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erage 1 of 36) el @ 20 @ 71004 : 4 | | WERNIKLAW, INC. 30117 08) 218 Tm 117 26 con, 05) 26 dab BRUCE A. WERNIK, Esq. saw ioioit : nares FREDERIC L.F. HAMILTON, Esq. san 240108 FILED 3 |]16133 Ventura Boulevard, Seventh Floor Superta Gnar of Calornia . _, ||Bucino, California 91436 ‘County of Los Angles 4 |] (818) 377-7425. phone 5 |](618)377-7442. fax Qy MAY 262017 ‘Shere R. Captor, Exgauye Offcer/Cer for plaintiff i 6 |] Attomeys for plant DsoziO tnd Aes a 2 SUPERIOR COURT OF THE STATE OF CALIFORNIA : COUNTY OF LOS ANGELES - CENTRAL DISTRICT ® 1, {DAVID BERNSTEN, ) caseno. BEG G8 207 ) ) Plaintiff, } COMPLAINT FoR: B ) 1. Assault vs. ) 2. Slander Per Se (Private 7 ) Figure, Matter of Private Concern) i: ) 3. Defamation Per Quod SHIA LABEOUF; Does 1 10, Inclusive, +) 6 ) Defendants. } DEMAND FOR JURY TRIAL 0 18 || Plaintiff, David Bernstein alleges as follows: » » ‘THE PARTI 4 1 Plaintiff, David Bernstein (hereinafter “Mr. Bernstein”), is a private citizen, 2 || who, at all material times relevant hereto, was employed at Jery"s Famous Deli, as a 2 || Bartender/Manager, inclusive of April 5, 2017. David Bernstein resides in Los Angeles, 22 ER £2 ee Beak §§ California. ogehez a g 2. Defendant, Shia LaBeouf, (hereinafter “LaBeouf”) is an so BA times = = herein residing in Los Angeles, California, " ge 3. The true names, identities, or capacities, whether individual, associate, corpc lor otherwise of Defendant(s), Does 1 through 10, Inclusive, are unknown to Plaintiff Bs 20088s5H90 24 tozz9903 g 8 B385 oz Bees § ‘CONTLANT FOR ASAT, DEFAMATION, DEEANA TON PER OD Dock 1 Faget 1 ~ Doo XD = 1698608226 - nec Type = OnIER @age 2 of 36) Heed e at e | || who therefore, sue said Defendant(s) by such fictitious names, When the true names, identities or 2 | | capacities of such fictitiously designated Defendants ae ascertained, Plaintiff will sk leave of 3 || Court to amend the Complaint to assert the true names, identities and capacities, together with 4 {any proper charging allegations. 5 4 ‘That at all times herein mentioned, Defendant(s), and each of them, were the 5 |) agents, servants, employees, and joint venturers of each other and their co-Defendant(s) and 7 |] were acting within the course and scope of their employment an agency or joint venture, ° GENERAL ALLEGATIONS 0 5. Plaintiff hereby incorporates and re-alleges paragraphs 1 through 4 of this 11 |] Complaint as though set forth in full herein, n 6. On April 5, 2017 at approximately 7:00 p.m. - 8:00 p.m., Defendant, LaBeouf 15 |] was bowling with his wife, Mia Goth at Pinz Bowling Alley, located adjacent to Jerry’s Famous 16 || Det in Studio City, California. 5 7. Plaintiffs informed and believes that Defendant, LaBeouf was consuming 16 || alcoholic beverages from the time he entered the bowling alley at the above time. ” 8. Jerry's Famous Deli has a fully stocked bar adjacent to the Pinz Bowling Alley 18 |] fom which patrons of both Pinz and Jerry's Famous Deli order alcoholic beverages, » 9. Ator about 9:45 p.m. on April 5, 2017, Mia Goth, wife of Defendant, LaBeouf, 20 ||entered the bar at Jenry's Famous Deli from Pinz and attempted to order alcoholic beverages. a 10. Bartender, Bridgette Fuller, and her supervisor, Mr. Bernstein, felt that Ms. 22 || Goth was significantly under the influence, and expressed to Ms. Goth that they were unable to serve her aleohol. 