Agenda 09/15/2009 Item # 9G
EXECUTIVE SUMMARY
Agenda Item No. 9G
September 15, 2009
Page. 1 of 23
-""""
Appointmen.fof member(s) to Parks and Recreation Advisory Board
OBJECTIVE: To appoint 1 member to fulfill the remainder of a vacant term, expiring on
December 31, 2010, to the Parks and Recreation Advisory Board.
CONSIDERATIONS: The Parks and Recreation Advisory Board has 1 vacancy due to a
resignation, representing the Urban area. Representation on this board consists of 1 member
from the Immokalee Community Park District, and 6 members from the Naples and Urban Area
Community Park District. This 7 member board advises the Board of County Commissioners on
matters pertaining to the acquisition, development and programs involving the County's park
facilities. Terms are 4 years. A list of the current membership is included in the backup.
Mr. Fran Donohue resigned on May 27, 2009. A press release was issued and resumes were
received from the following 2 interested citizens:
APPLICANT
CATEGORY
DlST ELECTOR ADV. COMM.
Urban Area
Urban Area
Floodplain Mana ement Camm
None
ATTENDANCE: N/A
COMMITTEE RECOMMENDATION: Ranked as follows:
-
Bart Zino
Phillip Brougham
FISCAL IMPACT: NONE
GROWTH MANAGEMENT IMPACT: NONE
LEGAL CONSIDERATIONS: The County Attorney's Office has concerns regarding a
potential ethics conflict for Mr. Zino. On or about February 3, 2009, the County Attorney Office
reviewed a similar potential ethics conflict with Mr. Zino and recommended that Mr. Zino resi!:,'11
from the P ARAB to avoid the appearance of impropriety and to protect Mr. Zino, his company
and the BCC from any negative public scrutiny.
Section 112.313(12), Fla. Stat., provides a waiver provision from any potential conflict under
Sections 112.313(3), Doing business with one's agency, and 112.313(7), Conflicting
employment or contractual relationship, Fla. Stat. However, in our opinion this may not be an
appropriate example for waiver as Mr. Zino's firm provides construction services directly to the
Parks and Recreation Department. The County Attorney Office has recommended waiver in the
past for other advisory board members based on the fact that the work involved was not directly
related to the advisory board's work. For example, this Office recommended in favor of a
waiver for another PARAB member whose firm is providing services to the lmmokalee MSTU,
as the work provided in Immokalee is not work that would foreseeably be discussed or reviewed
,~ by the P ARAB.
Should the Board decide to grant a waiver for any potential ethics violation, a two-thirds
majority vote is required. - JAK and CMG
Agenda Item No. 9G
September 15, 2009
RECOMMENDA TION: That the Board of County Commissioners consid~gEtll'eof 23
recommendation for appointment, appoint 1 member, and direct the County Attorney to prepare
a resolution confirming the appointment.
PREPARED BY: Sue Filson, Executive Manager
Board of County Commissioners
AGENDA DATE: September 15, 2009
-,
~..
Agenda Item No. 9G
September 15, 2009
Page 3 of 23
COLLIER COUNTY
BOARD OF COUNTY COMMISSIONERS
Item Number:
9G
Item Summary:
Meeting Date:
Appointment of member to the Parks and Recreation Advisory Board.
9/15/2009 9:00:00 AM
Prepared By
Sue Filson Executive Manager to the BCC Date
Board of County
Commissioners BCC Office
Approved By
Jeff Klatzkow County Attorney Date
County Attorney County Attorney Office 9/1/20093:17 PM
Approved By
Colleen Greene Assistant County Attomer Date
County Attorney County Attorney Office 9/1/2009 4: 55 PM
Approved By
Deborah L. Wight Assistant to the County Manager Date
Board of County County Manager's Office 9/2/20095:20 PM
Commissioners
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Agenda Item No. 9G
September 15, 2009
Page 4 of 23
OFFICE OF THE COUNTY AITORNEY
MEMORANDUM
DATE:
February 3, 2009
TO:
Bart Zino, President, Professional Building Systems
Jolliey A. K1atzkow. County AttomeY~
, r rC\f:)
Colleen M. Greene, AssIstant County AttorneyV'-
THROUGH:
FROM:
SUBJECT:
Potential Ethics Violation Associated with P ARAB Membership
This issue presented is whether there is a potential ethics violation associated with your
membership on the Parks and Recreation Advisory Board C'P ARAB") and your company doing
business with Collier County. In summary, there may be a potential ethics violation as discussed
in this memorandum and further reviewed in the attached InfonnaI Opinion provided by the
Florida Commission on Ethics (dated January 30,2009).
