Third District Court of Appeal ordered Raanan Katz and his companies
(known under RK Centers group) to pay attorney fees associated with
their unlawful harassment/ injunction. "Upon consideration of the
motion for attorneys fees filed by appellant, it is ordered that said
motion is granted and remanded to the trial court to fix amount.
SHEPHERD, C.J., and ROTHENBERG and SALTER, JJ., concur."
This blog is about RK Centers and Raanan Katz abusive litigation and business practice, including publicly available information about RK Centers (former RK Associates) and his criminally convicted owner Raanan Katz. RK Centers blog publishes court records, media publications and opinions. This blog is not associated in any way with RK Centers official websites and blogs.
Wednesday, February 5, 2014
Thursday, January 30, 2014
Raanan Katz, RK Centers: Court Of Appeal Granted Stay Of Raanan Katz Unlawful Injunction
Ах, до чего ж порой обидно,
Что хозяина не видно, -
Вверх и в темноту уходит нить.
А куклы так ему послушны,
И мы верим простодушно
В то, что кукла может говорить. http://song5.ru
Well...I can imagine how disappointed was Raanan Katz and his attorneys Todd Levine and Alan Kluger, when third DCA granted stay of Mr.Katz unlawful "injunction", preventing to proceed with another unlawful action- criminal contempt. 3 DCA ordered:
" Appellant's emergency request to expedite ruling on appellant's motion to stay preliminary injunction due to pendency of criminal contempt trial is granted. Upon consideration, appellant's motion to stay preliminary injunction is granted pending further ruling by this Court."
Actually, this is not the first time appeal had to be involved in Judge Lisa Walsh sympathetic Raanan Katz rulings. First time Judge Walsh refused to rule on bond enlargement, but appeal ordered her to make a ruling... Well, anyway she was able to overrule it ...
CRIMINAL PROCEEDINGS IS A NORM IN MIAMI TO SUPPRESS FREEDOM OF SPEECH, ONCE KLUGER AND CRIMINALLY CONVICTED RAANAN KATZ CONTROL THEIR MARIONETTES THEY ELECT.
Monday, November 25, 2013
RK Centers, Raanan Katz: Monkeys From The Space Did Not Sign Lease With Us
In light of Raanan Katz and RK Centers numerous frivolous pleadings
filed with multiple courts in Miami Dade this parody comes up.
Ok ….
Raanan Katz, RK Centers v Monkeys from the Space
Raanan Katz and RK Centers 2,000,005,555 Amended Complaint
Facts
1. On or around absolutely sunny, or/ and most clouded day Monkeys from the space flew to Raanan Katz office
2. Raanan Katz did not invite Monkeys from the space, in fact, they came without Raanan Katz invitation.
3. It was tons of Monkeys and they all speak the language Raanan Katz could not get, presumably English. Raanan Katz called for Daniel Katz, Daniel Katz called Suzanne Katz, Suzanne Katz called Cato… Monkeys actions were intentional! NO connection with the space was established. Raanan Katz and RK Centers reserved the right to seek punitive damages against Space Monkeys upon proper by Raanan Katz and only Raanan Katz motion and in accordance with RK Centers and Raanan Katz law, opps, Florida Statute 768.72.
4. Raanan Katz and RK Centers were trying to mitigate damages and called to Kevin Belmont, who upon information and believe has Black Door company and through these doors able to get in connection with the space.
5. Space Monkeys advised Mr. Belmont that they wanted to have Space’s Pizza at all Raanan Katz current spaces, future non-built spaces, and even premises Raanan Katz and RK Centers did not own.
6. Space Monkeys also stated they want to sign any lease with Raanan Katz and RK Centers, including “gotcha” automatic lease renewal clause and acceleration clause with 50,000 years of acceleration on all Raanan Katz, RK Centers premises. “We pay cash in advance”, promised Monkeys.
7. Raanan Katz was ready to jump to the moon, but the ceiling in his office was strong and prevented him from reaching it.
8. Raanan Katz was trying to calculate profits, but his simple phone was not able to handle such big numbers.
9. Raanan Katz and RK Centers immediately prepared the LEASE, but Monkeys approached Daniel Katz with many pages printed out from the blog. AAAAAh!!!!!