11. Shortly thereafter, Defendant, LaBeouf, entered the bar area from the bowling alley and immediately confronted Mr. Bernstein, at first requesting that Ms. Goth receive her drinks and subsequently requesting that Mr. Bernstein serve him “Blue Moon” beer. 12, Plaintiff felt that Defendant, LaBeouf, was significantly under the influence and correctly refused to serve Defendant, LaBeouf alcohol, Defendant, LaBeouf 2 “COMPLAINT FOR ASSAULT; DEFAMATION, DEFAMATION PER QUOD ook 1 Pages 2 ~ Doe 1D = 1658605326 - Dee Type = on (ago 3 of 16) | |] responded by pounding his fist upon the bar counter. 2 13. Immediately upon slamming hs fst upon the bar counter, Defendant, LaBeouf, 5 || quickly proceeded around the comer of the bar and entered the bartender well area 4 || where bartenders are situated. Defendant, LaBeouf, then proceeded atleast three to four steps 5 | inside of the bartender well area while yelling atthe top of his lungs, and appeared ready to 6 || physically confiont Mr. Bernstein, 7 14. Mr Bernstein then held a Grey Goose Vodka bottle over his shoulder, in order to # I/deter Defendant, LaBeouf’s advances, as he was fearful of an imminent attack by Defendant, 9 || LaBeouf. 0 15, Defendant, LaBeouf, then retreated approximately one step, and was ultimately . i 41 }fescorted out ofthe barby a Jery’s Famous Deli employee, against Defendant, LaBeouf's wil. a 16, Defendant, LaBeout’s action and entry into the bar well area reasonably reflected! i i '5 |]an intention to commit imminent physical violence upon Mr. Bernstein, ' % |] * 17, Itreasonably appeared that Defendant, LaBeouf was about to cy out that 15 || physical threat. Mr. Bernstein did not in any way consent to Defendant, LaBeouf’s conduct. 6 18. Mr, Bernstein was harmed and experienced significant emotional distress, 17 | anxiety and fear as a result of Defendant, LaBeouf's actions. | i ® 19. Defendant, LaBeouf’s conduct was a substantial factor in causing Mr. 19 || Bernstein's harm. » 20. Immediately thereafter, Defendant, LaBeouf uttered reckless and baseless 21 || defamatory remarks directed at Mr. Bernstein, while yelling that Mr. Bernstein was a : 2 ||"Fuckin’ Racist Bitch” and later calling Mr. Bernstein a “Fucking Racist”. zB 21, Subsequently Defendant, LaBeouf announced to those present at the restaurant/bat “Wake Up, this Mother Fucker is a Racist”, while knowingly attempting to incite a predominately Aftican-American crowd, that was present in the bar. 22, Defendant, LaBeouf made the above scurtilous accusations recklessly and without any basis in fact au i 3 ‘CORAFLAINT FOR ASSAULT, DEFAMATION: DEFANATION FER QUOD Boot 1 Paged 3 - Doo XD = 1658606926 - Boo Type = OTR (rage 4 of 16) , 23. Defendant, LaBeouf’s statements that Mr. Bernstein was a “racist” were also . 2 |)uttered with knowledge that they would likely forcibly cause harm to Mr. Bernstein, 3 24. — Defendant, LaBeouf also yelled at Mr. Bernstein in a threatening manner, “You 4 |}}Fucked Up” on two occasions, which atthe very least were veiled threats in lieu ofthe above 5 |foceurrences. ‘ 25. Defendant, LaBeouf’s statements that Plaintiff was a “racist” were recklessly 7 |[rendered, without any basis of fact whatsoever, and with knowledge that they would cause harm. 8 |lto Mr. Bernstein. 