FSC: 11! 09! 2017 TRIAL: 11/ 27/ 2017 030: 0 5L 2 7! 2019 JAMES P. CARR ESQ. (#75357) TYLER J. BARNETT ESQ. (#223478) YUHL CARR LLP 4676 Admiralty Way, Suite 550 Marina del Rey CA 90292 Su?a?cr Court of California of I 09 Annalee 2212233 ax . Icarr@yuhlcarr com MAY 2 5 2015 com Shen?ikCan xix umuwuem RAMIN SOOFER, ESQ. (#163142) LAW OFFICE OF RAMIN SOOFER 11845 West Olym ic Boulevard Suite 901W Los An eles Cali omia 90064 (31034 8- 5090 phone 3,3 Ma (310 476-5419 fax ramin.soofer@verizon.net Attorneys for Plaintiff AARON YOUNG SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF LOS ANGELES DOES 1 through 100, inclusive. Defendants. I I AARON YOUNG, Case No.: 506 2 7 6 2 Plaintiff, i [Unlimited Jurisdiction] vs. I COMPLAINT FOR PERSONAL INJURIES AND DEMAND FOR JURY NEA DELIVERY. AMAZON. COM M) TRIAL APOSTOLOS an comes NOW plaintiff AARON YOUNG for causes of action agal ?ir??ft?fe. defendants. and each of them alleges. upon information and belief as follows; Ir! a. :3 At all times hereinafter mentioned. plaintiff AARON individuial. was and still' Is a resident of the City and County of Los Angeles State of Califd??g? A) f5 if? r" 1 Jar?m A '7 a a? COMPLAINT FOR PERSONAL INJURIES AND DEMAND FOR a 52 5#330!631 ?93. [39:38 6 Ca? Li?! $7 as MNN 44?34?34?544 (all times hereinafter mentioned, defendants NEA DELIVERY, AMAZONCOM, APOSTOLOS and DOES 1 through 100, inclusive, and each of them, are now and have been at all times relevant herein corporations or other forms of business entity, or individual persons, who were at all times relevant to this action residing or doing business in the State of California, including but not limited to the County of Los Angeles. 3. The true names, identities, or capacities, whether individual. associate. corporate, or otherwise, of defendants DOES 1 through 100, inclusive, and each DOE in between, are unknown to plaintiff at this time, and plaintiff therefore sues said defendants by such ?ctitious names. When the true names. identities, capacities. or participation of such ?ctitiously designated defendants are ascertained, plaintiff will ask leave of court to amend her Complaint to insert said names, identities, capacities, together with the proper charging allegations. Plaintiff is informed and believes and thereon alleges that each of the defendants sued herein as a DOE is responsible in some manner for the events and happenings herein referred to. thereby legally causing the injuries and damages to plaintiff as hereinafter set forth. 4. Plaintiff is informed and believes and thereon alleges that defendants, and each of them, were at all times relevant agents. servants. employees and joint venturers of each other, and that in doing the things herein alleged . were acting within the scope and authority of such agency, employment and joint venture. and were in some way, negligently or otherwise, responsible for the events herein alleged. 5. To the extent a corporate defendant, it is believed that any such defendant?s corporate of?cers and directors rati?ed and approved any wrongful conduct alleged in this complaint, or were directly responsible for perpetrating such conduct. 2 COMPLAINT FOR PERSONAL INJURIES AND DEMAND FOR JURY TRIAL mummAmM?xomm?mmth?to FIRST CAUSE OF ACTION NEGLIGENCE (By Plaintiff as Against All Defendants) 6. Plaintiff reiterates and re-alleges each and every fact and/or allegation set forth in this complaint with the same force and effect to the extent it is relevant and/or necessary to this cause of action. 7. Plaintiff is informed and believes and thereon alleges that Defendant APOSTOLOS MARGUIOTIS and DOES 1 through 10 inclusive. and each of them, at the time of the incident alleged herein. was operating an Amazon delivery fleet vehicle in the course and scope of employment for Defendants NEA DELIVERY, AMAZONCOM, and DOES 11 through 20 inclusive. 