARITAL STAT ADMET DX (780.53) HYPERSOMNI W SLEEP APNEA ENC DESC ADMIT HD: STRICKLAND, JAHES H ATTEND NG: STRICKLAND, JAMES H PRI CARE REFER MD: ER MD : GUARANTOR 1 GARMON, TRENTON ADDRESS fi : 345 PANNIE AVE, ADDRESS 82 cry BIRMINGHAM SEATE/ZIP i: AL 35217 ONE (H} : (205) 049-0268 PRONE tH) 5 REL|TO PT : s EMPLOYER : MORRES ¢ HORNSBY INSURANCE 2 COMPANY ELUZ CROSS oRour § 37768 POL/SS # — XAASGG0O5251 INSURED. GARMON, TRENTON REL To INS: HALL TO oF ADDRESS #1 ; F 0 BOX 995 ADDRESS §2 + 2356 HOMEWOOD city BIRHONGHAM STATE/ZIP : AL 35298 utp: goo HYPERSCLNT W SLEEP APNEA (760.52-79) CONSULT MDH! CONSULT MD: CONSULT MD &: CONSULT MF CONSULT HD a5: EMERG CouzacT: REL ADRESS 1: REL ADORESS 2: REL CITY REL STATE/2ID: REL PHONE (H) REL PHONE (12) REL 70 PT INSURANCE omni tO4e2e2bETeview pearsall penmhidatvend-a 3A 14129277627S30454204sinpl-mnsgs7E3Ar685415203687S68858 08/10/2004 15:22 08/10/2004 23:59 omy 00000845497 0422300533 8€s~D0-5251 06/16/2979 23 ¥ Male Sangle GARMOK, LEOH 345 FANNIE AVENUE BIRMLNGHAN AL 35217 (256) 943-3401 ° Wa 4242020 TRENTON GARMON & Associates Mil - Dianosis ena £ (ouusreu~vowe uae ewe 7 cOMEND + INSURANCE 3. ENSURANCE 4 COMPANY GROUP & FOL/SS § INSURED REL 70 INS PAIL 70. ~ xppaess #1 ADDRESS #2 > eqry z STATE/Z1E Respectfully, Trenton Rogers Garmon, JD, MA Garmon & Liddon, LLC www.garmonliddon.com Toll Free - 877-717-LEGAL (5342) Gadsden - 256-543-3401 Birmingham - 205-933-5342 Fax- 205-588-0057 CONFIDENTIALITY NOTICE: This email transmission is protected by the Eleetronie Communications Privacy Act, 18 U.S.C. Sections 2510 ~ 2521, and is Privileged Confidential Information under the Code of Alabama 1975 § 34-3.20. This e-mail transmission and the attachments accompanying it may contain confidential information (rom the law firm of GARMON & LIDDON, L.LCC. that is protected by the attoey-client privilege, The information is intencled only or the use ofthe intended recipi are not the intended recipient, you are notified thar Ifyou reading. disclosure, copying, distribution, or the taking of any aetion as a result of the contents ofthe e-mail is strictly prohibited. Any unauthorized interception of this transmission is illegal. 1 you have recetved this transmission in error, please do not read it promptly notily the sender by reply e-mail, and then destroy all copies of the transmission. Thank you for your attention and proper response to this notice. ‘ups: gog conv h=b04e2e26 view ptscarch-alle permite a3 Ar LM12927762753945 20 esimplames 94,6541 S2ONGE7SCRBSY 2 EXHIBIT J -PINELLAS COUNTY SHERIFF'S OFFICE 09/18/2018 Roger Futerman 13620 49th Street N. Clearwater, FL 33762 RE: MEDICAL RECORDS REQUEST of August 23, 2018, Reference # P016187-082318. Dear Roger Futerman, ‘The Pinellas County Sheriff's Office received a medical records re equest from you on August 23, 2018. Your request mentioned: “1751745 Gramon, Trenton 6/16/1979 Please provide medical records for Dates: March 8,'2018 thru March 9, 2018” In response to your request, the Pinellas County Sheriff's Office completed a search of our tecords and there are items tesponsive to your medical records request. The cost for these records is as follows: Single-Sided Copy Fee: $0.75 Total: $0.75 Payments must be made within 60 days. Please send a check made out (o the Pinellas County Sheriff's Office, with “PRR No. P016187-082318” written in the memo section and mail to: Pinellas County Jail - Medical Records Department 14400 49th Street North Clearwater, FL 33762 Sincerely, Abbie Bellinger Administrative Assistant Medical Staff Section /DDC Roger D. Futerman, Esq.*!*°°6* Melissa A. Loesch, Esq. Brian C. Palacios, Esq.*!®” Office Locations: Clearwater Office 13620 49th St. North, Suite 201 Clearwater, Florida 33762 (737) SAE-SSLL Tampa Office 3641 W. Kennedy Blvd. Tampa, Florida 33609 *Former State Prosecutor » Kecoguized xs “AV Preeminent Rated” by Martindale Fabled, “Tae highest posable ring in ty cecal standards sellectng Uve opinions of embers of Ure Judslny and Bac” The Roger Futerman Boned Cented is Ceinal ‘Tal Law “Licensed in Florida State vand Federal Court www.criminalattorneytampa.com fatermanlaw@yahoo.com Recognised Erpert tn Comin Lave 8 Nauonally Board Cerulled (613) 221-4400 Criminal Lae byte NOTA, “THE AMERICAN COLLEGE OF BOARD ‘CERTIFIED ATTORNEYS” Super Lawyers August 17, 2018 Pinellas County Jail Attn: Inmate Medical Records 14400 49" Street North Clearwater, FL 33762 Reta fl P)X7- 0323) RE: Docket Number: DOB. ‘Trenton Garmon 1751745 6/16/79 To Whom it May Concern, Enclosed is a HIPPA Waiver/Release of Information Request for my client ‘Trenton Garmon. Pursuant to the request, please forward me a copy of his medical records from the time he spent at the jail (March 8, 2018 — March 9, 2018). I will compensate you for any costs associated with my request. Please let me know the cost so can forward that to you. Regards, WM Melissa A. Loesch, Esq. ECEIVE AUG 23 2018 sar led aut record S alr R Pinellas County Sheriff's Office GARMON , TRENTON 1751745 06/16/1979 Thomas Carroll Encounter Date: 03/08/2018 11:35 PM User: Reginald Joseph LPN 58131 Orders this Encounter Priority Status Order Encounter Date Ordered By ApprDate Tou ordered Schedule H&P for:20180314 03/08/2018 Reginald Joseph LPN 58131 03/14/2018 Name: GARMON, TRENTON Doe: 06/16/1979 Docket #: 1751745 aiver/Releas formation I TRENTON ROGERS GARMON, having a date of birth of 16 JUNE 1979 and a. social security number of 421-23-7990, hereby request and authorize the release y records for the time =March 9, 2018 in the possession of the Pinellas County Jail and/or the Pinellas County Sheriff's Office. 1 additionally authorize the above-referenced party to release information to my attorneys, Melissa A. Loesch and Roger D. Futerman, regarding any of my patient records, medical records, medicat notes, prescription records, and/or treatment that Treceived. This waiver/release of information is intended to allow the disclosure of information that would otherwise be protected by HIPPA or any other federal or state laws. Ihereby waive my privacy rights in all of the records mentioned above to my attorneys Melissa Loesch and Roger Futerman, I specifically authorize the release of any infocination to my utlorneys, Melissa Loesch, and Roger Futerman using the contact information below. Roger D, Futerman & Associates 13620 49" Street North, Suite 201 Clearwater, FL 33762 (1) 727.344.5511 (F) 727.561.7454 futermanlaw@yvahoo.com ‘Docket # 1751745 A Dene, _ se Date Pinellas County Sheriff's Office Patient: GARMON , TRENTON Docket #: 1751745, DOB: 06/16/1979 Provider: Thomas Carroll Encounter Date: 03/08/2018 8:50 PM. User: Katrina K. Ray, RN $5122 Generic Protocol Subjective “Iwas not restrained and the car brake fed quickly - I don’t know ifit was intentional or not - and Ihit my head on the plexiglass divider ‘lasses, but I've bent them back” itbent my Objective Maio he reports he straightened himself aftr they got bet inthe incident. t indicates loft perorbitel orcs cee tea os 3, PERRLA with normal EOM. Hand grips song and equel. No bruising, swelling, questions are appropriate. wolved. Hels A&O redness or deformity noted. Skin is intact. Responses to Assessment ‘No abnormal findings Plan Follow-uo on: 03/08/2018 with nursing staff for: intake medical screening Comments: Pr medically