Petitioner: DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION, BOARD OF ACCOUNTANCY
Respondent: ZANE WEBER
Judges: J. LAWRENCE JOHNSTON
Agency: Department of Business and Professional Regulation
Locations: Tampa, Florida
Filed: May 02, 2016
Status: Closed
Settled and/or Dismissed prior to entry of RO/FO on Wednesday, June 8, 2016.
Latest Update: Jan. 03, 2025
FILED
Department of Business arid Professional Regulation
Deputy Agency Clerk
STATE OF FLORIDA CLERK Evette Lawson-Proctor
DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATI] pete 4/8/2016
File #
DEPARTMENT OF BUSINESS AND
PROFESSIONAL REGULATION,
Petitioner,
Vv. Case No. 2016-005257
ZANE WEBBER,
Respondent,
/
ADMINISTRATIVE COMPLAINT
Petitioner, Department of Business and Professional Regulation, files this Administrative
Complaint before the Board of Accountancy, against Respondent, ZANE, WEBBER (Respondent).
1. Petitioner is the state agency charged with regulating the practice of public
accountancy, pursuant to Section 20.165, Florida Statutes, and Chapters 455 and 473, Florida
Statutes (2015).
2. Respondent's address of record is 416 Pine Bluff Drive, Lutz, Florida 33549.
3. Respondent is a licensed Florida CPA, having been issued license number, AC
0034786, on April 3, 2002.
4. In or about January 2014, Mr. Webber, and his CPA firm, BARNIER & WEBBER,
LLC., d/b/a CERTIFIED FINANCIAL & TAX (“Barnier & Webber), were retained by Dr. Mary
M. Li to perform the following services:
(a). Compile financial statements for MML Family Holdings #1, LLC, MML
Family Holdings #2, LLC, Pine Isle Estate, LLC and BRLN, LLC for 2011,
2012 and 2013 using source documents as provided by banking statements,
credit card statements and other receipts;
(b). Assist in the formation of a new entity to be the 1% General Partner for the
MML Family, LLP - (ML GP, LLO);
(c). File the tax returns for MML Family, LLLP for 2011, 2012 and 2013;
5.
number AD0067809 on January 31, 2013. Barnier & Webber’s managing members are SB Family
File amended tax returns for Dr. Mary Li as necessary;
Compile Financial Statements for Mary M. Li, LLC;
File the 2013 tax return for Mary M. Li, LLC;
Assist in the formation of a customized retirement plan for Mary M. Li, LLC
to take effect in 2014;
File 2014 annual reports for all Florida Entities listed above as required;
Provide annual "nominee officer" services to increase anonymity where it is
desired;
Provide monthly accounting services for MML Family Holdings #1, LLC,
MML Family Holdings #2, LLC, Pine Isle Estate, LLC and BRLN, LLC and
Mary M. Li, LLC by directly interfacing client's banking records to
customized Quickbooks file(s);
File 2013 tax return for Dr. Mary Li.
Assist in developing desired plan to enhance asset protection and minimize
taxes through tax and entity planning; and
Meet with client (Dr. Mary Li) as needed, and assist with general financial
and tax questions.
Barnier & Webber is a licensed Florida CPA Firm, having been issued license
Limited Liability Company, and Zane Webber, LLC.
6.
of State, on November 15, 2011, with STEPHEN BARNIER serving as Registered Agent and
Management Member Director of the corporation.
Florida Certified Public Accountant, having been issued license number AC 0035542 on February
18, 2003.
SB Family Limited Liability Company was incorporated with the Florida Department
STEPHEN BARNIER is also a licensed
7. Zane Webber, LLC. was incorporated with the Florida Department of State, on
November 15, 2011, with ZANE PAUL WEBBER serving as Registered Agent and Managing
Member of the corporation.
8. Barnier & Webber is a licensed Florida CPA Firm, having been issued license
number AD 0067809 on January 31, 2013. Barnier & Webber is also the owner of the fictitious
name “CERTIFIED FINANCIAL & TAX”, and has been since July 30, 2012.
9. Mr. Webber was the partner-in-charge of Dr. Li’s tax engagement, and subsequent to
Barnier & Webber being retained by Dr. Li, Mr. Webber requested Dr. Li’s Bank of America
Business Credit Card (Acct#:0620), and made unauthorized charges to said credit card for CPA
services rendered.
