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DEPARTMENT OF FINANCIAL SERVICES vs KOMPARE INSURANCE, INC., 12-003068 (2012)

Court: Division of Administrative Hearings, Florida Number: 12-003068 Visitors: 13
Petitioner: DEPARTMENT OF FINANCIAL SERVICES
Respondent: KOMPARE INSURANCE, INC.
Judges: JOHN G. VAN LANINGHAM
Agency: Department of Financial Services
Locations: Miami, Florida
Filed: Sep. 18, 2012
Status: Closed
Settled and/or Dismissed prior to entry of RO/FO on Friday, December 14, 2012.

Latest Update: Jun. 06, 2024
12003068_375_09182012_10390610_e



IN THE MATTER OF:


CHIEF FINANCIAL OFFICER

JEFF ATWATER

STATE OFFLORIDA

FILED

JUN 2 7 2012


Docketed by     --


KOMPARE INSURANCE, INC. CASE NO.: 121982-12-AG


                                                                   I

ADMINISTRATIVE COMPLAINT KOMPARE INSURANCE, INC.

204 SW sih Avenue Miami, Florida 33144


You, KOMPARE INSURANCE, INC., (hereinafter "KOMPARE"), are hereby notified that the Chief Financial Officer of the State of Florida has cause to be made an investigation of your activities while licensed in this state, as a result of which it is alleged:

GENERAL ALLEGATIONS


  1. Pursuant to Chapter 626, Florida Statutes, KOMPARE was a Florida corporation and licensed in this state as a general lines insurance agency. Miguel Emique Turbay was the licensed agent of record for KOMPARE.

  2. At all times pertinent to the dates and occurrences referred to herein, KOMPARE was licensed in this state as a general lines insurance agency. At all times pertinent to the dates and occurrences referred to herein, Miguel Emique Turbay, an employee ofKOMPARE, was the agent of record for the agency and was acting at all times relevant herein on behalf of the agency


    Filed September 18, 2012 10:39 AM Division of Administrative Hearings

    corporation. At all times pertinent to the dates and occurrences referred to herein, Aileen Turbay was an officer and director of KOMPARE and had sole control over the agency bank account.

  3. Pursuant to Chapter 626, Florida Statutes, the Florida Department of Financial Services ("Department") has jurisdiction over KOMPARE's license.

  4. At all times pertinent to the dates and occurrences referred to herein, KOMPARE had a contractual relationship with MGA (Gainsco) Insurance Company and Kingsway Amigo Insurance Company (formerly U.S. Security Insurance Company).

    COUNT!


  5. The above general allegations are hereby realleged and fully incorporated herein by reference.

  6. On or about August 17, 2011, KOMPARE did submit an application for motor vehicle insurance to MGA Insurance Company with Leonel Lopez as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  7. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 33040 in Miami, Florida, with the premium assessed at $618.00. 33040 is a zip code assigned to Key West, Florida, and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33134 in Miami, Florida, which would have resulted in the greater assessed premium of $1,936.00. KOMPARE was aware of or should have been aware of these facts.

  8. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of premium evasion and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.


  9. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment:

    1. Section 626.6215(5), Florida Statutes provides that it is a violation to commit any of the following acts with such frequency as to have made the operation of the agency hazardous to the insurance-buying public or other persons:

      1. Committing misrepresentation of any insurance policy or deception with regard to any such insurance policy, done either in person or by any form of dissemination or advertising;

      2. Violating any provision of this code or of any other law applicable to the business of insurance in the course of dealing under the license;

        (h) Engaging in unfair methods of competition or in unfair or deceptive acts or practices as prohibited under part IX of this chapter in the conduct of business under the license;

        G) Committing fraudulent or dishonest practices in the conduct of business under the license or permit; and/or

        (k) To demonstrate lack of fitness or trustworthiness to engage in the business of insurance.