accepted for booking per protocol. Pt teaching done re: further medical sereening uring booking process. Orders to be determined ‘on completion of medical screening. Name: — GARMON, TRENTON Dos: osit6/1979 Docket #: 1751745 E, Psychiatric History 1 Current psychiatricipsychotropic medications? No 2. Current treatment by a mental health professional? No 3. Psychiatric admission within the last 30 days? No What is the level of cognative functioning? Average Comments. Deries Hi, SI Disposition Metro (HIV) Referrat?. No Schedule H&P for20160314 Placement: General Population Comments VAins SS# refused to give Ptsent to GP. Ptinstructed re: good hand washing Pt teaching re: emergent and non-emergent medical, dental, psych services, and cost. Name: GARMON, TRENTON DOB: os/t6H4879 Docket #: 1751745 |naps/eemspa pinellascouny org/PublicAccess/CaseDetail apn? REGISTER OF ACTIONS @ tcer Documents! che! ‘ewot oat Icacng Comtieat case No. ANEVIUE ‘Forsornoneav. ck reiTo4Rocens oct prs Hela varcnu ccevoween moecrnennenane Ta OTT “emcee oncom Elion ane over ummonnecitcons an rommonrouss BOSE ane ee Sane mouse Ce STS ERTS REST TRS cn ‘Eloener ocean = wm Eon tort 11222018, 10:20 AM ‘nupsifecmspa.pinellascounty.org/PublicAccess/CaseDetal aspx? ‘WotoMalncentns Lona WeAccounl Search Mery Now crit seareh Rete Sexey Onck REGISTER OF ACTIONS @ (Sxdor Documants| chet et ‘incite! nding Ceriied 9 Case No, 1801901-CF Lectin Frmatcry Hla a TATE nuseme my ageenenen ECan roweenin “CHR THORNTON - [CRC PCO FR CURT NPD] ‘Prater res Sao, WEerssovecnee — Beoow Sent Feb itnnews, Loft (2272019, 10:20 AM Are you currently withdrawing or detoxing from any drug or alcohol? No If yes, what substance? Have you had withdrawal problems, seizures or blackouts from alcohol or drugs? No ‘TB Screening Hemoptysis: no Known TB exposure: no Allergies No known allergies reported Self-Reported Medications Inmate denies medication PREA ‘The patient considers themself'a male, ‘The patient appears to match the sex with which he/she selfidentifies. ‘The patient states that they have genitals consistent with a male, ‘The patient states that they have not been sexually victimized. Suicide Potential Screening A. Baker Act (BA-52) 1. Was an existing Baker Act (BA-62) in place at the time the inmate was booked into the jal? No B. Suicidal Ideation/Thoughts/Attempts 4. Current suicidal ideation: No 2. Current loss of wil to live, hopelessness, helplessness, worthlessness: No 3. Report from arresting officer/stattfamily that the patient may be suicidal: No 4. Does the patient's current behavior or appearance suggest the risk of suicide: No 5. ‘Are you currently having command hallucinations to hurt self or others” No ©. Abnormal Behavior 1. Disorganized behavior/speechithinking/psychosisiagitation: No 2. Doyou currently hear voices? No Iso, what are they saying? , Depression Evaluation 4. Significant cryingfiatbunted affect/poor eye contact: No 2. Otter than a8 a result ofthis arrest, have you been depressed mood/sad: No 3. Other than as a result ofthis arrest, have you been overly anxious, afraid or angry: No 4 Within the last § months have you had any unusual problems or significant losses that are distressful love, family, break property, health: No 5. Have you ever considered or attempted suicide: No 6. Historylevidence of self mutiation, head banging, buming, etc. within the last § years: No Name: — GARMON, TRENTON DOB: os/ter979 Docket #: 1751745 Pinellas County Sheriff's Office Patient: GARMON , TRENTON Docket #: 1751745 DOB: 06/16/1979 Provider: Thomas Carroll Encounter Date: 03/08/2018 11:35 PM User: Reginald Joseph LPN 58131 Intake Processing Vital Signs Date Time Temp Pulse Reso BP Ft In Wt BMI Comments 0308/2018 11:35PM 97.4 84 18 149/95 6.0 1.00 269.80 35.59 Vision Screening Corrective lenses: Yes ‘Comments: Rx Glasses. Medical History Reviewed and al responses negative ‘Surgical History Rt shoulder Sx x2 Rtankle Sx Gastric bypass Medical Observations Seen a doctor within the past 6 months Alcohol & Drug Screening Appears sedatedlintoxicated? No Drinks Alcohol? Yes Type Frequency Amount Last Drink ‘wine occasionally 2-3 drinks refused Patient is known to have a documented history of alcohol use or abuse? No Patient is known to have 3 documented history of withdrawal seizures? No Uses Drugs? No Patient is known to have a documented history of drug use or abuse? No Name: GARMON, TRENTON Doe: — 06/16/1979 Docket #: 1751745 EXHIBIT K BE/LMA GO:AHID St, Vinmsnt’s Hosp.) BS BO 2734 IH TRMERPTION Tage . RESTORY RD PrYStoAD ‘SURE? STUDY Wakes GRRWON pREWTON RES tt PRUcur wrstoNis Fositiva for dlabetas in hia father. othe 18 healthy. Ho has two brothers who are healthy and a slater who ie boalshy: SOCIAL BESPORY: He ip single, 2 Lifelong nonsnoker. fone cup of coffees daily, Feereational dzug i Be drinke Hes two clcshalic beverages daily. Wo Rovied oF Systeus: Hontal boelth, neurologic, hasnt negative, Reupiratery, GE, GU, endocrine negative, Musciloskoletel. negative, Henstologic negative, BAVSIGAL BEAMINATION: Pleasant waite male in no distress, VEIAL ‘SIGNS; B/P 140/90, pulse 101 and requier, respiratory 28, temp 98.8, weight 325. mar; No/aR, aout. Soman, Tue eléaz, Oropharyne benign, NEOR+ Supple. Yo adesopethy of erepitus, Teache fine, “LONGS: Normal chest wall." expansion, Yormal -frenitus and percussion. No increased work of breatting. No wheezing or crackles. CV: Regular tate and rhytia without fib oF gallop. ABDOMEN: soft, nontender. Bowel eounds ‘azo prosent, EXTREMITIES: Wo ankle edema. NEUROLOGIC! Alert and oriented 33. Strength, mod, gait normal, DABAL 02 kat $88 on zoom airy, maegero/euy As, Cason, hg ef28 dey-tine lacpicge adi considering geotric bypass surgery. Eo hos save avakoniogs vaict fey bo neal arousals during che night, "do hee sone alfaicniey fEvikentng fn tho morning, peebably zelated to hie seredale of work and school. "since he is considering the major surgery for sestric bypass, will plan furthe: evaluation with overnight Polysonnagran fo rule out obstructive sleep amnea or other sleep Ealated arecthing disorders. F eppreciate the opportunity to im in consultation in the office. . fis: eee “Faier Beeler dhe/ shaserbe: Bor “03/23/2004 Da 03/23/2004 ec: pi! fae Sehaltt, Medical cantar Rant Page 2/2 ‘ST VINCENT S HOSTAL, P DISORDERS CENTER, eed 10" Avo oud POR, Theg Floor ‘Benlngharn, Anbar, 25205 ys26-2868 Fax (209 SO02734 SLEEP ANALYSIS REPORT Paton Geena, ent Scare ve ate of Stay: Nae Referring Plea Patent conta Interpece PrysTe Roan Recording Technllan: Yotatanferstudr: O88 enim Thin utp ee sondad of A cans of ecvoaragtaogeety, fe aia ante at er yegagy. ceo) aad Ssaneus rcriag of ension, eee pa nygen sera aban by arog. ‘ola sleep The: 87.9386 min Sleep Eftclaney: 80.4% Si 2 Slap Sse Tra Tar sie Tan BS Sige aaa ins 52 BS. a zs or 0, =6% x 75 155 a i 728% Sleep Suty Sates: eae ‘ones | Hypopnaa a, sare, Fa Spentrcots ols e fester, Seteaousaromaintes GOIN. Sophie versie ‘aa g of Deaton: REA Spied & Cowan Destro ox ensue ne Bemawinonsas cow: 08 seep Areetre: Tha pots Heap tee wis 38th» REM tery of S880 iss ‘nulla, Tear 9 resp evans, vic 29 wer exceed wih arouse Tn8 Bt onan, Th aay Gantoncl secu Tee oro Oastra pens, 8 ata Aeros UTitaad Apoas, @ Gani ApRESE cuimotys Tr pats Lovet esatraton vat 0.0 The por cps shout O4 cin baw 8 Sara ee, Tce wares epaodes