Summary of facts:
It is my understanding that you are the President of Professional Building Systems
("PBS") which is a local construction company competing for contracts on Collier
County public construction projects.
As a PARAS member, you are asked to review the annual Parks and Recreation
budget and proposed park projects. PARAB may also be asked to review plans
for proposed parks' projects. In fact, PBS may be involved in preparing the plans.
As an advisory board member you are considered a public officer and subject to
the restrictions found in Chapter J 12, Fla. Stat.. Code of Ethics for Public
Officers and Employees.
PBS has Submitted sealed bids for several COlIDty projects and in fact may be
awarded several County construction contracts (including Connor Park and a
soccer field).
Florida Statutes:
Section 112.313(3), Fla. Stat., Doing business with one's agency, provides in relevant part: "Nor
shall a public officer or employee, acting in a private capacity, rent, lease, or sell any realty,
goods, or services to the officer's or employee's own agency, if he or she is a state officer or
employee, or to any political subdivision or any agency thereof, if he or she is serving as an
officer or employee ofiliat political subdivision."
Agenda Item No. 9G
September 15, 2009
Page 5 of 23
Section 112.313(7)(a), Fla. Stat., Conflicting employment or contractual relationship, provides in
relevant part: "No public officer or employee of an agency shall have or hold any employment or
contractual relationship with any business entity or any agency which is subject to the regulation
of, or is doing business with, an agency of which he or she is an officer or employee, excluding
those organizations and their officers who, when acting in their official capacity, enter into or
negotiate a collective bargaining contract with the state or any municipality, county, or other
political subdivision of the state; nor shall an offlcer or employee of an agency have or hold any
employment or contractual relationship that will create a continuing or frequently recurring
conflict between his or her private interests and the performance of his or her public duties OT
that would impede the full and faithful discharge of his or her public duties."
Discussion:
It appears that both of these statutory provisions would arguably be violated were PBS to be
awarded a County contract on these public construction projects. There are exemptions which
may apply and allow PBS to be awarded the projects and allow you to remain on the P ARAB.
One exemption requires that you disclose the potential conflict to the Collier County Supervisor
of Elections at the time that the sealed bid is submitted. (See 9 1 12.313(l2)(b), Fla. Stat.)
Obviously, the time for compliance has passed on at least two of the projects. This exemption
may be available in the future. The second potential exemption is to request that the Board of
County Commissioners ("'BCC") waive any potential violation prior to award of each
construction project. (See 9 112.313(12), Fla. Stat.)
At this time, you may request that the BCC waive any potential ethics violation; however there is
still the public perception of an impropriety. Although any technical violation may be waived,
this waiver may bring negative light to yourself, your company, and the BCe.
It is my opinion that an ethics conflict under g 112.313(3) or 9 112.313(7), Fla. Stat., would exist
if your construction firm is awarded a contract and you remain on the advisory board. It is my
recommendation that you consider resigning from the P ARAB to avoid the appearance of
impropriety and to protect you, your company and the BCC from any negative public scrutiny.
If you wish to explore this issue further, you may request a formal opinion from the Florida
Commission on Ethics.