    2. Section 626.954l(l)(e)l, Florida Statutes, which provides that knowingly making any false material statement is an unfair or deceptive act or practice;

    3. Section 626.9541(1)(k)l, Florida Statutes, which provides that knowingly making a false or fraudulent written statement on an insurance application is an unfair or deceptive act or practice; and

    4. Section 626.9541(1)(0)2, Florida Statutes, which provides that knowingly collecting as a premium or charge for insurance any sum in excess of or less than the premium or charge applicable to such insurance, in accordance with the applicable classifications and rates as filed with and approved by the office, and as specified in the policy; or, in cases when classifications, premiums, or rates are not required by this code to be so filed and approved, premiums and charges collected from a Florida resident in excess of or less than those specified in the policy and as fixed by the insurer, is an unfair or deceptive act or practice.


    COUNT II


  10. The above general allegations are hereby realleged and fully incorporated herein by reference.

  11. On or about August 13, 2011, KOMPARE did submit an application for motor vehicle insurance to MGA Insurance Company with Jose M. Gomez Rodriguez as the listed applicant, signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  12. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 33040 in Miami, Florida, with the premium assessed at $525.29. 33040 is a zip code


    assigned to Key West, Florida, and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33144 in Miami, Florida, which would have resulted in the greater assessed premium of $1,456.23. KOMPARE was aware of or should have been aware of these facts.

  13. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  14. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)(j) and (k) and 626.9541(l)(e)l, (k)l and (o)2, Florida Statutes, as more particularly alleged in Count I above.

    COUNT III


  15. The above general allegations are hereby realleged and fully incorporated herein by reference.


  16. On or about August 11, 2011, KOMPARE did submit an application for motor vehicle insurance to MGA Insurance Company with Carlos Ocampo as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  17. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 33040 in Miami, Florida, with the premium assessed at $746.12. 33040 is a zip code assigned to Key West, Florida, and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33134 in Miami, Florida which would have resulted in the greater assessed premium of$1013.55. KOMPARE was aware ofor should have been aware of these facts.

  18. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  19. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a

    ' financial loss.


    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)(j) and (k) and 626.954l(l)(e)l, and (o)2, Florida Statutes, as more particularly alleged in Count I above.

    COUNT IV


  20. The above general allegations are hereby realleged and fully incorporated herein by reference.

  21. On or about August 8, 2011, KOMPARE did submit an application for motor vehicle insurance to MGA Insurance Company with Jose Machado as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  22. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 33040 in Miami, Florida with the premium assessed at $928.46. 33040 is a zip code assigned to Key West, Florida, and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33144 in Miami, Florida which would have resulted in the greater assessed premium of $2094.82. KOMPARE were aware of or should have been aware of these facts.

  23. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  24. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative


    Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.954l(l)(e)l, (k)l and (o)2, Florida Statutes, as more particularly alleged in Count I above.

    COUNTY


  25. The above general allegations are hereby realleged and fully incorporated herein by reference.

  26. On or about August 4, 2011, KOMPARE did submit an application for motor


    vehicle insurance to MGA Insurance Company with Roberti Sori as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  27. The application falsely and fraudulently lists the motor vehicle's garage address


    zip code as 33040 in Miami, Florida, with the premium assessed at $618.48. 33040 is a zip code assigned to Key West, Florida, and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33126 in Miami, Florida which would have resulted in the greater assessed premium of $1936.40. KOMPARE were aware of or should have been aware of these facts.

  28. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  29. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the

    difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.954l(l)(e)l and (k)l and (o)2, Florida Statutes as more particularly alleged in Count.I above.

    COUNT VI


  30. The above general allegations are hereby realleged and fully incorporated herein by reference.

  31. On or about August 2, 2011, KOMPARE did submit an application for motor vehicle insurance to MGA Insurance Company with Elena Bartholemy as the listed applicant, and signed by Miguel Emique Turbay as the agent of record. The policy was issued.

32, The application falsely and fraudulently lists the motor vehicle's garage address zip code as 33040 in Miami, Florida, with the premium assessed at $827.16. 33040 is a zip code assigned to Key West, Florida, and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33126 in Miami, Florida, which would have resulted in the greater assessed premium of $2799.47. KOMPARE were aware of or should have been aware of these facts.

  1. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium


    and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  2. KOMPARE has knowingly collected as a premium a sum less that the premium


    applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under


    one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.954l(l)(e)l, (k)l and (o)2, Florida Statutes as more particularly alleged in Count I above.

