The 2023 Florida Statutes (including Special Session C)
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. . . See § 713.30, Fla. . . .
. . . See § 713.30, Fla. Stat. (2008); Ruffolo, 966 So.2d at 437. . . .
. . . be able to pursue attorneys' fees under both section 713.29 and his contract with the Galskes, see § 713.30 . . .
. . . Contracting Co., 695 So.2d 383, 388 (Fla. 4th DCA 1997)(holding that Florida’s construction lien statute (§ 713.30 . . .
. . . Section 713.30, Florida Statutes (1995), provides that the construction lien part of Chapter 713 “shall . . . Applying section 713.30, the third district rejected the argument that a materialman’s failure to perfect . . .
. . . See also § 713.30, Fla.Stat. (1987). . . .
. . . three figures after March 1, 1983: $541,999.08 ($2,150.79 X 9 (ships) X 28 (days in February)); $580,-713.30 . . .
. . . that Quality’s separate action to enforce its contract lien against the Keyes was barred by section 713.30 . . . Indeed, rather than precluding Quality from an independent contract action, § 713.30, by its title, “ . . .
. . . statute’s application to perfection of a statutory lien and by enactment at the same time of section 713.30 . . .
. . . We initially note that chapter 713.30, Florida Statutes (1983), reads: Other actions not barred. — This . . .
. . . answered in the negative simply because another provision of the Statute provides as follows: Section 713.30 . . . (emphasis supplied) Based on the provisions of the Statute, this Court is satisfied that Chapter 713.30 . . .
. . . Section 713.06 painstakingly limits its application to perfection of a statutory lien and section 713.30 . . . prerequisite to perfecting a lien under this chapter and recording of lien, (emphasis supplied). . § 713.30 . . .
. . . Prior to termination, the government had advanced $370,-713.30 in progress payments. . . .
. . . show that by the above date, the government and the private financiers had advanced plaintiff $589,-713.30 . . . The government has filed a counterclaim in this case in the sum of $370,-713.30 representing advance . . .
. . . In its Fiduciary Income Tax Return for 1958 the petitioner claimed a loss of $713.30 on the redemption . . . applied the total amount of $96,286.75 from the loss carryovers from 1956 and 1957 and the amount of $713.30 . . . Tax Return for the year 1958 the Commissioner disallowed the aforesaid deductions of $96,286.75 and $713.30 . . .
. . . redemption of the shares by Leader as follows: Tear Amount 1956 _$43,951.50 1957 _ 53,335.25 1958 _ 713.30 . . . fiduciary income tax return for 1958, petitioner applied the aggregate carryovers of $96,286.75 plus the $713.30 . . . The Commissioner disallowed the capital loss carryover of $96,-286.75 and the capital loss of $713.30 . . .