of denote ponoste Leg Movants: Tht wera SO PLS. Tere ware LU aust. Tha pasts PLM steed frases. i room sm—RMOA BEE OUTPATIENT ADHISSIONS me Re er te eho le ML 8 | + [ecomisr czas jeviersos saz foe , NRE AD ADORE Ti aaa Danae Par Jean, ero eine |e Issa set franca ssi __gonsioenes faTionrs ewmoTER “BERT COTAST Tana oe Ks ANNIE AVE eruneoH AL a7 gosaisansn [SLRRARTORS EOE uorase nORNESY eossiYPeAScHNe W SLEEP APNEA ueoune ayaa, bonirena rE ERTCE OE RP Kroes strona leur fvorer i STEADY AREETEOTY SHIT [EREAOOROT TN { fon bwenucrs 5 [noche cianousrEOED v v ‘coat TSURANDE PONE ‘GROUND, POUCYCORTRACTNO, COPAY Poradicaias RELATION hooast , OlUECADSS|RANDO aren aaeecemast neo . ERIE SATE pene arene icuencr [Rosson oaTe carat ae [RowSSONVAL SNe: TEMP, passe ov oscNGE ROTATION: CORONER E] PEE TE] rar ferrioars ae Jeroos DCHAAGE PLANING serccncrmctos oer 1 rowasonse I cowur Ey onteavanonees Ha CoNDTTON ONDROHARSE ree Ben [Cree een reer Demmsn Dornen Pecan Trea ovens Gy a mnt apt mint stn Fefusal Ranson pete 1 eae, neen poe cern exported ize arise 133 Frain, star | Sine 0.509 pane same NA, Retideea W auste ann (roe Erews, Ret | Sate Bi cou eH age mae ‘pet comer, oman sea, SE Raya st TS Resection ‘tpn. stv orgportaliprintjsp ‘SLEEP DISORDERS CENTER 2860 40" Ave South, POB |, ThtdFicor Birsnghom, Asbams, 39205 (0s) 930-2724 Gannon, Tart stuty & osozoes pon: 0616-79 Indlealion far Study: Excassive daytine slesiness. sot SREU yeornogreghy wos redevod, Ths sloop stuly consiied of 4 channals. of leticengophalagrapny, te mantong of elesvoccalography, te Shi Simultaneous receding ef yelaton, esplsiry aflrt and cxygen saluralan atended by. @ Sas lege, Naat pressure may fre bean osed in corjuncton wih @ thermistor to Pp eller deine VARS. hypopnea, and apnea evens. sludy Findings: sleep Architesture — The patint sat fr 833.1 olnates, fora soep efclney of €O4th. Sleep enast inteney was 38 rincles, REM latency was $86.0 minviga. lage one vaa (14.8%), tage fo was {5.5%), stage 3 wos (0.080), stage four was (21.21), and sloge REM was (0.4) Cardiac Data ~ Hea hyfhen raatre sus, LMS ~ There wero 60 PLIMS, 0 of which causes arousal for a PLM around 09 ‘Arousal Data —"Thare weve 69 resalery arousal, 0 PLM areutle, ans 0 spontaneous sats Ccoemanta: Scored cata are opresataive of raw data Tai Mild obstusive slop spnes syrexore (78069), AH of 15:7, ow 02 eatration ot EOE, ‘Recommendations: (i) Rapeat avemight eloep lity fr Sration of CRAP, (2) Drowsy diving nsewedons ers provided & nn ae tary an tao. Ce: James Stikiand, M.D. ‘ise Seti 0. Dd: om0s!04 Te oansied Lkabeg EXHIBIT L ;ENTON GARMON & Associates Mall -Eseeed Release Trenton Garmon Executed Release 2 messages Trenton Garmon ‘Thu, Aug 16, 2018 at 8:44 Pvt To: Roger Futerman Melissa/Roger, Attached is an executed release. Thanks. Respectfully, ‘Trenton Rogers Garmon, JD, MA Garmon & Liddon, LLC wwrw.garmoniiddon.com Toll Free - 877-717-LEGAL (6342) Gadsden - 256-543-3401 Birmingham - 205-933-5342 Fax- 205-588-0057 CONFIDENTIALITY NOTICE: This email transmission is proveeted by the Electronic Commu ‘Sections 2510 ~ 2521 ,and is Privileged Confidential Information under the Code of Alabama 1975 § 343-20, This e-mail ‘wansmission and the atachments accompanying i may contain confidential information from the las firm of GARMON & LIDDON L-L.C: thats protected bythe atorey-clent privilege. The information is intended only forthe use ofthe intended recipient. Ir you ae not the intended recipient, you are notified that any reading, disclosure, copying, distribution, or the aking of any action usa result of te contents of the e-malis strictly prohibited, Any unauthorized interception ofthis trinsmission isillegal. F you have rein {his transmission in error, please do ot read it, prompily noviy the sender by reply e-mail and then destroy ll copies ofthe ‘ransmission. Thank you for your atention and proper response to this notice ications Priva Act, 18 US.C. ed $B Garmon retease.pat 484K Roger Futerman Fri, Aug 17, 2018 at 12:59 PM Reply-To: Roger Futerman To! Trenton Garmon Received, thank you. fenton Garmon To: Roger Futerman Sent: Thursday, August 16, 2018 9:44 PM. Subject: Executed Release [Quoted tox hidden} 24@ Virus-tree. wwwavast com tps onl comin kbc Aview=plSseach=al8pemidetvend 3 Arm 7IAS628823076T6S6SsimplomsparEBAG3A3223920.. Wh Waiver/ Informati I TRENTON ROGERS GARMON, having a date of birth of 16 JUNE 1979 and a social security number of 421-23-7990, hereby request and authorize the release f HL of rds fe pes bh 8 =March_9, 2018 in the possession of the Pinellas County Jail and/or the Pinellas County Sheriff's Office. 1 additionally authorize the above-referenced party to release information to my attorneys, Melissa A. Loesch and Roger D. Futerman, regarding any of my patient records, medical records, medical notes, prescription records, and/or treatment that received. This waiver/release of information is intended to allow the disclosure of information that would otherwise be protected by HIPPA or any other federal or state laws. [hereby waive my privacy rights in all of the records mentioned above to my attomeys Melissa Loesch and Roger Futerman. I specifically authorize the release of any information to my attorneys, Melissa Loesch, and Roger Futerman using the contact information below. Roger D. Futerman & Associates 13620 49" Street North, Suite 201 Clearwater, FL 33762 (T) 727.344.5511 (F) 727.361.7454 futermanlaw@yahoo.com Ss ont. Dame 16 assy J& Nai Date : Docket # 1751745 EXHIBIT M ee To: Roger Futerman Trenton Garmon Fri, Aug 31, 2018 at 3:55 PM Hey Melissa/Roger, Hope you are well Just wanted to make sure that were on the same page. | know we talked about you sending a Seneral settlement offer leter requesting the DUI be reduced to a sealed Reckless Driving ag thet been sent? If not, are you waiting on me to do something? | apologize, but we've had lot going on and I lost track of where we are, Ul” SLEEP APNIA: Jessica one of my paralegals has ordered the records regarding Sleep Apnea from Dr. Kim Schmidt Rujce | will provide upon receipt | have @ CPAP thats about the size of a small backpack which lea bring to trial. It nels me sleep by forcing ar into my chest. Its offen hard to fall asleep and ifm in @ ght sloee leaker myself when | Sop Gasathing that's the apnea), But when | actualy get into a REM sleep, i's citfcut fo awake me, Acd ne sens StS CRAP can confirm tha its @ known symptom of sleep apnea. Please be mindil that in the video vow cap os os to be a peate? Cut my phone's alarm go off which was sat for 15 minutos and as my kids watched the DVD wee ced tobe a power nap for me before heading to our meeting which was being held in cur home ei Stout 12:20 each meeting and ths is in @ 900 square foot house, so going home for a power nap was nat an Seen. capa’ why tim on the side ofthe road less than 300 yards from our home, Point being” the bale tence sor - ‘were geting the sleep apnea records. To Do: TrentWJessica- follow-up on Dr. Schmid Sleep Apnea reneuis BI MEDICAL IMPAIRMENT RATING: Jessica willbe ordering medica racords regarding my surgeries and impairment ‘They include (1) right ankle surgery following fracture and tom ligaments which were tepeiea surgically by implanting 2 deh 2} fight knee surgery to repair cartilage, (3) right shoulder arthroscopy, (4) right shoulder eeconetactoy surgery ‘which resulted in implanting anchor screws. impairment of the lower right extremity. Because ofthat impairment to my lower ten Tel test related to walking notwithstanding what I id in the video outside the jal to display my coordination at the time. To Do: TrentdJessica - order medical records from Dr. Dan Sparks regarding antie surgeries and assigning of 10% impairment and order VA records regarding VA's finding of 10% impairment te ane body as a whole based upon Dr. Sparks evaluation of my right lower oxtrer right extremity itis functionally difficult to Sheets Office nurse perform an HGN. I'm under the impression obtaining the records om the al something yatll are Thanks foryour help. SORRY forthe long emai. | know yout doing your best and we are very grateful fori ‘naps ima google.com! 2Pik= Be 226°78vie tera permidtread 5 Ami 60023997 THON BASTBAMISIIBIS... 