Thursday, 8 November 2007

NOTICE OF SCRIVENER’S ERROR - Lightbourne

IAN DECO LIGHTBOURNE,
Petitioner,
Case No. SC06-2391
v.
BILL McCOLLUM, ET AL.,
Respondents.
____________________________/
NOTICE OF SCRIVENER’S ERROR
COMES NOW PETITIONER, IAN DECO LIGHTBOURNE, by and
through undersigned counsel, and files this Notice of Scrivener’s Error. The third
sentence of paragraph 7 of Mr. Lightbourne’s Motion for Rehearing should read:
“The risk that has been the focus of Mr. Lightbourne’s challenge is the risk that
the inmate will receive inadequate anesthesia and therefore, the inmate will
not be unconscious before the administration of the second and third drugs,
and the DOC personnel will not know and/ or correct it.” A Corrected Motion
for Rehearing is attached.

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing has
been furnished by e-mail and U.S. Mail to Kenneth S. Nunnelley, Assistant
Attorney General, 444 Seabreeze Blvd, 5th Floor, Daytona Beach, FL 32118,
Rock E. Hooker, Assistant State Attorney, 19 NW Pine Avenue, Ocala, FL
34475, on this 5th day of November, 2007.
__________________________
SUZANNE MYERS KEFFER
Assistant CCRC
Florida Bar No. 0150177
OFFICE OF THE CAPITAL
COLLATERAL REGIONAL
COUNSEL
101 N.E. 3rd Ave., Suite 400
Ft. Lauderdale, FL 33301
(954) 713-1284
COUNSEL FOR MR.
LIGHTBOURNE

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