The Robert Paisola Live World News Feed

6/28/2010

Planet Hollywood Scam, A Happy Family!H

dear mr Paisola,
congratulations, I went for the 'presentation' came back and faxed cancellation and mailed 'postmarked' before the fifth day( not counting weekend) but they decline the cancellation. Paid $4950+650 . I have all proof documents which I will forward to you separately.
Thank you and 'god is great'.

6/23/2010

Artie Spector , Todd Spector, ASNY Companies Sued AGAIN... Robert Paisola Reports

This is a great lawsuit, copy and file in court!

Our Comments:

This is EXACTLY what happens when you provide your financial information to a debt collection company, or a loan servicing company such as Concord Servicing. America, we used to be in the debt collection business, and you are very lucky that Mr. Brown is providing this to you. If you owe money to Tahiti Resorts or Consolidated Resorts or any of their scam companies, You Are An IDIOT to pay them. This is what companies like Concord Servicing can expect to happen Each and Every time that they try to run checks against your bank account that you did not authorize. I will be testifying before Congress on this matter.

Robert Paisola
CEO
Western Capital

CAUSE NO.____________

FREDERICK BROWN § IN THE DISTRICT COURT

§

Plaintiff §

§

Vs § DALLAS COUNTY, TEXAS

The ASNY Company LLC et al. §

§

§

Defendants §

§ _______ JUDICIAL DISTRICT

______________________________________________________________________________

PLAINTIFF’SORIGINAL PETITION PURSUANT TO TEXAS DECEPTIVE TRADE PRACTICES ACT, TEXAS THEFT ACT , FRAUD,BREACH OF CONTRACT, AND IDENTITY THEFT _____________________________________________________________________________

TO THE HONORABLE JUDGE OF SAID COURT:

This suit is brought by Frederick Brown, Plaintiff, pursuant to the Texas Deceptive Trade Practices Act, Texas Theft Act, Breach of Contract, Fraud, Identity Theft and Texas Long Arm Statute jointly and severally respectfully.

A. Discovery Control Plan

Plaintiff intends to conduct discovery under Level 2 of Texas Rule of Civil Procedure 190.3 because this suit involves only monetary relief aggregating more than $250,000.00, excluding court cost and prejudgment interest.

B. Parties

Plaintiff is Frederick Brown owner, 2441 Goldfinch Ln, Garland, Texas 75042.

Defendants are the following: Chicago Title Company office located at 316 West Mission Avenue, Suite 123, Escondido, CA 92025-1731 and my be served by serving its registered agent Jeanette Haines, Soleil Lv. LLC /or assignee, new owner, The ASNY Company LLC, 801 Rampart Blvd, #200, Las Vegas, Nevada 89145, by serving its registered agent, Glen T Stockton and Concord Servicing Corporation, 4725 North Scottsdale Road Suite 300, Scottsdale, AZ 85251 by serving it registered agent Concord Servicing Corporation. The Plaintiff reserves the right to add additional Parties after discovery is conducted.

C. Jurisdiction & Venue

The Court has subject matter jurisdiction pursuant to the Texas Long-Arm Statute (see U-Anchor Adver, Inc v Burt, 553 S.W.23d760 (1977) and (Ring Power Sys v Int’l DeComercio, 39 S.W.3d 350(Texas, Civ. App 2001) because the damages are within the jurisdictional limits of the Court. The parties are subject to personal jurisdiction of this Court.

Venue is proper in Dallas County, Texas pursuant to sections 15.001, 15.005, 15.035, and 15.082 of the Texas Civil Practice and Remedies Code 134.002, Tex. Pen Code 31.03(a).