    COUNT VII


  3. The above general allegations are hereby realleged and fully incorporated herein by reference.

  4. On or about July 29, 2011, KOMPARE did submit an application for motor


    vehicle insurance to MGA Insurance Company with Rolando Gonzalez as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  5. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 33040 in Miami, Florida, with the premium assessed at $1916.14. 33040 is a zip code assigned to Key West, Florida, and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33134 in Miami, Florida, which would have

    resulted in the greater assessed premium of $6264.95. KOMPARE were aware of or should have been aware of these facts.

  6. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  7. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.954l(l)(e)l, (k)l and (o)2, Florida Statutes, as more particularly alleged in Count I above.

    COUNT VIII


  8. The above general allegations are hereby realleged and fully incorporated herein by reference.

  9. On or about July 27, 2011, KOMPARE did submit an application for motor vehicle insurance to MGA Insurance Company with Jorge Abigantus as the listed applicant, and signed by Miguel Emique Turbay as the agent of record. The policy was issued.


  10. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 33040 in Opa Locka, Florida with the premium assessed at $545.55. 33040 is a zip code assigned to Key West, Florida, and not Opa Locka, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33054 in Opa Locka, Florida, which would have resulted in the greater assessed premium of $771.45. KOMPARE was aware of or should have been aware of these facts.

  11. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a connnission. KOMPARE was aware of or should have been aware of these facts.

  12. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.954l(l)(e)l, (k)l and (o)2, Florida Statutes as more particularly alleged in Count I above.

    COUNTIX


  13. The above general allegations are hereby realleged and fully incorporated herein by reference.

  14. On or about July 22, 2011, KOMPARE did submit an application for motor vehicle insurance to MGA Insurance Company with Jose Argueta as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  15. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 33040 in Homestead, Florida, with the premium assessed at $676.35. 33040 is a zip code assigned to Key West, Florida, and not Homestead, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33032 in Homestead, Florida which would have resulted in the greater assessed premium of $687.50. KOMPARE was aware of or should have been aware of these facts.

  16. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  17. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative


    Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.9541(1)(e)l, (k)l and (o)2, Florida Statutes as more particularly alleged in Count I above.

    COUNTX


  18. The above general allegations are hereby realleged and fully incorporated herein by reference.

  19. On or about July 21, 2011, KOMPARE did submit an application for motor vehicle insurance to MGA Insurance Company with Erich Farray as the listed applicant, and signed by Miguel Emique Turbay as the agent of record. The policy was issued.

  20. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 33040 in Miami, Florida, with the premium assessed at $940.62. 33040 is a zip code assigned to Key West, Florida, and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33126 in Miami, Florida, which would have resulted in the greater assessed premium of $4351.39. KOMPARE were aware of or should have been aware of these facts.

  21. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  22. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the


    difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.954l(l)(e)l, (k)l and (o)2, Florida Statutes as more particularly alleged in Count I above.

    COUNT XI


  23. The above general allegations are hereby realleged and fully incorporated herein by reference.

  24. On or about April 12, 2011, KOMPARE did submit an application for motor vehicle insurance to Kingsway Amigo Insurance Company (formerly U.S. Security Insurance) with Andres E. Acosta Urbaneja as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  25. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 32009 in Hallandale, Florida, with the premium assessed at $504.47. 32009 is a zip code assigned to Bryceville, Florida, (in Duval County), and not Hallandale, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33009 in Hallandale, Florida, with a greater assessed premium of $1102.00. KOMPARE were aware of or should have been aware of these facts.

  26. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material


    misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  27. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.9541(l)(e)l, (k)l and (o)2, Florida Statutes as more particularly alleged in Count I above.

    COUNT XII


  28. The above general allegations are hereby realleged and fully incorporated herein by reference.

  29. On or about May 21, 2011, KOMPARE did submit an application for motor vehicle insurance to Kingsway Amigo Insurance Company (formerly U.S. Security Insurance) with Daniel Escalona Diaz as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  30. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 32125 in Miami, Florida, with the premium assessed at $602.74. 32125 is a zip code assigned to Daytona Beach, Florida, and not Miami, Florida. In reality the insured motor

    vehicle's accurate garage address zip code is 33125 in Miami, Florida with the greater assessed premium of$922.00. KOMPARE were aware of or should have been aware of these facts.