Attachments:
Request to Commission on Ethics dated January 22, 2009
Informal Opinion from Commission on Ethics dated January 30, 2009
Commission on Ethics Opinion CEO 90- 30
09-CZM-00022n
Agenda Item No. 98
September 15, 2009
Page 6 of 23
Office of the County Attorney
Deputy County Attom"y
SC'ott R. TcaC'h
Assistant Cormty At1'omeys
Colleen M. Greene
William E. Mount[ord
MaIjorie M. Student-Stirling
Jennifer B. White
Steven T. \Villiams
Jeff E. Wright
Robert N. Zachary
Section 0Ut:fs
Heidi F. A~h.ton-Ci('ko'
Jacqueline W. Hubbard'
. Board Certified City. CollIlly
and Loat Government l..aw
Jeffrey A.. Kbt7.Jcow
County Attorney
VIA FACSIMILE 850/488-3077
& E-MAIL: clavpool.philip(Q}Iee;.state.fl.as
January 22, 2009
Philip Claypool, Executi~e Director
and General Counsel
Florida Commission on Ethics
3600 Maclay Boulevard, South, Suite 201
Tallahassee, FL 32312
RE: Request for Informal Opinion Concerning Potential Conflict under sections
1l2.313(3) or 112.313(7), Fla. StaL, for a Collier County Advisory Board Member if
the member's company enters into a construction contract with Collier County for a
project arguably related to the Board Member's Advisory Board.
Dear Mr. Claypool:
County staff has asked the County Attorney's Office to determine whether a potential conflict
exists for one of its advisory board members whose construction fIrm may be awarded two
County construction projects. I contacted Ethics Commission Attorney Julie Costas about the
potential conflict under sections 112.313(3) or 11 2. 313(7), Fla. Stat.
One of my concerns is regarding the application of ~ 112.313(12), Fla. Stat. Attorney Costas
advised that ~ I 12.313(12) may be read in the alternative, for example, either the Board member
seeks a waiver from the Board of COllilty Commissioners or the Board member may satisfy one
of the other exemptions. In this case, S 112.313(12)(b) may apply; however based on the
specifIc facts and timing, this is no longer an option for the construction projects at issue.
A second concern is whether the contractual relationship between the Board member's
construction company and the County creates a recurring conflict of interest such to require the
Board member to resign from the County advisory board.
3301 East Tamiami Trail - Naples, Florida]4 112-4902 - Phone (239) 252-8400 - FaCSImile (239) 252-6300
Agenda Item No. 9G
September 15, 2009
Page 7 of 23
Philip Claypool
Page Two
January 22,2009
The relevant facts are as follows:
. The Board member serves on a COIlllty advisory board which makes
recommendations to a certain Cmmty Department. The advisory board reviews the
annual budget including proposed projects for this County Department.
. One of the functions of this board is to "consider and analyze the development of **'"
facilities constructed on County properties."
. This advisory board is limited to solely an advisory function, and therefore is an
"advisory body" as defined by 9 112.312(1), Fla Stat.
. The Board member is the President of a local construction firm that regularly bids on
Collier County construction projects including projects that are identified on the
annual budget reviewed by the advisory board_
. The advisory board does not participate in the award of bids; this is done through the
County's Purchasing Department. Further. the advisory board will not have any
supervisory role over the construction project. However the advisory board may be
asked to review the project design. (This of course could be handled as a voting
conflict.)
. Exemption ~ 112.313(12)(b) may be relevant as the construction projects are awarded
through competitive sealed bidding; however the Board member was apparently not
aware of the potential conflict or exemptions and did Dot file a disclosure with the
Supervisor of Elections as required by this section.
. A concern under the sealed competitive bidding is that the Board member reviews the
annual budget which includes proposed projects and allocated funds. Of course this
budget is a public record and available to all potential bidders_
. It is my understanding that since g 1 12.3 13 (12)(b ) is no longer available to this Board
member, he may seek a waiver from the Board of County Commissioners. This
waiver is somewhat "after the fact" based on the fact that the sealed bids have been
opened but the bid has not yet been awarded by the Board of County Commissioners.
. With respect to a potential conflict under sections 112.313(3) and 112.313(7). the
Office of the County Attorney has advised that there is a potential conflict, under one
or both of these sections, and that the Board member may avail himself of one of the
exemptions under subsection (12). However, there remains a concern under
330 t E~t Tamiarnl TT'dil- Naples. Florida 34112-4902 - Phone (239) 252-8400 - Facsimile (239) 252-6300
Agenda Item No. 98
September 15, 2009
Page 8 of 23
Philip Claypool
Page Three
January 22, 2009
subsection (J 2) due to whether it is indeed interpreted to be "in the alternative"
and due to the timing of this specific issue.
It remains the opinion of the Office of the County Attorney that a substantial risk of a
conflict under 9 112.313(3) or 9 112.313(7), FIa Stat., would exist if this Board member's
construction firm is awarded a contract and the Board member remains on the advisory
board.
