SUPREME COURT OF FLORIDA 

 

JOSEPH R. SPAZIANO,

 

Petitioner,

vs.

 

SEMINOLE COUNTY, FLORIDA, CASE NOS. 92,801, 92,846

and 93,447

Respondent.

_________________________ DISTRICT COURT OF APPEAL

CASE NOS. 98-1170 and

JOSEPH R. SPAZIANO, 98-1115

 

Petitioner, CIRCUIT COURT CASE NO.

75-430-CF-A

vs.

 

HARRY K. SINGLETARY, JR., Etc.,

 

Respondent.

_________________________

 

SEMINOLE COUNTY,

 

Petitioner,

vs.

 

JOSEPH R. SPAZIANO,

 

Respondent.

_________________________

APPENDIX TO

SEMINOLE COUNTY AND STATE OF FLORIDA'S

INITIAL BRIEF ON MERITS

 

ROBERT A. McMILLAN SUSAN E. DIETRICH

County Attorney Assistant County Attorney

For Seminole County For Seminole County

Florida Bar No: 0182655 Florida Bar No. 0770795

Seminole County Services Bldg. Seminole County Services Bldg.

1101 East First Street 1101 East First Street

Sanford, Florida 32771 Sanford, Florida 32771

(407) 321-1130 Ext. 7254 (407) 321-1130 Ext. 7254

Attorney for Seminole County Attorney for Seminole County

 

KENNETH S. NUNNELLEY

Assistant Attorney General

Florida Bar No. 0998818

OFFICE OF THE ATTORNEY GENERAL

444 Seabreeze Boulevard, 5th FL

Daytona Beach, Florida 32118

(904) 238-4990

Attorney for the State of Florida

 

 

APPENDIX 1 Mr. Spaziano's Motion for the Appointment of Florida Attorney Robert N. Wesley as Co-Counsel at Public Expense

 

APPENDIX 2 Objection to Defendant's Motion for Appointment of Florida Attorney Robert N. Wesley as Co-Counsel at Public Expense.

 

APPENDIX 3 Order Denying Mr. Spaziano's Motion for Appointment of Robert N. Wesley as Co-Counsel at Public Expense

 

APPENDIX 4 Motion for Reconsideration and Second Motion for the Appointment of Florida Attorney as Co-Counsel

 

APPENDIX 5 Objection to Defendant's Motion for Reconsideration and Second Motion for the Appointment of Florida Attorney Robert N. Wesley as Co-counsel at Public Expense

 

APPENDIX 6 Order Appointing Additional Counsel at Public Expense

 

APPENDIX 7 Petition for Writ of Certiorari and Declaratory and Injunctive Relief

 

APPENDIX 8 Order of the Court dated January 15, 1998

 

APPENDIX 9 Response to Seminole County's Petition for Writ of Certiorari

 

APPENDIX 10 Notice to Invoke Discretionary Jurisdiction

 

APPENDIX 11 Amended Brief on Jurisdiction

 

APPENDIX 12 Seminole County's Jurisdictional Brief on Review

 

APPENDIX 13 In Re: Amendment to Florida Rules of Judicial Administration -- Minimum Standards for Appointed Counsel in Capital Cases

 

APPENDIX 14 Excerpt of Transcript of Hearing Held January 30, 1998

 

APPENDIX 15 Notice of Filing of Mr. Spaziano's First Ex Parte, In Camera Motion for Defense Services at Public Expense and Letter Dated January 28, 1998

 

APPENDIX 16 Objection to Order on Mr. Spaziano's First Ex parte, In Camera Motion to Defense Services at Public Expense

 

APPENDIX 17 Mr. Spaziano's Motion to Compel Compliance by Seminole County, Florida, with January 30, 1998 Court Order Granting Mr. Spaziano's First Ex Parte, In Camera Motion for Defense Services at Public Expense

 

APPENDIX 18 Transcript of Hearing Held on March 31, 1998

 

APPENDIX 19 Order Granting Mr. Spaziano's Motion To Compel Compliance By Seminole County, Florida, With January 30, 1998, Court Order Granting Mr. Spaziano's First Ex Parte, In Camera Motion For Defense Services At Public Expense

 

APPENDIX 20 Motion In Response To Order Of The Court Dated May 1, 1998, And Request To Substitute Petition For Writ Of Certiorari And Declaratory And Injunctive Relief

 

APPENDIX 21 Petition For Writ Of Certiorari and Declaratory And Injunctive Relief

 

APPENDIX 22 Order of the Fifth District Court of Appeal Dated May 21, 1998

 

APPENDIX 23 Order of the Fifth District Court of Appeal Dated May 22, 1998

 

APPENDIX 24 Mr. Spaziano's Suggestion For Certification To The Supreme Court Of Florida

 

APPENDIX 25 Mr. Spaziano's Response to Seminole County's Petition For Writ Of Certiorari

 

APPENDIX 26 Petitioner, Seminole County's Motion For Enlargement Of Time and Reply To Mr. Spaziano's Response To Petition For Writ Of Certiorari And Declaratory And Injunctive Relief

 

APPENDIX 27 Order of the Fifth District Court of Appeal Dated July 9, 1998

 

APPENDIX 28 Mr. Spaziano's Petition for Writ of Habeas Corpus

 

APPENDIX 29 Order of the Florida Supreme Court Dated June 24, 1998

 

APPENDIX 30 Seminole County's Response to Spaziano's Petition for Writ of Habeas Corpus

 

APPENDIX 31 State of Florida's Response to Petition of Habeas Corpus

 

APPENDIX 32 Mr. Spaziano's Reply to State And County Responses To Petition For Writ Of Habeas Corpus

 

APPENDIX 33 State of Florida v. Joseph Robert Spaziano, Case No. CR 75-1305

 

APPENDIX 34 Transcript of Hearing Held on November 26-27, 1996

 

 

 

 

 

CERTIFICATE OF SERVICE

 

I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished to THOMAS HASTINGS, Assistant State Attorney, 100 East First Street, Sanford, Florida 32771, OFFICE OF THE PUBLIC DEFENDER, 301 North Park Avenue, Sanford, Florida 32771, and JAMES M. RUSS, ESQ., 18 West Pine Street, Orlando, Florida 32801 by U.S. Mail delivery this _______ day of July, 1998. The original and seven (7) copies have been forwarded on this date by express overnight mail delivery to HONORABLE SID J. WHITE, CLERK, Supreme Court of Florida, 500 South Duval Street, Tallahassee, Florida 32399.

ROBERT A. McMILLAN

County Attorney for

Seminole County, Florida

Florida Bar No: 0182655

Seminole County Services Building

1101 East First Street

Sanford, Florida 32771

(407) 321-1130, Ext. 7254

Attorney for Seminole County

 

 

By:_______________________________

SUSAN E. DIETRICH

Assistant County Attorney

Florida Bar No. 0770795