Petitioner: DEPARTMENT OF HEALTH, BOARD OF MEDICINE
Respondent: HECTOR ROLANDO CORZO, M.D.
Judges: SUSAN BELYEU KIRKLAND
Agency: Department of Health
Locations: Clearwater, Florida
Filed: Sep. 23, 2009
Status: Closed
Settled and/or Dismissed prior to entry of RO/FO on Thursday, March 18, 2010.
Latest Update: Nov. 19, 2024
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a : ~ mn a ral
STATE OF FLORIDA |
DEPARTMENT OF HEALTH |
DEPARTMENT OF HEALTH,
PETITIONER, _ - |
v. . CASE NO. 2006-32754
HECTOR ROLANDO CORZO, M.D., |
RESPONDENT, / !
A i
ADMINISTRATIVE COMPLAINT
COMES NOW, Petitioner, Department of Health, by: and through its
undersigned counsel, and files this Administrative Complaint before the
Board of Medicine against the Respondent, Hector Rolando Corzo, M.D.,
and in support thereof alleges |
1. Petitioner is the oh department charged with reguating the
practice of medicine pursuant to Section 20.43, Florida Sats Chapter
456, Florida Statutes; and Chapter 458, Florida Statutes.
2. At all times material to this Complaint, Respondent was a
licensed physician within the State of Florida, having been issued license
number ME 35773.
KQ-A7-77)
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on,
3. The Respondent's) address of record is 7955 66" Street North,
Suite C, Pinellas Park, Florida | 33781.
4. The Respondent | is board certified in Psychiatry by the
American Board of Psychiatry jand Neurology.
5. On or about September 14, 2006, Patient VR, a thirty-six (36)
year old female voluntarily admitted herself into the general psychiatric
unit at Windmoor Healthcare of Clearwater (“Windmoor”) due to
complaints of being depressed and confused and for cocaine dependence.
Patient V.R. indicated upon admission she had been using approximately
one hundred dollars ($100) worth of cocaine per day, and had not slept for
three (3) weeks due to overuse and dependence of cocaine. Patient V.R.
also advised she had been non-compliant with her medications, and she
suffered from chronic back pain.
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6. On or about September 14, 2006, the Respondent prescribed
the following medications :
Windmoor: Geodon, eighty (
r Patient V.R. upon her admission to
0) mg, one (1) to be taken in the morning
and two (2) to be taken at bpctine; Abilify, thirty (30) mg daily; Navane,
ten (10) mg three (3) times la
day; Xanax, two (2) mg four (#) times a
day; Ambien, ten (10) mg “(ets Artane, two (2) mg daily; Flexeril,
ten (10) mg two (2) times a
Gay; Lexapro, ten (10) mg three (3) times a
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day; Seroquel, two hundred (200) mg twice daily and two (2) at bedtime;
Relafen, five hundred (500); mg two (2) times a day; Skelaxin, eight
hundred (800) mg three (3) times a day; Trileptal, three hundred (300) mg
twice a day; Strattera, forty (40) mg daily; and Morphine Sulfate ER, thirty
(30) mg two (2) times a day. | | |
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7. Geodon (Ziprasidone), Abilify (Aripiprazole), Seroquel
(Quetiapine), and Navane (Thiothixene) are medications used to treat
certain mental/mood disorders such as schizophrenia or manic/mixed
episodes associated with bipolar disorder. These drugs are anti-psychotic
that work by helping to rest re the balance of certain natural substances
(neurotransmitters) in the brain. |
8 Xanax (Alprazolan ) is used to treat anxiety ond panic
disorders. Xanax is a benzodiazepine which acts-on n the brain and nerves
to produce a calming effect, Ambien (Zolpidem) ‘is used to treat sleep
problems (insomnia). Ambien also acts on the brain to produce a calming
effect.
9. Artane (Trihexyphenidyl) is used to treat symptoms of
Parkinson’s disease or involuntary movements due to the side effects of
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certain psychiatric drugs. | Flexeril (Cyclobenzaprine): and Skelaxin
(Metaxalone) are medicationg used to relax muscles. These drugs are
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ef a
used to decrease muscle pain and spasms associated with strains, sprains,
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or other muscle injuries. |
10. Lexapro (Escitalo ram) is an anti-depressant used to treat
depression and . anxiety, It works by restoring the balance of certain
natural substances (neurdtransmitters) in the _ brain. | Relafen
(Nabumetone) is used to reduce pain, swelling, and joint snes from
arthritis. Relafen is a non-ste foidal anti- inflammatory drug (NSAID).
