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LUTTLER MENDALSON, B.C,
‘633 fer fh Soe!
6X0 Foor
Lon Angeles, CA B007S
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ELIZABETH STAGGS WILSON, Bar No. 183160
SHANNON R. BOYCE, Bar No. 229041 MIBDEC 28 PH I2t 84 re
LITTLER MENDELSON, P.C.
633 West Sth Street
63rd Floor
Los Angeles, CA 90071
Telephone: 213.443.4300
Facsimile: 213.443.4299
JOSE MACIAS, JR., Bar No. 265033
LITTLER MENDELSON, P.C.
50 W. San Fernando, 15th Floor
San Jose, CA 95113.2303
Telephone: 408.998.4150
Facsimile: 408.288.5686
Attomeys for Defendants
DOCTORS HOSPITAL OF MANTECA, INC.;
AUXILIARY OF DOCTORS HOSPITAL OF
MANTECA; DRS HOSP OF MANTECA INC; SP
OF MANTECA INC.; TENET HEALTHCARE
CORPORATION; TENET HEALTH
INTEGRATED SERVICES, INC.
SUPERIOR COURT OF CALIFORNIA
COUNTY OF SAN JOAQUIN, STOCKTON BRANCH
REGINALD LYLE, on behalf of himself Case No. STK-CV-UOE-2016-6523
and others similarly situated,,
DEFENDANTS’ NOTICE OF RELATED
Plaintiff, CASES
vy. ASSIGNED FOR ALL PURPOSES TO JUDGE
CARTER P. HOLLY, DEPT. 41
DOCTORS HOSPITAL OF MANTECA,
INC.; AUXILIARY OF DOCTORS Complaint Filed: July 5, 2016
HOSPITAL OF MANTECA; DRS HOSP
OF MANTECA INC; SP OF MANTECA
INC; TENET HEALTHCARE
CORPORATION; TENET HEALTH
INTEGRATED SERVICES, INC.; TENET
HEALTH; and DOES 1 to 100, Inclusive,
Defendants.
Firmwide:143191266.1 052845.1344
DEFENDANTS’ NOTICE OF RELATED CASESwom N DAH PF WN =
NO N N ool
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UTTER MELSON PC.
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BILAL
TO PLAINTIFF REGINALD LYLE, HIS ATTORNEYS OF RECORD, AND THE
HONORABLE COURT:
PLEASE TAKE NOTICE that pursuant to Rule 3.300 of the California Rules of Court
Defendants Doctors Hospital of Manteca, Inc., Auxiliary of Doctors Hospital of Manteca, Inc., Drs
Hosp of Manteca, Inc., SP of Manteca, Inc, Tenet Healthcare Corporation, and Tenet Health
Integrated Services, Inc, hereby aver that the above action (the “Lyle Action”) is related to the below
actions (listed chronologically from earliest to latest filed):
1 Kristiane McElroy v. Tenet Healthcare Corporation, a Nevada corporation; Tenet
California, Inc., a Delaware corporation; Fountain Valley Regional Hospital and Medical Center,
a California corporation; and DOES I through 10, inclusive, Orange County Superior Court, Case
No. 30-2012-00543205-CU-OE-CXC, Department CX105 (the “McElroy Action”), was filed on
February 7, 2012.
2. Eda Sanchez Olivares y. Fountain Valley Regional Hospital and Medical Center, a
California corporation; Tenet Healthcare Corporation, a Nevada corporation; B. Joseph
Badalian, an individual; and DOES 1 through 100, inclusive, Orange County Superior Court, Case
No, 30-2015-00823733-CU-OE-CXC, Dept. CX104 (the “Olivares Action”), was filed on
November 26, 2014.
3. Nienfen Wang v. Fountain Valley Regional Hospital and Medical Center, a
California corporation; Tenet California, Inc., a Delaware corporation; Tenet Healthcare
Corporation, a Nevada corporation; and DOES 1 through 100, inclusive, Orange County Superior
Court, Case No. 30-2015-00823733-CU-OE-CXC, Dept. CX105 (the “Wang Action”), was filed on
November 20, 2015.
4. Yvette De Jesus v. Fountain Valley Regional Hospital and Medical Center; Tenet
California, Inc; Tenet Healthcare Corporation; and DOES 1 through 10, inclusive, Orange
County Superior Court, Case No. 30-2016-00851817-CU-OE-CXC, Dept. CXI101 (the “De Jesus
Action”), was filed on May 6, 2016.
The McElroy, Olivares, Wang, and De Jesus Actions are based on the “same parties” as the
present matter. CAL. R. Cr. 3.300(a)(1). Additionally, as explained below, the McElroy, Olivares,
Firmwide:143191266.1 052845.1344 1.
