Thompson v. The Florida Bar

Filing 31

Plaintiff's MOTION for clarification 29 Order, 30 Response (Other) (URGENT) by John B. Thompson. Responses due by 8/16/2007 (Thompson, John)

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Thompson v. The Florida Bar Doc. 31 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF FLORIDA JOHN B. THOMPSON, Plaintiff, v. THE FLORIDA BAR and DAVA J. TUNIS, Defendants. PLAINTIFF'S URGENT INQUIRY RE AUGUST 1 ORDER COMES NOW plaintiff, John B. Thompson, hereinafter Thompson, as an attorney on his own behalf, and posits this urgent inquiry to the court re its above-noted order, stating: 1. Plaintiff, at 3 am this day, is suffering what he believes is arrhythmia, from which he has suffered previously, as well as chest pain. This may be a benign condition, or it may be serious. He has had other previous episodes like this induced by stress. Plaintiff must try to see his cardiologist at South Miami Hospital this day to try to assess the problem. It is most likely stress-related by virtue of The Florida Bar's demand that Thompson be psychiatrically/psychologically evaluated in violation of its own Rules. It was The Bar's intent to use this demand, for which there is no factual basis, just as it improperly did this over a decade ago, in order to intentionally inflict this emotional distress upon the plaintiff. Yesterday was a particularly stressful day because of The Bar's continuing illegal, tortious antics. Case No. 07-21256 (Judge Adalberto Jordan) 1 Dockets.Justia.com 2. Plaintiff would be at the Baptist cardiac care unit right now, but he has done that twice before in the middle of the night because of similar problems caused by The Bar, and he is not eager to go through that exhausting drill again, at least not this night. 2. Thus, in light of the court's order of yesterday, Plaintiff needs to know from the court, as soon as possible, whether he must, in this circumstance, actually journey to the federal courthouse this day to hand-deliver the response to the court's most recent order, since the court already undoubtedly has it, and since, frankly, the court and the defendants knew before this order was entered that plaintiff had agreed to the stay of discovery. Please advise, either by a filing or by a call to the below listed phone number. And please pray for the people in my wife's hometown of Minneapolis, where her family still lives and where multiple acts of heroism remind us all of the depth of the American character. I HEREBY CERTIFY that a copy hereof has been served upon the defendants, through their counsel, via the court's electronic filing system, this 2nd day of August, 2007. /s/ JOHN B. THOMPSON, Plaintiff Attorney, Florida Bar #231665 1172 South Dixie Hwy., Suite 111 Coral Gables, Florida 33146 Phone: 305-666-4366 amendmentone@comcast.net 2

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