10. Monkeys were doing some space research about Raanan Katz to see how he became a successful businessman, and Monkeys were shocked to come across the very NEGATIVE blog about Mr.Raanan Katz that was presumably distributed in galaxy space. Monkeys from the Space told Daniel Katz that they were in great fear (Daniel Katz favorite word) about what they read.
11. Notwithstanding the fact that Monkeys from the Space loved Raanan Katz, Daniel Katz, Suzanne Katz, Cato, Kevin Belmont, the Monkeys said “NO SOUP FOR YOU” and did not sign the LEASE.
12. That was not the first time Monkeys from the Space engaged in such misconduct. They repeatedly start coming to Raanan Katz, RK Centers properties, follow them, yes… they have been following all Raanan Katz corporations, Monkeys appeared to be within close proximity from Raanan Katz and Daniel Katz office on several occasions during last 3 seconds to harass Suzanne Katz.
13. Raanan Katz, RK Centers had to hire an attorney, Todd Levine (305) 379-9000 tlevine@klugerkaplan.com. Todd Levine is a "lawyer with the creativity of an artist ", who is able to make “four corners” in this complaint.
Dear Court, Raanan Katz, RK Centers, and attorney Todd Levine are in need of default judgment. Default and only Default judgment should be entered!!!
Ok ….
Raanan Katz, RK Centers v Monkeys from the Space
Raanan Katz and RK Centers 2,000,005,555 Amended Complaint
Facts
1. On or around absolutely sunny, or/ and most clouded day Monkeys from the space flew to Raanan Katz office
2. Raanan Katz did not invite Monkeys from the space, in fact, they came without Raanan Katz invitation.
3. It was tons of Monkeys and they all speak the language Raanan Katz could not get, presumably English. Raanan Katz called for Daniel Katz, Daniel Katz called Suzanne Katz, Suzanne Katz called Cato… Monkeys actions were intentional! NO connection with the space was established. Raanan Katz and RK Centers reserved the right to seek punitive damages against Space Monkeys upon proper by Raanan Katz and only Raanan Katz motion and in accordance with RK Centers and Raanan Katz law, opps, Florida Statute 768.72.
4. Raanan Katz and RK Centers were trying to mitigate damages and called to Kevin Belmont, who upon information and believe has Black Door company and through these doors able to get in connection with the space.
5. Space Monkeys advised Mr. Belmont that they wanted to have Space’s Pizza at all Raanan Katz current spaces, future non-built spaces, and even premises Raanan Katz and RK Centers did not own.
6. Space Monkeys also stated they want to sign any lease with Raanan Katz and RK Centers, including “gotcha” automatic lease renewal clause and acceleration clause with 50,000 years of acceleration on all Raanan Katz, RK Centers premises. “We pay cash in advance”, promised Monkeys.
7. Raanan Katz was ready to jump to the moon, but the ceiling in his office was strong and prevented him from reaching it.
8. Raanan Katz was trying to calculate profits, but his simple phone was not able to handle such big numbers.
9. Raanan Katz and RK Centers immediately prepared the LEASE, but Monkeys approached Daniel Katz with many pages printed out from the blog. AAAAAh!!!!!
10. Monkeys were doing some space research about Raanan Katz to see how he became a successful businessman, and Monkeys were shocked to come across the very NEGATIVE blog about Mr.Raanan Katz that was presumably distributed in galaxy space. Monkeys from the Space told Daniel Katz that they were in great fear (Daniel Katz favorite word) about what they read.
11. Notwithstanding the fact that Monkeys from the Space loved Raanan Katz, Daniel Katz, Suzanne Katz, Cato, Kevin Belmont, the Monkeys said “NO SOUP FOR YOU” and did not sign the LEASE.
12. That was not the first time Monkeys from the Space engaged in such misconduct. They repeatedly start coming to Raanan Katz, RK Centers properties, follow them, yes… they have been following all Raanan Katz corporations, Monkeys appeared to be within close proximity from Raanan Katz and Daniel Katz office on several occasions during last 3 seconds to harass Suzanne Katz.