172 4s Respectfully, Trenton Rogers Garmon, JD, MA Garmon & Liddon, LLC www.garmonliddon.com Toll Froe - 877-717-LEGAL (6342) Gadsden - 256-843-2401 Birmingham - 206-933-5342 Fax- 205-588-0087 TRENTON GARMON & Acrociotes Mit Case CONFIDENTIALITY NOTICE: This email transmission is protected hy the Electronic Communications Privacy ‘Seotions 2510 ~ 2521 and is Privileged Confidential Information under the Code of Alabama 1975, transmission and the attachments accompanying it may comin confident LLC. that is protected by the attorney-client privilege. The information are not the intended recipient, you are notified that any reading, disclosure, copying, distribution, o the taking of any action as a result ‘of the contents of the e-tmal is strictly prohibited. Any unauthorized interception ofthis transmission is illegal. if you have received this transmission in eror, please do not read it, promptly notify the sender by reply e-mail, and then destroy all enpies of the transmission. Thank you for your attention and proper response to this noti Act, IB USC. 343.20. This e-mail information from the law firm of GARMON & LIDDON, Intended only forthe use of the intended recipient. you Roger Futerman Reply-To: Roger Futerman To: Trenton Garmon Hi Trenton, Tue, Sep 4, 2018 at 10:29 AM | mailed the medical records request to the jail on 8/17. I'm waiting on those records now. After I receive those records, along with the medical records you are getting, ! will submit a request to the State asking them to reduce this charge to a reckless driving. Regards, Melissa From: Trenton Garmon To: Roger Futermen Sent: Friday, August 31, 2018 4:56 PM Subject: Case {2uotes ox sen) 1@ _Virus-tree, wwrw.avastcom Trenton Garmon ‘Tue, Sep 4, 2018 at 1:02 PM To: Roger Futerman ‘understand. Thanks! (Quoted text niden) {Quoted tent hidden corm PhD e2eXDFTBviewspeerchesll perm col 0 3Amia + 6002393871748062602AsimplemsgaIASSIMMISIIIIS.. 22 EXHIBIT N eee TRENTON GARMON & Associates Mil -2018.02.MTRENT: ST VINCENTS BIRMINGHAM MEDICAL RECORDS ‘Trenton Garmon 2018-08-04-TRENT: ST. VINCENTS BIRMINGHAM: MEDICAL RECORDS — S messages ‘Xerox Reply-To: xerox@garmonlawfirm.com ‘To: trent@garmonlawfirm.com (Ce: jessica@garmonlawfimm.com, gile@garmonlawfirm.com Tue, Sep 4, 2018 at 3:03 PM Please open the attached document. It was scanned and sent to you using a Xerox WorkCentre Number of Images: 18 ‘Attachment File Type: POF Device Name: Xerox Device Location: For more information on Xerox products and solutions, please visit htp raw xerox com! ‘BD img-904160320-0001.pat 556K Trenton Garmon Tus, Sep 4, 2018 at 5:29 PM. ‘To: Roger Futerman Hey RogeriMelissa, ease see the attached medical records. As you can see | was diagnosed with *hypersomnia with sleap apnea’, | have had ongoing issues with it for well over 10 years, hitps:f/en.m. wikipedia orgiwiki/Hypersomnia [hat leads my body to need heavy sleep and is hard to get to sleep due to the apnea but once | hit REM sleep, awaken slowly. roaphare Narcolepsy so | have never just randomly fallen asleep. But quite often | get really tired randomly and need a time to rest just 15-20 minutes and I'm fine. Hopefully this explains some of my perspective and life a little better Thanks. {votes text hiadon] Respectfully, Trenton Rogers Garmon, JD, MA Garmon & Liddon, LLC wwww.garmontiddon.com Toll Free - 877-717-LEGAL (6342) Gadsden - 256-643-3401 Birmingham - 205-933-6342 Fax- 205-688-0057 CONFIDENTIALITY NOTICE: This email wansmission is protected by the Eleetonic Communications Pivaey Act, IBUS.C. Sections 2510-2521, ands Privileged Confidential Information under the Cede of Alabama 1975 § 343-20. ema hap goo ‘To: ekci7663uphS9@hpeprint.com Tue, Mar 12, 2019 at 6:50 AM Respectfully, ‘Trent, JD, MA. ‘TRENTON GARMON & Associates Offices: Birmingham & Tampa httpzltrentongarmon.legal ‘Toll-Free - 877-717-LEGAL (5342) ‘Licensed in all Alabama State Courts, multiple Federal Courts & eligible for pro hac entry in numerous state courts. CONFIDENTIALITY NOTICE: This email transmission is protected by the Electronic Communications Privacy Act, 18 U.S.C. ‘nd is Privileged Confidential Information under the Code of Alabama 1975 § 34-3-20. This e-mail ‘transmission and the dttachments accompany ng it may contain confidential information from the ka fie of TrentonGarmon legal & Associates, PLLC that is protected by the attomey-client privilege, The information is intended only for the use ofthe intended recipient. IF you are not the intended recipient, you are notified that any reading, disclosure, copyin; tistribution, or the taking of any action as a result of the contents ofthe e-mail is strictly prohibited, Any unauthorized interception of {his transmission i illegal. IT you have received this uansmission in error please do not read it, promptly notify the sender by reply e- til and then destroy all copies of the wansinission, Thank you for your attention and proper response to this notice, [uote tox iden) +6) Img-804160320-0001.par 556K nips google comma /2ih=bO4e2<267 dviewpesearchrall peti ren S3AIG{07I2SBA257SSA8S8simplamsg.153A 610TIIESTSSUSRE... 22 EXHIBIT O Roger D, Futerman, Esq.***34" —*Tormer State Prosecutor 1 * Recognized as Melissa A. Loesch, Heq, *7 “AV Pree Mated™ Brian C. Palactos, Esq."2** wy Nee ea Seg ty ca vests Ofte Locations: vag inn ey Clearwater Office The R Fut. (ceca 18620 49th St, North, Suite 201 ue Roger Futerman 2 eee Clearwater, Morida 83762 Law Firm TiC (27) BEL BBLL Attorneys-at-Law = fe Mller “Licensed in Florida State SBE Weeds Ba Haale : ‘Tampa, Morida 39609 ‘worinisaltomeytanpa.com steal" fatermanlan yahoo, 2xauoca (818) 221-4400 Cree ercc anes Gee ‘pie anericay coutce oF pean SoertneD arroteys™ ‘Sette ic Super Lawyers October 29, 2018 Office of the State Attomey ‘Attn: Kishantevia Carson 1800 66" Street North St, Petersburg, FL 33710 RE: ‘Trenton Garmon Case No: ASEVIUE Dear Kishantevia, ‘This letter serves as « formal offer to resolve this DUI case with an amendment to a reckless driving, a withhold of adjudication, 12 months of probation, DUI school and treatment if recommended, 50 community service hours, 20 alcohol, bars, ot clubs ar a sondition of probation, end the fine and court costs. In support ofthis offer, please consider the information below. Regarding the stop, Mr. Garmon was lawfilly parked on the side of the road with bis children in the vehicle at about 6:15 pm. He was sleeping in the driver's seat, Mr Garmon suffers from sleep apnea, and Ihave attached the medical records Which support this diagnosis. Exhibit 4: Diagnosis Document and Sleep Study Report. Because of the sleep apnea, he has intermittent day time sleepiness and he takes naps if he nesds ta and/or when he can, He has explained to me that on the evening in question, he and his wife ‘were hosting a meeting for a parenting group that they beloug to. There were about 15.20 people in the Garmon home, Mr. Garmon left to pick his children up at daycare, ‘On the ‘Way back, he wanted to fake a 15-minute nap. He did not feel he could nap at his home because of the large group of people there andthe fact that he was a host ofthe group and Roger D. Futerman, Raq?" *Former State Prosecutor 2 Recognized ao Melissa A. Loesch, sq. ?? “av Prec tea” Brian ©, Palacios, Tisq.