13 class action lawsuit against Bella Collina (Part 13 of 15)
The POA and its officers and directors have a fiduciary duty to lot owners and POA members as set forth in Florida Statutes, 720.303( I), which duty includes the obligation to act in the lot owners’ and members’ best interest, to tell them the truth about all material matters, to disclose any material fact, and to obey all lawful obligations.
11 class action lawsuit against Bella Collina (Part 11 of 15)
Defendants constitute an associated-in-fact Enterprise, through which they illegally controlled the POA, knowing that the POA should have been turned over to the non-developer lot owners 90 days after August 29, 2005.
14 Randall Greene Accused of Stealing a House
This Quit Claim Deed made this 30 day of May, 2014 between DCS Capital Investments, LLC, a Florida limited liability company, whose post office addre sis 505 South Flagler Drive, Suite 900, West Palm Beach, Florida 33401, grantor, and Randall F. Greene and Christina M. Greene, husband and wife, whose post office address is 6485 Sparrow Hawk Drive, West Palm Beach, Florida 33412.
13 Randall Greene Accused of Stealing a House
COMES NOW, Bella Collina Property Owrner’s Association, Inc. (hereinafter “Bella Collina POA”), by and through its undersigned attorney and files this Notice of Withdrawal of its Motion to Intervene, and states:
5 class action lawsuit against Bella Collina (Part 5 of 15)
DCS directed the POA, in fulfillment of the conspiracy, to request zoning and use changes for Bella Collina, which include, but are not limited to, relocating the site of many amenities from their originally planned, desirable location to a new, less desirable location
4 class action lawsuit against Bella Collina (Part 4 of 15)
Despite knowledge of the illegality of its operation of the POA, the Conspirators, without property owner approval, appointed its agents, including at all relevant times Burman, Greene, Clarke and Lebreux, to act as unelected board members of the POA