11. Trileptal (Oxcarbazepine) is a medication used to treat seizure
disorders such as epilepsy. | Strattera (Atomoxetine) is used to treat
attention-deficit hyperactivity Misorder (ADHD). Strattera works by helping
to restore the balance of neurotransmitters in the brain. Morphine Sulfate
_ ER is a narcotic analgesic (opioid) used to treat moderate to severe pain.
It acts upon specific receptors in the brain and spinal cord to decrease the
feeling of pain and to reduce te emotional response to pain. |
12. On or about September 14, 2006, at approximately 5:30 p.m.,
the Respondent also ordered| the following prescriptions for Patient V.R.:
Morphine Sulfate, fifteen (15) mg three (3) times a day and Vicodin
10/750, two (2) times a dab. Vicodin is a combination of a narcotic
(Hydrocodone) and a ronparat (Acetaminophen) used to relieve
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moderate to severe pain.
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13. The Respondent failed to note in Patient V.R.’S medical records
an explariation for why he prescribed the patient two (2) short acting
opiate medications (“plain” Morphine Sulfate and Vicodin) in addition to a
long acting agent (Morphine Sulfate ER). |
14. The Respondent inappropriately prescribed scheduled Morphine
Sulfate ER, Morphine Sulfate,/and Vicodin to Patient V.R. at the same time
on or about September 14, 2006. The standard of care typically would be
to prescribe a long acting al (such as Morphine Sulfate ER) with an as
needed dose of a short acting agent (such as “plain” Morphine Sulfate or
Vicodin). |
15. The Respondent failed to note in Patient V.R.’s medical records
an explanation for why he prescribed the patient such a large number of
medications, particularly four (4) anti-psychotic drugs at once. !
16. The Respondent |inappropriately prescribed Geodon, Abilify,
Seroquel, and Navane to Patient V.R. at the same time on or about
‘September 14, 2006. |
17, The Respondent failed to note in Patient V.Rs' medical records
an explanation for why he prescribed the patient two (2) muscle relaxant
medications (Flexeril and Skelaxin) at the same time.
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18. The Respondent, inappropriately prescribed Rener and
Skelaxin to Patient V.R. at thelsame time on or about September 14, 2006.
19. The Respondent fel below the standard of care by placing
Patient V.R. back on the rge number of medications described in
Paragraphs Six (6) and/or [Twelve (12) rather. than re-assessing the
situation for the patient and starting her gradually on medications.
20. The Respondent failed to address several potential drug-drug
interactions when prescribing to Patient V.R. on or about September 14,
2006, and the combination of medications prescribed by the Respondent
may have had an overly sedating effect on the patient due to a lack of
tolerance for the medications since Patient VR. admitted being non-
compliant in taking her medications upon admission to Windmoor.
21. On or about September 15, 2006, orders were | written to
discontinue Patient V.R’s morning dose of Seroquel and Xanax, and the
pharmacist at Windmoor requested the Respondent determine whether the
patient needed Flexeril and Skelaxin since both were muscle relaxants.
22. The Respondent ta to note a response to the pharmacist’s
query in Patient V.R.'s medical |records.
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23, On or about September 16, 2006, at approximately 9:30 a.m,
a group progress note regarding Patient V.R. noted she slept curing most
of the group “due to her medication. "
24. On or about September 16, 2006, at approximately 6:30 p.m.,
@ nurse noted in a clinical progress note for Patient V.R. she was “very
_ lethargic” and falling asleep while walking and eating, |
25. On or about September 17, 2006, a nurse noted’ in another
clinical progress note for Patient V.R. she was lethargic and “unsteady on
feet when she returned from smoke break this a.m.” The nurse also
indicated Patient VR. refused to go to breakfast or lunch and she
responded with “slurred speech” when asked about going to lunch,
26, On of about September 17, 2006, at approximately 1:15 p.m.,
a nurse performing a fifteen (15) minute check on Patient V.R. was unable
to wake her. Patient V.R.’s pulse was weak and thready and her’ respiration
was shallow. A code and 911 were called, and cardiopulmonary
resuscitation (CPR) was begun ,
27. On or about September 17, 2006, at approximately 2 p.m.,
Patient V.Ri was transported to Northside Hospital in Tampa, Florida, where
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she was pronounced dead on rn
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28. On or about September 17, 2006, at approximately 1:45 p.m,
a nurse noted on the interfacility transfer form for Patient VR. “? over
medicated” as the transfer ree (per physician),
29. On or about September 18, 2006, at approximately 9:40 a.m,
an autopsy was performed on Patient V.R. The medical examiner noted
the patient’s cause of death | s Hydrocodone toxicity and the manner of
death as an accident. The examiner found Patient V.R, had an extremely
high blood opiate level. | |
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30. Petitioner realleges and incorporates: paragraphs one (1)
through twenty-nine (29) as f fully set forth herein. |
31. Section 458.331(1)(t), Florida Statutes (2006), subjects a
doctor to discipline for committing medical malpractice as defined in
Section 456.50. Section 456,50, Florida Statutes (2006), defines medical
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malpractice as the failure to in medicine in accordance with the level
ecognized in general law releted to health
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of care, skill, and treatment
care licensure,
32. Level of care, sil and treatment recognized’ in general law
related to health care berm means the standard of care specified in
Section 766.102. Section 766, 102(1), Florida Statutes (2006), d opfines the
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standard of care to mean“, . . The prevailing professional standard of
care for.a given health care provider shall be that level of care, skill, and
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treatment which, in light of| all relevant surrounding circumstances, is
recognized as acceptable and appropriate by reasonably prudent similar
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health caré providers. .. .”