*!°7 = A i si Tih, Office Locations: seg toners mens fie dlc ia Clearwater fice 18620 49th St. North, Suite 201... ‘The Roger Futerman Clearwater, Florida 83762 Law Firm (Wen s5511 Aitorneys-at-Laww ‘Licensed in Florida State 36H Kennedy Bid Se Ce renee Sseos” ‘wweccelmielattomeytampa.com G18) 221-4400 futermanlaw@yahoo.com IN cue amcican, Gouiece oF sOAR ‘Searin Arroneys expected to be very involved in socializing. Mr, Garmon ended up pulling over and parking legally on the side of the road, He put a DVD on for his children to watch, set his telephone alarm for 15 minutes, and then fell asleep in the driver’s seat. ‘The officers approached Mr. Germon and ended up conducting @ DUI investigation. Mr. Garmon explained to the officer that he had consumed less than 1 lass of wine that evening, He refused to submit to field sobriety testing and the breath test, but I did obtain a video from outside the jail which shows Mr. Garmon walking on a line in the parking lot in an effort to prove that he is unimpaired, Thave enclosed a copy of that video for your records... Regarding the video from the scene, Mr. Garmon seems alert and unimpaired. Given the context surrounding Mr. Garmon’s decision to take a 15-minute nap, I hope you will agree that the circumstances of this case do not warrant a DUI conviction, ‘Thank you for considering the attached video and medical records, If there is anything else you need to complete your review, I will be happy to provide it Regards, ‘MelissaA- Loesch, Esq. HX SEE. Bateoosee eee agoo4 vsi82 i tnerauas seseyias Sah =e ssist-see, Page lef | ‘wn 2004 BISA ROLZOHE) St. iments Bap? 205 08 ZN IM YRMGCHTEN LON Fa sv, vincent osPzBs, SSuanawonns, ALANA Suase STUDY woserms, #1 000000045477 IRISTORE RAD FBYSECAL PRIOR TO SUE STUDY pase ‘of waseti 7/28/2004 (CuIEP CONPLATI No Before gestrte bypass xeronr or PanseNe sisuess: tcont Cexmen te a 15-10 lyons by bs. tan Sclmidt at Uedienl Contos east Sgt1ONE ly dor eansulcation for pouaible seep relates Petice tg eleorder geiar to, considerations for geoteic bypets SEsyorys” fo baa. po eugniticane aieep syeptons Shet ho Af, eyasa SUPTCED Ee Pat ninal dey tia elaepinses which ney be vithin Sbesel tintes. A wocks Zoli tina and ia geing to sizatnghen BORESE ar"hae in ther ovenings.. go does fave, vane digticulty {OB the selouy et nugie end vakes up cusing the RlgKE. Has AEEITS te ote asotng in the mornings me gos to bed at 12 pam Sniveor diye and, sete up at 614s nnd,on veorande, foes fo Be Soeveen and 2 evn. ltgbos to falt,cokeop txpleatty and vahog 0,29 9 508 go sainatoo te fer) Gaia fort 20-3 ninites at a tino. diakonthgs: Usual in the nidéle of the night and he gots up and fp dose have soee. day tise sloopiness ab tips, setente tov. in bed before falling feito ign chance of dozing shen Lying Gotan Laneh. ash meena tron : RS AE tle Eten n b BE St eacay eae” EEE AOE, Cee toy be 2002, EC diay evige ieet lon te an, 4 Ra trols Setter solearrois Seipelloase 20 94 94s 2. Broparts for hale dose’ ands nucenaust Wo know éruy ellargiea. page 1/2 Gets ap at S a.m ie taxes in 39 to 90 TRENTON GARMON & Actes Mall eter you equescd Trenton Garmon Letter you requested 4 messages Roger Futerman Thu, Jan 24, 2019 at 2:26 PM Reply-To: Roger Futerman ‘To: Trenton Garmon , Trenton Garmon See attached, Scanner_20190124_153010.pdf 297K Trenton Garmon ‘Thu, Jan 24, 2019 at 3:38 PM ‘To: Roger Futerman Cc: Trenton Garmon Thanks!l ‘On Thu, Jan 24, 2019 at 2:26 PM Re See attached, loger Futerman wrote: Respectfully, Trent, JD, MA TRENTON GARMON & Asscciates Offices: Birmingham & Tampa hitp:/trentongarmon.legall Toll-Free -877-717-LEGAL (5342) “Licensed in all Alabama State Courts, multiple Federal Courts & eligible for pro hac entry in numerous state courts. CONFIDENTIALITY NOTICE: This email ransmission is prot Sections 2510 ~2521 and is Privileged Con transmission and the attack ‘ed by the Electronic Communications Privacy Act, 18 US.C. dential Lnformation under the Code of Alabama 1975 § 3443-20. This e-mail ments accompanying it may contain coafidentia! information From the law firm of TRENTON GARMON ‘& Associates, PLLC that is protected by the attomey-client privilege. The information is intended only for the use ofthe intended recipient. If you are not the intended recipient, you are notified that any reading. disclosure, copying. distibution or the taking of any action asa result ofthe contents ofthe e-mail is strictly probiited, Any unauthorized imerception ofthis transmission sila you have received this transmission In ero, please donot read it. promptly nottythe sender by reply’ e-mail. and then destoy all copies of the transmission, Thank you for your attention and proper response to this notice Trenton Garmon Thu, Jan 24, 2019 at 3:36 PM ‘To: GLF Gfile Ce: Dianna Beard , Jessica Robinson Please file, [Ruste text niden) By Scanner_20190124_183010.pat 297K Dianna Beard Thu, Jan 24, 2019 at 4:06 PM ‘To: Trenton Garmon ‘apna google com mai ikebe2e267Sview cptscarch=al&psemii threnF3A 16235717 78O0SAGHTRSsmplamsg-PE3A STISTATISHCRAGHTBS.. 12 4242020 “TRENTON GARMON & Associates Mail - Leer you requstod Done (Ousted ox ddan Respectfully, Dianna Beard, Paralegal to Trent Garmon, Esq. 750 Forrest Avenue Gadsden, AL 35901 205-753-3998 Gianna@garmonlamfirm,com ups: google comma 2 e227 aview=ptSscarchssl permite S34 1623S7ATTBOOSIGHT3&simplonsg {RBALCISTATTEMSAGLSTIS... 22 EXHIBIT P ALABAMA STATE BAR OFFICE OF GENERAL COUNSEL jeer « Post ca B67 « rigien, lane 261 Tene 4/2666 Fa aT aat att sn starry January 31,2019 ‘Mr. Trenton Rogers Garmon Attomey at Law 750 Forrest Ave Gadsden, AL 35901-3639 Re: CSP 2019-184 Complaint of None Dear Mr. Garmon: Enclosed is a copy of a complaintletter recently received in this office from the above-referenced individual concerning you. Rather than opening a formal investigative file at this time, you are requested to review the enclosed and submit, in writing, within fourteen (14) days from the date of this letter, your comments concerning the enclosed complaintletter, In your response, you may include copies of any documents which are relevant to this inquiry. Please submit the original and one copy of your written response and enclosures to this office within fourteen (14) days from the date of this letter. Sincerely, Get Mle Carol Mott Investigator/Paralegal For the Office of the General Counsel Enclosure ULE St. ALABAMA RULES OF olscim nat PROCEDURE OF THE ALARAUASTATE BAR. ADOPTED D DISCIPLINARY PROCEEDINGS SHALL REMAN