D. Background Facts

On or about September 30, 2009 ASNY LLC present a check for payment to an account belonging to Frederick Brown in Dallas, Texas without authorization. This action forced the Plaintiff to loose, personal property and real property. It is alleged that the Defendant conspired to take these funds from the Plaintiff’s accounts in Texas by use of fraudulent checks showing both the Plaintiff’s routing number and account number. This action was not authorized by Plaintiff, and would have been stop immediately if the Plaintiff’s Bank had notified the Plaintiff. When Plaintiff was appraised of the theft by the Defendants, the bank was notified and sued. The bank settled the lawsuit out of Court realizing that a theft by the Defendants had taken place. The Plaintiff requested an accounting of payments made to Consolidated Resorts (The ASNY Company LLC et al). It was discovered shortly after the purchase of the timeshare, the Co-Conspirators had made numerous double withdrawals from the Plaintiff’s bank account .starting in or about November 2005, see Exhibit A, Exhibit B and Exhibit C. Also Plaintiff was told when purchasing the condominium that he would not have to pay a servicing fee, because Plaintiff was purchasing a trade-in unit by another Consolidated Resort owner. I complained about the accounting and in fact that Plaintiff was told that no maintenance fee would be charged on the timeshare unit. The Defendant took no action to correct the problem, but continued to charge the fee. The Defendant repeatedly assured plaintiff that no fee was to be charged for maintenance until the contract was paid in full. The Defendants breach their contract with the Plaintiff, by not allowing Plaintiff to use the timeshare unit 224 that Plaintiff and the Plaintiff’s wife purchased in 2005. Since 2006 Plaintiff has not been allowed to use his unit (unit 224), always being sent to an inferior unit, smaller in size and with no scenic view which was one of the reasons Plaintiff purchase the Unit 224. Plaintiff’s also alleges that he had an expectation of privacy in his banking account and that Defendant did not have permission to create substitute checks with the Plaintiff routing and accounts numbers. This expectation of privacy was reasonable in that Plaintiff bank account number and routing number are personal, and for the Defendant to create checks for the sole purpose of extract money from the Plaintiff’s personal checking account is theft. This theft happened in the State of Texas providing for the Court to establish jurisdiction over the Defendants. The Defendant invaded the plaintiff’s privacy maliciously and knowing by procuring Plaintiff’s personal information to create substitute checks for payment without authorization. The Defendants are in violation of Texas Civil Practice & Remedies Code Title 6 § 134.003, because Defendants cause Plaintiff to loose credit opportunities, several homes and condominiums. On 08/26/2005, plaintiff and defendant executed a written contract. Plaintiff attaches a copy of the contract as Exhibit D. and incorporated it by referenced. The contract provided that plaintiff would pay only one monthly payment to the Defendant for the mortgage, but in November and December of 2005 defendant appropriated two payments for those months starting the systematic theft by the Defendant. Plaintiff did not become aware of these facts until such time as the defendants (co-conspirator) where taking unauthorized payment from the plaintiff’s personal bank account causing checks prepared for the purpose of paying the Plaintiff monthly obligations were not honored by Plaintiff’s Bank. The reason Plaintiff purchased the Timeshare Unit (224) on or about August 26, 2005, because Plaintiff was shown unit 224 at 5101 West Tropicana Avenue, Las Vegas, NV 89103 and Plaintiff and his spouse liked unit 224 so a purchase was made. Since Plaintiff chose to purchase that unit (Unit 224) in Tahiti Village Plaintiff has only been able to use his unit once. Since 2006 Plaintiff has been unable to use the unit he purchase in violation of the contract The Defendants has breached the contract with Plaintiff, by substituting an inferior unit for Plaintiff to use when visiting Las Vegas to take advantage of the Plaintiff’s timeshare unit.