  31. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  32. KOMPARE has knowingly collected as a premium a sum less that the premium


    applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.9541(1)(e)l, (k)l and (o)2, Florida Statutes as more particularly alleged in Count I above.

    COUNT XIII


  33. The above general allegations are hereby realleged and fully incorporated herein by reference.

  34. On or about April 16, 2011, KOMPARE did submit an application for motor


    vehicle insurance to Kingsway Amigo Insurance Company with Eduardo J. Farias Ordonez as


    the listed applicant, and signed by Miguel Emique Turbay as the agent of record. The policy was issued.

  35. The application falsely and fraudulently lists the motor vehicle's garage address


    zip code as 32164 in Miami, Florida with the premium assessed at $981.60. 32164 is a zip code assigned to Palm Coast, Florida (in Flagler County), and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33165 in Miami, Florida which

    ' would have resulted in the greater assessed premium of $2,206.00. KOMPARE was aware of or should have been aware of these facts.

  36. The false zip code and false premium amount listed on the application submitted


    by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  37. KOMPARE has knowingly collected as a premium a sum less that the premium


    applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under


    one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.9541(l)(e)l, (k)l and (o)l, Florida Statutes, as more particularly alleged in Count I above.


    COUNT XIV


  38. The above general allegations are hereby realleged and fully incorporated herein by reference.

  39. On or about April 28, 2011, KOMPARE did submit an application for motor vehicle insurance to Kingsway Amigo Insurance Company with Lazaro Blanco as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  40. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 32174 in Miami, Florida, with the premium assessed at $1007.93. 32174 is a zip code assigned to Ormond Beach, Florida, and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33174 in Miami, Florida which would have resulted in a greater assessed premium of $2,012.00. KOMPARE was aware of or should have been aware of these facts.

73 The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  1. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative


    Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.9541(l)(e)l, (k)l and (o)2, Florida Statutes, as more particularly alleged in Count I above.

    COUNTXV


  2. The above general allegations are hereby realleged and fully incorporated herein by reference.

  3. On or about May 10, 2011, KOMPARE did submit an application for motor vehicle insurance to Kingsway Amigo Insurance Company with Luis Enrique Lopez Ubeda as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  4. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 32004 in Miami, Florida with the premium assessed at $685.80. 32004 is a zip code assigned to Ponta Vedra Beach, Florida, (in Duval County), and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33010 in Miami, Florida, which would have resulted in a greater assessed premium of $1253.00. KOMPARE was aware of or should have been aware of these facts.

  5. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.


  6. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.9541(1)(e)l, (k)l and (o)2, Florida Statutes, as more particularly alleged in Count I above.

    COUNT XVI


  7. The above general allegations are hereby realleged and fully incorporated herein by reference.

  8. On or about May 6, 2011, KOMPARE did submit an application for motor


    vehicle insurance to Kingsway Amigo Insurance Company with Mayra Mendoza as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  9. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 32773 in Miami, Florida with the premium assessed at $1007.93. 32773 is a zip code assigned to Sanford, Florida, and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33126 in Miami, Florida which would have resulted in the greater assessed premium of $2,082.00. KOMPARE was aware of or should have been aware of these facts.


  10. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  11. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.954l(l)(e)l, (k)l and (o)2, Florida Statutes, as more particularly alleged in Count I above.

    COUNT XVII


  12. The above general allegations are hereby realleged and fully incorporated herein by reference.

  13. On or about April 30, 2011, KOMPARE did submit an application for motor vehicle insurance to Kingsway Amigo Insurance Company with Nestor C. Fernandez as the listed applicant, and signed by Miguel Emique Turbay as the agent of record. The policy was issued.


  14. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 32157 in Miami, Florida with the premium assessed at $853.93. 32157 is a zip code assigned to Lake Como, Florida (in Putnam County), and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33156 in Miami, Florida which would have resulted in the greater assessed premium of $2,116.00. KOMPARE was aware of or should have been aware of these facts.