CONFIDENTIAL UNTICA SLE GE Gules Oe WYTHE SUBREME COURT OF ALARMMIA PROMDES THAT FONG OF CULT THE DISCIPUNARY EOAAD OR DISCIPLINARY COMMISSION MaKESA ALABAMA STATE BAR . ‘THE DISCIPLINARY COMMISSION . ‘TELEPHONE 334-289-1515 P.O, BOX 671 MONTGOMERY, AL 36101 rox seenenastt DeLWERY ADDRESS {IS DEXTER AVENUE ‘ALI MEMORANDUM To: ‘Respondent Attomey From: * Disciplinary Commission Subject: Response to Ber Complaint ‘Thank you in advance for your prompt response. In an attempt to save the environment, we now scaa all materials, which include complaints and attomeys’ responses. Therefore, we ask ‘thet when you submit your response, please do not bind, staple, or insert tabbed dividers. Ifyou want to identify exhibits, please mark them in the bottom left-hand commer or insert identifiable sheets before each exhibit. Three-ring binders are also unnecessary. sute'so, Aiazasia RULES OF ISCIPLINARY PROCEDURE CF THE ALASPMA STATE BAR, ADOPTED BY THE SUPA ERCIcUAARY PAOEESOINGS SHALL RESIAM CONFIDENTIAL DITA LEA OF GUILTY OR THE DCI-LILARY BOARD OR DISCILNARY COMMISSION MAKES A FONG OF GUL. EXHIBIT Q TRENTON GARMON & Astoclates Mil Che ‘Trenton Garmon Check 1 message ‘Trenton Garmon «trent@garmonlawfitm, com> Mon, Mar 11, 2019 at 0:46 AM To: "bookkeeper@earmoniawfirm.com" Legal Fee - $5,000 Roger Futerman ‘neps:mal google con naiw2 ik =tiOte2eDBFTAven-=pldsearcheald perth ethead-3Ar43 1818922958683 68simplemg aSIArSOLITIBSEOSTBONSOS 18 202000 "TRENTON GARMON & Associates Mail Check lips vinai google commit l2e2OF7&viewspdccarc-all&permibid-thread-aAr-1316 489229596854768sintsnsg ADA SOINTSSS6OS7ADISOG 293 Respectfully, ‘Trent, JD, MA ‘TRENTON GARMON & Associates Offices: Birmingham & Tampa htpuitrentongarmon.legal Toll-Free - 877-717-LEGAL (53.4) TRENTON GARMON & Asovites Mall Check (Liensed in all Alabama State Courts, multiple Federal Courts & eligible for pro hac entry courts. Aumerous state CONFIDENTIALITY NOTICE: This email transmission is Sections 2510 ~ 2521, and is Privileged Confidential Information under the Code of Alabama 1975 § 343.20. This c ‘ransmnission and the attichments accompanying it may contain confidential information from the law finn of TrentonGarmon legal & Associates, PLLC that is protected by th the use ofthe intended recipient, If you ate not the intended recipient, istibution,or the taking of any aetion asa result of the contents of th this transmission is illegal, I you have received this transmission inet ‘nail, and then destroy all copies of the transmission. Thank you for protected by the Elecicunic Communications Privacy Act Is usc ail torney client privilege. The information is intended only for Yow are notified that any reading, disclosure, copying, ie €-mail is strictly prohibited. Any unauthorized interseption of ror. please donot read it. promptly notify the sender by reply e- ‘Our attention and proper response to this notice ‘psi google conte 267 iew=pt8scach=allipermbidctreab3Ar-13 18 {459229586834768sinpl=nsg-a3S6974956957609506 33 EXHIBIT R Important i message Roger Futerman To: Trenton Garmon Please call me ASAP Ths, Roger Sent from Yahoo Mail for Phone TRENTON GARMON & Associses Mat -mportan Wed, Mar 20, 2019 at 6:46 AM {esa goog comimau2 ib 42<257aview=psench al peiid-thend 43 62852908704667784 sp -msp (3 AGDSSDAOSTDISSTBL EXHIBIT S Sa Roger Peterman: Phone Call S messages Trenton Garmon essica Simmons ‘Wed, Mar 20, 2019 at 2:42 PM To: Trenton Garmon 727-344-5511 Hey Trent. Phone call from Roger Peterman asking you to call him back. Thanks, Respectfully, Jessica Simmons, Lead Paralegal TRENTON GARMON and Associates 750 Forrest Avenue Gadsden, AL 35901 205-753-3998 jssica@garmoniawfim com httpslitrentongarmon.legall Trenton Garmon To: Jessica Simmons Wed, Mar 20, 2018 at 6:00 Pm Roger Futerman Thanks! Respectfully, ‘Trent, JD, MA TRENTON GARMON & Associates Offices: Birmingham & Tampa hittp:/Itrentongarmon.legal Toll-Free - 877-717-LEGAL (5342) “Licensed in all Alabama State Courts, mul tiple Federal Courts & eligible for pro hac entry in numerous state courts, CONFIDENTIALITY NOTICE: This email transmission is protected by the Sections 2510 2521 and is Privileged Confidential Information under the Code of Alabama 1975 § 313.20, Ths coma {raasmission and the attachments accompanying it may contain confidential information from the lw hin Gio iteatonGarmon.legal & Associates. PLLC that is proweeted by the attorney-client privilege. The information is imended only For the we of the intended recipient. I you ave wo the intended recipient, you are notified tht any readin, deo copying, the contents ofthe e-mail is strictly prohibited, Any unauthorized interception of i cago have received this transmission in evr, plese do aot read it, promptly notify the sender by reply ‘ral, and then destroy all copies ofthe transmission. Thank you for your atenion and proper response to thie ice Electronic Communications Privacy Act, 18 US.C. (Quoted text hicten| Jessica Simmons To: Trenton Garmon ‘upsvimait go0sle comma ik=bae2e26F7 vie ptSsearcholl permbidthrea4634 628551872037391 404&simy 2242000 ‘TRENTON GARMON & Assocotes Mail - Roger Paterna: Phone Cal (Oh good, ‘Thanks for the correction. [votes text Nd ‘nips nal google comms 27iksbOcDe2b7&view=plserch-al&penmibdedbead (3A 162855387205739L 4D simpl=msg FEBALGSSSIETAOSTIILADAK... 22 EXHIBIT T / a7 ae 4 Dates lad dyelier) z Eo PS pr Or Od /S MT ay A Paredlen Le = Pe, a u i naga degen * tom Deturtred! a acs Vert fied. 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SKE Bd Goathier® (a) Bavid Denis’, Colonal bone Depsclrent of De ben tiey cand Correction, (3) AneHas Gualy 2 of / Districh Athetney (DFhrita Stale Al lotney Senwval and [s) Lresiding Srewh Sourh Jedse for Pinellas County Vn OD TRENTON GANMOM, és9, [esl Secigt Police’ G drath copy. ales ip ; age had wither, ef thes Verifies Couplank Ase been retained 4y the Ceaplaint any, ee wTrenten Gsrmon, che anuen are pt Ha carulind A MM A _ duce woh of Ai, peth a fe Ae TRIM CARMA wan TRENTON GARMON & Associates Ma vestigation RE: Death Theat and Pep ‘Trenton Garmon Investigation RE: Death Threat and Perjury 10 messages ‘Trent Garmon Fri, Aug 9, 2019 at 6:03 AM To: slockheart@pesonet.com Ms. Lockheart, Grace to you. Please confirm that you have received this email. Thanks. Respectfully, Trent, JD, MA TRENTON GARMON & Associates Offices: Birmingham & Tampa http:/itrentongarmon.legal Toll-Free - 877-717-LEGAL (5342) “Licensed in all Alabama State Courts, multi iple Federal Courts & eligible for pro hac entry in numerous other state courts, SON EICENSIALITY NOTICE: This email ansmission is protected by the Electronic Communications Privacy Act, 18 US.C. Sections 2510 ~ 2521, and is Privileged Confidential Information under the Code of Alabama 1975 § 313-20: This og transmission and the attachn PLLC that is protected by the attorney-client privil are not the intended recipient, you are notified that of the con this trans transi ts accompanying it may contain confidential information from the law firm of Garmon & Associates, . The information is intended only forthe use of the intended recipient It your iy reading, disclosure, copying. distribution, o the ents ofthe e-mail is strictly prohibited, Any unauthorized intere Lockheart,Shannon Fri, Aug 9, 2019 at 9:04 AM. To: Trent Ganmon Hi yes, received. Shannon Shannon Lockheart General Counsel Pinellas County Sheriff's Office (727)582-6274 [uated ont hidgen] ‘Trent Garmon hupsimail google commu Fri, Aug 9, 2019 at 11:32 AM. ik6 606485308 ewrptscearch sl perhidstnead <3 ArS8S2SS0TORDO2 027EsimalemscaTe3AMS6OKRRSTARSSLISHD ie ‘TRENTON GARMON & Assocbtes Mal nvesigion RE: Death Threat and Peary To: "Lockheart, Shannan* Hey Shannon, Thank you for your time. Please see the attached. Thope and pray my brevity is understood as Lam simply trying to do the process appropriately after two terrible experiences with the Pinellas County Sheriff's Department. The other incident was a false arrest which T was tried over and found not guilty. In it two (2) deputy sheriff's lied under oath which is in the recording which I will be requesting be transcribed. 