13. Raanan Katz, RK Centers had to hire an attorney, Todd Levine (305) 379-9000 tlevine@klugerkaplan.com. Todd Levine is a "lawyer with the creativity of an artist ", who is able to make “four corners” in this complaint.
Dear Court, Raanan Katz, RK Centers, and attorney Todd Levine are in need of default judgment. Default and only Default judgment should be entered!!!
Wednesday, June 12, 2013
RK Centers, Raanan Katz: The Show Must Go On
Following Raanan Katz persistent requests to make his litigation private
the Federal Court ordered and I complied by filing 267 pages of Raanan
Katz deposition in public court records.
Considering we have only 365 days in a year, publishing only one page a day will take ...WOW...267 days and the same number of articles.
I have to say big thank you to Raanan Katz attorneys for such a great material that every journalist or Raanan Katz biographer could ever dream of. Well done, guys, keep up the good work!!!
For those who cannot wait for another 267 days, you can download Raanan Katz deposition directly from the Court records.
Just have you popcorn ready for the show...
Considering we have only 365 days in a year, publishing only one page a day will take ...WOW...267 days and the same number of articles.
I have to say big thank you to Raanan Katz attorneys for such a great material that every journalist or Raanan Katz biographer could ever dream of. Well done, guys, keep up the good work!!!
For those who cannot wait for another 267 days, you can download Raanan Katz deposition directly from the Court records.
Just have you popcorn ready for the show...
Sunday, June 9, 2013
Judge Orders To File Raanan Katz Unsealed Deposition Transcript
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA ruled on
Raanan Katz Motion for Protective Order in part related to Mr. Katz
request to "seal" his deposition transcript in the CASE NO. 12-2221
I-CIV-KING/M CALILEY.
In this case Raanan Katz alleged copyright violation related to his "unflattering" picture. Judge ordered filing of the transcript with the court records by June 12, 2013, and "under seal" request was denied. This means that new details of the case could be revealed by the end of next week. Here is the extraction from the Court order.
"Also pending is Plaintiffs (Raanan Katz) Motion for Protective Order, in which he requests, among other things, that the Court enter a protective order requiring that his deposition transcript be filed
under seal. (DE 50, p. 102.)..
I have carefully reviewed Plaintiffs (Raanan Katz) motion for protective order and exhibits, and have considered it in light of Judge King's prior order denying the parties' joint motion for protective order. (DE 23). I find that Plaintiff (Raanan Katz) has not shown good cause for entering a protective order requiring that his transcript be filed under seal. See Fed. R. Civ.P, 26(c)(1) (good cause required for protective order); In re Alexander Grant & Co. Litig.,820 F.2d 352, 355-57 (1 1th Cir. 1987) (although the public has no First Amendment right of access to pretrial discovery materials, the parties must show good cause for a protective order); S.D. Fla. Local Rule 5.4(a) ("Unless otherwise provided by law, Court rule or Court order, proceedings in the United States District Court are public and Court Filings are matters of public record.'').
In this case Raanan Katz alleged copyright violation related to his "unflattering" picture. Judge ordered filing of the transcript with the court records by June 12, 2013, and "under seal" request was denied. This means that new details of the case could be revealed by the end of next week. Here is the extraction from the Court order.
"Also pending is Plaintiffs (Raanan Katz) Motion for Protective Order, in which he requests, among other things, that the Court enter a protective order requiring that his deposition transcript be filed
under seal. (DE 50, p. 102.)..
I have carefully reviewed Plaintiffs (Raanan Katz) motion for protective order and exhibits, and have considered it in light of Judge King's prior order denying the parties' joint motion for protective order. (DE 23). I find that Plaintiff (Raanan Katz) has not shown good cause for entering a protective order requiring that his transcript be filed under seal. See Fed. R. Civ.P, 26(c)(1) (good cause required for protective order); In re Alexander Grant & Co. Litig.,820 F.2d 352, 355-57 (1 1th Cir. 1987) (although the public has no First Amendment right of access to pretrial discovery materials, the parties must show good cause for a protective order); S.D. Fla. Local Rule 5.4(a) ("Unless otherwise provided by law, Court rule or Court order, proceedings in the United States District Court are public and Court Filings are matters of public record.'').