8. Plaintiff is informed and believes that at the time of the incident, Defendant APOSTOLOS MARGUIOTIS and DOES 1 through 10 inclusive, and each of them were "on the clock? working for, and being paid by, Defendant NEA DELIVERY, AMAZONCOM, and DOES 11 through 20 inclusive in their capacity as an Amazon delivery fleet vehicle operator. Therefore. Defendant NEA DELIVERY, AMAZONCOM, and DOES 11 through 20 inclusive is vicariously liable under the doctrine of respondeat superior for the negligent acts and omissions of its fleet vehicle operator, APOSTOLOS MARGUIOTIS and DOES 1 through 10 inclusive. 9. On or about September 27, 2015 defendants NEA DELIVERY, AMAZONCOM, APOSTOLOS and DOES 1 through 100. inclusive, and each of them, so negligently, carelessly, and recklessly owned, operated, entrusted, maintained. inspected, managed, controlled, supervised, and/orwere otherwise negligently responsible for an Amazon delivery fleet vehicle such that it caused Plaintiff AARON YOUNG, a bicyclist, to suffer serious personal injuries at or near 429 Montana Avenue, which is a public street in the City of Santa Monica and County of Los Angeles. 3 COMPLAINT FOR PERSONAL INJURIES AND DEMAND FDR JURY TRIAL - aw (35 .. 10. Defendants? acts and omissions consist of negligently operating and controlling the Amazon delivery ?eet vehicle described above by, among other things. double parking and opening the door in such a negligent way that it caused Plaintiff to suffer the injuries alleged herein. without any negligence or carelessness on plaintiff?s part thereto. At all times mentioned herein, the Amazon ?eet vehicle operator de?ned herein as APOSTOLOS MARGUIOTIS and DOES 1 through 10 inclusive failed to exercise reasonable care in the operation of the Amazon delivery ?eet vehicle. 11. As a direct, proximate and legal result of the negligence. carelessness and recklessness. and/or other actionable acts or omissions of the defendants named in this Complaint. and each of them. plaintiff has suffered and will continue to suffer mental and emotional pain. suffering. stress and anxiety, all to her general. non-economic damages in amounts within the unlimited jurisdiction of this court. which amounts are not de?nitely ascertainable at this time. and will be the subject of proof herein at the time of trial. 12. As a further. direct. proximate and legal result of the negligence. carelessness, and recklessness, and/or other actionable acts or omissions of the defendants named in this Complaint. and each of them. plaintiff was required to and did employ the services of physicians. surgeons, hospitals, and other practitioners and institutions to examine, treat and care for him. and has incurred and will continue to incur forthe rest of her life medical. hospital. incidental, and related expenses. the exact amount of which is unknown to plaintiff at this time. Plaintiff will at the time of trial in this action request an award of damages for such medical and related expenses. past and future. according to proof. 13. As a further. direct. proximate and legal result of the aforesaid negligence. carelessness, and recklessness, and/or other actionable acts or omissions of the defendants named in this Complaint. and each of them. plaintiff has been prevented from engaging in her usual occupation. thereby sustaining a loss of earnings and earnings capacity. Plaintiff will. furthermore. continue to be damaged by reason of the impairment of her earning capacity in the future. throughout her expected work life. and plaintiff will at the time of trial request damages for loss of earnings and earning capacity. past and future. 