that the respondent violated the following slatutes and acts listed below, as amended, enforceJit tougf' CONN' GEN' STAT' $ 46a-58(a) if applicable: I coNu. I couN. I coun, D cot'ttt. flcoNt't. [] coruw. I COtttt. X cot'tt't. X cottlt. cEN. STAT. $ aoa-60(a)(1) cEN. STAT. $ aoa-60(a)(a) GEN. STAT. S 46a-60(aX5) GEN. STAr. $ 46a-60(aX7X X X ) GEN. srAr. $ 46a-60(aXBX X X ) cEN. STAT. S 46a4( X ) GEN.STAT.S46a64a(XX) cEN, STAT, $ 46a-70 GEN. STAT. $ 46a-71 GEN. STAT, S aoa-80 ( ) cEN.STAT.$46a-81(XX) t titte Vll of the civil Rights Act of 1964,42 U.S.C $ 2000e-2 {cite for 15 individuals employed} X Agu Discrirnination in Employment Act of 1967, 29 U.S'C' SS 621-634 {cite for over 20 individuals employed} I Americans With Disabilitjes Act, 42 U.S.C. S 12101 et seq, f Equal PaY Act of 1964, U-S.C' $ 206 I Section 504 of the Rehabilitation Act of 1 973 fl coruru. X coruru. fl otner_ I provide the following particulars: 1 , My name is John F. X. Androski and I reside at 43 High Acres Road in Ansonia, cT 06401' 2, The Respondent is the city of Ansonia water Pollution control Authority (Ansonia WPCA) located a|.253 Main street in Ansonia, cT 06401 and their telephone number is 203'73C'5908- 3. I was terminated on January B,2o14at a WPCA meeting and I provide the following outline: There was a meeting of the Ansonia WPCA on January 8,2014 and at that time chairman N' parente was present togetherwith the Board members which consisted of C. Durante, A' Limauro' M, D,Alesssio, A. Geruntho and C, Stowe. fne bnairman entenaineO a Motion which he himself made thai stated the following: ihat John F. X. Androski has been steeped in the long lraditiorr of being an attorney arrd has represented the wPCA for a long time and has been an attorney for the City of Ansonia for a sizable term which was initiated with the Adanti administration of 1978' The Chairman knew or should have known through documentation (Consisting of Ernployee W-2 wage summary lor 2013, Form 1Ogg-Misc from the City of Ansonia, my contracls dating back to February 2003, two letters dated January 10,2013 and December 13, 2000 from the employee personnel department regarding employee record jacket updates for the employee detail reports; a copy of these documents are attached hereto as Exhibit '1) presented to him that the Adanti administration was over 36 years ago and that John F, X. Androski was over 40 years of age notwithstanding that fact and the issuance of numerous contracts, past practices, implied contracts and the City of Ansonia charter section 144 ($ection 144 attached hereto as Exhibit 2) was terminated. 4. -the reason that the Chairrnan listed for the termination is that "he and the Board would like to get to ground zero and build from ground zero and ihai they will adcl pieces as we go forward and this is not a negotiation session." 5. I was terminated, notwithstanding the wPCA knew futlwellthat and mentioned on several oecasions rhat I had a tong history with the City of Ansonia and the Ansonia WPCA but was told I was too old to serve in that capacity. 6. Board member c. stowe seconded the Motion made by the chairman to terminate and stated as follows: "l know you have served the city for a long time b*t you are an attomey at law you are not a city employee your subcontracted to do a job and the reason this board has made this decision was we feel you fell a litile short in some areas." Mr. stowe made that allegation wlthout me having a right for a hearing to respond to lhe aforemenlioned allegation/charges' ln eonclusion, the Ansonia wpcA in terminating my employment violated the due process clause of the 5 and 14 Amendments of the Un'rted states Constitution and Article 1, section 8 of the connecticut constitution 2g u.s.c and 621-634 of the US Age Discrimination in Employment Act of 1967 and ADEA pmctices and case taw, discriminatory practices based on the FederalWater pollution controt Act Amendment of 19T2, clean Water Act of 1977 and the Water Quality Act of '1987. Subscribed and sworn to before me on July 3, 2014 My commission exPire-, 3 k///g omplainantis Signature) M 103(1) I request the Corrnecticut Commission on Human Rights and Opportunities investigate my cornplaint, secure for me my rights as guaranteed to me under the above cited laws and secure for me any remedy to which I may be entitled. JOHN FX ANDROSKI .. being duty sworn, on oath, states that s/he is the Complainant herein; that s/he has read the foregoing complaint and knows the content thereof; that the same is true of herillis own knowledge, except as to the matter herein stated on information and belief and that as to these matters s/he believes the same to be true. Dated in Ansonia. CT on this 3rd dav of Julv. 2014. (Complainant's Subscribed and sworn to before me on Julv 3,.2.014.-. (Date) My commission expire " Sfl/lS -
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IN THE MATTER OF THE INTESTATE ESTATE OF ANDRES G. DE JESUS AND BIBIANA ROXAS DE JESUS, SIMEON R. ROXAS & PEDRO ROXAS DE JESUS, Petitioners, vs. ANDRES R. DE JESUS, JR