E. Count 1 DTPA

Plaintiff is a consumer under the Texas Deceptive Trade Practices Act, and payments for the timeshare was withdrawn from Plaintiff’s bank account in the state of Texas without permission, and the fact that Defendant breached the contract with Plaintiff by appropriating funds from Plaintiff’s bank account in the State of Texas gives the Court jurisdiction over these Defendants. Defendant used Deception to induce Plaintiff into purchasing a timeshare unit in Las Vegas, by presenting unit 224 for sale, and not allowing Plaintiff to use that unit, and substituted an inferior unit for Plaintiff to utilize when visiting Las Vegas. The jurisdiction is proper because all of the money transfers were in Texas. Defendants violated the Texas Deceptive Trade Practice Act because Defendants engaged in false misleading or deceptive acts and/or practice that Plaintiff relied on to his detriment. Specifically, Defendants sold the Plaintiff a unit in Las Vegas which was unit 224 at 5101 West Tropicana Avenue Las Vegas, NV 89103. Plaintiff only got to use that unit once in four (4) years. Defendants engaged in false, misleading, and deceptive acts or practices that plaintiff relied on to his detriment. Specifically breached of contract and violation of Texas Theft Liability Act by drawing more than one mortgage payment per month and also by creating fraudulent substitute checks for the sole purpose of illegally withdrawing funds from the Plaintiff’s bank account. (Tex. Bus & Com. Code § 17.50(a) (1); Miller v Keyser, 90 S.W.712, 715(Tex.2002)

Defendants’ conduct was the producing cause of injuries to Plaintiff’s reputation and his good name, and the lost of assets totaling approximately One Hundred and Sixty Thousand dollars ($160,000.00) (Tex. Bus & Com. Code § 17.46(b) (23); Dierlam v clear Lake Hosp. 593.S.W.2d 774,775-76Tex. App. Houston [14th Dist.] 1979. Plaintiff also claims damages for mental anguish, the defendants’ acted knowingly and intentionally to misrepresent the terms of the mortgage contract. (see Tex. Bus & Com. Code§ 17.50(b) (1); Gulf States Utils. Co v Low 79 S.W.3d 561, 564(Tex.2002); City Tyler v likes, 962 S.W.2d 489, 498n.1 (Tex. 1997). (See statutory letter exhibit E)

F Treble Damages

Because defendant acted knowingly intentionally, plaintiff is entitled to recover treble damages under the Texas Deceptive Trade Practices Act, Texas Business & Commerce Code section 17.50(b)(1).

G. Count 2 Fraud

Plaintiff alleges that each and every one of the representations set forth in the proceeding paragraphs concerned material facts, which are the reasons that plaintiff has had to file this suit concerning the purchased of the timeshare in Las Vegas. Plaintiff further alleges that defendants knew or should have known that the representations were false at the time they were made, and were malicious, and were made to defraud Plaintiff. The fraudulent creation of substitute checks use to withdraw funds from Plaintiff’s bank accounts in the State of Texas, was the conduct that constituted an action which allows the imposition of exemplary damages. Plaintiff will show that he has incurred significant expenses, including attorney’s fees and other fees, in the investigation and prosecution of this action. Accordingly, plaintiff requests the exemplary damaged is awarded against the Defendants in a sum within the jurisdictional limits of the Court. Defendants also made false representations of a material fact concerning the servicing of the loan. (See Tex. Bus & Com. Code §27.01(a) (1). The element of false representation of material fact is the same for both common-law fraud and statutory fraud (Fletcher v Edwards, 26 S.W.3d 66, 77(Tex. App Waco 2000). The Defendant told Plaintiff that the unit that he had purchased was Unit 224. Since year 2006, Plaintiff has not been allowed to stay in his unit or the unit sold to Plaintiff, but was placed in a smaller inferior unit. This constitutes fraud, and a breach of contract.

H. Count 3 Breach of Contract

Defendant breached the contract by taking unauthorized mortgage payments for several months at the being of the contract period, and then continued this behavior by taking funds from Plaintiff’s personal bank account without authorization by creating checks to be drawn on a Texas Bank. This illegal behavior makes it impossible for Plaintiff to continue business association with ASNY LLC et al. because of the material breach of contract and deceptive trade practices of the Defendants. Plaintiff seeks liquidated damages in the amount of at least $18,900.00, attorney’s fees and cost of this suit.

