UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
FORT LAUDERDALE DIVISION
BOYD JOHNSON,
Plaintiff,
v.
PUBLIX SUPER MARKETS, INC.,
IRBY, MARK R., PHILLIPS, DAVID P.
METZ, MERRIANN M., JONES, SR.,
RANDALL T.,
Defendants.
/
Case No. 0:22-cv-60884-KMM

CERTIFICATE OF INTERESTED PERSONS AND CORPORATE DISCLOSURE
STATEMENT OF DEFENDANT PUBLIX SUPER MARKETS, INC.
Defendant, Publix Super Markets, Inc. (“Publix”), by and through the undersigned counsel
and pursuant to Rule 7.1(b)(2) of the Federal Rules of Civil Procedure, makes the following
disclosures:
1. The name of each person, attorney, association of persons, firm, law firm,
partnership, and corporation that has or may have an interest in the outcome of this action including
subsidiaries, conglomerates, affiliates, parent corporations, publicly-traded companies that own
10% or more of a party’s stock, and all other identifiable legal entities related to any party in the
case:
Plaintiff, Pro Se, Boyd Johnson
Defendant, Publix Super Markets, Inc.
Attorneys for Defendant: Jennifer M. Moore, Esq. and Ogletree, Deakins, Nash, Smoak &
Stewart, P.C.
No publicly traded company owns 10% or more of the stock of Publix Super Markets, Inc.
Publix Alabama, LLC
Case 0:22-cv-60884-KMM Document 7 Entered on FLSD Docket 05/17/2022 Page 1 of 3
Publix Asset Management Company
Publix Apron’s Event Planning and Catering, LLC
Publix Tennessee, LLC
Lone Palm Golf Club, LLC
Morning Song, LLC
PTO, LLC
Real Sub, LLC
Publix North Carolina Employee Services, LLC
Publix North Carolina, LP
Central and Second Insurance Company
2. The name of every other entity whose publicly-traded stock, equity, or debt may be
substantially affected by the outcome of the proceedings:
None.
3. The name of every other entity which is likely to be an active participant in the
proceedings, including the debtor and members of the creditors/committee (or twenty largest
unsecured creditors) in bankruptcy cases:
None.
4. The name of each victim (individual or corporate) of civil and criminal conduct
alleged to be wrongful, including every person who may be entitled to restitution:
Purportedly, Plaintiff, Pro Se, Boyd Johnson
I HEREBY CERTIFY that, except as disclosed above, I am unaware of any actual or
potential conflict of interest involving the district judge and magistrate judge assigned to this case,
and will immediately notify the Court in writing on learning of any such conflict.
Case 0:22-cv-60884-KMM Document 7 Entered on FLSD Docket 05/17/2022 Page 2 of 3
50219856.v1-Ogletree
Dated: May 17, 2022. Respectfully submitted,
/s/ Jennifer Monrose Moore
Jennifer Monrose Moore, Esq.
Florida Bar Number 35602
OGLETREE, DEAKINS, NASH,
SMOAK & STEWART, P.C.
100 North Tampa Street, Suite 3600
Tampa, FL 33602
Telephone: 813.289.1247
Facsimile: 813.289.6530
jennifer.moore@ogletree.com
Attorneys for Defendant Publix Super Markets, Inc.
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on May 17, 2022, the foregoing was filed with the Court using
the CM/ECF System. I FURTHER CERTIFY I served a true and correct copy of the foregoing
document by e-mail and U.S. mail to:
Boyd Johnson
Email: boyd5307@gmail.com
and in an abundance of caution at
634 NW 44th Terrace
Deerfield Beach, FL 33442
Plaintiff, Pro Se
/s/ Jennifer Monrose Moore
Attorney
Case 0:22-cv-60884-KMM Document 7 Entered on FLSD Docket 05/17/2022 Page 3 of 3