33. Respondent failed| to meet the prevailing standard of care in
regard to Patient V.R. in one|or more of the following ways: | by placing
Patient V.R. back on the large number of medications described in
Paragraphs Six (6) and/or Twelve (12) rather than re-assessing the
Situation for the patient and starting her gradually on medications; by
prescribing scheduled Morphine Sulfate ER, Morphine Sulfate, and Vicodin
to Patient V.R, at the same time on or about September 14, 2006, when
the standard of care typically would be to prescribe a long acting agent
(such as Morphine Sulfate ER) with an as needed dose of a short acting
agent (such as “plain” Morphine Sulfate or Vicodin); by prescribing
Geodon, Abilify, Seroquel, and Navane to Patient VR. at the same time on
or about September 14, 2006; by prescribing Flexeril and Skelaxin to
Patient V.R. at the same se or about September 14, 2006; and/or by
failing to address several “ drug-drug interactions when Prescribing
to Patient V.R. on or about September 14, 2006, |
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34. Based on the foregoing, the Respondent has violated Section
458.331(1)(t), Florida Statutes (2006), by committing medical malpractice.
‘COUNT TWO |
35. Petitioner realleges and incorporates paraoroe one (1)
through twenty-nine (29) as iff fully set forth herein,
36, Section 458,.331(1)(q), Florida Statutes (2006), provides
prescribing, dispensing, administering, mixing, or’ otherwise preparing a
legend drug, including any cantrolled substance, other than in the course
of the physician's professional practice constitutes grounds for disciplinary
action by the Board of Medicine. For the purposes of this paragraph, it
shall be legally presumed that prescribing, dispensing, administering,
mixing, or otherwise preparing legend drugs, including all controlled
substances, inappropriately or in excessive or inappropriate quantities is
not in the best interest of the patient and is not in the course of the
physician's professional practice, without regard to his or her intent.
37,. The Respondent ohescribed, dispensed, administered, mixed, or
otherwise prepared a legend drug, including any controlled substance,
other than in the course of the physician’s professional practice in one or
more of the following ways: | by prescribing scheduled Morphine Sulfate
ER, Morphine Sulfate, and Vigodin to Patient V.R, at the same time on or
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about September 14, 2006, when the standard of care typically would be.
to prescribe a long acting agent (such as Morphine Sulfate ER) with an as
needed dose of a short acting agent (such as “plain” Morphine Sulfate or
Vicodin); by prescribing Geodon, Abilify, Seroquel, and Navane to Patient
V.R. at the same time on or about September 14, 2006; by prescribing -
Flexeril and Skelaxin to Patient VR. at the same time on or about
September 14, 2006; and/or /by failing to address ‘several potential drug-
drug interactions when presctibing to Patient V.R. on or about September
14, 2006. |
38. Based on the foregoing, the Respondent has violated Section
458.331(1)(q), Florida sates (2006), by prescribing, dispensing,
administering, mixing, or otherwise preparing a legend drug, including any
controlled substance, for a V.R. other than in the coprse of the
physician's professional practice.
