Petitioner: DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION, CONSTRUCTION INDUSTRY LICENSING BOARD
Respondent: RONALD BETHEL
Judges: LARRY J. SARTIN
Agency: Department of Business and Professional Regulation
Locations: Miami, Florida
Filed: Apr. 30, 2008
Status: Closed
Settled and/or Dismissed prior to entry of RO/FO on Thursday, May 1, 2008.
Latest Update: Dec. 26, 2024
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STATE OF FLORIDA
DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION
CONSTRUCTION INDUSTRY LICENSING BOARD
DIVISION I & I
DEPARTMENT OF BUSINESS AND
PROFESSIONAL REGULATION,
Petitioner, ; Case No. 2006-069536
v.
RONALD BETHEL
Respondent.
/
ADMINISTRATIVE COMPLAINT.
Petitioner, DEPARTMENT OF BUSINESS AND PROFESSIONAL
REGULATION, ("Petitioner"), files this Administrative Complaint before the Construction
Industry Licensing Board, against RONALD BETHEL, ("Respondent"), and says:
1. Petitioner is the state agency charged with regulating the practice of contracting
pursuant to Section 20.165, Florida Statutes, and Chapters 455 and 489, Florida Statutes.
2. Respondent js, and has been at all times material hereto, a Certified General .
Contractor in the State of Florida, having been issued license number CG C1509968 and a
; Certified Plumbing Contractor in the State of Florida, having been issued license number CF
C1426843.
3. Respondent's last known address of record is 1779 NW 93" Street, Miami, FL
33147. .
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4, At all times material hereto, Respondent was the prima y qualifying agent for Ro-
Le-Be Construction, Inc.. ("RLBC"), which had a certificate of authority, QB 43687 but such
certificate of authority expired on August 31, 2007 and has not been renewed.
5. Section 489.1195(1)(a), Florida Statutes, provides that all primary qualifying
apents for a business organization are jointly and equally responsible for supervision. of all
operations of the business organization; for all field work at all sites, and for financial matters, ~
both for the organization in general and for each specific job.
6. On of about January 27, 2005, Marthine Janvier (“Janvier”) entered into a
contract with Herbert Ellis, d/b/a EKR Construction, Inc. (EKR”) to build an addition to the
_tesidence located at 1370 NE 205" Terrace, Miami, FL 33179.
7. The total price was $29,000.00, of which $24,000.00 was paid to EKR by Janvier.
8. The permit for the work to be performed pursuant to the contract between Janvier
and EKR was obtained in the name of RLBC, using Respondent’s contractor's license number.
9. Respondent did not have a contract with Janvier to complete any contracting
activities.
10. Respondent was not qualifying EKR. at the time of the contract or at the time he
pulled the permit.
11. Respondent was not an officer or employee of EKR at the time of the contract or
at the time he pulled the permit.
12. ERR is an unqualified corporation and did not have au active contractor
(registered or certified) or qualifier associated at the time of entering into the contract with
Janvier or beginning work pursuant to the contract with Janvier.
13. In regards to the contract between Janvier and EKR, work was begun but not
completed, there were no final inspections obtained by RLBC or Respondent and the work was
subsequently abandoned.
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PAGE
COUNTI
14. Petitioner realleges and incorporates the allegations set forth in paragraphs 1
through 13 as though fully set forth herein.
15. Section 489.119(2), Florida Statutes, requires that a contractor must qualify and
obtain a certificate of authority for any company in which the contractor is engaging in
contracting.
16. Ro-Le-Be Construction Inc. is not a qualified business as required by Section
489.119(2), Florida Statutes and has not maintained the necessary certificate of authority.
17. Respondent engages in contracting in the name of Ro-Le-Be Construction, Inc.
18. Based on the foregoing, Respondent violated section 489,129(1)(i), Florida
Statutes, by failing in any material respect to comply with the provisions of Chapter 489, Part I,
Florida Statutes, or violating a rule or lawful order of the board, by having violated section
489.119(2), Florida Statutes.
COUNT I
19. Petitioner realleges and incorporates the allegations set forth in paragraphs 1
through 13 as though fully set forth herein.
20. Based on the foregoing, Respondent violated section 489,129(1)(d), Florida
Statutes, by assisting an unlicenged contractor in engaging in the unauthorized practice of
contracting.
COUNT I
21. Petitioner realleges and incorporates the allegations set forth in paragraphs 1
through 13 as though fully set forth herein. .
22, Based on the foregoing, Respondent violated section 489.129(1)(c), Florida
Statutes, by conspiring with an unlicensed contractor to engage in the unauthorized practice of
contracting,
a7/ee
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COUNT IV
23. ‘Petitioner realleges and incorporates the allegations set forth in paragraphs 1
. through 22 as though fully set forth herein.
24. Based on the foregoing, Respondent violated section 489.129(1)(m), Florida
Statutes, by committing incompetence or mismanagement in the practice of contracting.
WHEREFORE, Petitioner respectfully requests the Construction Industry Licensing
Board enter an Order imposing one or more of the following penalties: place on probation,
reprimand the licensee, revoke, suspend, deny the issuance or renewal of the certificate or
registration, require financial restitution to a consumer, impose an administrative fine not to
exceed $5,000 per violation, require continuing education, assess costs associated with
investigation arid prosecution, impose any or all penalties delineated within section 455.227(2),
Florida Statutes, and/or any other relief that the Board is authorized to impose pursuant to
Chapters 489, 455, Florida Statutes, and/or the rules promulgated thereunder.
Signed this day of » 2007.
PC Found: December 4, 2007 , WZ
Div. I: Del Vecchio & Cox A
Div. If: Holloway & Engelmeier By: Matthew D, Morton
Assistant General Counsel
COUNSEL FOR DEPARTMENT:
Matthew D, Morton 7 FLL
Assistant General Counsel co ulation
Department of Business and Department of Business ard Professional Rag
Professional Regulation DEPUTY
Office of the General Counsel MW .
1940 N. Monroe Strect, Ste. 42 crc Lend Alichols
Tallahassee, FL 32399-2202
DATE 2-26-2007.
Docket for Case No: 08-002135PL