9 26. Mr. Bernstein is a long-time Bartender/Manager, with 32 years of experience at 10 |l Jerry's Famous Deli. He isa beloved individual to his customers, who are predominately 11 | Afvican-American, and who have come to admire and respect Mr, Bernstein, n 27. The above despicable and baseless accusations of racism by Defendant, LaBeout| '3 |! constituted defamation per quod and defamation per se. Slanderous statements were made in 46 |l front of a large crowded bar, and which were subsequently videotaped for an entre votld to see. is 28. Defendant, LaBeouf, failed to use reasonable care to determine the truth or falsity} 16 | of his false statements uttered about Mr. Bernstein. ” 29, Defendant, LaBeouf, has experienced many similar incidents involving 18 |) disturbances and physical altecations, many of which were also videotaped and published 19 |) world-wide. 2 30. Videotapes of this incident were published by TMZ. and were circulated instantly 21 || world-wide to millions of people via television, internet, social and print media, 2 31. In many instances newspaper articles based upon an abridged videotape posited 2 | the potential that Defendant, LaBeout’s false statements potentially had a basis in fact. % 32, There were many intemet and social media posts supporting the Defendant, {85 ||LaBeout’s false statements, without any basis in fact. B 33. Defendant, LaBeouf, has a large fan base. Many of whom rall to his defense 1B ||inintemet posts. “a lar ‘ "COMPLAINT FOR ASSAULT, DEFAMATION DEFANATIONPER QUOD ‘Deob 1 Reged & ~ Doe 29 = 1690606326 ~ Doe Type = OTE, (rage 5 0 10) 34, Onanear daily basis, Mr. Bernstein’s exposed to significant embarrassment and ridicule as customers that he has never met have alluded to him as “The Racist Bartender” and people that he does know have constantly been bringing up this event, causing significant emotional distress, humiliation and embarrassment. FIRST CAUSE OF ACTION: [Assault Against All Defendants] 35. Mr. Bernstein refers to and hereby incorporates and re-alleges paragraphs 1 through 34 of this Complaint as though set forth in full herein, 36. Onor about April 5, 2017 at approximately 9:45 p.m., Defendant, LaBeouf, intentionally, willflly, wantonly and maliciously threatened to touch Mir. Bernstein while suddenly entering the bartender well area after having insisted that Mr. Bernstein serve him alcoholic beverages, which Mr. Bernstein had discretionarily refused, as he believed Defendant, LaBeouf, to be under the influence, 37. Upon Defendant, LaBeouf's, sudden approzch and encroachment upon Mr. Bernstein’s physical space, Mr. Bernstein reasonably held a Grey Goose Vodka bottle over his shoulder, whereupon Defendant, LaBeouf, retreated and was ushered out of the bar by Jerry's Famous Deli employees. 38. Defendant, LaBeouf, in entering the bartender well area caused Mr. Bernstein to| reasonably believe that he was about to be struck and/or attacked in a harmful and offensive manner. 39. Ato time during the events described in the preceding paragraphs, nor at any time prior thereto, did Mr. Bernstein consent to Defendant, LaBeout"s, or Does | through 10's threatening conduct, and civil assault. 40. Asadirect and proximate result of Defendant, LaBeouf, and Doss 1 through 10 threats, coupled with their present ability to cary them out, Mr. Bernstein felt the apprehension ofan imminent physical attack, and he therefore suffered severe emotional distress and other injuries to his person, in an amount to be shown according to proof. 