Attorney Costas advised that this Board member should be counseled about the appearance
of an impropriety, and the Office of the County Attorney agrees. The question remains as to
whether this Board member should be counseled to resign from the advisory board to avoid
drawing negative attention to himself or the County.
Please contact me directly if you need any additional information or if there is any reason
that this request cannot be handled informally.
Thank you for consideration of this matter.
Sincerely,
~m~
Colleen M. Greene
Assistant County Attorney
cc: Jeffrey A. Klatzkow, County Attorney
07-COP-OI 30111 5
330 I East TaffiJami Trail - Naples, Florida 34112-4902 - Phone (239) 252-8400 - Facsimile (239) 252-6300
Cheryl Forchilli
Chair
Roy Rogers
Vice Chair
Linda D. Conahan
Larry R. Handfield
Michael D. Joblove
Frank Kruppenbacher
Jean M. Larsen
Albert P. Massey, III
Robert J. Sniffen
Agenda Item No. 98
September 15, 2009
Page 9 of 23
Philip Claypool
Executive Director
Virlindia Doss
Deputy Executil'e Director
State of Florida
COMMISSION ON ETmCS
P.O. Drawer 15709
Tallahassee, FL 32317-5709
(850) 488-7864 Phone
(850) 488-3077 (FAX)
www.ethics.state.fi.us
3600 Maclay Blvd., South, Suite 201
Tallahassee.. FL 32312
February 3,2009
BY EMAIL TO:colleengreene@colliergov.net
Colleen M. Greene, Esquire
Assistant County Attorney
Office of the County Attorney
3301 East Tamiami Trail
Naples, FL 34112-4902
Re: Advisory Opinion Request
Dear Ms. Greene:
I was asked to respond to your inquiry concerning a member of a County advisory board whose
construction company may enter into two contracts with the County. To the extent that I can
provide you with guidance using previous opinions rendered by the Commission, I will.
Section 112,313(3), Florida Statutes, prohibits a public officer from acting in his private capacity
(or through his company) to sell services to his own agency or any subdivision thereof. Section
112.313(7)(a), Florida Statutes, prohibits a public officer from having a contractual relationship
with a business entity that is doing business with his agency, or from having a contractual
relationship which creates a continuing or frequently recurring conflict between private interests
and the performance of public duties, or which impedes the full and faithful discharge of public
duties. Both of these provisions would be violated were the Board member's company to enter
into contracts with the County unless one of the exemptions in Section 112.313(12), Florida
Statutes, were applied to waive the conflict.
In your letter, you explain the circumstances that preclude the conflicts being waived through the
competitive bid exemption in Section 112.313(12)(b), Florida Statutes, inasmuch as that
exemption requires disclosure prior to or at the time of the bid's submission, and that process was
not followed here. Therefore, it would seem that only the waiver provision would be available
to waive the conflicts.
Colleen M. Greene, Esquire
February 3,2009
Page 2
Agenda Item No. 9G
September 15, 2009
Page 10 of 23
In CEO 94-36, the Commission dIscussed the waiver provision in Section 112.313(12), Florida
Statutes, where members of an advisory board were employed by or contracting with entities
selected to do business with the county. That opinion concluded that the conflicts could be
waived, but that concerns about misuse of office (Section 112.313(6), Florida Statutes) and use
of information (Section 112.313(8), Florida Statutes), could not be adjudicated in the context of
the opinion.
Here, I concur in your advice with regard to the two contracts presently being negotiated-unless
the County Commission votes to waive the conflict under the process outlined in Section
] 12.313(12), Florida Statutes, the Board member would be in violation of Sections 112.313(3)
and 112.313(7)(a), Florida Statutes.
With regard to future contracts, the process outlined in Section 1 12.313(12)(b ), Florida Statutes,
could apply to waive any conflicts as long as the various requirements are met. Note that this
exemption addresses "sealed, competitive bids" and not "requests for proposals" or other fom1s
of negotiated purchasing. See CEO 89-48 in this regard.