4 COMPLAINT FOR PERSONAL INJURIES AND DEMAND FOR JURY TRIAL as according to proof. PRAYER FOR RELIEF WHEREFORE, Plaintiff prays for judgment against the Defendants. and each of them. as follows: 1. For general damages in a sum in excess of the minimum jurisdiction of this court; 2. Medical and related expenses according to proof; 3. For loss of earnings and earning capacity according to proof; 4. For interest on pecuniary losses whose amounts are certain from the date of the occurrence of such losses; 5. For costs of suit; and 6. For such other and further relief as to the court seems proper. Dated: May 24, 2016 YUHL By: I P. CARR TYLER J. BARNETT Attorneys for Plaintiff AARON YOUNG DEMAND FOR JURY TRIAL Plaintiff hereby demands a trial by jury as to all issues and causes of action so triable. Dated: May 24. 2016 YUHL P. ARR TYLER J. BARNETT Attorneys for Plaintiff AARON YOUNG 5 COMPLAINT FOR PERSONAL INJURIES AND DEMAND FOR JURY TRIAL By Fax l' . 223478 mm" "5m" Yuhl Corr LLP 4676 Admiralty We . Suite 550 Marina Del Rey, Co Home 90292 reuseuoneno; 319) .827-2800 FAX no; (310) 827-4200 Anomvroa mm). Aaron Young ueenlon count or comm OF Los An geles summonses: I I North Hill Street MAY 2 6 2015 MAILING ADDRESS: Los An elcs 900i2 Banner-(mug: Central CM Superior Court of California ,m min: nf I?nc: Annular? deem it.C' "ace; umcerlulerlc CASE NAME: By . DEPUW Young v. NBA Delivery, LLC, et al. CIVIL CASE COVER SHEET Complex Case Designation WE MEBC 6 2 1 7 2 m?r??d '3 21:33:) Counter Jolnder . . rupee demanded demanded is Filed ?rst appearance by defendant exceeds 525.000) $25,000 or less) (Cal. Rules of Court. nile 3.402) seer items 1-6 below must be completed (see instructions on page 2). 1. Check one box below for the case type that best describes this case: Auto Tort Contract Provisionally Complex Civil Litigation Am (22) Bread, magnum), (05, (Cal. Rules at Court. rules anon-3.403) Uninsured motorist (46) [3 Rue 3.740 collections (as) I: Antitrusll'l'rade regulation (03) Other (Personal CI Other collections (09) Construction defect (10) DamageMIrongful Dam) 'I'ort [mumnce coverage (18? M858 tort (40) Asbestos (04) om contract (37) Securities litigation (23) Real Property Ci Errvironmentaln'oxictort(30) Medical "?3'de (45) CI Emhent domalnilrwerae lnswance coverage claims arising from the any (23) condemnation (14) above listed provisionally complex case (Other) Tort (33) types Business tortlunlalr mamas pram (on Other real property (26) Enforcement of Judgment [3 Civil rights (08) Unlawful Ootalner Enlorcemenl of Moment (20) C3 Defamation (13) Commit-'11) Miscellaneous Civil complaint I: Fraud (16) El Residential (32) RICO (27) I: intellectual property (19) Drugs (38) . Other complaint (not speci?ed above) (42) I: Professional negligence (25) Judicial Review ?:9me cm mum Other tort (35) Asset forfeiture (05) Partnership and corporate governance (21) Em loyment Other etition nofgped?adabove 43 Wrongful (35) I: Writofrnandale(02) CI Other employrnent(15) Otherjudicial review (39) 2. This case is is not complex under rule 3.400 of the California Rules of Court It the case is complex. mark the factors requiring exceptional judicial management: a. Cl Large number of separately represented parties d. I: Large number of witnesses b. I: Extensive motion practice raising dif?cult or novel e. CI Coordination with related actions pending in one or more courts issues that will be time-consuming to resolve in other counties, states. or countries. or in a federal court c. I: Substantial amount of documentary evidence f. Substantial postiudgmentjudiciai supervision Remedies sought (check all that apply): all monetary