205-753-3998 is my cell. I have a place in St. Pete and north of Birmingham in Alabama. Please read and advise. (uote tox tay Lockheart,Shannon Fri, Aug 9, 2019 at 4:18 PM. ‘To: Trent Garmon Hi Mr. Garmon- ‘Thank you for sending. | received this earlier today and forwarded to our Investigations Division Additionally, | saw your request to preserve the videos. Since so much time has passed, we probably do not have the videos, but we certainly are doing what we can to make sure that anything we have we are preserving, Have a great weekend. (uote txt hasnt Trent Garmon Fri, Aug 8, 2019 at 10:04 PM To: "Lockheart, Shannon” Please notice that any failure to preserve evidence may call for a jury charge as toa breach. Thanks. Sent from my iPad [uctd ex iden} Trent Garmon ‘To: karguy12@yahoo.com Sun, Aug 11, 2019 at 12:52 PM Sent from my iPad Begin forwarded message: [uote ext hide) il oogl comm w07ik=66eBSNview- ped sere perm ond SE 3Ar5852880798008221977Asiplamsp aIANGEBGESSIBSSHISHD, 216 TRENTON GARMON & Associates Mil - Investigation RE: Death Threat and Pesjory Lockheart,Shannon To: Trent Garmon Cc: "Reuss,Regina" Wee, Aug 14, 2019 at 1:46 PM Mr. Garmon- {had a chance to read your verified complaint that was attached to the prior email. It appears you are alleging that Sgt Caminero’s use of the word “goddamn” 3 times during a cell toss had some religious connotation. “Goddamn” has the secular purpose of being profanity. What evidence do you have that his Use of the word was religious vs. profane’? You also indicate that the Sgt made a threat (which coincides ‘with the use of “goddamn” as profanity). However, as you must be aware, profanity and threats are not actionable. The law is well settled that derogatory, demeaning, profane, threatening or abusive comments made by correctional officers to an inmate, no matter how repugnant or unprofessional, do not rise to the level of constitutional violation. That type of conduct is handled through discipline. 8s | mentioned before, whether the conduct of the deputies amounts to a policy violation resulting in discipline is handled by our Administrative investigations Division. Here in legal we review for vihether your verified complaint states a cause of action of a violation of your civil rights. In my opinion it does not. Certainly you are welcome to supplement the facts, put the facts in context andlor provide case law in Support your claim. | will review and consider anything you want to send. If you do not want to send anything additional, we will stand-by for the results of the AID investigation to see if anything they uncover changes our analysis. If it does we will contact you. If not, we will close our file. Sincerely, (usted txt mison] ‘Trent Garmon To: "Lockheart, Shannon” Co: "Reuss Regina’ Thu, Aug 15, 2019 at 4:23 AM ‘Thanks for the response, Inmy opinion the departments investigation was and is intentionally, woefully inadequate and acts to suppress the truth of is offcer’s murderous threats against citizens. There were only departments interested investigating efforts it appears, | also disagree about your interpretation about his use of religion. | don't know who the officer that threatened murcer ‘worships but he used Goddam as & form of seeking to invoke a religious curse which has no place in a secular setting. ‘Actions supporting the Constitution that do not infringe on others rights are accepted under case law. Such as the religious suppor of back pack programs for kids. But a reference to a diely in any other way but objective and education maybe considered and likely i an illegal interjection of religion. Add the murderous threats with the invoking of his murderous diely and same's illegal. “Being both the murderous threats and the religious cursing. Please note your file, (usted tt hisden Lockheart, Shannon To: Trent Garmon Cc: "Reuss Regina" ‘Thu, Aug 15, 2019 at 4:30 AM have told you now 3 times that AID conducts an investigation and | simply reviewed your pleading for legal suficlency. ‘As a self-proclaimed civil rights lawyer you must know that what you wrote is woefully Inadequate to state a cause of action. | asked you to supply addition facts or law that says otherwise and your response included neither, You are either Playing games or you have no cause of action because that complaint would be subject to rule 11. So supply more facts, ‘0r case law to support that saying “goddamn is actionable, tit canoe connie 4242020 ‘Shannon Lockheart “TRENTON GARMION & Associates Mail -lavesigation RE Death Treat and Pury ‘On Aug 15, 2019, at 5:23 AM, Trent Garmon > wrote: Thanks for the response. In my opinion the departments investigation was and is intentionally, woefully inadequate and acts to suppress the truth of the officer's murderous threats against citizens. There were only departments interested investigating efforts it appears. | also disagree about your interpretation about his use of religion. | don't know who the officer that threatened murder worships but he used Gocdam as a form of seeking to invoke a religious curse which has no place in a secular setting. Actions supporting the Constitution that do not infringe on others rights are accepted under case law. Such as the religious support of back pack programs for kids. But a reference to a diety in any other way but objective and education maybe considered and likely is an illegal interjection of religion. Add the murderous threats with the invoking of his, murderous diety and same is illegal. Being both the murderous threats and the religious cursing. Please note your file. (On Aug 14, 2019, at 1:46 PM, Lockheart Shannon > wrote: Mr. Garmon- had a chance to read your verified complaint that was attached to the prior email. It appears you are alleging that Sgt Caminero’s use of the word "goddamn’ 3 times during a cell toss had some religious connotation. “Goddamn” has the ‘secular purpose of being profanity. What evidence do you have that his use of the word was religious vs. profane? You ‘also indicate that the Sgt made a threat (which coincides with the use of “goddamn” as profanity). However, as you must be aware, profanity and threats are not actionable. The law is well settled that derogatory, demeaning, profane, threatening or abusive comments made by correctional officers to an inmate, no matter how repugnant or unprofessional, do not rise to the level of a constitutional violation. That type of conduct is handled through discipline, As | mentioned before, whether the conduct of the deputies