[RPPTL LandTen] FW: Revised Lease Forms

Neil B. Shoter NShoter at shutts.com
Mon Jul 28 07:41:10 PDT 2008


Great job to all of you who worked on this. 
 
Neil B. Shoter 
Partner  
________________________________

Shutts & Bowen LLP 
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Direct: (561) 650-8535 | Fax: (561) 822-5525
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Please note our new office address above
 


________________________________

	From: landten-bounces at lists.flabarrpptl.org
[mailto:landten-bounces at lists.flabarrpptl.org] On Behalf Of Arthur J.
Menor
	Sent: Monday, July 28, 2008 10:37 AM
	To: landten at lists.flabarrpptl.org
	Subject: [RPPTL LandTen] FW: Revised Lease Forms
	
	
	FYI.


________________________________

		From: Lori Holcomb [mailto:lholcomb at flabar.org] 
		Sent: Monday, July 28, 2008 10:15 AM
		To: Arthur J. Menor
		Cc: MARCIAT at FAR.org; alice at floridalegal.org
		Subject: Revised Lease Forms
		
		

		I am happy to report that the Board of Governors
approved the revised residential lease forms.  I do not know when they
will be filed as we are waiting for Board approval of the
landlord-tenant eviction forms.  I hope to have those approved in
October. 
		Thank you all (again) for your work on this important
project. 
		
		
		Lori S. Holcomb 
		UPL Counsel
		The Florida Bar 
		651 East Jefferson Street
		Tallahassee, Florida 32399-2300
		phone -- 850-561-5840
		fax -- 850-561-5750

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	"SHUTTS-LAW.COM" made the following annotations.
	
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	IRS CIRCULAR 230 NOTICE:   Pursuant to recently enacted
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	any federal tax advice expressed above was neither
	written nor intended by the sender or this firm to be
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	taxpayer, then the advice should be considered to have
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IRS CIRCULAR 230 NOTICE:   Pursuant to recently enacted
U.S. Treasury Department Regulations, we are now required
to advise you that, unless otherwise expressly indicated,
any federal tax advice expressed above was neither
written nor intended by the sender or this firm to be
used and cannot be used by any taxpayer for the purpose 
of avoiding penalties that may be imposed under U.S. tax 
law.  If any person uses or refers to any such tax advice
in promoting, marketing or recommending a partnership or
other entity, investment plan or arrangement to any 
taxpayer, then the advice should be considered to have
been written to support the promotion or marketing by a 
person other than the sender or this firm of that 
transaction or matter, and such taxpayer should seek
advice based on the taxpayer's particular circumstances
from an independent tax advisor.


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