ca nonmonetary; declaratory or injunctive relief 6. Dpuni?ve Number of causes of action (specify): One (I) - Negligence This case CI is is not a class action suit. . If there are any known related cases. ?le and serve a notice of related case. (You are use I . -015.) Date: May 25, 2015 Tyler J. Barnett, Esq. . OR NAME) OF PARTY AWORNEY FOR PARTY) NOTICE .. ,o Plaintiff must file this cover sheet with the ?rst paper ?led in the action or proceeding (except small claims cases or cases filed 2 under the Probate Code. Family Code. or Welfare and Institutions Code). (Cal. Rules of Court. rule 3.220.) Failure to ?le may result 3 7 in sanctions. r: 1' File this cover sheet in addition to any cover sheet required by local court rule. c; 0 If this case is complex under rule 3.400 et seq. ofthe California Rules of Court, you must serve a copy of this cover sheet on all t. other parties to the action or proceeding. dishes-l 0 Unless this is a collections case under rule 3.740 or a complex case, this cover sheet will be used for statistical purposes 1 a ?mannerisms cat-mower: ?11.2% mausoleum I CHI-010 INSTRUCTIONS ON HOW TO COMPLETE THE COVER SHEET To Plaintiffs and Others Filing First Papers. If you are ?ling a ?rst paper (for example. a complaint) in a civil case. you must complete and tile. along with your first paper. the Civil Case Cover Sheet contained on page This inlonnatlon will be used to compile statistics about the types and numbers of cases ?led. You must complete items 1 through 6 on the sheet In item 1. you must check one box for the case type that best describes the case. If the case tits both a general and a more speci?c type of case listed in item 1, check the more specific one. If the case has multiple causes of action, check the box that best indicates the primary cause of action. To assist you in completing the sheet. examples of the cases that belong under each case type in item 1 are provided below. A cover sheet must be ?led only with your initial paper. Failure to file a cover sheet with the ?rst paper filed in a civil case may subject a party. its counsel. or both to sanctions under rules 2.30 and 3.220 of the California Rules of Court To Parties in Rule 3.740 Collections Cases. A "collections case" under rule 3.740 is de?ned as an action for recovery of money owed in a sum stated to be certain that is not more than $25,000. exclusive of interest and attomefs fees. arising from a transaction in which pmperty. services, or money was acquired on credit. A collections case does not include an action seeking the following: (1) tort damages. (2) punitive damages. (3) recovery of real property. (4) recovery of personal property. or (5) a prejudgment writ of attachment The identi?cation of a case as a rule 3.740 collections case on this form means that it will be exempt mm the general time-for-service requirements and case management rules. unless a defendant files a responsive pleading. A rule 3.740 collections case will be subject to the requirements for service and obtaining a judgment in rule 3.740. To Parties In Complex Cases. In complex cases only. parties must also use the Civil Case Cover Sheet to designate whether the case is complex. If a plaintiff believes the case is complex under rule 3.400 of the California Rules of Court. this must be indicated by completing the appropriate boxes in items 1 and 2. If a plaintiff designates a case as complex. the cover sheet must be served with the complaint on all parties to the action. A defendant may file and serve no later than the time of its ?rst appearance a )oinder In the plaintiff?s designation. 