amounts to a policy violation resulting in discipline is handled by our Administrative Investigations Division. Here in legal we review for whether your verified complaint states @ cause of action of a violation of your civil rights. In my opinion it does not. Certainly you are welcome to supplement the facts, put the facts in context andlor provide case law in support your claim. | will review and consider anything you want to send, If you do not want to sand anything additional, we will stand-by for the results of the AID investigation to see if anything they uncover changes our analysis. Ifit does we will contact you. If not, we will close our file. Sincerely, ‘Shannon Lockheart General Counsel Pinellas County Sheriffs Office (727)882-6274 From: Trent Germon [mailto:trent@trentongarmon. legal] Sent: Friday, August 9, 2019 11:05 Pat To: Lockheart Shannon ‘Subject: Re: Investigation RE: Death Threat and Perjury Please notice that any fallure to preserve evidence may call for a jury charge as to @ breach. Thanks. Sent from my iPad On Aug 9, 2019, at 5:18 PM, Lockheart, Shannon > wrote: Hi Mr. Garmon- ‘Thank you for sending, | received this earlier today and forwarded to our Investigations Division, Additionally, | saw your request to preserve the videos, Since so much time has passed, we probably da not have the videos, but we certainly are doing what we can to make sure that anything we have we are preserving Have a great weekend. ‘Shannon ‘Shannon Lockheart General Counsel Pinellas County Sherif's Office pail google comnaibwor ed Sdevewspubsen al petrhid-thead 953 AeS8528079800822192Tdsimplamsg-aT3A6O96EBSPSBSSUISTHD. Wi w242e0 (727)882-8274 TRENTON GARMON & Associates Mal - Investigation RE: Death Theat and Pesjury From: Trent Garmon {mailto:trent@trentengarmnon legal], Sent: Friday, August 9, 2018 12:33 PM To: Lockheart, Shannon > ‘Subject: Re: Investigation RE: Death Threat and Perjury Hey Shannon, ‘Thank you for your time, Please see the attached. {hope and pray my brevity is understood as | am simply trying to do the process appropriately after two terrible grmeriencas with the Pinellas County Sheriffs Department, The other incident was a false arrest which | was tried over Fas found not gully. Init two (2) deputy shen lied under cath which isin the recording which | wil be requesting be transcribed. 205-753-3988 is my cell. Ihave @ place in St Pete and north of Birmingham in Alabama Please read and advise. On Fri, Aug 9, 2019 af 10:04 AM Lockheart Sh: wrote: Hi-yes, received, ‘anon > ‘Shannon ‘Shannon Lockheart General Counsel Pinellas County Sheriff's Office (727)882-6274 From: Trent Garmon {mailto trent@trentongarmon legal] Sent: Friday, August 8, 2019 10:03 AM To: Leckheart, Shannon > ‘Subject: Investigation RE: Death Threat and Perjury Ms, Lockhear, Grace to you. Please confirm that you have received this emeil Thanks. Respectiully, ‘Trent, JD, MA, TRENTON GARMON & Associates Offices: Birmingham & Tampa hitp:trentongarmon.legalhitp:/trentongarmon legal’> Toll-Free - 877-717-LEGAL (5342) “Uleensed in all Alabama State Courts, multiple Federal Courts & eligible for pro hac enlty in numerous ether state courts CONFIDENTIALITY NOTICE: This email transr USC. Sections 2510 ~ 2521, and is Privilege e-mail transmission and the attachments ace: Garmon & Associates, PLLC that is protecter ofthe intended recipient. Ifyou are not the i distribution, or the taking of any action as @ Interception of this transmission is ilegal. If Notify the sender by reply e-mail, and then response to this natice, mission is protected by the Electronic Communications Privacy Act, 18 'd Confidential Information under the Code of Alabama 1975 § 34-3-20, This -ompanying it may contain confidential information from the law firm of * by the attorney-client privilege. The information is intended only for the use intended recipient, you are notified that any reading, disclosure, copying, result of the contents of the e-mailis strictly prohibited. Any unauthorized you have received this transmission in error, please do not read it, promptly destroy all copies of the transmission. Thank you for your altention and proper aps: gooee comm =6602U830eRew=pesearchallipemihi ead 3 A1S8528807OROON? [977 implemen aX An GRRE 2az0%0 TRENTON GARMON & Astin fat Investigation RE: Death Threat ad Peay Respectfully, Trent, JO, MA TRENTON GARMON & Associates Offices: Birmingham & Tampa http:itrentongarmon jegalchttp:/rentongarmon legal (uote txt ident Trent Garmon Thu, Aug 15, 2019 at 4:36 AM To: "Lockheart, Shannon" Ce: "Reuss Regina" What | wrote is an email. And step 1. Dor't presume to lecture me on process. And 'm not self proclaimed, frankly | didn't enjoy civil rights work, | just keep getting called on it and have been featured on some small national and global television shows talking about it But then again, your minds likely programed so I'm invest time elsewhere at this juncture, Grace and peace. Sent from my iPad [uote tex nen] inipsinl google comin w0ika660ed8530e8view=pldsercheallfpeidethyood 93 ArS8SP8807980082 \927dsimplemeg Ar 660GERSDIESSIIS3O... 66 Aa Polygraph - Pinellas County Sheriff's Officer 1 message Trent Garmon Fri, Aug 16, 2019 at 10:30 AM ‘To: "Lockheart,Shannon” Bcc: Gfle Alabama Grace and peace to you. Please confirm (1) if the Pinellas County Sheriff's Department has a polygraph examine it has used on contract or employment basis in the past and (2) when I can come in for an examination regarding my complaint about the officer's murderous threats. Also, (3) since no outside witnesses were consulted I am presuming when I pass the polygraph your department will be making an in kind offer for the officer's present to take a polygraph regarding their memory and the veracity of their statements. T would like confirmation (4) about whether an objective interview as done of the other witnesses referenced in the statement. Thanks in advance. Respectfully, Trent, JD, MA, TRENTON GARMON & Associates Offices: Birmingham & Tampa httpziitrentongarmon.legal Toll-Free - 877-717-LEGAL (5342) ‘Licensed in all Alabama State Courts, multiple Federal Courts & eligible for pro hac entry in numerous other state courts, CONFIDENTIALITY NOTICE: This email transmis sion is protected by the Electronic Communications Privacy Act, 18 U.S.C Sections 2510 ~ 2521 , and is Privileged Confidential Information under the Code of Alabama'1975 § 343-20, This e-mail papeatssion and the attachments accompanying it may contain confidential information from the aw firm of Garmon & Associates, PLLC that is protected by the attorney-ci ‘are not the intended recipient, you are notified that any reading, disclosure. co Of the contents of the e-mail is strictly prohibited. Any unauthorized inte this transmission in ertor, please do not read it, promptly natty the ser transmission. Thank you for your attention and proper response to this i privilege, The information is intended only For the use of the intended cipient. Ifyou pring. distribution, oF the taking of any action asa result ception of this transmission i illegal. If you have received nder by reply e-mail, and then destroy all copies of the is notice. ‘tps google comma OA 660648308 vew=pldsearch=allspemthid wea Ar-25780771828D8SSAS2simplemeg FAr33TOOONGO2SGGSIONSS

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