The defendant materiality breached the contract, by substituting an inferior unit for the unit that Plaintiff purchased in 2005 that is the basis of the contract. The plaintiff is allowed to recover damages for all foreseeable injuries and obtain equitable remedies, such as a minimum rescission. See Kaiser v Northwest Shopping Ctr. 587 S.W.2d 454, 457 (Tex. App. Dallas 1979 writ ref’d n.r.e).

I Count 4. Texas Theft Liability Act

Defendant committed theft of Plaintiff fund by creating substitute checks (see Exhibits A, B, C) and presenting those checks to Plaintiff’s bank for payment. Defendant placed Plaintiff bank routing number and account number on these substitute checks without authorization, in violation of the Texas Theft Liability Act. The bank that the funds were drawn has settled with Plaintiff proving that the action by the Defendants, The ASNY Company LLC et al, was an illegal act and violated the Texas Theft Liability Act. The Plaintiff suffered actual damages in an amount to cover the lost of a residence and defamation or $250,000.00. The illegal substitute checks which caused the Plaintiff to overdraw his personal account , which in turn caused the Plaintiff to have his personal checks dishonored by the his bank for legal debts. Subsequently Plaintiff’s condominium was foreclosed which cost the Plaintiff an additional damage for lost of $32,000.00.

J Count 5 Identity Theft Enforcement and Protection Act

The Defendants invaded the plaintiff privacy by using the Plaintiff personal data to perpetrate fraud, and theft of the Plaintiff personal funds from a Texas bank account. This was accomplished by creating unauthorized substitute checks and using those checks for the purpose of withdrawing funds from the Plaintiff’s Texas Bank Account. The Defendants knowingly and intentionally took this funds using information that was from the Plaintiff’s personal checking account after Plaintiff paid the mortgage payments with his personal checks. As a result of these actions Plaintiff has suffered the following injuries lost of residence, lost of banking accounts, lost of money in the bank accounts of $6,000.00 or more and other cost within the jurisdictional limits of the court.

K. Conditions Precedent

All conditions precedent has been performed or has occurred.

L. Demand for Jury

Plaintiff demands a jury trial and tenders the appropriate fee with this petition.

M. Conclusion

The defendants ASNY LLC et al committed Deceptive Trade Practice in violation of the Texas Deceptive Trade Practice Act, Fraud, Theft in violation of the Texas Theft Act, Breach of Contract, and ID Theft, knowingly and intentionally to deprive Plaintiff from the quite enjoyment of Plaintiff’s timeshare unit( unit 224) and personal damages.

N. Prayer

For these reasons, Plaintiff asks that Defendants be cited to appear and answer and, on final trial, the Plaintiff has judgment against Defendant for:

a. Actual damages

b. Damages to credit reputation in the past and future

c. Out-of –pocket expenses

d. Lost of benefit-of-the real property

e. Recession of the contract

f. Specific performance

g. Mental anguish damages

h. Treble damages.

i. Prejudgment and post judgment interests

j. Special damages

k. Attorney fees

l. All other relief, in law and in equity, to which plaintiff may be entitled.

m.

Respectfully submitted,

_______________________________

Frederick Brown

2441 Goldfinch LN

Garland, Texas 75042

(214) 227-5367 begin_of_the_skype_highlighting              (214) 227-5367      end_of_the_skype_highlighting begin_of_the_skype_highlighting (214) 227-5367 end_of_the_skype_highlighting; Fax (214) 227-5329

EXHIBITS

1. Unauthorized Substitute Check A

2. Unauthorized Substitute Check B

3. Unauthorized Substitute Check C

4. Sales Deed D

5. Statutory Letter E

6. Unsigned Check Authorization F


6/14/2010

David Siegel and Westgate Resorts Hit The Dust: Robert Paisola Reports








10.11.12 Update
You Have to Read the News Update!
http://timesharescamsupdate.blogspot.com/2012/10/welcome-to-westgateresortsbankruptcycom.html
-
The David Siegel, Westgate Resorts, Case Update, Robert Paisola

Mr. Paisola, I bought a Westgate Resorts Timeshare and now I am being screwed. Can you help me?

