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4341 THE SUPERIOR COURT OF THE STATE OF CALIFORNIA, (COUNTY OF 10S ANGELES case No. -yoro003 NESDEMEANOR COMPLAINT PEOPLE OF THE STATE OF CALIFORNIA, via: 03/22/27 Plaintife, riaeae shone R~RaRTER, yt Deputy Cenk KRISTEN ELIZABETH CALOVELL (° /h) . KATHERINE ELIZASETH SHAW (F-2—//) JESSICA HELENE CARER (? RACHEL MARGARET BACHARACH (FD, RICKE MASLAR (FA), and NANCY ELIZABETH OY (? » ) ) ) ) ) Defendants ) teeued By attorney ) ) ) ) ) > ) , , 1 ) ve ) Executive Officer/cerk } ‘S ) , Be Deputy city Attorney (CONSUMER PROTECTION SECT STATE BAR HO: 125714 Le 1703.4(a) (3) (3 et) 3 cours ToraL Cones now the undersigned and states that she is informed land believes, and upon euch information and belief declares ‘That on or about February 17, 2016, at and in the Ch'y af tas Gageles, in the County of Los Angeles, state of California, a misdemeanor, to-wit: VIOLATION OF SECTION 1703-4(a) (3) of ‘the Labor Code Of the State of California was comitted by THE ACTOR'S EY. ULC., KRISTEN ELTZABRTH CALDWELL, KATHERINE BACHARACH (Whose true names to affiant are unknown). who, at the time and place last aforesaid, was an omer, Givector, officer, agent or employee of a talent. training service and did willfully and unlawfully charge or attempt es charge an artist for an audition or employment opportunity, all of waich is nade a misdemeanor pursvant to Labor Code section ue 1703.4(a) (3) comm rr For furthe:, separate and SECOND cause of action, being a Gifterent offense, belonging to the sane class of erines and offenses set forth in count T hereof, affiant complains snd says: That on or about March 14, 2016, at and in the city of los Angeles, in the County of Loa ‘angeles, state of California, a ‘misdeneanor, to-wit: VIOLATION OF SECTION 1703-4(a)(3) of the Unbor Code of the State of California was committed by THE ACTOR'S KEY, LLC., KRISTEN ELIZABETH CALDWELL, KATHERINE ELIZABETH SHAW, JESSICA HELENE GARDNER and RICEY MASLAR (Who ‘true panes to affiant are unknows)» who, at the time and place last aforesaid, was an omer, Girector, ofticer, agent or employes of a talent. training service and did willfully ané unlawfully charge or attempe co charge an artist for an audition or employment opportunity, all of which i¢ made a misdemeanor purauant to Labor Code section we 1703.4(0) (2) cour rrr For further, separace and THIRD cause of action, being x @itferent offense, belonging to the sane class of crines ant oftenses set forsh in counts I and Ix hereot, affient complains fand says: That on or about April 11, 2016, at and in the ity oF los Angeles, in the county of Los Angeles, State of Califorsia 42 Misdemeanor, to-wit: VIOLATION OF SECIYON 1703.4 (a) (a) of tne Labor Code of ‘the State of California was comiteed by Tue AcTOR’S XEY/LUC., KRISTEN ELIZABETH CALDWELL, KATHERINE ELIZABETH SHAW, SESGICA HELENE GARENER and WANCY TOY’ (Woue Cove hanes to affiant are unknown) who, a the tine and place last aforesaid, vas an owner, director, officer, ‘agent or employee of a’ talent tresniag service ‘and did willfully ané unlawfully charge or attempt to charge an artist for an audition or employment opportunity, ald of which is made a misdereancr pursuant to Labor Code section a0 ke 1702.4 (a) (3) AL of which is contrary to the law and against the peace and Gignity of the People of the State of california. Attached hereto and incorporated herein by reference as though fully set forth ars written statenents and reports, conaisticg of Pages, which constitute the basis upon which T make the Within allegations Executed at Norwalk, calizomia on _2/e[11 3 declare under penalty of perjury that the foregoing is true and correct VOLUNTARY APPEARANCE Departeent 48 LR, Superior court Investigator march 22, 2017 Los Angeles city attorney's Office {IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA, COUNTY OF LOS ANGELES case wo. 7es00052 PEOPLE OF THE STATE OF CALIFORNIA, ) MISDEMEANOR COMPLAINT vine 03/29/19 Pheaneaee, Pit6a ‘ SHERRY R. CARTER, ve Executive officer/cierk Py = wEWTIME, LLC. , ‘Deputy Clerk GILLIAN BRASHEAR (FS), CHANDRA WARTE REED (7. EDWARD JASZEK (n Hi and MIRIAM HOFFHAN (Fs , . Tasued By Attorney a Deputy City Attorney Defendants ) , ) } , , 1 } ) , 1 ) ) > ) ) Uc 1703.44) (3) (3 etal, ) ) ) ) Le 170312) ‘CONSUMER PROTECTION SECT 4 comes zen STATE BAR NO: 125724 Comes now the undersigned and states that she is informed and believes, and upon such infornation and belief declares That en or about March 5, 2018, at and in the city of Los Angeles, in the County of ‘Los Angeles, State of California, a misdemeanor, to-wit: VIOLATION OF SECTION 1703-4/a)(3) ef the Tabor Code of the State of Calitornia vas committed by WEWTIME, LLC., GILLIAN BEASHEAR and CHANDRA MARIE REED, (ihowe true panes to affiant are unknown), who, at the tire and place lest aforegaid, was an owner, Girector, officer, ‘agest or employee of a talent training service and did willful-y and unlaveully, through any meane of communication, charge or attespt to charge an artist for an audition or esploysent opportunity, all of which is made = Misdemeanor pursuant to Labor Code section 1704. comer rr For futher, separate and SECOND cause of action, being a @itterent offense, belonging to the same class of crises and offenses set forth in count 7 hereof, affiant complains and ‘says: That on or about February 29, 2016, at and in the 2ity of los Angeles, in the County of Los Angeles, State of California, 44 misdemeanor, to-wit: VIOLATION OP SECTION 1703.4 (a) (3) of the Labor Cod of the State of California was commited by WENTIam,11C., GILLIAN BRASHEAR and EDWARD JASERK, (hose true nanes to affiant are uaknows), who, at the time and place last aforesaid, was an omer, director, officer, agent or employee of a talent training Service and did willfully and unlawtuily, through any means oF communication, charge or attempt to charge an artist for an audition or employment opportunity, all of which is nade a misdeneanor pursuant to Labor Code section 1704 ke 1703.41) (3) cour zz For further, separate and THIRD cause of action, being a Gitterent offense, belonging to the sane class of erines and offenses set forth in Counte T and Ir hereof, effiant complains and says: That on or about March 5, 2016, at ard in the city af Los Angeles, in the County of Los Angeles, State of California, 2 misdeseanor, to-wit: VIOLATION OF SECTION 1703.4/(a)(3) of the Labor Code of ‘the State of California was committed by WEINTIME,LUC., GILLIAN BRASHEAR and MIRIAM HOPPUU, (Who: to affient are unknown) - who, at the time and place last aforesaid, waz an owner, Gixector, officer, agent or employee of a talent training service and did wilifully and unlawfully, through any means of communication, charge or attenpt to charge ar artist for on audition or employment opportunity, all of wach is made a misdeneenor pursuant to Labor Code section 1704 We 1703.42) (3) comm rv For further, separate and FOURTH cause of action, being @ Aitterent offense, belonging to the sane class of crimes and offenses cet forth in Counts I through II! hereof, aftiane complains and saye: That on or about February 25, 2016 through March 3, 2016, at and in the City of Los Angeles, in the County of tos ‘Angeles, State of california, 2 misdemeanor, vo-wite VIQUATION OF SECIION 1703(a) of the Labor Code of the State of California was comitted by WONT, LLC. and GILLIAN BRASHEAR, (whose true nanee to affiant aze unknown), who, at the time and place last aforesaid, did engage in che business of a talent training service and did wilfully and unlawéully fail to use a written contract and agreement between the talent training service and an artist in at least 20-poine type, and containing all the informacion required in Labor’ cose section 1793 (a) (1) through (6), inclusive, all of whieh te made 2 misdemeanor purtuant to Labor Code section 1704 ue 1703 (a) AL of which is contrary to the law and against the peace and Gignity of the People of the State of California, Attached hereto and Incorporated herein by reference as though fully set forth are written statenente and reports, consisting or ‘ages, which constiture the basis upos which T take he Within allegations Euecuted at Low RIGELES, California on 2/B/I7 Z declare under penalty of perjury that the foregoing ie true and correct Department 48 Complainant L.A. Superior court Fi BErTuL0, Invest sgator Mazen 29, 2017 Los Angeles City