Finally, with regard to whether the Board member should be counseled to resign because of
concerns about the appearance of impropriety where he continues to seek contracts from the
County, I am not able to provide specific guidance. However, CEO 90-30 contains some useful
discussion ofthe intent and policy of the Code of Ethics, and perhaps this discussion would help
him understand why it is better to avoid situations which may not violate the Code of Ethics per
se but should still be avoided.
I hope this response is helpful. If our office can be of further assistance, please do not hesitate to
contact me. The cited opinions are available on our website at www.ethics.state.fl.us.
Sincerely,
JULIA COBB COSTAS
Senior Attorney
CEO 90-30 -- April 26, 1990
Agenci"ooJr-m ~G
September 15. 2009
Page 11 of 23
CEO 90-30 -- April 26, 1990
CONFLICT OF INTEREST
DEP ARTMENT OF ENVIRONMENTAL REGULATION
DISTRICT DEPUTY ASSISTANT SECRETARY SERVING AS
REAR COMMODORE OF YACHT CLUB SEEKING D.E.R. PERMIT
To: Robert V Kriegel, Deputy Assistant Secretary, Department of Environmental Regulation.
Northwest District (Pensacola)
SUMMARY:
No prohibited conflict of interest is created where a district deputy assistant secretary of
the Department of Environmental Regulation is a member of and serves as Rear
Commodore of a local yacht club which is seeking a permit from the Department.
Membership in a yacht club is not generally the type of contractual relationship which
would motivate the deputy secretary to disregard his public duties. However, he should
remove himself from any decision of the Department regarding the club, or any decision
by the club regarding permitting by the Department, in order to avoid potentially
violating Section 112.313(6), Florida Statutes, and to avoid even the appearance of
impropriety.
QUESTION:
Does a prohibited conflict of interest exist where you, a Deputy Assistant Secretary with
the Northwest District of the Department of Environmental Regulation, serve as an
officer in a private yacht club seeking a permit from the Department?
Under the described circumstances, your question is answered in the negative.
In your letter of inquiry and in a telephone conversation with our staff, you have advised that you
are employed with the Department of Environmental Regulation as Deputy Assistant Secretary in the
Northwest District. In this position, you oversee all of the licensing and regulatory functions conducted
through your District office.
You also advise that you are a member of a local yacht club. You paid $340.00 for a
membership certificate to the club. Were you to resign from membership you would return the
certificate and the $340.00 would be refunded. In addition, you rent a boat slip from the club's marina.
This year) you were elected to serve as Rear Commodore of the yacht club. In this uncompensated
position, your primary responsibilities involve overseeing the yacht club's facilities,
You advise that the yacht club is in the process of expanding its marina capacity, which will
require a permit from the Department of Environmental Regulation. That permit will be issued by the
Bureau of Wetland Resource Management in Tallahassee. Your department also must regulate various
activities of the yacht club related to construction, drainage into the waterway, and water quality. You
advise that you have removed yourself from any regulatory issues affecting the yacht club. You
question whether a conflict of interest is created by your relationship with the club.
The Code of Ethics for Public Officers and Employees provides in relevant palt:
CONFLICTING EMPLOYMENT OR CONTRACTUAL
RELATIONSHIP.--No public officer or employee ofan agency shall have
or hold any employment or contractual relationship with any business
http://www.ethics.state.f1.us/opinions/9()/ceo%2090-030.htm .
2/3/2009
CEO 90-30 -- April 26, 1990
Agend~~W~G
September 15, 2009
Page 12 of 23
entity or any agency which is subject to the regulation of, or is
doing business with, an agency of which he is an officer or employee. . . ;
nor shall an officer or employee of an agency have or hold any
employment or contractual relationship that will create a continuing or
frequently recurring conflict between his private interests and the
performance of his public duties or that would impede the full and faithful
discharge of his public duties.
This provision prohibits a public officer from being employed by, or having a contractual relationship
with, a business entity which is doing business with or is regulated by his agency. The yacht club
clearly is regulated by your Department in the areas of permitting, drainage into the waterway, water
quality, and construction. Technically, therefore, your contractual relationship with the club would
appear to be prohibited by Section 112.3l3(7)(a), Florida Statutes.