3 counter-designation that the case is not complex. or. if the plaintiff has made no designation. a designation that the case is complex. CASE TYPES AND Auto Tort Contract Provisionally Complex Civil Litigation (Cal. Auto (22)-Personal Breach of Contractharranty (06) Rules of Court Rules 3.4004403) Damagelwlongfut Death Breach of Rentailtease Regulation (03) Uninsured Motorist (45) (lithe Contract (ml tmlawful defalner Construction Defect (10) cm jams an uninsured or wrongful eviction) Claims Involving Mass Tort (40) motorist claim to Conlractharranty Breach?Seller Securities Litigation (28) arbitration. check my; item Plaintiff (not fraud ornegilgence) Environmentaifi?oxic Tan (30) instead efAuto) Negligent Breach of Contract! Insuggce Coverage Claims for: Warranty sing torn provisionally comp Other Breach olContractharranty caselypelr?stcd above) (41) Ton Collections money owed. open Enforcement of Judgment Asbestos (04) book accounts) (09) Enlorcement of Judgment (20) Asbestos Property Damage Collection Case-Seller Plaintiff Abstract of Judgment (Out of Asbestos Personal mm) Other Promissory NolelCollections COMM ?"0"ng Death Case . Conlesslon of Judgment (non- Product Uab?lilty (not asbestos or insurance Coverage (not prowslonaliy domestic relations) roguenmmu} (24) (13) Sister Slate Judgment Medical Malpractice (45) Auto Sublosallon Administrative Agency Award Medical Maipractice- OtherCoverase (not unpeldfaxes) Physicians 8? 511930? our.? Contract (37) Of Bully Of Other Professional Health Care Contractual Fraud Judgment on Unpaid Taxes Malpractice Other Contract Dispute 0W6 Enforcement Other PUPDIWD (23) Real Property 359 Premises Liability (egg. slip amine") MISCOIIBMOLIS CIVII Complaint and fal) Condemnation (14) RICO (27) Intentional Bodily Wrongful Eviction (33) 0313533123 (not speci?ed (89- Gillian?. vandalism) Other Real Pro a. .. uiet title 26 Intentional Inlliclinn oi Writ of noggin gr Rqeal Hugely) Pedn??g Emotional Distress Mortgage Foreclosure nju 'e omy (nan- Negligent ln?Iction of Qukt We Mam?) Emotional Distress I pr Other puppywu Other Commercial Complaint (Other) 'ron foreclosure) omec?g?lgwilmm?im??) Business TortIUnfair Business Unlawful Detainer plex) Practice (07) Conmerdal (31) . . allaneous Civil Petition Civil Rights discrimination. Residential (32) Partnership and Co is false arrest) {nalcivll Drugs (38) fifths case involves illegal Governance (235m Defamation (8-St- libel) report as Commercial or Residential) above) (43) (13) Judicial Review Civil Harassment Fraud (16) Asset Forfeiture (05) Workplace Violence Intellectual Pronenv (19) Petition Re: Arbitration Award (11) AM . Professional Negligence (25) Will of Mandate (02) Abuse 5 a Legal Malpractice Mil-Administrative Mandamus Election Contest 4? Other Professional Malpractice Writ-Mandanws on Limited Court pan-non {of Name Chan lnot medicalorlesall Case Matter Petition for Relief From {its .. (35) Writ-Other Limited Court Case Claim .. ,l Wrongful Termination (36) om, J?g?fgev?ew (39) Pew? Cl (?53 Review of Health Officer older Notice of Appeal-Labor in Commissioner Appeals car-ole (Rev. July 1. 2007) CIVIL CASE COVER SHEET Pageant: By Fax SEORT TITLE Y0 dung v. NEA Delivery. LLC CASE NUMBER BC621782 CIVIL CASE COVER SHEET ADDENDUM AND STATEMENT OF LOCATION (CERTIFICATE OF GROUNDS FOR ASSIGNMENT TO COURTHOUSE LOCATION) This form Is required pursuantto Local Rule 2.3 In all new civil case filings in the Los Angeles Superior Court. Step 1: After completing the Civil Case Cover Sheet {Judicial Council form CM-OIO). ?nd the exact case type in Column A that corresponds to the case type indicated in the Civil Case Cover Sheet. Step 2: In Column B. check the box for the type of action that best describes the nature of the case. 1. Class actions must be ?led in the Stanley Meek Courthouse. Central District. 