  15. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  16. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)(i) and (k) and 626.954l(l)(e)l, (k)l and (o)2, Florida Statutes, as more particularly alleged in Count I above.

    COUNT XVIII


  17. The above general allegations are hereby realleged and fully incorporated herein by reference.

  18. On or about April 22, 2011, KOMPARE did submit an application for motor vehicle insurance to Kingsway Amigo Insurance Company with Wilfredo Aguilar as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  19. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 32168 in Miami, Florida with the premium assessed at $582.48. 32168 is a zip code assigned to New Smyrna Beach, Florida, and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33168 in Miami, Florida, which would have resulted in the greater assessed premium of $922.00. KOMPARE was aware of or should have

    , been aware of these facts.


  20. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  21. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative


    Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.954l(l)(e)l, (k)l and (o)2, Florida Statutes, as more particularly alleged in Count I above.

    COUNT XIX


  22. The above general allegations are hereby realleged and fully incorporated herein by reference.

  23. On or about August 11, 2011, KOMPARE did submit an application for motor vehicle insurance to Kingsway Amigo Insurance Company with Yurien Sendon Mendez as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  24. The. application falsely and.fraudulently lists the motor vehicle's garage address zip code as 32013 in Miami, Florida with the premium assessed at $545.00. 32013 is a zip code assigned to Day, Florida (in Lafayette County), and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33013 in Miami, Florida, which would have resulted in the greater assessed premium of $1085. KOMPARE was aware of or should have been aware of these facts.

  25. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  26. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

    IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.954l(l)(e)l, (k)l and (o)2, Florida Statutes, as more particularly alleged in Count I above.

    COUNTXX


  27. The above general allegations are hereby realleged and fully incorporated herein by reference.

  28. On or about April 23, 2011, KOMPARE did submit an application for motor vehicle insurance to Kingsway Amigo Insurance Company with Gregorio Sergio Martinez as the listed applicant, and signed by Miguel Enrique Turbay as the agent of record. The policy was issued.

  29. The application falsely and fraudulently lists the motor vehicle's garage address zip code as 32169 in Miami, Florida, with the premium assessed at $1,100. 32169 is a zip code assigned to New Smyrna Beach, Florida, and not Miami, Florida. In reality the insured motor vehicle's accurate garage address zip code is 33169 in Miami, Florida, which would have resulted in the greater assessed premium of $1736.00. KOMPARE was aware of or should have been aware of these facts.

  30. The false zip code and false premium amount listed on the application submitted by KOMPARE were false and material misstatements of fact. The false and material misstatements were made for the sole purpose of evading the payment of the greater premium and obtaining a commission. KOMPARE was aware of or should have been aware of these facts.

  31. KOMPARE has knowingly collected as a premium a sum less that the premium applicable to such motor vehicle insurance. As a result, the insurer was deprived of the difference between the false quoted premium and the greater premium, and has suffered a financial loss.

IT IS THEREFORE CHARGED that KOMPARE has violated or is accountable under one or more of the following provisions of the Florida Statutes and/or the Florida Administrative Code, which constitutes sufficient grounds to suspend or revoke your license or appointment, or revoke your eligibility to hold a license or appointment: Sections 626.6215(5)(c)(d)(h)G) and (k) and 626.954l(l)(e)l, (k)l and (o)2, Florida Statutes, as more particularly alleged in Count I above.

WHEREFORE, KOMPARE is hereby notified that the Chief Financial Officer intends to enter an Order suspending or revoking your licenses, appointments and your eligibility for licensure as a general lines insurance agency in this state or to impose such penalties as may be provided under the provisions of Sections 626.611, 626.621, 626.681, 626.691, 626.692, and 626.9521, Florida Statutes, and under the other referenced sections of the Florida Statutes as set out in this Administrative Complaint. You are further notified that the Department intends to seek aggravation of all such penalties in accordance with the provisions of Rule 69B-231.160, Florida Administrative Code, and that any order entered in this case revoking or suspending any


license or eligibility for licensure held by you shall also apply to all other licenses and eligibility held by you under the Florida Insurance Code.