Yep! This is the first of a series of articles that will show you just what went on inside the David Siegel Westgate Resorts Semi-Empire. First, lets look at how all of your money that you worked so hard for has been spent....

THE MONEY TRAIL SPEAKS:

As of June 2010, David Siegel is being disgorged of his profits that he has made during his reign as the owner of Westgate Resorts. This is an article that was recently published in the national media.

"Time-share mogul Siegel's assets open to the public"



The auction house that's hawking $350 million worth of property owned by time-share mogul David Siegel is opening the properties for public inspection.
Carlton Exchange says it has organized open houses for the top assets in the portfolio, including several in Central Florida. Siegel has said the assets are extraneous to his core business of time-share development and management.
"We've already received offers," said Scott Stay, a Carlton senior vice president. "We're starting to see that the market is turning, buyers are out."
•Grenelefe Resort, a golf-and-tennis resort in Polk County, Thursday and April 29.
•Westgate River Ranch, a 1,700-acre dude ranch near the Kissimmee River in Polk County, Friday and April 30.
•The Ramada, April 27.
In addition to the hospitality assets, Siegel is selling multifamily properties, vacant land and office space. Indicative bids are due April 30. More information is available online.
These are photos of the Home of David Siegel and his former wife Jacqueline Siegel known as The Lake Butler Mansion:

Siegel Front View
The David Siegel House Listing States:

Pricing options for David Siegel's House AKA: Versailles

  • $100MM FINISHED BASED ON THE ROYAL PALACE OF LOUIS XIV OF THE 17TH CENTURY OR TO THE BUYERS SPECIFICATIONS.

  • $75MM AS IS WITH ALL EXTERIOR FINISHING IN CRATES IN THE 20 CAR GARAGE ON SITE.
The Home is being sold by Lorraine Barrett of Coldwell Banker.
VERSAILLES IS THE LARGEST MODERN DAY PALACE UNDER CONSTRUCTION IN AMERICA. 90,000SF UNDER ONE ROOF,SITUATED ON 10+ ACRE PENISULA WITH 1.4 MILE OF PRISTINE SHORELINE ON LAKE BUTLER OF THE FAMED BUTLER CHAIN OF LAKES. 13 BEDRM, 23 BA, 20 CAR GARAGE & 3 POOLS. $100MM FINISHED TO BUYERS SPECIFICATIONS. $75MM "AS IS" BASED ON THE ROYAL RESIDENCE OF LOUIS XIV OF 17TH CENTURY AS SHOWN IN RENDERINGS. THE RESIDENCE IS 200x200 AND 67FT TALL. UNPARALLELED FEATURES INCLUDE LARGE BOATHOUSE, FORMAL GARDENS, 1 STORY GATEHOUSE WITH APT. BASEBALL FIELD, 2 TENNIS COURTS,60x120 GRAND HALL WITH 30FT STAINED GLASS DOME, 2 GRAND STAIRCASES, 37X30 KITCHEN, 10 SATELLITE KITCHENS, 2 STORY WINE CELLAR, ROCK GROTTO WITH 3 SEPARATE SPAS BEHIND 80FT WATERFALL, FITNESS CENTER WITH SPA FACILITIES, TWO LANE BOWLING ALLEY, INDOOR ROLLER RINK, VIDEO ARCADE, 1/2 ACRE MAIN POOL DECK, CHILDREN'S WING W/ FAMILY RM, THEATER, ACTIVITY RM & COMPUTER RM, ADULT MOVIE THEATER W/BALCONY, 4 FIREPLACES, FORMAL DINING RM SEATS 30, EVERY FULL BATH HAS FULL SIZE JACUZZI. 160 TRIPLED PANED WINDOWS AND BRAZILIAN MAHOGANY FRENCH DOORS COST $4MM ALONE. HIS & HER OFFICE WITH 12FT TWO SIDED AQUARIUM. TRULY ONE OF A KIND PALATIAL HOME RESORT.
The following resorts are part of the Westgate Resorts Franchise that are listed on the Westgate Resorts Website. This list will certainly be part of any proceedings on a David Siegel Bankruptcy, a Westgate Resorts Bankruptcy, or a David Siegel Federal Indictment or a Westgate Resorts FBI Investigation or Westgate Resorts Federal Indictment. Have Fun in Federal Prison Mr. Siegel. You do not have enough money to pay off the United States Federal Government.
If you are a victim of David Siegel , Jacqueline Siegel and Westgate Resorts Watch this video and Email us at vip@westerncapitalvip.com
http://video.yahoo.com/watch/3954571/10735429