Monday, June 3, 2013
RK Centers Second Amended Complaint- Legal Extortion
After almost year and a half of initial litigation started Raanan Katz
and RK centers file their motion for leave to file verified second
amended complaint. This motion was granted. Here is one of many
interesting parts of the requested changes. Looks like Raanan Katz just
(almost two years after) remembered how many of his companies suffered
alleged "damages", considering that no damages were produced by Raanan
Katz prior and after filing Second Amended Complaint.
PLAINTIFFS' MOTION FOR LEAVE TO FILE VERIFIED SECOND AMENDED COMPLAINT
Plaintiffs, R.K./FL MANAGEMENT, Inc, RK. ASSOCIATES VII, INC., 17070 COLLINS AVENUE SHOPPING CENTER, LTD., RAANAN KATZ, DANIEL KATZ, RK HALLANDALE 1, LLC, RK HALLANDALB LIMITED PARTNERSHIP, 18100 COLLINS AVENUE SHOPPING CENTER, LTD, RK 17600-17632 COLLINS, LLC, R.K.ASSOCIATES # 2, INC., RK. ASSOCIATES XVIII, LLC, R K CAUSEWAY PLAZA, LLC, RK BISCAYNE PLAZA, LLC, CALIFORNIA CLUB MALL SHOPPING CENTER, LTD., RK SANS SOUCI PLAZA, LLC and RK SAGE PLAZA, LLC (collectively, "Plaintiffs"), through their undersigned counsel and pursuant to Fla. R. Civ. P. 1.190(a), hereby file this Motion for Leave to File Verified Second Amended Complaint (the "Proposed Second Amended Complaint"), and state as follows...
6. Moreover, Plaintiffs RK HALLANDALE 1, LLC, RK HALLANDALE LIMITED PARTNERSHIP, 18100 COLLINS AVENUE SHOPPING CENTER, LTD, RK 17600-17632 COLLINS, LLC, R.K.ASSOCIATES # 2, INC., R.K, ASSOCIATES XVIII, LLC, R K CAUSEWAY PLAZA, LLC, RK BISCAYNE PLAZA, LLC, CALIFORNIA CLUB MALL SHOPPING CENTER, LTD., RK SANS SOUCI PLAZA, LLC and RK SAGE PLAZA, LLC (the "Additional Plaintiffs") are all affiliated with the Original Plaintiffs, all Plaintiffs operate under the trade name "RK Centers" (f/k/a "RK Associates"), all are the targets of Defendants' tortuous misconduct, and the Additional Plaintiffs are the title owners of the properties upon which Defendants have trespassed (the basis of additional claims set forth in the attached proposed Second Amended Complaint). Thus, Plaintiffs seek to add the Additional Plaintiffs as parties to the Second Amended Complaint. ..."
I've heard that lollipop, because of sugar, helps brain to be active. Is that true???
PLAINTIFFS' MOTION FOR LEAVE TO FILE VERIFIED SECOND AMENDED COMPLAINT
Plaintiffs, R.K./FL MANAGEMENT, Inc, RK. ASSOCIATES VII, INC., 17070 COLLINS AVENUE SHOPPING CENTER, LTD., RAANAN KATZ, DANIEL KATZ, RK HALLANDALE 1, LLC, RK HALLANDALB LIMITED PARTNERSHIP, 18100 COLLINS AVENUE SHOPPING CENTER, LTD, RK 17600-17632 COLLINS, LLC, R.K.ASSOCIATES # 2, INC., RK. ASSOCIATES XVIII, LLC, R K CAUSEWAY PLAZA, LLC, RK BISCAYNE PLAZA, LLC, CALIFORNIA CLUB MALL SHOPPING CENTER, LTD., RK SANS SOUCI PLAZA, LLC and RK SAGE PLAZA, LLC (collectively, "Plaintiffs"), through their undersigned counsel and pursuant to Fla. R. Civ. P. 1.190(a), hereby file this Motion for Leave to File Verified Second Amended Complaint (the "Proposed Second Amended Complaint"), and state as follows...