NOTICE OF RIGHTS


You have the right to request a proceeding to contest this action by the Department pursuant to Sections 120.569 and 120.57, Florida Statutes, and Rule 28-106, Florida Administrative Code. The proceeding request must be in writing, signed by you, and must be filed with the Department within twenty-one (21) days of your receipt of this notice. Completion of the attached Election of Proceeding form and/or a petition for administrative hearing will suffice as a written request. The request must be filed with Julie Jones, DFS Agency Clerk, at the Florida Department of Financial Services, 612 Larson Building, 200 East Gaines Street,

Tallahassee, Florida 32399-0390. Your written response must be received by the Department no later than 5:00 p.m. on the twenty-first day after your receipt of this notice. Mailing the response on the twenty-first day will not preserve your right to a hearing.


,YOUR FAILURE TO RESPOND IN WRITING WITHIN TWENTY-ONE (21) DAYS OF YOUR RECEIPT OF THIS NOTICE WILL CONSTITUTE A WAIVER OF YOUR RIGHT TO REQUEST A PROCEEDING ON THE MATTERS ALLEGED HEREIN AND AN ORDER OF SUSPENSION OR REVOCATION WILL BE ENTERED AGAINST YOU.


If you request a proceeding, you must provide information that complies with the requirements of Rule 28-106.2015, Florida Administrative Code. As noted above, completion of the attached Election of Proceeding form conforms to these requirements. Specifically, your response must contain:

  1. The name, address, and telephone number, and facsimile number (if any) of the respondent (for the purpose of requesting a hearing in this matter, you are the "respondent").

  2. The name, address, telephone number, facsimile number of the attorney or qualified representative of the respondent (if any) upon whom service of pleadings and other papers shall be made.

  3. A statement requesting an administrative hearing identifying those material facts that are in dispute. If there are none, the petition must so indicate.

  4. A statement of when the respondent received notice of the administrative complaint.

  5. A statement including the file number of the administrative complaint.


If a hearing of any type is requested, you have the right to be represented by counsel or other qualified representative at your expense, to present evidence and argument, to call and cross-examine witnesses, and to compel the attendance of witnesses and the production of documents by subpoena.

If a proceeding is requested and there is no dispute of material fact, the provisions of Section 120.57(2), Florida Statutes, apply. In this regard, you may submit oral or written evidence in opposition to the action taken by the Department or a written statement challenging the grounds upon which the Department has relied. While a hearing is normally not required in the absence of a dispute of fact, if you feel that a hearing is necessary, one will be conducted in Tallahassee, Florida, or by telephonic conference call upon your request.

However, if you dispute material facts which are the basis for the Department's action, you must request an adversarial proceeding pursuant to Sections 120.569 and 120.57(1), Florida Statutes. These proceedings are held before a State Administrative Law Judge of the Division of


Administrative Hearings. Unless the majority of witnesses are located elsewhere, the Department will request that the hearing be conducted in Tallahassee, Florida.

Failure to follow the procedure outlined with regard to your response to this notice may result in the request being denied. All prior oral communication or correspondence in this matter shall be considered free form agency action, and no such oral communication or correspondence shall operate as a valid request for an administrative proceeding. Any request for an administrative proceeding received prior to the date of this.notice shall be deemed abandoned unless timely renewed in compliance with the guidelines as set out above.

Mediation of this matter pursuant to Section 120.573, Florida Statutes, is not available. No Department attorney will discuss this matter with you until the response has been received by

the Department.

DATED and SIGNED this Q'-'\!r.! -fl-_tl day of      -vr-_l)_r'i_D"--                    ,2012.



Gregory Thomas

Director, Agent & Agency Services


CERTIFICATE OF SERVICE


I HEREBY CERTIFY that a true and correct copy of the foregoing ADMINISTRATIVE COMPLAINT and ELECTION OF PROCEEDING has been furnished to: Kompare Insurance,

Inc., 204 SW 57th Avenue, Miami, FL 33144 via email@ KOMPARE@BELLSOUTH.NET this .dl +h

day of £JuI'\ e. , 2012.


es Bossart

j)  

epartment of Financial Services Division of Legal Services

612 Larson Building 200 East Gaines Street

Tallahassee, Florida 32399-0333

(850) 413-4124


STATE OF FLORIDA DEPARTMENT OF FINANCIAL SERVICES

DIVISION OF LEGAL SERVICES


IN THE MATIER OF: KOMPARE INSURANCE, INC.