Westgate Painted Mountain Country Club
Address
6302 East McKellips Road
Mesa, AZ 85215
Resort Direct Line/To Reach A Guest (480) 654-3611
Located in the magnificent Sonoran Desert just outside Phoenix, Westgate Painted Mountain Country Club features luxurious villas, championship golf, first-class amenities and spectacular panoramic views. Our one- and two-bedroom luxury villas at Westgate Painted Mountain Country Club contain full or partial kitchens, cable TV, ceiling fans, whirlpool tubs and a balcony or patio.




Westgate Blue Tree at Lake Buena Vista
Address
12007 Cypress Run Road
Lake Buena Vista, FL 32836
Resort Direct Line/To Reach A Guest (407) 597-2200
Convenient to Walt Disney World®, Universal Orlando® and SeaWorld®, Westgate Blue Tree at Lake Buena Vista features luxury suites with a full kitchen, color TV and VCR. Guests enjoy four outdoor pools, a children's pool and two outdoor Jacuzzis. The Marketplace grocery store, deli and gift shop is located on property.
Harbour Beach Resort
Address
701 South Atlantic Avenue
Daytona Beach, FL 32118
Resort Direct Line/To Reach A Guest (386) 252-4933
The beachfront villas at Harbour Beach Resort offer a spectacular view of the Atlantic Ocean, along with a fully equipped kitchen in most units, whirlpool marble tub, leather sleeper sofa and large-screen cable TV. Guests can explore historic Daytona Beach, including the world-celebrated Daytona International Speedway. And Walt Disney World® Resort is just a short drive away!
Westgate Lakes Resort & Spa
Address
10000 Turkey Lake Road
Orlando, FL 32819
Resort Direct Line/To Reach A Guest (407) 345-0000
Westgate Lakes Resort & Spa is a lakefront lush tropical paradise convenient to Walt Disney World®, Universal Orlando® and SeaWorld®. Some of the lavishly appointed villas offer fully equipped kitchens and/or whirlpools. Guests enjoy a scenic lakefront setting, numerous swimming pools, watersports, basketball and volleyball courts, Westgate Smokehouse Grill and Serenity Spa by Westgate.
Westgate Leisure Resort
Address
6950 Villa De Costa Drive
Orlando, FL 32821
Resort Direct Line/To Reach A Guest (407) 239-8855
Convenient to Walt Disney World® Resort, Universal® Orlando Resort and Sea World® Orlando, Westgate Leisure Resort is the perfect spot for your family vacation.
Westgate Palace
Address
6145 Carrier Drive
Orlando, FL 32819
Resort Direct Line/To Reach A Guest (407) 996-6000
Located just off world-famous International Drive, Westgate Palace is a 18-story, two-tower vacation resort that will feature 407 lavishly appointed suites once completely renovated. Wet 'n' Wild® is within walking distance and Universal Orlando® is just 1 mile away. Current and upcoming amenities at Westgate Palace include an enclosed pool in the rear of the tower and a brand-new outdoor pool in the front, as well as a restaurant, spa and video arcade.
Westgate River Ranch
Address
3200 River Ranch Boulevard
River Ranch, FL 33867
Resort Direct Line/To Reach A Guest (863) 692-1321
Relax in luxurious, Western-style accommodations at Westgate River Ranch, a 1,700-acre ponderosa of winding trails, pristine waters and more! Indulge yourself in a wide range of activities, including horseback riding, nature hikes, fishing, boating, trap and skeet, hayrides and a petting zoo. There's even a rodeo every Saturday night and a lighted, 5,000-foot private runway!
Westgate Towers
Address
7600 U.S. 192 West
Kissimmee, FL 34747
Resort Direct Line/To Reach A Guest (407) 396-2500
Convenient to Walt Disney World®, Universal Orlando® and SeaWorld®, Westgate Towers features luxury suites with a full kitchen, color TV and VCR. A luxury studio with kitchenette and whirlpool tub is also available. Guests enjoy three heated pools, planned activities schedule, tennis, basketball and volleyball. Dining options include an adjacent Sizzler Restaurant.
Westgate Vacation Villas & Town Center
Address
2770 Old Lake Wilson
Kissimmee, FL 34747
Resort Direct Line/To Reach A Guest (407) 239-0510
Conveniently located just 1 mile from the main entrance to the Walt Disney World® Resort, Westgate Vacation Villas & Town Center offers more than 2,500 luxury villas, ranging from efficiencies to four-bedroom suites. Amenities include numerous swimming pools, a weight room, lighted basketball and tennis courts, volleyball courts, game room, onsite Mini Market, free shuttle service to area shopping, Activities Center and Kid's Club.