7. Location where petitioner resides. 8. Location wherein delendantlreepondent functions wholly. 9. Location where one or more of the parties reside. 2. Permissive ?ling in central district. 3. Location where cause of action arose. 4. Mandatory personal injury ?ling In North District 5. Location where performance required or delendant resides. 6. Location 01 property or permanently garaged vehicle. 10. Location of Labor Commissioner Of?ce. 0 . Step 3: In Column C. circle the number which explains the reason for the court ?ling location you have . cl'msen. Applicable Reasons for Choosing Court Filing Location (Column C) 11. Mandatory filing location [Hub Cases - unlawful detainer. limited non-collection. limited collectlon. or personal injury). i 01er Case Cover sneer?; srypegmtlont ['A?pal?bgaems [Ego?a?- 1 Auto (22) El A7100 Motor Vehicle- Personal injuyiProperty DamageANrongiulDealh 1. 4@ 2 1: 2 I2 Uninsured Motorist (46) El A7110 Personai DamegelWronglut Death- Uninsured Motorist 1. 4. 11 CI A6070 AsbestosP Dem 1.11 Asbestos (04) 39 1: Ci A7221 Asbestos- 1. 11 3' 2 Product Liability (24) El A7260 Product Liability (not asbestos or loxlclerwirmmenlal) 1.4.11 e. E3 ca A7210 Medical '3 MaicalMaipractloeldsi 1 4 11 a 2? Ci A7240 Other Protessional Health Care Malpractice - . I: 2 Ci A7250 Premises Liability (9.9.. slip and fail) a. at Other Personal 1? 4' 11 WW Property Ci A7230 Intentional Bodliy DamageJWrongiul Death (13.9.. 1 4 11 5) 3 Damagewrongful assault. vandalism. etc.) If?" Dea'hml Ei A7270 inlentlonal Emotional Distress 1.4.11 A7220 Death 1'LACIV 109 (Rev 2:10) CIVIL CASE COVER SHEET ADDENDUM Local Rule 2.3 LASC Approved 00o: AND STATEMENT OF LOCATION Page 1 of4 SHORT 11115 case NUMBER Young v. NEA Delwery. LLC if? . . . law-33.60633 02.22122, WAS-12 - i 222%}- .- ..- - 0221322.; Business Tort (07) El A6029 Other CommerdaUBuslnessTon (n01 fraulihreacl'l of contract) 1.2.3 1: 3% Civil Rights (06) El A6005 CivilRigNlelscrirrinatlon 1.2.3 .. Eg Defamallonua) c1 A6010 1.2.3 3 '5 5 Fraud(16) A6013 Fraud (no conlracl) 1.2.3 6% 13 A6017 alMa 1:001: 1.2.3 1% E, Pm?esslonalNegllgenm(25l :9 '3 A6050 1.2.3 0 Other (35) Cl A6025 Other Non-Personal Damage Ion 1. 2. 3 Wrongful Termination (36) El A6037 Wrongful Termination 1.2. 3 A6024 OtherEmploymenthamuathue 1.2.3 15. Olhar Employment (15) '5 El A6109 Labor CommisslonerAppeals 10 A6004 Breach of RenlaULease Contracl (n01 unlawful delalner or wrongful eviction) 2' 5 10 nlraw nan Breacho owe) Wa A6006 ConuanWamnly Breach -Seller Plaimi?mo fraudinegligence) 2' 5 (mm-WM?) 1:1 A6019 Negligent BraachofConlracWVarranlymo fraud) ?2'5 13 A6026 1'2'5 1'5 1:1 A6002 Collectlons Case-SellerPlaln?ff 5.6.11 .5 Collecllans (09) A6012 Oiher PromissoryNoIeIColectlomCase 5.11 13 A6034 Collections Case-Pudwased Debt (Charged 011' Consumer Debt 5. 6. 11 Purchased on or alter January 1. 2014) Insurance Coverage (18) El A6015 Insurance 1.2.5.6 El A6009 1. 2. 3. 5 Other Conlract(37) El A6031 Torllouslnlerlerence 1. 2. 3. 5 El A6027 OtherContracl 015001qu 1. 2. 3. a. 9 Emlnenl Condemnationlu) A7300 EmlnentDomalnfCondemnallon Number of parcels 2. 6 Wrongful 1:1 A6023 Wronglu Eviction Case 2.6 I. n. f: A6016 Mo?gage Foreclosure 2.6 Other Real Property (20) A6032 Oulel??tle 2. A6060 Other Real eminent domain. 2.6 .. A6021 Unlawful Delalner-Commerclal (no! drugs or wrongful eviction) 6.11 0 .5 .15 1.. 1g ??g?memem' A6020 Unlawful 0e1alner-Rosioan1iaunol drugs orvwongful evicuon) 6.11 0 Unlawful Delainer- 1% Past-Foreclosure (34) El A6020F Unlawful DeIainer-Post-Foreclosure 2. 6. 11 2:5 Unlawhd DetainerOnrgs(36) 13 A6022 UdaMulDelalner?Drugs 2.6.11 V: 1 . LACIV 109 (Rev 2116) CIVIL CASE COVER SHEET ADDENDUM Local Rule 2.3 LASC Approved 0304 AND STATEMENT OF LOCATION Page 2 of4 . . or! sneer 111115 CASE NUMBER Young v. NEA Delivery. LLC il-wm-?h i 6.246;- II .