We note, however, that Section 112.311 (1), Florida Statutes, in expressing the legislative intent
and policy for use in construing the Standards of Conduct for Public Officers and Employees, states:
It is essential to the proper conduct and operation of government
that public officials be independent and impartial and that public office not
be used for private gain other than the remuneration provided by law. The
public interest, therefore, requires that the law protect against any conflict
of interest and establish standards for the conduct of elected officials and
government employees in situations where conflicts may exist.
Section 112.311(5), Florida Statutes, states:
It is hereby declared to be the policy of the state that no officer or
employee of a state agency or of a county, city, or other political
subdivision of the state, and no member of the Legislature or legislative
employee, shall have any interest, financial or otherwise, direct or indirect;
engage in any business transaction or professional activity; or incur any
obligation of any nature which is in substantial conflict with the proper
discharge of his duties in the public interest. To implement this policy and
strengthen the faith and confidence of the people of the state in their
government, there is enacted a code of ethics setting forth standards of
conduct required of state, county, and city officers and employees, and of
officers and employees of other political subdivisions of the state, in the
performance of their official duties. It is the intent of the Legislature that
this code shall serve not only as a guide for the officiaL conduct of public
servants in this state, but also as a basis for discipline of those who violate
the provisions of this part.
These provisions indicate that the Code of Ethics is directed at situations where a public employee is
engaging in private business transactions or professional activities, or is incurring private obligations
which impede the public employee in fulfilling, or conflict with, his public duties. It does not appear
that membership in a social or recreational club is the type of contractual relationship which would
involve a public employee's personal business interests or obligations; nor is it the type of relationship
which is likely to tempt him to place personal interests above those of the public. Therefore, we are of
the opinion that Section 112.316, Florida Statutes, should be applied to the situation as described.
Section 112.316 states:
CONSTRUCTION.--It is not the intent of this part, nor shall it be
http:/h\'W\v .ethi cs. state.fl. us/opi nions/90/ceo %2090-0 30.htm
2/3/2009
CEO 90-30 -- April 26, 1990
Agend~~W~G
September 15, 2009
Page 13 of 23
construed, to prevent any officer or employee of a state agency or
county, city, or other political subdivision of the state or any legislator or
legislative employee from accepting other employment or following any
pursuit which does not interfere with the full and faithful discharge by
such officer, employee, legislator, or legislative employee of his duties to
the state or the county, city, or other political subdivision of the state
involved.
We bring to your attention, however, Section 112.313(6), Florida Statutes, which provides:
MISUSE OF PUBLIC POSITlON.--No public officer or employee
of an agency shall corruptly use or attempt to use his official position or
any property or resource which may be within his trust, or perfornl his
official duties, to secure a special privilege, benefit, or exemption for
himself or others. This section shall not be construed to conflict with s.
104.31.
Any attempt to use your official position to obtain a benefit or regulatory exemption for your yacht club
could constitute a violation of this provision. We therefore suggest that to avoid even the appearance of
impropriety you, continue to remove yourself from involvement with regulatory decisions by the
Department of Environmental Regulation concerning the yacht club, as well as from any decisions by
the club concerning the permitting process or any regulatory activity by the Department of
Environmental Regulation.
Accordingly, under the circumstances described, we find that you are not prohibited by the Code
of Ethics from serving as an officer in the yacht club while remaining employed by the Department of
Environmental Regulation.
hhp :/lvNo,'\v.ethjcs.state. fl us/opinion s/90/ceo%,2090-03 0 .btm
2/3/2009
MEMORANDUM
Agenda Item No. 9G
September 15, 2009
Page 14 of 23
DATE:
June 26, 2009
Barry Williams, Parks and ReC~irec.tor
Sue Filson, Executive Manager
Board of County Commissione .;
TO:
FROM:
RE:
Parks and Recreation Advisory Board
As you know, we currently have vacancies on the above-referenced advisory committee. A press
release was issued requesting citizens interested in serving on this committee to submit an
application for consideration. I have attached the applications received for your review as follows:
Phillip E. Brougham
8587 Pepper Tree Way
Naples, FL 34114
Bart Zino
113 Heritage Way
Naples, FL 34110
Please let me know, in writing, the recommendation for appointment of the advisory committee
within the 41 day time-frame, and I will prepare an executive summary for the Board's
consideration.