39. Petitioner realleges and incorporates paragraphs one (1)
through twenty-nine (29) as if fully set forth herein. |
40. . Section 458,331(1\m), Florida Statutes (2006), provides failing
to keep legible, as defined by nae rule in consultation with the
board, medical records that id
ntify the licensed physician or the physician
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extender and supervising physician by name and professional title who is
Or are responsible for renderi ig, ordering, supervising, or billing for each
diagnostic or treatment procedure and that justify the course of treatment
of the patient, including, but rot limited to, patient histories; examination
results;.test results; records of drugs prescribed, dispensed, or’
administered; and reports of densutaton and hospitalizations constitutes
grounds for disciplinary action by the Board of Medicine.
41, The Respondent failed to keep legible medical records that
identify the licensed physician. or the physician extender and supervising
physician by name and professional title who is or are responsible for
rendering,.ordering, supervising, or billing for each diagnostic of treatment
procedure and that justify the|course of treatment of the patient in one or
more of the following ways: by failing to note in Patient VR’s medical
records an explanation for wny he prescribed the patient two (2) short
acting opiate medications Cpiain” Morphine Sulfate and Vicodin) n
addition ta a long acting agent (Morphine Sulfate ER); by failing: to note in
Patient V.R.'s medical records an explanation for why he prescribed the
patient such a large number of medications, particularly four (4) anti-
psychotic drugs at once; ona by failing to note in Patient VR. medical
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records an explanation for why he prescribed the patient two (2) muscle
relaxant medications (Flexeril | nd Skelaxin) at the same time.
42. . Based on the foregoing, the Respondent has violated Section
458.331(1)(m), Florida Statutes (2006), by failing to keep legible medical
records that identify the licensed physician or the physician extender and
supervising physician by name and professional title who is or are
responsible for rendering, valve supervising, or billing for each
diagnostic:or treatment procedure and that justify the course of, treatment
of Patient V.R. | :
WHEREFORE, the Petitioner respectfully requests that the Board of
Medicine enter an order impasing one or more of the following penalties:
permanent revocation or suspension of Respondent's license, restriction of
practice, imposition of an administrative fine, issuance ‘of a reprimand,
placement of the Responden on probation, corrective action, refund of
fees billed: or collected, mn education and/or any other relief that the
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Board deens appropriate.
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SIGNED this_/" day of ut 2008.
4
Ana M. Viamonte Ros, M.D., M.P.H
State Surgeon General -
Matthew ot r
Assistant General Counsel
DOH Prosecution Services Unit
4052 Baid Cypress Way, Bin C-65
FILED Tallahassee, FL 32399-3265
° 7 ll
Florida Bar # 0115320
cunt oo ee (850) 245-4640 ext. 8173- phone
pare_te "lio O (850) 245-4681 — fax
PCP Date: June 13, 2008
PCP Members: Ashkar, Chizner & Beebe
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om A
DOH v. Hector Rolando Corzo,/M.D., Case #2006-32754
NOTICE OF RIGHTS |
conducte
Florida Statutes, to be represented by counsel or oth
representative, to present evidence and argument,
cross-examine witnesses and to have subpoena and
PL?
Respondent has the right to request a hearing to be
ein accordance with Section 120.569 and 120,57,
e qualified
call and
subpoena
duces tecum issued on his pr her behalf if a hearing is requested.
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NOTICE REGARING ASSESSMENT OF COSTS
Respondent is placed on notice that Petitioner h
Ss incurred
costs related to the investigation and prosecution of this matter.
Pursuant! to Section 456.072(4), Florida Statutes, the
ard shall
assess costs related to the investigation and prosecution of a
disciplinary matter, which may include attorney hours
on the Respondent in addition to any other discipline im
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nd costs,
posed.
Docket for Case No: 09-005230PL
Issue Date |
Proceedings |
Mar. 18, 2010 |
Order Closing File. CASE CLOSED.
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Mar. 17, 2010 |
Motion to Relinquish Jurisdiction filed.
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Jan. 27, 2010 |
Order Re-scheduling Hearing (hearing set for March 25 and 26, 2010; 9:00 a.m.; Clearwater, FL).
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Jan. 25, 2010 |
Joint Response to Order Granting Continuance filed.
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Jan. 25, 2010 |
Respondent's Unilateral Response to Order Granting Continuance filed.
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Jan. 22, 2010 |
Exhibits (exhibits not available for viewing) filed. |
Jan. 13, 2010 |
Order Granting Continuance (parties to advise status by January 25, 2010).
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Jan. 12, 2010 |
Respondent's Withdrawal of Opposition to Petitioner's Motion to Continue filed.
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Jan. 08, 2010 |
Motion to Continue filed.
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Jan. 08, 2010 |
Notice of Production from Non-party filed.