Westgate Miami Beach
Address
16701 Collins Avenue
North Miami Beach, FL 33160
Resort Direct Line/To Reach A Guest (305) 949-1300
Westgate Miami Beach is the perfect resort to enjoy everything the South Florida area has to offer! Room amenities include handcrafted European wood furnishings, separate sleeping areas, kitchenettes with refrigerators and microwaves, and color cable TV. Westgate Miami Beach features an Olympic-size pool, whirlpool spa, kiddie pool, private fishing pier, two restaurants with oceanfront views, nightclubs, exercise facility, pool bar and children's activity center.
Westgate South Beach
Address
3611 Collins Avenue
Miami Beach, FL 33140
Resort Direct Line/To Reach A Guest (305) 532-8831
Just blocks from the Art Deco district in Miami Beach, Westgate South Beach features 46 stylishly decorated suites. The one-bedroom suite accommodates four people comfortably, while the two-bedroom suite accommodates six and includes a full kitchen, full bath, central air and dataport. Amenities include an outdoor pool, beach access, playground, exercise facility, volleyball court and barbecue area.



Westgate Branson Woods
Address
2201 Roark Valley Road
Branson, MO 65616
Resort Direct Line/To Reach A Guest (417) 334-2324
Nestled in the heart of the Ozark Mountains just outside Branson, Westgate Branson Woods Resort provides easy access to live entertainment and shows, as well as spectacular lakes, championship golf courses, theme parks, outlet malls and eclectic restaurants. Resort amenities include outdoor and indoor pools, exercise facility, hiking trails and more. Our one- and two-bedroom suites feature full kitchens, dining rooms, living rooms with fireplaces whirlpools.
Westgate Branson Lakes at Emerald Pointe
Address
750 Emerald Pointe Drive
Hollister, MO 65672
Resort Direct Line/To Reach A Guest (417) 334-4944
Westgate Branson Lakes at Emerald Pointe is nestled in the Ozark Mountains just minutes from the world-class entertainment and discount shopping opportunities of Branson. Enjoy sparkling lake views and a wide variety of watersports. Each of our one- and two-bedroom luxury villas features a fully equipped kitchen, spacious dining and family room, and washer/dryer.