CASE NO.: I21982-12-AG



ELECTION OF PROCEEDING


I have received and have read the Notice of Temporary Suspension filed by the Florida Department of Financial Services

)

( 11Department11 against me. including the Notice of Rights contained therein, and I understand my options. I am requesting

disposition of this matter as indicated below. (CHOOSE ONE)


  1. [ ] I do not dispute any of the Department's factual allegations and I do not desire a hearing. I understand that by waiving my right to a hearing, the Department may enter a final Curler that adopts the Notice of Temporary Suspension and imposes the sanctions sought, including suspending or revoking my licenses and appointments as may be appropriate.


  2. I do not dispute any of the Department's factual allegations and I hereby elect a proceeding to be conducted in

    accordance with Section 120.57(2), Florida Statutes. In this regard, I desire to (CHOOSE ONE):

    [ ] Submit a written statement and documentary evidence in lieu of a hearing; or

    [ ] Personally attend a hearing conducted by a department hearing officer in Tallahassee; or

    [ J Attend that same hearing by way of a telephone conference call.

  3. [ ] I do dispute one or more of the Department's factual allegations. I hereby request a hearing pursuant to Section 120.57(1), Florida Statutes, to be held before the Division of Administrative Hearings. I have attached to this election form the information required by Rule 28 106.2015, Florida Administrative Code, as specified in subparagraph (c) of the Notice of Rights. Specifically, I have identified the disputed issues of material fact.


TO PRESERVE YOUR RIGHT TO A HEARING, YOU MUST FILE YOUR RESPONSE WITH THE DEPARTMENT OF FINANCIAL SERVICES WITHIN TWENTY-ONE (21) DAYS OF YOUR RECEIPT OF THE NOTICE OF TEMPORARY SUSPENSION. THE RESPONSE MUST BE RECEIVED BY THE DEPARTMENT NO LATER THAN 5:00 P.M. ON THE TWENTY-FIRST DAY AFTER YOUR RECEIPT OF THE NOTICE OF TEMPORARY SUSPENSION.

The address for filing is: Julie Jones, DFS Agency Clerk, Florida Department ofFinancial Services, 612 Larson Building, 200 East Gaines Street, Tallahassee, Florida 32399-0390.


Signature Print Name



Date Administrative

Complaint Received:                               _


If you are represented by an attorney or qualified representative, please attach to this election form his

or her name, address, telephone and fax numbers Fax No.:                                          _


Docket for Case No: 12-003068
Issue Date Proceedings
Dec. 14, 2012 Order Closing Files and Relinquishing Jurisdiction. CASE CLOSED.
Dec. 13, 2012 Motion to Relinquish Jurisdiction filed.
Nov. 15, 2012 Order Taking Official Recognition.
Nov. 02, 2012 Order Granting Continuance and Re-scheduling Hearing by Video Teleconference (hearing set for December 21, 2012; 9:00 a.m.; Miami, FL).
Oct. 31, 2012 Joint Motion for Continuance filed.
Oct. 30, 2012 Department of Financial Services' Motion For Official Recognition filed.
Oct. 01, 2012 Order of Pre-hearing Instructions.
Oct. 01, 2012 Notice of Hearing by Video Teleconference (hearing set for November 9, 2012; 9:00 a.m.; Miami and Tallahassee, FL).
Oct. 01, 2012 Order of Consolidation (DOAH Case Nos. 12-3068 and 12-3091PL).
Sep. 26, 2012 Response to Initial Order filed.
Sep. 18, 2012 Initial Order.
Sep. 18, 2012 Agency referral filed.
Sep. 18, 2012 Answer filed.
Sep. 18, 2012 Administrative Complaint filed.
Source:  Florida - Division of Administrative Hearings

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