10. ‘The following unauthorized charges of $127,327.50 were made to Dr. Li’s Bank of
America Business Credit Card (Acct#:0620) by Barnier & Webber from January 2014 — September
2015:
| Date moun!
Tuesday, January 21, 2014 6920 $ 6,500.00
Monday, February 10, 2014 6920 $ 3,575.00
Friday, February 21, 2014 6920 $ 1,750.00
Monday, February 24, 2014 6920 $ 2,150.00
Wednesday, March 19, 2014 6920 $ 1,350.00
Friday, March 28, 2014 6920 $ 1,730.00
Monday, April 07, 2014 6920 $ 825.00
Sunday, April 13, 2014 6920 $ 850.00
Saturday, April 19, 2014 6920 $ 1,408.75
Wednesday, May 07, 2014 6920 $ 1,175.00
Friday, May 16, 2014 6920 $ 2,750.00
Sunday, May 25, 2014 6920 $ 2,670.00
Sunday, July 13, 2014 6920 $ 2,670.00
Wednesday, July 23, 2014 6920 $ 262.96
Thursday, September 04, 2014 6920 $
Friday, September 19, 2014 6920 $
Friday, October 10, 2014 6920 $
Wednesday, October 22, 2014 6920 $
Thursday, October 30, 2014 6920 $
| SUBTOTAL 201:
1,950.00
4,238.36
1,685.00
5,815.00
4,691.25
4,691.25
2,000.00
4,775.00
1,423.75
2,465.50
875.25
3,755.00
Sunday, February 08, 2015
Monday, February 09, 2015
Monday, February 16, 2015
Friday, February 20, 2015
Tuesday, February 24, 2015
Sunday, March 01, 2015
Friday, March 06, 2015
Thursday, March 12, 2015
Friday, March 20, 2015
Monday, March 23, 2015
Saturday, March 28, 2015
Saturday, June 27, 2015
Monday, June 29, 2015
Tuesday, July 07, 2015
Wednesday, July 22, 2015
Sunday, July 26, 2015
Monday, August 10, 2015
Tuesday, September 08, 2015
Wednesday, September 09, 2015
Friday, September 11, 2015
Sunday, September 27, 2015
Monday, September 28, 2015
FAAAFA FAA HFAA HFA HAF A HAAS
11. After Dr. Li discovered the unauthorized charges to her Bank of America Business
Credit Card (Acct#:0620), she made two (2) separate requests for Mr. Webber to stop charging her
credit card. Additionally, Dr. Li also requested Mr. Webber to provide detailed billing information
to substantiate the basis for the unauthorized charges to the credit card. As of the date of filing of
this Administrative Complaint, Mr. Webber has not provided any invoices to Dr. Li for the
unauthorized charges to her business credit card.
12. Mr. Webber failed to cease making unauthorized charges to Dr. Li’s Bank of
America Business Credit Card (Acct#:0620); accordingly, Dr. Li had to cancel her business credit
card twice in 2015 to prevent the continued incursion of unauthorized charges by Mr. Webber and
his CPA Firm, Barnier & Webber, to her Bank of America account.
13. From or about January 2014, until July 2015, Dr. Li had numerous meetings and
telephone conferences with Mr. Webber to discuss her income tax situation. During those meetings
and telephone conferences, Mr. Webber made a number of representations to Dr. Li that her tax
returns were being processed pursuant to the parties’ January 25, 2014, engagement agreement.
14. In or about November 2014, and December 2014, Dr. Li received penalty notices
from the Internal Revenue Service (IRS), that her 2013 U. S. Individual Income ‘Tax Return (Form
1040) had not been filed by Mr. Webber. Dr. Li also learned that Mr. Webber filed for two income
tax extensions for the 2013 tax year.
15. On or about December 28, 2015, Dr. Li learned that her 2014 U. S. Individual
Income Tax Return (Form 1040) had not been filed by Mr. Webber, and also that no income tax
extension was filed for the 2014 tax year.