5 "COMPLAINT FOR ASSAULT, DEFAMATION, DEFAMATION FER QUOD ‘boob 1 Fagot § ~ Boo 1D = 1690606326 ~ Doe type ~ om crags 6 9f 16) 8 w 2» a 41. Asa direct, legal and proximate result of such acts of Defendant, LaBeouf, and Does 1 through 10, Mr. Bernstein was compelled to and did employ the services of hospital, | physicians and surgeons, nurses and the like, to care for and treat him, and did incur ‘hospital, medical professional and incidental expenses and Mr. Bernstein is informed and believes, and [upon such information and belief alleges, that he will necessarily by reason of his injuries, incur ‘uditional like expenses for an indefinite period of time in the future, all fo Mr. Bernstein's damage ina sum to be shown according to proof. 42, Mr. Bernstein is informed and believes and alleges therein that such acts directed| towards the Plaintiff were malicious and belligerent, and the acts were done with a conscious disregard of Mir. Bernstein’s right tobe fre from such tortious and criminal behavior, such as @ to constitute oppression, fraud or malice pursuant to California Civil Code §3294, entitling Mr. [Bernstein to punitive damages in an amount appropriate to punish and set an example of said Defendant, LaBeouf, and Does 1 through 10. ‘SECOND CAUSE OF ACTION [Slander Per Se Against All Defendants] 43, Mr. Bernstein refers to and hereby inconporates and re-alleges paragraphs 1 through 42 of this Complaint as though set forth in full herein. 44, On April 5, 2017 at approximately 9:45 pn., Defendant, LaBeouf, made the following defamatory statements, witnessed and heard by a crowded restauran/bar, and later published by TMZ, and on the internet: (@) When Defendant, LaBeouf, was denied service of alcohol hie yelled at Mr. Bernstein, “You Fucking Racist Bitch”; (©) Defendant, LaBeouf, while speaking to the crowded bar and restaurant yelled “Wake up, this Mother Fucker is Racist"; (© Also, Defendant, LaBeouf, yelled at Mr. Bernstein, “Vou Fucking Racist”, a 6 ‘CORELAIT FOR ASSAULT, DEFAMATION, DEFAMATION FER QUOD Deot 1 aged 6 - Doe 1D = 2698606326 ~ Doo Type = OnER erage 7 of 16) 1 45, All of the above statements were rendered in a crowded restaurant/bar that was 2 I! predominately African-American. Mr. Bernstein is informed and believes that statements were 5 |{an attempt to instigate hostility amongst Mr, Bernstein's clientele, directed towards Mr. 4 || Bernstein, 5 46. These statements made by Defendant, LaBeouf, had a tendency to injure Mr. § |) Bernstein, because the statements alleging racism have to potential to cause extreme damage. 7 |/Mr. Bernstein's clientele is predominately Aftican-American, and these scurrilous accusations § || attack the integrity of Mr. Bernstein who is an esteemed Bartender/Manager at Jerry’s Famous ' 9 ||Deli of 32 years. These were statements, not opinion, rendered by Defendant, LaBeouf, and are| 10 || factual in their assertion, " 47. Defendant, LaBeouf, utered statements alleging “racism” without any basis in 12 | fact, and upon information and belief, and itis alleged that statements made by Defendant, '3 ||LaBeouf, were directed towards Mr. Bernstein. " 48. Defendant, LaBeouf, failed to use reasonable care to determine the trath or falsity '5 || ofhis statements alleging racism. 