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As an insurance agency that hires independent insurance agents and service representatives, there is a lot that we can do for each of our agents. Our firm provides access to a large range of different services that are useful for those customers looking for financial services or life insurance policies. As an independent agent with us, you will have access to all of those products that you are licensed to sell, and will provide you with the support you need to write up each policy and deliver it personally. This is the benefit of working with Life Brokerage Financial Group, and we are waiting for your call.

Michelle Allen

Retail Support
727-216-2016 ext. 437
mallen@lbfg.net

Heather Dubay

Licensing & Contracting
727-216-2013 ext. 430
hdubay@lbfg.net

Peg Mandemaker

Accounting
727-216-2007 ext. 423
pmandemaker@lbfg.net

Reception

Reception
727-791-9080 ext. 400

Jim Bessell

CFO\COO
727-216-2005 ext. 420
jbessell@lbfg.net

Sheila Exum

Retail Recruiting
727-216-2011 ext. 425
sheila@lbfg.net

John Mitchell

LTC Sales
954-649-5407
jmitchell@lbfg.net

Doug Shellabarger

Life\Annuity Sales
727-512-6700
dshellabarger@lbfg.net

Holly Bessell

Reception\Brokerage Case Mgmt.
727-791-9080 ext.400
hbessell@lbfg.net

Paul “Scott” Groeber

Advisor
727-314-4180 ext. 459

Doug Paul

Advisor
727-474-6533 ext. 460

Jason Hunt

OSJ
727-216-2017 ext. 457
jhunt@lbfg.net

Gary Richardson

CEO
727-216-2010 ext. 426
grichardson@lbfg.net

Karl Roelofs

Premier Wealth Planning
727-400-3973 ext. 701
kroelofs@lbfg.net

 

Securities and Advisory services offered through LPL Financial, a Registered Investment Advisor, Member FINRA/SIPC. The LPL Financial Registered Representatives associated with this site may only discuss and/or transact securities business with residents of the following states: (FL). Life Brokerage Financial Group (LBFG) and LPL Financial are separate entities. FOR FINANCIAL ADVISOR USE ONLY.

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Important consumer information: This site is for information purposes only and is not intended to be a solicitation or offering of any security and;

1) Representatives of a broker-dealer (BD) or investment advisor (IA) may only conduct business in a state if the representatives and the BD or IA they represent (a) satisfy the qualification requirements of, and are approved to do business by, the state; or (b) are excluded or exempted from the state's licensure requirements.

2) Representatives of a BD or IA are deemed to conduct business in a state to the extent that they provide individualized responses to investor inquires that involve (a) affecting, or attempting to affect, transactions in securities; or (b) rendering personalized investment advice for compensation.