stallings bod appeal presentation

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Stallings BOD Appeal Presentation

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Stallings BOD Appeal Presentation. 1993. Contract to purchase lot from Anthony. Shortly after terms of contract are agreed upon – Anthony informs us that Airpark Drive will not be extended and will be re-platted as a cul-de-sac. - PowerPoint PPT Presentation

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Page 1: Stallings BOD Appeal Presentation

Stallings BOD Appeal Presentation

Page 2: Stallings BOD Appeal Presentation

1993

• Contract to purchase lot from Anthony.• Shortly after terms of contract are agreed

upon – Anthony informs us that Airpark Drive will not be extended and will be re-platted as a cul-de-sac.

• Our contract is revised to purchase our present lot at end of street and an additional parcel of land adjacent to the lot.

Page 3: Stallings BOD Appeal Presentation
Page 4: Stallings BOD Appeal Presentation

1994

• House plans are reviewed and approved by ACC in early 1994.

• Original plans had LPG tank situated behind guest bedroom with longitudinal axis of tank parallel to house.

• Septic tank placement precluded placement of LPG tank as originally planned and approved by ACC.

• ACC notified and committee member is sent to house to evaluate.

Page 5: Stallings BOD Appeal Presentation

1994 (continued)

• LPG tank location was discussed. ACC member agrees that planned location for tank pad is not suitable due to septic holding tank location.

• ACC Inspector recommends moving tank to the existing location.

• We comply with ACC recommendation and pour LPG pad and run lines per his guidelines.

Page 6: Stallings BOD Appeal Presentation

1994 (continued)

• House is completed in July.

• ACC sends another person out to house for another inspection.

• ACC final approval is given with tank located in present location with “screening” provided by house.

• There was no issue with tank location or screening at time of final ACC approval.

Page 7: Stallings BOD Appeal Presentation
Page 8: Stallings BOD Appeal Presentation

Airpark Drive in 1993

This picture from our 1993 survey shows the cul-de-sac looking south.

Page 9: Stallings BOD Appeal Presentation
Page 10: Stallings BOD Appeal Presentation

1994 – After Home Completion

• Anthony decides to drastically expand the Airpark.

• Airpark Drive is extended along south side of our property and then all the way south to Bellchase Drive.

• Effectively creates a “corner lot” for us.

Page 11: Stallings BOD Appeal Presentation
Page 12: Stallings BOD Appeal Presentation

March 1995

• 1st letter regarding LPG tank received from PPOA

• Letter incorrectly asserts that LPG tank is not on plans.

• After exchange of letters, I meet with General Manager Rosen at Clubhouse with 2 ACC members in attendance.

• It is agreed by all parties that there was a “misunderstanding” and since Airpark Drive was extended (contrary to what everyone had been told) after our house was built, the matter would be dropped.

Page 13: Stallings BOD Appeal Presentation

1996

• Developer publishes a 12 page advertisement called Nutcracker News which is circulated around Ft. Worth and surrounding counties.

• The publication features our home on the front cover as the sole example of the quality homes being offered in Pecan Plantation.

• This was done without our knowledge or permission.• It also was done with our LPG tank in plain view from the

Airpark Drive extension.• The “unscreened” LPG tank was obviously of no concern

to the Developer since he used a prominently placed picture of our home in his ad to attract new buyers.

Page 14: Stallings BOD Appeal Presentation
Page 15: Stallings BOD Appeal Presentation

January 2000

• 2nd PPOA letter received – 5 years after first letter.

• Threatening in nature, it states that tank must be screened NLT 28 February or legal action will be taken against us.

• I personally meet with PPOA representative Geep White at our home on 11 February.

• Mr. White states that he feels that our property is in compliance since Airpark Drive was, in fact, extended without our prior knowledge but wants to discuss matter with ACC.

Page 16: Stallings BOD Appeal Presentation

February 2000

• PPOA representative Geep White contacts us several days later and informs us that our property should have been, and will continue to be, “grandfathered” with respect to specific issues arising from the Airpark Drive extension.

• 28 February deadline passes - PPOA management, once again, is satisfied that we are in compliance with respect to the LPG tank screening issue and the matter is dropped.

Page 17: Stallings BOD Appeal Presentation

February 2005

• 3rd PPOA letter received – signed by Mr. Royce Cox.

• Same LPG tank issue but this letter contained new conditions for screening not delineated in the Covenants and Restrictions.

• Spoke with Cox on 13 April – once again we were told to disregard letter, we were in compliance.

Page 18: Stallings BOD Appeal Presentation

June 2006

• Developer issues his “Propane Tank Interpretation Letter”

• Mainly a history of Butane/Propane tanks in Pecan Plantation.

• Last sentence is really only one that is germane to the current issue.

• But if Developer is so concerned about LPG tank screening……..

Page 19: Stallings BOD Appeal Presentation

Why does he have an “unscreened” tank sitting right behind his premier commercial venture here in Pecan?

Maybe it is because he feels being located a couple hundred feet from the street doesn’t make it “noticeable”…………

Page 20: Stallings BOD Appeal Presentation

July 2006

• 4th letter from PPOA – again signed by Royce Cox w/ Brent Hamilton and again threatening in nature.

• Letter once again contains language not part of C&Rs.

• Meeting is scheduled with Messrs. Cox, Hamilton, and Tyra to discuss the issue one more time.

Page 21: Stallings BOD Appeal Presentation

Initial Meeting15 August 2006

• Mr. Tyra hears our side of the issue.• During meeting Mr. Cox confirms to Mr.

Tyra that he was instructed by the BOD in 2005 to drop the LPG enforcement issue against Mr. and Mrs. Stallings because we had been “grandfathered”.

• Mr. Tyra takes information under advisement and tells us that “everything is on hold” until we hear back from him.