6 49. Mr. Bernstein, was harmed: ” (® _ Inhis property, business, trade, profession or occupation; 8 (©) Plaintiff sustained harm to his reputation; and » (©) Plaintiff sustained shame, mortification and hurt feelings as » a result of defamatory statements rendered. 21 50. Upon information and belief, Defendant, LaBeouf, Does 1 through 10, and each of ther, failed to use reasonable care to determine the truth or falsity of scurrilous race based statements. Upon information and belief, the wrongful conduct of Defendant, LaBeouf, was a substantial factor in causing Mr. Bernstein, harm, including but not limited to harm to Plaintiff's business, trade, profession, and/or occupation, expenses Mr. Bernstein, had to pay as, a result ofthe defamatory statements, and harm to Mr. Bernstein’s reputation, in addition to that assumed by lav, a ! RUBS 2 oe oe wt 1 "COMPLAINT FOR ASSAULT, DEFAMATION: DEFAMATION FER QUOD_ ‘Deck 1 Paget 7 — Doe 1D = 1690606326 ~ Doo type = OnR 10 n n B “4 1s ” 18 9 a e eet e 51. Asa proximate result ofthe above-described statements, Mr, Bernstein, has soflered loss to his reputation, shame, morifiaton, and hurt feelings allthis general damage. 52. Asa proximate result ofthe above-described statements, Mr. Bernstein, has suffered loss of business, in an amount to be proven at trial 53. Upon information and belief, by engaging in the above conduet, Defendant, LaBeouf, and Does 1 to 10, acted with malice, oppression, and/or fraud, entitling Mr. Bernstein, to exemplary and punitive damages. ‘THIRD CAUSE OF ACTION (Defamation Per Quod Against all Defendants} 54, Mr. Bernstein refers to and hereby incorporates and re-alleges paragraphs 1 through 53 of this Complaint as though set forth in full herein. 55. On April 5, 2017 at approximately 9:45 p.m, Defendant, LaBeouf made the following defamatory statement, witnessed and heard by a crowded restaurant, videotaped and later published by TMZ, and published on the internet: (@) When Defendant, LaBeouf, was denied service of alcohol he yelled at Mr. Bernstein, “You Fuckin’ Racist Bitch”, (®) Defendant, LaBeouf, while speaking to the crowded bar and restaurant yelled “Wake up, this Mother Fucker is racist”; (© Also, Defendant, LaBeouf, yelled at Mr. “You Fucking Racist”. $6. Upon information and belief, Defendant, LaBeouf, reasonably understood that statements were directed to Mr. Bernstein, and were ernstein, ed at Mr. Bernstein, expressly. 57, Statements made by Defendant, LaBeouf, were entirely false as they pertain to /Mr. Bernstein, and are defamatory/slanderous on their face, and exposed Mr. Bernstein to contempt, ridicule, and obloquy, because Defendant, LaBeouf had absolutely no basis in fact for accusations of racism. In reality, Mr, Bernstein is a well respected Bartender/Manager, and has served a predominantly African-American clientele for 32 years at Jenry's Famous Deli. These ’ "GORLAINT FOR ASSAULT, DEFAMATION DEFANATIONPER QUOD ‘ect 1 Faget © ~ Doo ZD = 1688608326 - Doo type ~ OnIER wage 9 of 36) ” 8 9 a Py 2 » @ ae * e i e stalements were heard by those present at Jerry’s Famous Deli on the date ofthe incident, and later published world-wide when videoteped and published by TIMZ.on television, with later internet discussions, and newspaper coverage. 58, Asa proximate result of the above publication, Mr. Bernstein, has suffered loss to this reputation, shame, mortification and hurt feelings, all to his general damages. 