- I -5921 twinkle I 'pivit Cese Cover SEEN - .1110ng I =Reasorgs - See Stag; . LICaiagowhliO? I ?es?W miy?oneil - Asset Forleitwel?S) A6108 Asset Forfeiture Case 2. 3.6 Petition re ArbitraIlon (11) CI A6115 Petition to CompailConiirmNacate Arbitration A6151 Writ - Administrative Mandamus Writ of Mandate (02) El A6152 Writ - Mandamus on Limited Court Case Matter 13 A6153 Writ - Other Limited Court Case Review Judlclal Review 2.5 2.6 2 OtherJudicialRevlew(39) El A6150 OtherW?tlJudidal Review 2.8 A6003 Antiimst?rade Regulation 1.2.0 '5 3, A6007 Constantino Defect 1.2.3 in 3 . ?3557"? a A6006 Claims Involving MassTort 1.2.0 II. 8 Securities Litigation (20) c1 A6035 Securities LitigationCase 1.2.3 2' ToxlcTort Environmental (30) Ci A6036 ToxicTortlEnviromnental 1.2.3.6 "5 2 Insurance Coverage Claims g_ from Complex Case (41) A6014 insurance only) 1.2.5.5 Ci A6141 SisterStaie Judgment 2.5.11 ?15 ?63 1:1 A6160 AbstraotolJudgment 2.6 2 Enforcement El A6107 Confession oi Judgment (non-domesticretations) 2.9 a 5" 1:1 A6140 Admi I trait A rd 1 1111 2 a 03, ns veAgencywa (nounpa aes) . 3- 1: A8114 on Unpaid Tax 2.0 Ci A6112 OtherEnlorcement 01 Judgment Case 2. 8.9 RICO (27) A6033 Racketee?ng (RICO) Case A6030 'DeclaratoryRelielOnty 1.2.0 6 5 Other :1 A6040 injuncitve 2.11 3 (Not Speci?ed Above) (42) A6011 1.2.8 2 0 CI A6000 Other 1.2.8 Partnership Corporation 13 A6113 Partnership and Corporate Governance Case 2 Govemancetzu El A6121 ClvilHarassment 2.3.9 3 13 A6123 Workplace Harassment 2.3.9 :1 .9 OiherPetittonslNot 13 A6124 ElderiDependeniAduItAbuse Case 2.3.9 3 ,5 SpecineuAbnvema} A6190 Election Contest 2 5 A6110 Petition iorChange ol NamelChange 01 Gender 1-, :3 A6170 Petition for Reliel from Late Claim Law 2 3 3 .23 A6100 Petition 2.9 15, 2: r2? 1?4- C. '3 LACIV 109 (Rev 2113) CIVIL CASE COVER SHEET ADDENDUM Local Rule 2.3 LAsc Approved 03-04 AND STATEMENT OF LOCATION Page 3 014 SHORT TITLE: CASE NUMBER Young v. NEA Delivery. LLC Step 4: Statement of Reason and Address: Check the appropriate boxes for the numbers shown under Column for the type of action that you have selected. Enter the address which is the basis for the ?ling location, including zip code. (No address required for class action cases). ADDRESS mm? 429 Montana Avenue 9.010.?11. CITY. ZIP CODE: Santa Monica CA 90403 Step 5: Certi?catlon of Assignment: i certify that this case is properly ?led in the Central District of the Superior Court of California, County of Los Angeles [Code Civ. Proc., ?392 et seq., and local Rule Dated: May 25. 2016 a A. (if anonuevmuno mam PLEASE HAVE THE FOLLOWING ITEMS COMPLETED AND READY TO BE FILED IN ORDER TO PROPERLY COMMENCE YOUR NEW COURT CASE: Cu? 1. 5" Original Complaint or Petition. 2. If ?ling a Complaint. a completed Summons form for issuance by the Clerk. 3. 4. Civil Case Cover Sheet Addendum and Statement of Location form. LACIV 109. LASC Approved 03-04 (Rev. Civil Case Cover Sheet. Judicial Council form CHI-010. 02/16). Payment In full of the ?ling fee. unless there is court order for waiver. partial or scheduled payments. 6. A signed order appointing the Guardian ad Litem. Judicial Council form lithe plaintiff or petitioner is a minor under 18 years of age will be required by Court in order to issue a summons. Additional copies of documents to be conformed by the Clerk. Copies of the cover sheet and this addendum must be sewed along with the summons and complaint. or other initiating pleading in the case. LACIV 109 (Rev 216) CIVIL CASE COVER SHEET ADDENDUM Local Rule 2.3 use Approved 0304 AND STATEMENT OF LOCATION Page 4 of 4