DEFENDANTS’ NOTICE OF RELATED CASESSd
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28
UTTLER HENDELSON, PC.
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Wang, and De Jesus Actions arise from the same transactions, incidents, and events as the present
matter, thereby requiring the determination of the same or substantially identical questions of fact
and law, and are likely to require substantial duplication of judicial resources if heard by different
judges. CaL. R. CT. 3,300{a)(2), (4).
McElray Action | Wang Action Olivares Lyle Action De Jesus
Action Action
Assigned Judge Thierry P, | Judge Thierry P. | Judge KimG. | Judge Carter Judge Gail
Judge Colaw Colaw Dunning Holly Andler
Type of Class and PAGA action Class action Class and Class and
Case as representative only. only, PAGA action. | PAGA action.
Alleged action under the
Labor Code
Private Attorneys
General Act
(‘PAGA”)
Alleged Allnon-exempt | Allcurrentand | All currentand | All current and | All non-exempt
Class hourly paid former former non- former non- and non-
and/or employees who aggrieved exempt exempt represented
Group of worked for employees who | employeesof | employees of | workers who
Aggrieved | Defendants in were employed | Defendantsin | Defendantsin | are or have
Employees | California as a by Defendants _| the State of the State of been employed
“Nurse” or in California and | California. California. by Defendants.
similar position. | who work or
worked as non-
exempt hourly
nurses.
Overtime | Yes Alleged PAGA | Yes Yes Yes
Claim penalties based
on the failure to
pay overtime.
Meal Yes Alleged PAGA | Yes Yes Yes
Break penalties based
Claim on the failure to
provide meal
periods.
Rest Break | Yes Alleged PAGA | Yes Yes Yes
Claim penalties based
on the failure to
provide rest
breaks.
Failure to | Yes Alleged PAGA | Yes Yes Yes
Pay All penalties based
Wages on the failure to
Upon pay all wages.
Firmwide:143191266.1 052845.1344
2.
DEFENDANTS’ NOTICE OF RELATED CASESwo wm YAH Bw NY
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UTTUBRWENDELEON PC.
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Petre)
McElroy Action | Wang Action Olivares Lyle Action De Jesus
Action Action
Separation
Failure to | Yes Alleged PAGA | Yes. Yes Yes
Provide penalties based
Accurate on the failure to
Itemized provide
Wage accurate
Statements itemized wage
statements
Bus. & Yes No Yes Yes Yes
Prof. Code
§ 17200
Claim
PAGA Yes Yes No Yes Yes
Penalties
Dated: December 28, 2016
Firrawide:143191266.1 052845.1344
ELSZABETH STAGGS WILSON
SHANNON R. BOYCE
LITTER MENDELSON, P.C,
Atformeys for Defendants
INC.; AUXILIARY OF DOCTORS
HOSPITAL OF MANTECA; TENET
HEALTHCARE CORPORATION; TENET
HEALTH INTEGRATED SERVICES, INC.
3,
DEFENDANTS’ NOTICE OF RELATED CASESwo ont Onn tf Ww NY
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NRBRBRBARR SEEN SERGE KRE OG
28
YTTLER wENDELsON
PROOF OF SERVICE
Tam a resident of the State of California, over the age of elghteen years, and not a
party to the within action. My business address Is 2049 Century Park East, 5th Floor, Los Angeles,
California 90067.3107. On December 28, 2016, I served the within document(s):
DEFENDANT'S NOTICE OF RELATED CASES
by placing a true copy of the document(s) listed above for collection and mailing
fe] following the firm's ordinary business practice in a sealed envelope with postage
thereon fully prepald for deposit in the United States mall at Los Angeles,
Californla addressed as set forth below.
Joseph Lavi, Esq.
Vincent C. Granberry, Esq.
LAVI & EBRAHIMIAN, LLP
8889 W. Olympic Boulevard
Suite 200
Beverly Hills, CA 90211
Telephone: 310.432.0000
Facsimile: 310.432.0001
Attorneys for Plaintiff Reginald Lyle
i am readily familiar with the firm's practice of collection and processing
correspondence for mailing and for shipping via overnight delivery service, Under that practice It
would be deposited with the U.S. Postal Service or if an overnight delivery service shipment,
deposited in an overnight delivery service pick-up box or office on the same day with postage or
fees thereon fully prepaid In the ordinary course of business.
I declare under penalty of perjury under the laws of the State of California that the
above Is true and correct. Executed on December 28, 201, Angeles, California.
LA Ll LA
(Baty Ann Gerard
Firmwide:142979786.1 052845,1344
PROOF OF SERVICE