59. Upon information and belief, by engaging in the above conduct, Defendants, and each ofthe them, acted with malice, oppression, and/or fraud, entitling Mr. Bernstein, to Jexemplary and punitive damages. WHEREFORE, Plaintiff prays for judgment against all Defendants, as follows: A. ON-THE FIRST CAUSE OF ACTION; ASSAULT 1) For general damages in an amount subject to proof at trial; 2) For sums incurred and including, but not be limited to, present and future lost ‘wages and for sums to be incurred for services to hospitals, physicians, surgeons, ‘nurses and other professional services, ambulance services, x-rays and other ‘medical supplies and services; 3) For punitive and exemplary damages in the sum of $5,000,000.00; 4) For interest provided by law including, but not limited to, California Civil Code $3291; B, ON THE SECOND CAUSE OF ACTION; SL: PERS 1) For general damages in a sum to be proven at 2) For all special damages, in a sum to be proven at tial, including but not to be Timited to present and future Jost wages and for sums to be incurred for services t hospitals, physicians, surgeons, nurses and other professional services, ambulance| services, x-rays and other medical supplies and services; 3) For punitive and exemplary damages in the sum of $5,000,000.00; 9 "CORIPLAINT FOR ASSAULT, DEFAMATION, DEFAMATION PER QUGD oct 1 Paged 9 ~ Dec 2D = 1698606326 - Doe Type = OER (age 10 ce 26) 1 4) For interest provided by law including, but not limited to, California Civil Code 2 §3291; ‘ C, ON THE THIRD CAUSE OF ACTION; DEFAMATION PER QUOD 5 1) For general damages in a sum to be proven at trial; ‘ 2) For all special damages, in a sum tobe proven at tral including but not to be 7 limited to present and future lost wages and for sums to be incurred for services to} 1 hospitals, physicians, surgeons, ntirses and other professional services, ambulance| 9 services, x-tays and other medical supplies and services; 0 3) For punitive and exemplary damages in the sum of $5,000,000.00; n 4) For interest provided by law including, but not limited to, California Civil Code n §3291 B 1s |[Dated: Mey 2%, 2017 ‘OF BRUCE A. WERNIK ” BRUCE A. WERNIK, ESQ. i] * Attomey for Plaintiff » x» 2 2 . Ey B j : | e ‘Doct 1 Paget 10 ~ Goo £0 = 4698606306 - noo type ~ oneR, rage 11 of 16) cmt [Frenne TORT Ta TREAT Feige apie, SO 0008 Meh LE Hanson, i, re. 16133 Vents Bly 0,CA 91656 FILED 1618 Nem NS 96g, (B18) 377-7482 ‘Superior Court of Calfrnia sate fn ant County of Los Angeles Prsmesome TCE Way 26 2017 sera Po gels, CASOOI2 cnmozr cone Chiral bstck pS a Ee .» Deputy ase Nu: Bernstein. Labeouf etal “CIVIL CASE COVER SHEET Complex ase Desiaation — [™"™BE G § 3 2 07 Uinta CY tint | counter) sinter ‘oemancied emancedis | Fledwih frst appearance by defendant | °° cree $25000) S25 000oclss|_ (Gal Reso oun nse ate) | cor. Tams -8 bea leaned 00 iets page [FSi a bbl ora case pot best denon scans fe Yor canbot Proanly Comex 8 ion ‘Aad (2) LF resem otcontrcawarenty (06) (Cal. Rules ef Coun, rues 3400-3.403) nesses metas) [5 te szeveaetoa(0) [=] Aotmsrate repvtan (3) er PorDMO Peron anropery =) Orcas 8) TS censesn co) Bareaevronghl Osa) Tor TS sreacewcage ts) nas) seen) CB onwremaaien (scant tgson Frosty 20 falPery [S enteonectacs 02) ‘Medical mlpracie (45) (F1 Eminent comsivinverce 17 inserance coverage cams atsig rom te ner PLPONNO ea) candeneaton (4). ‘chow ied ponbirely complete