Westgate Tunica
Address
1724 Casino Center Drive
Robinsonville, MS 38664
Resort Direct Line/To Reach A Guest (662) 357-9200
Enjoy superior accommodations, genuine Southern hospitality and proximity to nonstop casino excitement at the Westgate Tunica, Mississippi. All one- and two-bedroom suites contain a full kitchen and washer/dryer. Onsite amenities include an outdoor swimming pool, hot tub and health club. Area attractions include championship golf and discount shopping opportunities.



Westgate Flamingo Bay at Las Vegas
Address
5625 West Flamingo Road
Las Vegas, NV 89103
Resort Direct Line/To Reach A Guest (702) 251-3435
Westgate Flamingo Bay at Las Vegas, just three miles from the Las Vegas Strip, is convenient to everything the city has to offer. Amenities include a quiet, tropically landscaped pool deck, as well as a 7-hole practice putting green, a shuffleboard court, basketball court and fitness center. Each one- and two-bedroom villa features a fully equipped kitchen, fireplace, whirlpool tub and entertainment center.
Planet Hollywood Towers Westgate
Address
80 East Harmon Ave.
Las Vegas, NV 89109

PH Towers Westgate is the largest single timeshare building ever built in the world and stands among the most luxurious properties of any kind in the Las Vegas market. Directly connected to the Miracle Mile shops and adjacent to the Planet Hollywood Resort & Casino complex, PH Towers Westgate is the first vacation ownership resort to be fully integrated with a major resort and casino.


Westgate Myrtle Beach Oceanfront Resort
Address
415 South Ocean Blvd.
Myrtle Beach, SC 29577
Resort Direct Line/To Reach A Guest (843) 448-4481
Westgate Myrtle Beach Oceanfront Resort, located in the heart of Myrtle Beach, offers a relaxing beach atmosphere only minutes from all the exciting entertainment and activities that made Myrtle Beach famous. Guests can relax on incredible stretches of beach or enjoy the large oceanfront pool and poolside bar. The Recreation Center includes many amenities such as a heated pool and game room.



Westgate Smoky Mountain Resort & Spa
Address
915 Westgate Resorts Road
Gatlinburg, TN 37738
Resort Direct Line/To Reach A Guest (865) 430-4800
Westgate Smoky Mountain Resort and Spa, adjacent to the Great Smoky Mountains National Park, is Gatlinburg's premier luxury resort. Enjoy the area's Vegas-style revues, shopping and down-home dining. Villa amenities include a fireplace, a fully equipped kitchen and a garden spa tub in the master bathroom. Guests enjoy two swimming pools, each with an in-ground hot tub.



Westgate Park City Resort & Spa
Address
3000 The Canyons Resort Drive - PO Box 980460
Park City, UT 84098
Resort Direct Line/To Reach A Guest (435) 940-9444
Westgate Park City Resort & Spa offers unique ski-in/ski-out accommodations and a ski valet service, with some of Utah's most beautiful golf courses nearby! Resort guests enjoy gourmet dining and a 30,000-square-foot health and fitness spa on property. Luxurious villas feature full kitchens, whirlpool, fireplace and more, depending on the villa.



Westgate Historic Williamsburg
Address
1324 Richmond Road
Williamsburg, VA 23185
Resort Direct Line/To Reach A Guest (757) 229-6220
Williamsburg provides something for everyone, from the rich history of Colonial Williamsburg's® Historic Area to lively theme parks, challenging golf courses, water parks, and first-class shopping and dining. And Westgate Historic Williamsburg is the perfect resort to enjoy everything the area has to offer! Our spacious guestrooms are appointed with period furnishings and offer one king or two queen beds, color cable TV and telephones with data ports. Amenities include an outdoor pool and hot tub, Fitness Center, and Video Arcade Room.