Page 22: Stallings BOD Appeal Presentation

14 September 2006

• A Second Notice Letter is received from the ACC even though we are still awaiting word from Mr. Tyra regarding his investigation into the matter.

• This letter contains new definitions for compliance along with discrepancies in C&R wording.

• “Seen” and “Visible” are not the same as noticeable.

Page 23: Stallings BOD Appeal Presentation

05 October 2006

• Met with G.M. Bartholomew to discuss issue of Second Notice Letter being sent after Mr. Tyra instructed us to do nothing until hearing back from him.

• We explain that if we are not out of compliance, we cannot be accused of a “flagrant violation”.

• Mr. Bartholomew is totally indifferent to our concerns and our documentation showing past compliance.

• We ask for letter documenting the meeting – a hastily drafted memo finally arrives over 2 weeks later and only after repeated requests.

Page 24: Stallings BOD Appeal Presentation

24 October 2006

• “Flagrant Violation” is issued with no regard to evidence showing us to be in compliance no less than 4 times over the past 13 years.

• Mr. Tyra schedules our ACC appeal for 16 November.

• We contact attorney to handle appeal procedure and/or lawsuit.

• Work schedule is rearranged so as to be available for hearing on 16 November.

Page 25: Stallings BOD Appeal Presentation

ACC Appeal Hearing16 November 2006

• We are notified only hours before ACC hearing that our appeal has been cancelled.

• Mr. Tyra calls me that evening and advises that appeal will be rescheduled to 07 December.

• I advise Mr. Tyra that I probably would not be able to meet on that date due to having changed my schedule so as to be available for hearing that had just been unilaterally cancelled. I inform him that I will let him know something ASAP.

Page 26: Stallings BOD Appeal Presentation

02 December 2006

• Mr. Tyra is informed that, due to my work schedule, I cannot attend 07 December ACC meeting.

• Mr. Tyra assures me that our appeal will be heard by the ACC and advises me that the hearing will be rescheduled for 14 December.

• Work schedule is again rearranged in order to be available on 14th.

Page 27: Stallings BOD Appeal Presentation

11 December 2006

• Phone call from Mr. Tyra followed by a letter from Brent Hamilton stating that ACC meeting was held on 07 December despite the fact we had be told the meeting would be held on 14 December.

• Letter is contradictory in nature since it states that the ACC did not hear the appeal and took no action. Yet, in his email to our attorney, Mr. Hamilton states that the ACC made a decision on our appeal at the meeting.

Page 28: Stallings BOD Appeal Presentation

20 December 2006

• PPOA is advised of request for BOD appeal.• No confirmation or information ever received

other than a VM from Bartholomew’s secretary.• We are contacted by Mr. Tyra with an offer of a

“compromise”.• Several face to face and phone meetings ensue

over the next couple of weeks in an attempt to avoid litigation on this and the continuing harassment issue.

Page 29: Stallings BOD Appeal Presentation

PPOA’s “Compromise”• “Our way or the highway”• First draft language from Mr. Tyra is much too vague and provides

nothing for us.• We draft a bilateral compromise and send to Mr. Tyra – he states

everything in letter is agreeable with exception of Condition 5 of the agreement.

• Condition 5 states that all BOD and ACC members must be in compliance with their respective C&Rs before further enforcement actions against us on issues other than the LPG tank.

• We stress to Mr. Tyra that the unwarranted harassment must stop and Condition 5 is only way to ensure that it will.

• BOD President Shawen informs Mr. Tyra that Condition 5 is unacceptable yet offers nothing in return.

• Compromise agreement is dead.

Page 30: Stallings BOD Appeal Presentation

Your Choices1. PPOA management has been completely wrong on this issue no less

than 4 times over a period of 13 years which necessarily implies the total incompetence on the part of this organization. Now this member is being held accountable for this past incompetence.

2. This Board is implicit in changing the long standing interpretation of the C&Rs (at least with respect to the LPG issue) to fit it’s agenda. Totally disregarding the agreements and promises of previous Boards and their designees is unnecessarily burdening to the present day membership. Furthermore, it is a truly unethical way to conduct business.

-OR-

Uphold this appeal based on consideration of the historical facts surrounding this issue, the unique situation we were unwillingly placed in when Airpark Drive was extended, and the numerous promises made to us by this Association over the last 13 years.

Page 31: Stallings BOD Appeal Presentation

Ray and Lisa Stallings

Thank you for taking the time to consider our appeal.

Page 32: Stallings BOD Appeal Presentation
Page 33: Stallings BOD Appeal Presentation

The use of the term “noticeable” in the C&Rs is obviously meant to prohibit individuals

from placing a tank directly in front of their home or elsewhere on their property, where it would be so obvious, it would

detract from the view of the home.

“Noticeable” does not mean visible from some distant vantage point with the sole purpose of hoping to catch a glimpse of

the tank.

Page 34: Stallings BOD Appeal Presentation

This picture from a recent edition of the HCN shows a situation, albeit extreme, that

would be defined as noticeable.

Page 35: Stallings BOD Appeal Presentation

House Views

Page 36: Stallings BOD Appeal Presentation
Page 37: Stallings BOD Appeal Presentation
Page 38: Stallings BOD Appeal Presentation
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Page 40: Stallings BOD Appeal Presentation
Page 41: Stallings BOD Appeal Presentation

What’s wrong with this picture?

Page 42: Stallings BOD Appeal Presentation

Isn’t this noticeable?

Page 43: Stallings BOD Appeal Presentation

What about this?

Page 44: Stallings BOD Appeal Presentation

How does this enhance my property value?

Page 45: Stallings BOD Appeal Presentation

Is the Developer really the impetus behind this latest screening effort? That sure doesn’t appear

to be the case to the casual observer.