Please include in your return memo the attendance records of the applicants recommended for
reappointment.
Please categorize the applicants in areas of expertise. If you have any questions, please call me
at 252-8097.
Thank you for your attention to this matter.
SF
Attachments
Agenda Item No. 98
September 15, 2009
Page 15 of 23
filson s
-
_ From:
jent:
"""'0:
Subject:
pbrougham@earthlink.net
Monday, June 08, 2009 6:52 PM
filson s
New On-line Advisory Board Application Submitted
Advisory Board Application Form
Collier County Government
3301 E. Tamiami Trail
Naples, FL 34112
(239)252-8606
Application was received on: 6/812009 6:52:18 PM.
Name: !Phillip E Brougham! Home Phone: 1239-793-56711
Home Address: ~587 Pepper Tree Wa~
City: jNaple~ Zip Code: IE!EI
Phone Numbers
Fax: Business:
'~Mail Address: bbrougham((i!,ealthlink.netl
Board I Committee Applied for: ~arks & Recreation Advisory Boar~
Category: !Not indicate~
Work Place: !Retired since 19991
How long have you lived in Collier County: ~
Have you ever been convicted of any offense against the law? ~
!Not Indicate~
Do you or your employer do business with the County? ~
!Not Indicate~
NOTE: All advisory board members must update their profile and notify the Board of Collier
Commissioners in the event that their relationship changes relating to memberships of
organizations that have a vested interest in the outcome of advisory board recommendations or
" they enter into contracts with the County.
Do you belong to any organizations that have a vested interest in the outcome of advisory board
1
recommendations? ~
Agenda Item No. 9G
September 15, 2009
Page 16 of 23
Not Indicated/
are you a registered voter in Collier County? ~
I
\
Do you currently hold public office? ~
Do you currently or ever senred on a Collier County Board or Committee? ~
/Floodplain Management Planning Committee!
. Various business and rofessional seminars concentratin
.
.
2
Agenda Item No. 9G
September 15, 2009
Page 17 of 23
filson s
-
.-...From:
ent:
'-10:
Subject:
Bzino@pbscontractors.com
Wednesday, May 27, 20092:32 PM
filson s
New On-line Advisory Board Application Submitted
Advisory Board Application Form
Collier County Government
3301 E. Tamiami Trail
Naples, FL 34112
(239)252-8606
Application was received on: 5/27/20092:31:45 PM.
Name: !Bart Zinol Home Phone: 1239-593-042~
Home Address: 1113 Heritage W a~
City: lNaple~ Zip Code: ~
Phone Numbers
Fax: ~39-643-108~ Business: 1239-643-652~
~Mail Address: /Bzino(mpbscontractors.con~
Board I Committee Applied for: !parks and Recreation Advisory Board/
Category: !Not indicate~
Work Place: /PBS Construction, Inc.1
How long have you lived in Collier County: jrnore than 151
Have you ever been convicted of any offense against the law? ~
!Not IndicatedJ
Do you or your employer do business with the County? ~
"
NOTE: All advisory board members must update their profile and notify the Board of Collier
Commissioners in the event that their relationship changes relating to memberships of
organizations that have a vested interest in the outcome of advisory board recommendations or
they enter into contracts with the County.
1
Agenda Item No. 98
September 15, 2009
Page 18 of 23
Do you belong to an~rganizations that have a vested interest in the outcome of advisory board
recommendations? ~
.ot Indicate<J/
Are you a registered voter in Collier County? ~
Do you currently hold public office? ~
Do you currently or ever served on a Collier County Board or Committee? ~
~ served on P ARAB for two year~
Education:
!High School and two years of college.1
.
2
Agenda Item No. 9G
September 15, 2009
Page 19 of 23
MEMORANDUM
DATE:
August 21, 2009
TO:
Sue Filson, Executive Manager, Board of County Commissioners
FROM:
Tona Nelson, Senior Administrative Assistant
Department of Parks and Recreation
RE:
Parks and Recreation Advisory Board Vacant Seat
At the regularly scheduled meeting of August 19, 2009 the Parks and Recreation
Advisory Board voted to recommended the selection of Bart Zino to fill the vacant
seat on the Parks and Recreation Advisory Board.