Attorney's Office {IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA, COUNTY OF 108 ANGELES cease No. 7es00082 PROPLE OF THE STATE OP CALIFORNIA, ) urspewenioxconfbaiti Yeas 03/20/37 Fited Executive Officer/Cler} By, Deputy Clerk Plaintife, Say ¢ srvezncr,110., anmar sivas Conic: (a) DARYA BALYURA(?: , , } ’ BRADLEY DERRICK SACHS (4; SN). TY MICHAEL HARON (4: i) and LINDSAY DIARE HAG (F://'.) ) > ) ) ) > ) ae Deputy city Attorney: ) CONSUMER PROTECTION SECT __} STATE BAR NO: 125714 befendants: Le 1703.41a)(3) (2 ete), ue 17036 2 comms Tora, comes now the undersigned and states chat she ie sntorsed land believes, and upon such information and belief declares: That on or about April 30, 2026, at and in the City of Los Angeles, in the County of los angeles, state of california, = Iniadeneancr, to-wit: VIOLATION OF SECTION 1703.4 (a) (3) 0: the Tabor Code of the State of California was committed by BRADLEY DERRICK SACHS AND TY MICHAEL EARON (Whose Crue ainew to affiant are unknown) , mo, at the time and place last aforesaid, was an omer, Hiecctor, ofeicer, ‘agent or employee of @ talent training pervice and did willfwily and unlaweully, through any means of Fonmunieation, charge or attempt to charge an artist for an audition os employment opportunity, all of which is made 2 Rigdemeancr pursuant to Labor Code section 1704 26 2703-442) (3) Yor further, separate and SECOND cause of action, being @ @ifterent oftense, belonging to the game class of crimes and offenses set forth in Count T hereof, affiant complaine and says: That on or about May 2, 2016, at and in the City of Los Angeles, in the County of uos Angeles, state of California, a ‘Bisdeneanor, to-wit: VIOLATION OF SECTION 3703-4(a) (3) of the Labor Code of the State of California was committed by BRADLEY DERRICK SACHS AND LINDSAY CHAG (Who aftiant are taknowa) + Who, at the time and place last aforesaid, vas an ower, director, officer, agent or employee of a talent trainicg service and did willfully and unlawfully, through any means of communication, charge or attempt to charge an artiet tor an audition or employment opportunity, all ef which is mde s misdemeanor pursuant to Labor code section 1704 Le 2703-418) (3) comm x22 For further, separate and THIRD cause of action, being & Gitferent offense, belonging to the same class of crines and offenses set forth in Counts 1 and IZ hereof, affiant complains and says: That on or about April 25, 2016, at and in the City Of tos Angeles, in the county of tos’ Angeles, State of California, a miedeneanor, to-wit: VIOLATION OF SECTION 1703 (a) of the Labor Code of the State of California was committed by BRADLEY DERRICK SACHS (Whose true nane to afflant ia unknown), who, at the Line and place last aforesaid, aid engage in the usiness of a talent training service and aid willfully and unlawfully fail to use a written contract and agreeaant herunen the talent training service and an artist in at least 10-poine type, and containing al2 ehe information required in Labor Code section 1703 (a) (2) through (6), inclusive, all of which ie made Smisdeneanor pursuant to Labor Code section 1704 be 1703 (a) a1 of which ie contrary to the law and against the peace and dignity of the People of the State of California Attached hereto and incorporated herein by reference as though fully set forth are written statements and reports, consisting of pages, which constitute che basi upon which 7 fake the within allegations. Twecated at Loe ANGELES, California on 2/2/77 : declare under penalty of perjury that the foregoing is erue ana correct. Department 49 arent Gera’ Complainant LA. Superior court ik CAPETILIO, Investigator Naren 15, 2027 Los Angeles City Attorney's Office {IN THE SUPERIOR COURT OF THE STATE OP CALIFORNIA, ‘COMITY OF LOS ANGELES CASE No. 70700022 PEOPLE OF THE STATE OF CALIFORNIR, } MISDEMBANOR COMPLAINT , vias 03/27/27 boos Flataeses, } Pied o) SHERRY'R. caaTER, va ) Executive oticer/clerk day, ScOrT L. DAVID WH 7 ) "Bepuey Chere BRETT WEINSTOCK (H i ) MICHELLE SEQKON (P 3 d ALEXA PEREIRA (Ps , and RESECCA SILVERMAN (© I’. ) Issued by attorney Defendanee ) NICHARL 8. PEE ) city apporney ay, B ke 1703-412) (3) (3 ets) > Har rf ue 1703 (a) ) Deputy city Attorney ) CONSUMER