Professional Documents
Culture Documents
(b) County of Residence of First Listed Plaintiff (Except in U.S. Plaintiff Cases): County of Residence of First Listed Defendant (In U.S. Plaintiff Cases Only):
Los Angeles County, California. Kern County, California
(c) Attorneys (Firm Name, Address and Telephone Number. If you are representing Attorneys (If Known)
yourself, provide same.)
Eugene Lee (S8# 236812)
LAW OFFICE OF EUGENE LEE
555 West Fifth St, Suite 3100, Los Angeles, CA 90013
Telephone: (213) 992-3299
II. BASIS OF JURISDICTION (Place an X in one box only.) III. CITIZENSHIP OF PRINCIPAL PARTIES - For Diversity Cases Only
(Place an X in one box for plaintiff and one for defendant.)
o I U.S. Government Plaintiff KI 3 Federal Question (U.S. PTF DEF PTF DEF
Government Not a Party) Citizen of This State 01 01 Incorporated or Principal Place 04 04
of Business in this State
02 U.S. Government Defendant 04 Diversity (Indicate Citizenship Citizen of Another State 02 02 Incorporated and Principal Place 05 05
of Parties in Item III) of Business in Another State
Citizen or Subject of a Foreign Country 0 3 0 3 Foreign Nation 06 06
IV. ORIGIN (Place an X in one box only.)
~ I Original 02 Removed from 03 Remanded from 04 Reinstated or 05 Transferred from another district (specify): 06 Multi- o7 Appeal to District
Proceeding State Court Appellate Court Reopened District Judge from
Litigation Magistrate Judge
V. REQUESTED IN COMPLAINT: JURY DEMAND: KJ Yes 0 No (Check 'Yes' only if demanded in complaint.)
CLASS ACTION under F.R.C.P. 23: 0 Yes 0 No 0 MONEY DEMANDED IN COMPLAINT: $ To Be Detennined
VI. CAUSE OF ACTION (Cite the U.S. Civil Statute under which you are filing and write a brief statement of cause. Do not cite jurisdictional statutes unless diversity.)
29 U.S.C. §§ 2601, et seq., Interference with FMLA Rights; ; 42 U.S.C. § 1983, Violation of Procedural Due Process Guaranteed byl4th Amendment of
U.S. Constitution; 29 U.S.C. §201 et seq., Violation ofFLSA (unpaid wages); and pendent state claims.
VIII(a). IDENTICAL CASES: Has this action been previously filed and dismissed, remanded or closed? III No 0 Yes
If yes, list case number(s):
FOR OFFICE USE ONLY: Case Number: _
1 ATTACHMENT 1
2 DEFENDANTS
3
COUNTY OF KERN,
4
PETER BRYAN (both individually and in his former official capacity as Chief Executive Officer Of
5 Kern Medical Center),
6 IRWIN HARRIS, M.D;
7 EUGENE KERCHER, M.D. (both individually and in his official capacity as a President of Medical
Staff of Kern Medical Center);
8
JENNIFER ABRAHAM, M.D. (both individually and in her official capacity as Immediate Past
9 President of Medical Staff at Kern Medical Center);
10 SCOTT RAGLAND, M.D. (both individually and in his official capacity as President-Elect of Medical
Staff of Kern Medical Center);
11
TONI SMITH, (both individually and in her official capacity as Chief Nurse Executive of Kern Medical
12 Center);
13 WILLIAM ROY, M.D.; and
14 DOES 1 through 10, inclusive
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ATTACHMENT