Nan PePDAD (Oe Tet ee) way Poshessttefac ines pacino) C=] ORerie ape 20) Enoementtudgment ‘caren 0) desta (TT eecenetotnapre 20) Dette (2) CT counaet on) uctaroousCwconplint Foose) 1 eseowaca Teco (snc ponetr) Fl ows (Foner sete teste to 2) Ptesses eae 25) det Review ee ain TF otternen Puram tt 38) H ‘Asean 05) arnership aod corpora governance 21) soect Pete monesioneees(tt) =] boca Fa Nentcemiason 20 1 wermesawn oars ett so) | etree (one pacsterer 9) : Tascase [Ts [Tirol _camplerunder ue 3a the Cadre Ras Comte cae CORD, KTS {Store ecu exceptonal util manager 2] Lange numberof separately ropreseradpartes 6] Large numberof wineses LC] extensiermadonpzctoe rang eto navel a] Coaraon wah ated actions pending in one or mote cours sues at witb e-consuringt reece ‘ner counies, sts, or ecunes, oa ese ent (21 Subwentstaneurtotocimenaryeverce ¢, ] Suman postusgmen joa evpertsin 2 Raed sought ck arta ape a[Z] monday [J nenmanty, cao once et 4, ‘Number of causes of ection (specity): & tracae Cle. Lelie acmsctoneut &. tern ay tron ted canes end an aoc tte cca (Ys py fy CHLO18) ‘tReet, May 26, 2017 Bie A. Werik, Esq, » & reo SS SETA TOTCE + Pam cover heen a it apr din not ean (excep ool ena aes ot ce tos {5 "esate ob Code Font Cato or We dirs Cole at Pasel Co le 3008 Pswwte es Rercore {EUS coe section ay cover tet indy clout 1 rs csns camp unre etsey of eae idee Ct eu mis sone coro isc shes onal herpates thease cep, + edie sa cectos ce er te 2749 conlecito, icovr shstib dr nit pone Pear ‘CIVIL CASE COVER SHEET SHE Sasi cst 8233 Bite at freee ‘Deck £ Pages 11 = Doo ID = 1698606326 ~ Doc type = om, rage 12 of 16) a re ap lg og "a neon nt n,m er na ao Pe i adrheemeg tl Si getter eee atte eee ted "mete eh cake ee a Shete reel cetacean tne eg ea eg mee Satter crsedas tose etcoms Sacace oe ate ence ee ‘Sarena arose teeni grat neeecans eh cee a te apg | Seeeteereeeerurerememen acne Ieee me see eee ee mena tart ae rota Scar al eaten aon ee at 2 ed oo cet eee gate cea eens gra era ats eae | damages, (2) punitive damages, (3) recovery of real property, (4) recovery of persona! property, oF (5) @ prejudgment writ of tachment. Tho Hordfeaton of e eaca as a rule 3740 colocsoes cate on ts form eeans tat wl bo exam! rom tho general Iime-‘or-service requirements and case management rues, uiess a delendant les a responsive pleading. A le 3740 eolectors ‘ase wile subject tothe requrerents fr sence and obtaining a udgmentin rue 3740 | ‘To Parties in Comptex Cases. in complex cases cnly, pares must also use the Civ! Caso Cover Sheot to designate whether the case's comeloe. 2 pail bees the case & complox under rule 3400 ofthe Calfomia Rules of Gout his must be india by ‘completing he appropriate bores in tere 1 and 2.11 pant eelgate a cate as copie, the cover sheet mest be eerved wth he ‘complaint on all partes to th acon. A defendant may fle and serve no later than te ine of i frst appearance a etd in the Dlanitts designation, 2 courterdesignaton tat the case is nat complex, of, the plat nas mace no designation, a desgnaton tat ‘he casei comptes ‘CASE TVPES AND EXAIPLES ata Tort contact Prolsienaly Complex Cv Ligation (Cl. 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Labeout et al. 