PROTECTrON SECT. 4 cous Tora ) STATE BAR No: 125724 Comes now the undersigned and states that she is informed and believes, and upon such information and belief declares: ‘That on or about February 8, 2016, at and in the city of Los Angeles, in the county of Los Angeles, State of California, s miséeneanor, to-wit: VIOLATION OF SECTION 1703.4(a) (3) of the Labor Code of the State of California was comiteed by SCOTT 2. DAVID, BRETT WEINGTOCK, MICHELLE SEAMON and ALEEA PEREIRA (Whose true nanes to affiant are unknown). who, ac tne time and place last aforesaid, vas an ower, Girector, officer, ‘agent or employee of a talent training service and did willfully and unlaweully, through any seane of communication, charge or attempt to charge an artist for aa eudition or employment opportunity, all of which is made 2 misdemeanor pursuant to Labor Code secticn 2703 Le 1703.4(a) (3), con rr For further, separate and SECOND cause of action, being a Aittarant offense, belonging te the same Claas of eines ene offenses set forth in count I hereof, affiant complains end says: ‘That on or about March 2, 2016, at and in the City ot Los Angeles, in the County of Lon‘ Angeles, state of Califcrnia, a misdemeanor, to-wit: VIOLATION OF SECTION 1703.4{al (3) of the Labor Code of the State of California was committed by SCOTT &. DAVID, BRETT WEINSTOCK and REBECCA SILVERMAN (whose true names to affiant are unknown), who, at the tine and place last aforesaid, vas an omer, director, officer, agent or employee of a talent training service and did wilifully and uniaututly, through any sears oe Communication, charge or atvenpt to charge an areist for an audition or employwent opportunity, all of which i made a sdeneanor pursuant to Labor code section 1704 Be 1703.4(a) (3) comm rz For further, separate and THIRD cause of action, being a @itcerent offense. belonging to tha same clase of crimes and offenses set forth in Counte I and 11 hereof, afficnt complai and says: That on or about April 3, 2016, at and in the city of Los angeles, in the County of Los Angeles, State of California, 2 misdeweanor, to-wit: VIOLATION OF SECTION 1703.4(a) (3) of the Labor code of ‘the state of California was conmieved by true names to agfiant SCOPE L. DAVID and BRETT WEINSTOCK (Who fare unknown! who, at the time and place last aforesaid, was an owner, director, officer, agent or employes of a talent training service and dic willfully ang unlavfully. through any sesne oF communication, charge or attempt to charge an artist for sn audition or employment opportunity, all of which is made « misdemeanor pursuant to Labor Code section 1704 We 1703.40) (3) For further, separate and FOURTH cause of action, being a Gifferent offense, belonging to the sane clase of crimes and offenses set forth in counte I through ITT hereof, attiane complains and says: That on or about March 15. 2016 throagh april 9, 2036, at and in the City of Les angeles, in the cousty of Los ‘Aangelés, state of California, a miedenaanor, tome VIOLATION OF SECTION 2703 (a) of the Labor Code cf the Stave of California vas committed by SCOPT 1. DAVID and BRETT WEINSTOCK (whose true nanes to affiant are unknown) , who, at the time and place last aforesaid, did engage in the Dusiness of a talent training service and aid witifvlly and unlawfully fail to use a written contract and agreenent between the talent training service and an artist in at least 10-posne type, and containing ali che information required in tabor Cole section 1703(a)(1) through (61, inclusive, all of which is male a misdeneanor pursuant to Labor Code section 1704 Le 2703 (a) All of which is contrary to the law and against the peace and Gignity of the People of the State of California Attached hereto and incorporated herein by reference az though fully aet forth are written statements and reports, consisting of ‘pages, which constitute the basis upen which T nakz the within allegations Bxecuted at Los ANGELES, calltornia on _Z/7//7. T declare under penalty of perjury that the foregoing is true tnd correct Department 42 Complainant L.A. Superior Court FRANK CRPETILLO, ‘Investigator March 27, 2037 Los Angeles City Attorney's Office

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