Showing posts with label miami heat. Show all posts
Showing posts with label miami heat. Show all posts

Tuesday, January 8, 2013

Raanan Katz Company Got Another Final Judgement for Damages After Default

According to Miami Dade court records, Raanan Katz, Miami Heat and RK Centers Owner, got Judgement for Damages after default, case 2011-39340-CA-01. 
I could not believe in the amount of damages claimed by Raanan Katz  
company 18100 Collins Avenue Shopping Center, LTD  - $435,591.70.
here is the part of the court records

"It is ordered and adjusted that:

1. 18100 Collins Avenue Shopping Center, LTD., a Florida Limited Partnership, shall recover from Copper Chimney, Inc., a Florida Corporation, the sum of $432,000.00, as principal, that shall bear interest at the statutory rate, and , in addition, 18100 Collins Avenue Shopping Center, LTD shall recover prejudgment interest in the amount of $1,910.80, for the period from November 28, 2011 through December 31, 2011, and $1,680.90, for the period of January 1, 2012 through the estimated date of the entry of this judgment, January 30, 2011, totaling $435,591.70, for which let execution issue forthwith."

This order was in effect  on 02/07/2012. Surprise, surprise, generous Raanan Katz filed motion of dismissal on April 11, 2012 together with stipulation of settlement, and obtained an order to VACATE the judgement.

You think it would be the end of Raanan Katz and RK Centers legal game.
On January 13, 2013 (what a lovely date), Raanan Katz company, 18100 Collins Avenue Shopping Center, LTD., a Florida Limited Partnership, filed another lawsuit against the same tenant claiming damages again, and again, and again... It must be hard to be so pure...

It's time for the second default, the order is on it's way. Just curious, what will be the amount this time.

RAANAN KATZ............................................DANIEL KATZ

Thursday, December 20, 2012

NBA Attorneys Demanded A Written Explanation From Raanan Katz

I came across this article "Heat Take No Prisoners".
http://articles.nydailynews.com/1995-12-19/sports/17983687_1_dave-checketts-knicks-and-heat-commandos by BY IAN O'CONNOR

Raanan Katz is not only the owner and parther of RK Centers (former Associates), he is a minor owner of Miami Heat...


 
RAANAN KATZ

According the NY Daily News Raanan Katz has threatened Garden's president Dave Checketts: "Remember the '72 Olympics. Remember how the Israeli commandos responded after the Palestinians killed those 11 (Israeli) athletes. We have access to those commandos. Tell Dave Checketts he had better watch himself and his family."
 
 

Tuesday, September 25, 2012

How Miami Heat Owner Raanan Katz Is Trying To Use Miami Heat Players To Wipe Out RK Centers Debt

Raanan Katz, RK Centers Owner, is trying to wipe out RK Centers debt using Miami Heat Players. Raanan Katz and RK Centers (former Associates) sent a letters to the City of North Miami, making the "irresistible offer". Below is the text of the letters Raanant Katz sent to the City with proposed "DONATIONS" in exchange to eliminate RK Centers debt. We all remember how RK Centers and Raanan Katz ripped-off family with special needs little Jewish girl.

RAANAN KATZ


First letter
"RK ASSOCIATES P.O. Box 111 • Dedham, Massachusetts 02027-0111
Telephone: 781-320-0001 • Facsimile: 781.320-3610
17100 Collins Avenue • Suite 225
Sunny Isles Beach, Florida 33160
Telephone: 305-949-4110 • Facsimile: 305.948-3410
Website: rkcenters.com Email: rkatz@rkcenters.com
June 17, 2011
Russell Benford
City Manager
City of North Miami
776 NE 125 Street
North Miami, FL 33161
E-mail: rbenford northmiamifl.gov
RE: City of North Miami Code Enforcement Liens against RK Causeway Plaza

Dear Russell:
I thought that my enclosed letter to you would bring the matter to a conclusion because all of the old violations did not belong to us, but to former tenants from before we purchased the shopping center, some of who are long gone.
I would appreciate it if we can settle this matter prior to June 28, 2011, based or my letter, but if it is not possible, please put us on the agenda and let us know the date, time and place where we need to be.
My son, Dan Katz, and our in-house attorney Gavin Kahn will attend the meeting.
Thank you for your cooperation.
Regards,
Raanan Katz
cc: Dan Katz
Gavin Kahn, Esq. Mayor Pierre"


 Second Letter

"RK ASSOCIATES P.O. Box 111 • Dedham, Massachusetts 02027-0111 Telephone: 781-320-0001 • Facsimile: 781-320.3610
17100 Col ins Avenue • Suite 225
Sunny Islas Beach, Florida 33160
Telephone: 305-949-4110 • Facsimile: 306-948-3410
Website: 'rkcenters.com'
Email: rkatz@rkcenters.com
June 13, 2011
VIA US MAIL
& E-MAIL (rbenford(~northmlamifl.gov)
Russell Benford
City Manager
City of North Miami 776 N.E. 125th Street North Miami, FL 33161
Re: City of North Miami Code Enforcement Liens Against RK Causeway Plaza, LLC 12117 Biscayne Blvd., North Miami, Case #ZZZCE-2005-00337
12155 Biscayne Blvd., North Miami, Case #FLEIN-2010-00290


Dear Mr. Benford:

I am writing to you in an effort to settle the above-mentioned City of North Miami Code Enforcement Liens against my company, RK Causeway Plaza, LLC. ("RK"). Our attorneys have attempted to resolve these issues, but have reached an impasse. RK has been a landlord in the City of North Miami for many years and has always valued its relationship with the City. I am hopeful that we can come to a resolution very soon.
Please note that RK is the landlord and property owner of the above-referenced locations and that the liens were the result of code violations (building without permit) by former tenants several years ago. Additionally, both code violations were brought in compliance and closed within one year of issuance. A former employee of RK was handling these issues and they were not brought to the attention of management. In August 2010, RK's management received a Notice of Unresolved Code Violations. Since that time, we have made continuous good faith efforts to resolve these cases with the City of North Miami.
We understand the law on this matter. However, it is unfair to hold the landlord responsible for the actions of its former tenants many years ago. We are not seeking preferential treatment. We are simply asking the City to be fair and reasonable given the circumstances and the fact that RK was not responsible for the code violations.
In the spirit of reaching a settlement, and continuing a positive relationship with the City, RK proposes the following resolution: RK will donate $10,000.00 to the City of North Miami's Parks and Recreation Department to sponsor a basketball shooting skills tournament in the City of North Miami. This community event would generate good will for everyone involved. Additionally, if requested by the City during September 1, 2011 — October 31, 2011, I will use my best efforts to secure a current or former Miami Heat player to attend the event.
Please let me know if this offer is acceptable to the City of North Miami. If you are unable to approve this offer, we respectfully request a City Commission hearing to discuss this proposal. Thank you for your time and consideration of our offer.
Sincerely,
RK Associates,
Raanan Katz"

Saturday, August 25, 2012

Raanan Katz, Miami Heat, RK Centers Owner, Is Begging The Court For Extension Of Time

"Работать надо больше, а жрать меньше"
Raanan Katz, Miami Heat and RK Centers Owner, is begging the court for second extension of time. Raanan Katz filed his frivolous copyright case in Miami in June 12, 2012. Since that time Mr. Katz is requesting second extension of time. First motion for extension was filed in July, now in August Raanan Katz is looking for more time to delay the "case".
Yeah, Raanan Katz, it is not easy to handle your own "brilliant" abusive litigation practice!!! Probably Mr.Katz needs to hire third law firm to be able to meet court deadlines. Go Raanan Katz, GO...  Below is Raanan Katz motion.

RAANAN KATZ'S FIRST MOTION FOR EXTENSION OF TIME
TO RESPOND TO DEFENDANT'S SECOND MOTION TO DISMISS
Plaintiff, Raanan Katz, by and through his undersigned counsel, hereby moves for an extension of time to respond to Defendant's Motion to Dismiss the Amended Complaint [the "Second Motion to Dismiss," DE 14], and states:
1.    The current deadline to respond to the Second Motion to Dismiss is August 27, 2012.
2.    Undersigned counsel (Michael B. Chesal) has just returned on the afternoon of August 2 from a two and one half week trip out of the country.
 3.    Defendant's Second Motion to Dismiss with its attached Exhibits exceeds over 200 pages and seeks dismissal of the Amended Complaint with prejudice. Plaintiff's counsel is preparing a substantive response but will need additional time given the nature of the motion coupled with being out of the office when the motion was served.
4.    Undersigned counsel is only seeking a ten (10) day extension of time to respond, up to and including September 6, 2012 in order to adequately respond to Defendant's Second Motion to Dismiss.
5.    This request is made in good faith and not for purposes of undue delay and will not unduly prejudice any of the parties involved in this action.
6.    In accordance with Local Rule 7.1(a)(3)(A), counsel for the movant certifies he has conferred with counsel for the Defendant in a good faith effort to resolve the issues raised in this motion but has been unable to do so. For some reason, counsel for the Defendant refuses to agree to the brief requested extension (even though undersigned counsel previously consented to an extension of time requested by Defendant's counsel, my comment: what extension Raanan Katz is talking about, his first one from July???). 7.    A proposed order granting the requested relief is submitted herewith. WHEREFORE, Plaintiff respectfully requests that the deadline to respond to Defendant's Second Motion to Dismiss be extended to September 6, 2012.

Dated: August 24, 2012

 Respectfully submitted,
KLUGER KAPLAN SILVERMAN KATZEN & LEVINE, P.L.
Co-Counsel for Raanan Katz
201 South Biscayne Blvd., 17th Floor
Miami, Florida 33131
Telephone: 305-379-9000
Facsimile: 305- 379-3428
By: /s Alan J. Kluger
Alan J. Kluger
Florida Bar No. 200379
Email: akluger@ klugerkaplan.com
Todd A. Levine
Florida Bar No. 899119
Email: tlevineklugerkaplan.com
and

PERETZ CHESAL & HERRMANN, P.L. Co-Counsel for Raanan Katz
201 South Biscayne Blvd., Suite 1750 Miami, Florida 33131
Telephone: 305-341-3000
Facsimile: 305-371-6807
By: /s Michael B. Chesal
Michael B. Chesal
Florida Bar No. 775398
Email: mchesal@pch-iplaw.com
Josh E. Saltz
Florida Bar No. 70521
Email: jsaltz@pch-iplaw.com