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Aa Ode es Pepe Pte doin tite in | 2,8 A [HRDeaier Commer pena Unewl ean Commerc ers woul eon) ett SZ [Wasonsceneni | ema unordered [6 ee nan + 5 [antiosoterouesan [0 A? Uana Dunne Ones zat LACIV 109 (Rev 2116) CIVIL CASE COVER SHEET ADDENDUM ‘Local Rule 2.3, ASC Approved 03-04 AND STATEMENT OF LOCATION Pege2or4 ‘och 1 Pages 14 - Goo 2D « 2696606326 ~ Hoo Sype = Oma (rage 18 ot 26) /SORTTNE Bornstein v. Labeou! et al. UE A B C Appicatte | co ane Set wea Aon ease. See p3 Sever Gececjor ‘aoe ne oe aas Poorer [OAS Pein a CopalOonevteon ze i ———— | * wttmanse a) JC As2 Wit- Meet on inte Crud Case Mater 2 3 |] ABts3 Wit other tinted Cour Case Review 2 ‘terdozarRevon at) [0 A615 Ofer Wi siaRnion ae ____[Prtminde Reston [DASDD Ponaods esaan Tae : cman outa) | AEaT Gomtncton bees 128 | Gamerengenenten | pet cakstnetng tas Tot 128 3 | seeser taps | Ae08 Senn ister case 128 3 3 Ee, | AHS Tene TovEenmen 1238 E | Meumeecemese cas | neo vars oageSebeantoncmpeese om) Ofer Surat pao e © Ast Ante pret i i etacenen | ABT Coleen cant po dons san) 2 efdudamest(20) | cy a6teo Adinseate Agency vad (ot nba tes) ES 1 A614 Pestana ter Eno udpmentonUnpis Tox 1 sett OterEnocanstdgnstCase meoar [BA Racowing OO Ome ef H ears ; BE | corconpane | Ato tc Reel nyt doresisnasson) BE | cerSeecteeloo ea | sere onerconesensl Ce rnietrorce Pe | A&C00 Otker Civil Compisat {non torinon.comglex) PareanpCaTERe® 1c Ast9 Paturtipant Cope Govan Case 8 pet Galtenent ae 2 g 1 A6123 Workplace Harassment 239 $B BS | cnrrammaapiy | AP ExerOeperdrct ove Case 239 SEE | Secon) | aateo ceamconee 7 ges |. 1 Asv0 Paionrchonprnamercarg of Gene ir 0 Ast Peo Rele em atc & ro asien omer carton LACIY 109 (Rev 2716) ‘CIVIL CASE COVER SHEET ADDENDUM ‘Local Rule2.3 ASC Approved 03:04 AND STATEMENT OF LOCATION Page Sold ‘Doct 1 Wages 15 ~ Doo ID = 4698606326 - Dee type = on rage 15 of 10) ' ‘ORME Bernstein v Labeout eta enon | | ‘Step 4: Statement of Reason and Address: Check the appropriate axes forthe numbers showin under Column Cfor the type af action that you have selected. Enter the address which the basis or the fling location, including ip code, {No address required for classaction cases). | fom a | 01.02.83.04.08.06.07. 08.0 9.010.014. ! : Sto cay ca” foreos i Step 5: Certification of asignment certythathiscaseis proper fedinthe CeMWALLOBANgEeS ____osrict of | Date ‘the Superior Court of Caforia, County of Los Angeles [Code Civ. Proc, §382 et seq, and Local Rule 23(ait)E)]. PLEASE HAVE THE FOLLOWING ITEMS COMPLETED AND READY TO BE FILED IN ORDER TO PROPERLY ‘COMMENCE YOUR NEW COURT CASE: 1 2 3 4 ‘Gxiginal Complaint or Petite, lf fling a Complaint, a completed Suramans form for issuance bythe Cer. ‘Civ Case Cover Shoet, Judicial Council form C¥-010. Gy Gave Come Shae Accentum and Statemartof Locatn fom, LAGI 108, LASC Approved 02-04 (Ra, oa Payientin ful ofthe filing fe, uniess ters cour order fr waver, patil or scheduled payments. ‘A signed oréet appointing the Guardian ad Litem, Judicial Council form CIV-010, the plantifor petitoneris 2 miner under 18 years of age wl be requled by Gourtin order to issue a summons. ‘Adéional copies of documents to be conformed by the Clerk. Copies ofthe cover sheet and ths addendum ‘must be serves along with the summons and complaint, or ater iiting pleading nt case, ‘ici 109 evar) CIVIL CASE COVER SHEET ADDENDUM vecal Rule 23 asc Agerved a8 AND STATEMENT OF LOCATION Poga4ot4 i Doce 1 Pagel 16 ~ Doo 1D w 1698606226 ~ Doo Type = OMAR

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