The applicants were ranked as follows:
1. Bart Zino
2. Phillip Brougham
If you need any more information, please call me at 252-4031.
Agenda Item No. 98
September 15, 2009
Page 20 of 23
( -- Parks and Recreation Advisory Board
Name Work Phone Appt'd Exp. Date Term
Home Phone DateRe-appt 2ndExpDate 2nd Term
Ms. Sarah Geroy 552-1200 12/12/06 12/31/10 4 Years
191 7 Holiday Lane 793-7141
Naples, FL 34104
E-Mail: kerry.geroy@nationalcity.com
District: 4
Category: Urban - J
e S,15 \"1 .-D q
Mr. Paul Nyce ( t I~ 11/13/07 12/31/09 2 Years
9512 Chelford Court 287-2658
Naples, FL 34109
E-Mail: pauljnyce@comcast.net
District: 2
Category: Urban
Ms. Barbara F. Buehler 06/12/07 12/31/07 6 Months
3989 Bishopwood Ct., W#102 417-1841 12/11/07 12/31/11
( Naples, FL 341 14
E-Mail: Robert. buheler@comcast.net
District: 5
Category: Urban
Mr. John P. Ribes 261-4007 10/24/00 12/31/03 3 Years
218 W oodshire Lane 02/11/07 12/31/11 4 Years
Naples, FL 34105
E-Mail:
District: 4
Category: Urban ,I-
Mr. Frank Donohue rJ~~l"P1 597-4575 OS/28/02 12/31/02 7 months
5961 Westport Lane 353-8584 12/12/06 12/31/10 4 Years
Naples, FL 34116
E-Mail: emeraldladyyacht@aol.com
District: 3
Category: Urban
(
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Wednesday, April 15, 2009
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Page 1 of3
Agenda Item No. 9G
September 15, 2009
Page 21 of 23
,'~ Parks and Recreation Advisory Board
Name Work Phone Appt'd Exp. Date Term
Home Phone DateRe-appt 2ndExpDate 2nd Term
Mr. Edward Olesky OS/26/98 12/31/98 7 Months
6001 Lake Trafford Road 657-2401 12/12/06 12/31/1 0 4 Yrs.
Urnrrnokwee,FL 34142
E-Mail:
District: 5
Category: Immokwee
Mr. David Swetko 272-8347 04/14/09 12/31/09 8mo.s
576 99th Avenue, N. 597-8767
Naples, FL 34108
E-Mail: frondzoo@yahoo.com
District: 2
Category: Urban
(-
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Agenda Item No. 9G
September 15, 2009
Page 22 of 23
Parks and Recreation Advisory Board
Name
Work Phone
Home Phone
Appt'd Exp. Date
DateRe-appt 2ndExpDate
Term
2nd Term
This 7 member committee was created by Guidelines established on 11/25/75 and confinned by
Ord. No. 93-81 to advise the Board of County Commissioners on any matters concerning
acquisition, development and programs involving parks and recreation facilities in Collier County.
Membership consists of 1 member from the Immokalee Community Park District, and 6
members from the Naples and Urban Area Community Park District. Terms are 4 years.
FL STA T:
Staff: Tona Nelson, Parks and Recreation: 252-0404
.~. 7.2~~!'!"'"f;'
(
Wednesday, April 15, 2009
'7~.'.:'r_.:.--...:r~'''::4'_' ':;~;~!,,!,, '~:::O:-.T'-~
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Page 3 of3
MEMORANDUM
Agenda Item No. 9G
Septembe~ 5, 2009
Pag:iJ23 of 23
6:5
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DATE: June 26, 2009
FROM:
Elections Office ~
Sue Filson, Executive Manager
Board of County Commissioners
TO:
RE:
Voter Registration - Advisory Board Appointments
The Board of County Commissioners will soon consider the following individuals for
appointment to one of the county's advisory committees. Please let me know if those listed
below are registered voters in Collier County.
Also, please list the commission district in which each applicant resides.
PARKS AND RECREATION ADVISORY BD
COMMISSION DISTRICT
Phillip E. Brougham
8587 Pepper Tree Way
Naples, FL 34114
/
Bart Zino
113 Heritage Way
Naples, FL 34110
~
Thank you for your help.