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Jan. 06, 2010 |
Notice of Substitution of Counsel filed.
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Jan. 06, 2010 |
Notice of Withdrawl filed.
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Jan. 06, 2010 |
Notice of Withdrawal as Co-Counsel filed.
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Dec. 30, 2009 |
Subpoena Duces Tecum (to R.C. of S. Szabo, attachments not available for viewing) filed.
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Dec. 22, 2009 |
Notice of Production from Non-party filed.
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Dec. 15, 2009 |
Notice of Taking Deposition Duces Tecum (Michael Newberry) filed.
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Dec. 11, 2009 |
Notice of Production from Non-party filed.
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Dec. 09, 2009 |
Notice of Taking Deposition Duces Tecum (of F. Saba) filed.
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Dec. 09, 2009 |
Notice of Taking Deposition Duces Tecum (of J. Diptee-Rodrigues) filed.
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Dec. 09, 2009 |
Order Granting AHCA`s Motion to Quash.
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Dec. 09, 2009 |
CASE STATUS: Motion Hearing Held. |
Dec. 09, 2009 |
Notice of Applicable Confidentiality Laws filed.
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Dec. 09, 2009 |
Respondent's Response to AHCA's Objections and Motion to Quash Respondent's Subpoena Duces Tecum filed.
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Dec. 09, 2009 |
Petitioner?s Notice of Taking Deposition Duces Tecum filed.
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Dec. 04, 2009 |
AHCA's Objections to and Motion to Quash the Subpoena Duces Tecum Furnished by the Respondents filed.
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Dec. 04, 2009 |
Notice of Limited Appearance by AHCA Attorney filed.
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Dec. 03, 2009 |
Notice of Serving Petitioner's Second Request for Production of Documents filed.
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Dec. 03, 2009 |
Petitioner's Notice of Serving Answers to Respondent's First Set of Interrogatories filed.
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Dec. 03, 2009 |
Petitioner's Notice of Serving Response to Respondent's Request for Production of Documents filed.
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Dec. 02, 2009 |
Notice of Taking Deposition Duces Tecum (of J. Edgar) filed.
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Dec. 02, 2009 |
Notice of Taking Deposition Duces Tecum (of J. Krzanowski) filed.
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Nov. 25, 2009 |
Order Re-scheduling Hearing (hearing set for January 27 through 29, 2010; 9:00 a.m.; Clearwater, FL).
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Nov. 19, 2009 |
Notice of Serving Respondent's Responses to Petitioner's Request for Production, First Set of Interrogatories, and First Requst for Admissions filed.
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Nov. 18, 2009 |
Notice of Production from Non-party filed.
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Nov. 13, 2009 |
Joint Response to Order Granting Continuance filed.
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Nov. 05, 2009 |
Notice of Production from Non-party filed.
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Nov. 04, 2009 |
Order Granting Continuance (parties to advise status by November 13, 2009).
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Nov. 03, 2009 |
Notice of Cancellation of Deposition (of M. Newberry) filed.
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Nov. 03, 2009 |
Joint Motion to Continue filed.
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Oct. 30, 2009 |
Notice of Production from Non-party filed.
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Oct. 20, 2009 |
Notice of Serving Petitioner's First Request for Production, First Request for Interrogatories, and First Request for Admissions to Respondent filed.
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Oct. 16, 2009 |
Notice of Taking Deposition Duces Tecum filed.
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Oct. 14, 2009 |
Notice of Production from Non-party filed.
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Oct. 07, 2009 |
Letter to Judge Harrell from B. Lamb requesting subpoenas filed.
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Oct. 07, 2009 |
Request for Production filed.
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Oct. 07, 2009 |
Notice of First Set of Interrogatories to Petitioner filed.
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Oct. 07, 2009 |
Notice of Filing (of copies of Respondent's Interrogatories and Request for Production) filed.
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Oct. 07, 2009 |
Order of Pre-hearing Instructions.
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Oct. 07, 2009 |
Notice of Hearing (hearing set for November 23 and 24, 2009; 9:00 a.m.; Clearwater, FL).
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Oct. 02, 2009 |
Joint Response to Initial Order filed.
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Oct. 01, 2009 |
Notice of Appearance of Co-counsel (of D. Kiesling) filed.
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Sep. 24, 2009 |
Initial Order.
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Sep. 23, 2009 |
Petition for Hearing filed.
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Sep. 23, 2009 |
Administrative Complaint filed.
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Sep. 23, 2009 |
Agency referral filed.
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