16. On or about December 28, 2015, Dr. Li sent an e-mail to Mr. Webber immediately
terminating their CPA relationship, and requesting that Mr. Webber transfer all financial records to
her new Certified Public Accountant, Walter E. Menzel, Jr. Additionally, on or about December
29, 2015, Dr. Li also sent a certified letter to Mr. Webber requesting the return of all financial
records no later than January 15, 2016. As of the date of filing of this Administrative Complaint,
Mr. Webber has not transferred Dr. Li’s financial records to Mr. Menzel.
COUNT I
17. ‘The Petitioner realleges and incorporates by reference the allegations set forth in
patagraphs one (1) through sixteen (16) as though fully set forth herein.
18. Section 473.323(1)(g), Florida Statutes (2015), states that “committing an act of fraud
or deceit, or of negligence, incompetency, or misconduct, in the practice of public accounting”
constitutes grounds for which disciplinary action may be taken.
19. Based on the facts set forth above, ZANE PAUL WEBBER, violated Section
473.323(1)(g), Florida Statutes (2015), for failure to timely file Dr. Li’s 2013 and 2014 tax returns
with the Internal Revenue Service, after his CPA Firm of BARNIER & WEBBER, LLC., d/b/a
CERTIFIED FINANCIAL & TAX, charged $127,327.50 to Complainant’s business credit card
from or about January 2014 — September 2015 for tax services rendered.
COUNT II
20. ‘The Petitioner realleges and incorporates by reference the allegations set forth in
patagraphs one (1) through sixteen (16) as though fully set forth herein.
21. Section 473.323(1)(h), Florida Statutes (2015), provides that a “[v|iolation of any rule
adopted pursuant to [Chapter 473] or [C]hapter 455,” constitutes grounds for which disciplinary
action may be taken.
22. Rule 61H1-22.001, Florida Administrative Code (2015), states:
A certified public accountant shall comply with the following general standards and
must justify any departures therefrom:
(1) Professional competence. A certified public accountant shall undertake only
those engagements which he or his firm can reasonably expect to complete
with professional competence. A certified public accountant must be in
charge of all public accounting services performed by the firm.
(2) Due professional care. A certified public accountant shall exercise due
professional care in the performance of an engagement.
(3) Planning and supervision. A certified public accountant shall adequately plan
and supervise an engagement.
(4) Sufficient relevant data. A certified public accountant shall obtain sufficient
relevant data to afford a reasonable basis for conclusions or
recommendations in relation to an engagement.
23. Based on the facts set forth above, ZANE PAUL WEBBER, violated Section
473.323(1)(h), Florida Statutes (2015), through a violation of Rule 61H1-23.002, Florida
Administrative Code, for failing to comply with Dr. Mary Li’s request for her financial records to be
transferred to her new Certified Public Accountant.
COUNT IIT
24. The Petitioner realleges and incorporates by reference the allegations set forth in
patagraphs one (1) through sixteen (16) as though fully set forth herein.
25. Section 473.323(1)(k), Florida Statutes (2015), states that “performance of any
fraudulent act in any jurisdiction while holding a license to practice public accounting in this state or
using practice privileges in this state” constitutes grounds for which disciplinary action may be taken.
26. Based on the facts set forth above, ZANE PAUL WEBBER, violated Section
473.323(1)(k), Florida Statutes (2015), by utilizing his CPA Firm, BARNIER & WEBBER, LLC.,
d/b/a CERTIFIED FINANCIAL & TAX, to charge $127,327.50 to Complainant’s business credit
card from January 2014 — September 2015, without authorization and without ever providing an
invoice for tax services rendered.
COUNT IV
27. ‘The Petitioner realleges and incorporates by reference the allegations set forth in
paragraphs one (1) through sixteen (16) as though fully set forth herein.
28. Section 473.323(1) (1), Florida Statutes (2015), states that “[fJailing to maintain a good
moral character as provided in s. 473.308...while licensed in this state” constitutes grounds for which
disciplinary actions may be taken. Section 473.308(6) (a), Florida Statutes (2015), defines good moral
character as “a personal history of honesty, fairness, and respect for the rights of others and for the
laws of this state and nation.”
29. Based on the facts set forth above, ZANE PAUL WEBBER, violated Section
473.323(1)(), Florida Statutes (2015), by utilizing his CPA Firm, BARNIER & WEBBER, LLC.,
d/b/a CERTIFIED FINANCIAL & TAX, to charge $127,327.50 to Complainant’s business credit
card from January 2014 — September 2015, without authorization and without ever providing an
invoice for services rendered.