6. Moreover, Plaintiffs RK HALLANDALE 1, LLC, RK HALLANDALE LIMITED PARTNERSHIP, 18100 COLLINS AVENUE SHOPPING CENTER, LTD, RK 17600-17632 COLLINS, LLC, R.K.ASSOCIATES # 2, INC., R.K, ASSOCIATES XVIII, LLC, R K CAUSEWAY PLAZA, LLC, RK BISCAYNE PLAZA, LLC, CALIFORNIA CLUB MALL SHOPPING CENTER, LTD., RK SANS SOUCI PLAZA, LLC and RK SAGE PLAZA, LLC (the "Additional Plaintiffs") are all affiliated with the Original Plaintiffs, all Plaintiffs operate under the trade name "RK Centers" (f/k/a "RK Associates"), all are the targets of Defendants' tortuous misconduct, and the Additional Plaintiffs are the title owners of the properties upon which Defendants have trespassed (the basis of additional claims set forth in the attached proposed Second Amended Complaint). Thus, Plaintiffs seek to add the Additional Plaintiffs as parties to the Second Amended Complaint. ..."
I've heard that lollipop, because of sugar, helps brain to be active. Is that true???
Monday, May 20, 2013
RK Centers Speak Blonde In Their Pleadings
RK Centers invented new blonde allegations in their amended complaint
filed with Miami State Court. Well, the problem is that American
taxpayers are paying for RK Centers and Raanan Katz court games and
their blond allegations.
Here is the extraction from RK Centers and Raanan Katz amended complaint.
"...64. Consistent with their twisted history, on September 3, 2012, Defendants posted an illustration of Mrs. Katz and Daniel Katz on the Blogs. Defendants depicted Mrs. Katz saying "I am staying at a red stop sign for 6 hours... & it's not turning green ... people around are [sic] laughing... and I am getting worried... IS it [sic] SOMETHING WRONG WITH THE SIGN???" Next to this is a depiction of Daniel Katz saying "CALL 911, extension BLONDE."' See September 3, 2012 Blog, a true and correet copy of which is attached hereto as Exhibit "E." (emphasis in original)....Mrs. Katz has blonde hair...", this was respectfully submitted by RK Centers and Raanan Katz attorney, Mr. Todd Levine.
This is another part that was respectfully presented by Raanan Katz and RK Centers attorney Todd Levine. My advise do not laugh when attorney Todd Levine testifies about search engine something...
"Todd Levine:Do you know what -- when you do a search on Google, you'll get various results for your search, correct?...
Todd Levine:Search engine optimization is a process by which -- well, you're laughing probably because you know more about this than I do, correct?...
Todd Levine: Is that why you're laughing?...
Todd Levine: Why are you laughing?...
Todd Levine: Why are you laughing at my question when I'm trying to explain search engine optimization to you?..."
Here is the extraction from RK Centers and Raanan Katz amended complaint.
"...64. Consistent with their twisted history, on September 3, 2012, Defendants posted an illustration of Mrs. Katz and Daniel Katz on the Blogs. Defendants depicted Mrs. Katz saying "I am staying at a red stop sign for 6 hours... & it's not turning green ... people around are [sic] laughing... and I am getting worried... IS it [sic] SOMETHING WRONG WITH THE SIGN???" Next to this is a depiction of Daniel Katz saying "CALL 911, extension BLONDE."' See September 3, 2012 Blog, a true and correet copy of which is attached hereto as Exhibit "E." (emphasis in original)....Mrs. Katz has blonde hair...", this was respectfully submitted by RK Centers and Raanan Katz attorney, Mr. Todd Levine.
This is another part that was respectfully presented by Raanan Katz and RK Centers attorney Todd Levine. My advise do not laugh when attorney Todd Levine testifies about search engine something...
"Todd Levine:Do you know what -- when you do a search on Google, you'll get various results for your search, correct?...
Todd Levine:Search engine optimization is a process by which -- well, you're laughing probably because you know more about this than I do, correct?...
Todd Levine: Is that why you're laughing?...
Todd Levine: Why are you laughing?...
Todd Levine: Why are you laughing at my question when I'm trying to explain search engine optimization to you?..."
Labels:
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