(SIGNATURE PAGE FOLLOWS)
WHEREFORE, Petitioner respectfully requests that the Board of Accountancy enter an
order imposing 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 Respondent on probation, assessment of costs, corrective action and/or
any other relief that the Board deems appropriate.
Signed this 7” day of April, 2016.
PC Found: March 29, 2016
PC Found By: C. Borders, 'T. Keegan, J. Lane
/CEW
KEN LAWSON, Secretary
Department of Business and
Professional Regulation
/s/Cristin Erica White
Cristin Erica White, Chief Attorney
Division of Certified Public Accounting
Florida Bar No. 0641340
Department of Business and Professional Regulation
Office of the General Counsel
1940 N. Monroe Street, Ste. 42
Tallahassee, FL 32399-2202
(850) 717-1203 ‘Telephone
(850) 414-6749 Facsimile
erica. white@myfloridalicense.com
(primary e-mail address)
lauren.garcia@myfloridalicense.com
(secondary e-mail address)
NOTICE OF RIGHTS
Please be advised that mediation under section 120.573, Florida Statutes, is not available for
administrative disputes involving this type of agency action.
Please be advised that Respondent has the right to request a hearing to be conducted in
accordance with sections 120.569 and 120.57, Florida Statutes, to be represented by counsel or other
qualified representative, to present evidence and argument, to call and cross-examine witnesses and
to have subpoenas and subpoenas duces tecum issued on his or her behalf if a hearing is requested.
Any request for an administrative proceeding to challenge or contest the charges contained in the
administrative complaint must conform to Rule 28-106.2015, Florida Administrative Code. Rule 28-
106.111, Florida Administrative Code, provides in part that if Respondent fails to request a hearing
within 21 days of recetpt of an agency pleading, Respondent watves the right to request a hearing on
the facts alleged.
NOTICE REGARDING ASSESSMENT OF COSTS
Respondent is placed on notice that Petitioner has incurred costs related to the investigation
and prosecution of this matter. Pursuant to section 455.227(3)(a), Florida Statutes, the Board, or the
Department when there is no Board, may assess costs related to the investigation and prosecution of
the case excluding costs associated with an attorney's time, against Respondent tn addition to any
other discipline imposed.
Docket for Case No: 16-002424PL
Issue Date |
Proceedings |
Jun. 08, 2016 |
Order Closing File and Relinquishing Jurisdiction. CASE CLOSED.
|
Jun. 08, 2016 |
Motion to Continue filed.
|
May 24, 2016 |
Amended Administrative Complaint filed.
|
May 24, 2016 |
Order Granting Motion to Amend Administrative Complaint
|
May 18, 2016 |
Motion to Amend the Administrative Complaint filed.
|
May 17, 2016 |
Petitioner's Notice of Filing filed.
|
May 16, 2016 |
Petitioner's Notice of Filing filed.
|
May 13, 2016 |
Notice of Service of Petitioner's First Interlocking Discovery Request filed.
|
May 12, 2016 |
Petitioner's Notice of Taking Deposition (of Stephen Barrier) filed.
|
May 12, 2016 |
Petitioner's Notice of Taking Deposition (of Helen Marcum and John Doughtery) filed.
|
May 06, 2016 |
Order Accepting Qualified Representative.
|
May 06, 2016 |
Order of Pre-hearing Instructions.
|
May 06, 2016 |
Notice of Hearing by Video Teleconference (hearing set for June 29, 2016; 9:30 a.m.; Tampa and Tallahassee, FL).
|
May 05, 2016 |
Response to Initial Order filed.
|
May 02, 2016 |
Petitioner's Notice of Taking Depositions (of Mary Li and Walt Menzel) filed.
|
May 02, 2016 |
Initial Order.
|
May 02, 2016 |
Petitioner's Motion to Accept Qualified Representative filed.
|
May 02, 2016 |
Petition for Formal Hearing filed.
|
May 02, 2016 |
Election of Rights filed.
|
May 02, 2016 |
Administrative Complaint filed.
|
May 02, 2016 |
Agency referral letter filed.
|