IN THE UNITED STATES DISTRICT COURT FOR DISTRICT OF MARYLAND

Similar documents
Case 2:06-cv FSH-PS Document 20 Filed 01/10/08 Page 1 of 7

Case 2:17-cv Document 1 Filed in TXSD on 12/12/17 Page 1 of 10

Case: 1:12-cv Document #: 1 Filed: 05/25/12 Page 1 of 24 PageID #:1

Case 4:08-cv SNL Document 1 Filed 03/17/2008 Page 1 of 10 IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MISSOURI EASTERN DIVISION

Summons SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF WAYNE X

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO

to redress his civil and legal rights, and alleges as follows: 1. Plaintiff, Anthony Truchan, is a resident of Nutley, New Jersey.

Courthouse News Service

Case 2:10-cv HGB-ALC Document 1 Filed 04/20/10 Page 1 of 9 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF LOUISIANA JANET DELUCA CIVIL ACTION

Plaintiffs, by their attorney, NORA CONSTANCE MARINO, ESQ. complaining of the defendants herein, respectfully show this Court, and allege

Case 2:17-cv JEM Document 1 Entered on FLSD Docket 11/01/2017 Page 1 of 17

)(

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) FIRST AMENDED COMPLAINT AND JURY DEMAND

UNITED STATES DISTRICT COURT DISTRICT OF NEW JERSEY

UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA

CASE 0:12-cv PJS-TNL Document 15 Filed 08/14/12 Page 1 of 7 UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA

PRELIMINARY STATEMENT. Brooklyn in which he was serving out the last months of his prison sentence to a

IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF WEST VIRGINIA AT CHARLESTON. Case No.:

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF UTAH CENTRAL DIVISION ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) )

IN THE COURT OF COMMON PLEAS STATE OF SOUTH CAROLINA CASE NO CP-23- COUNTY OF GREENVILLE. Sylvia Lockaby, Plaintiff, vs.

Case 1:18-cv XXXX Document 1 Entered on FLSD Docket 02/01/2018 Page 1 of 17

3:14-cv SEM-TSH # 1 Page 1 of 10 IN THE UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT OF ILLINOIS SPRINGFIELD DIVISION

PlainSite. Legal Document. New York Eastern District Court Case No. 1:11-cv Jordan et al v. The City of New York et al.

Case 1:13-cv MKB-RER Document 1 Filed 01/04/13 Page 1 of 12 PageID #: 1. Plaintiff, Defendants. REYES, M.J PRELIMINARY STATEMENT

IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MISSOURI EASTERN DIVISION

Case 1:12-cv S-LDA Document 1 Filed 08/10/12 Page 1 of 11 PageID #: 1 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF RHODE ISLAND COMPLAINT

Case 5:17-cv Document 2 Filed in TXSD on 01/17/17 Page 1 of 7 UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF TEXAS LAREDO DIVISION

Case: 1:10-cv Document #: 1 Filed: 09/02/10 Page 1 of 17 PageID #:1

2:15-cv PDB-DRG Doc # 1 Filed 02/11/15 Pg 1 of 8 Pg ID 1 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION

Case 9:15-cv DMM Document 1 Entered on FLSD Docket 04/23/2015 Page 1 of 16 UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF FLORIDA

UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA

Case 3:18-cv Document 1 Filed 10/29/18 Page 1 of 12 PageID #: 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF WEST VIRGINIA

Case: 1:15-cv Document #: 1 Filed: 02/03/15 Page 1 of 10 PageID #:1

Case 1:17-cv RDB Document 1 Filed 03/06/17 Page 1 of 8 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MARYLAND (NORTHERN DIVISION)

Case 1:12-cv WGY Document 6 Filed 10/04/12 Page 1 of 30 UNITED STATES DISTRICT COURT FOR THE DISTRCT OF MASSACHUSETTS

Case 6:14-cv JDL Document 1 Filed 03/26/14 Page 1 of 11 PageID #: 1

IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN

IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF TENNESSEE NASHVILLE DIVISION

Case: 1:13-cv Document #: 15 Filed: 01/27/14 Page 1 of 16 PageID #:29

Case 1:12-cv JEB Document 1 Filed 01/17/12 Page 1 of 8 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA. Plaintiff, v. No.

11/9/2017 9:48 AM 17CV48960 IN THE CIRCUIT COURT OF THE STATE OF OREGON FOR THE COUNTY OF DESCHUTES. Case No.

2:13-cv BAF-MKM Doc # 1 Filed 06/24/13 Pg 1 of 14 Pg ID 1

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA

By and through his counsel, Michael H. Sussman, plaintiff hereby states and alleges against defendants:

Plaintiff Edgar Castro for his Complaint against Defendants hereby alleges as

Case 2:14-cv GAM Document 1 Filed 09/23/14 Page 1 of 14 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA

Case 3:14-cv Document 1 Filed 05/30/14 Page 1 of 10 PageID #: 1 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF WEST VIRGINIA

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA

Case3:09-cv EMC Document1 Filed08/28/09 Page1 of 8

IN THE SUPERIOR COURT OF DISTRICT OF COLUMBIA CIVIL DIVISION * * * * * * * * * * * * * * * * * * * * * * *

2:16-cv HAB # 1 Page 1 of 9 IN THE UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT OF ILLINOIS URBANA DIVISION

Case Case 1:07-cv RMB-JS 1:33-av Document Document Filed Filed 01/10/2007 Page Page 2 of 2 7 of 7 4. Defendants, Sergeant Gerard S

IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA IN AND FOR THE COUNTY OF BUTTE UNLIMITED JURISDICTION

UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA THIRD DIVISION

Plaintiff, Willie Nevius, a resident of North Carolina, by way of complaint against the

Case: 3:12-cv JZ Doc #: 1 Filed: 09/21/12 1 of 7. PageID #: 1

IN THE UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF GEORGIA GAINESVILLE DIVISION

Courthouse News Service

Case: 1:17-cv Document #: 1 Filed: 05/12/17 Page 1 of 13 PageID #:1

IN THE UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF GEORGIA ATLANTA DIVISION

UNITED STATES DISTRICT COURT WESTERN DISTRICT OF LOUISIANA SHREVEPORT DIVISION JUDGE:

Case 3:12-cv Document 1 Filed 11/15/12 Page 1 of 17

UNITED STATES DISTRICT COURT DISTRICT OF MONTANA. Plaintiff, Defendants. INTRODUCTION

IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF THE STATE OF OKLAHOMA

Case: 1:15-cv Document #: 1 Filed: 08/06/15 Page 1 of 11 PageID #:1

Case 4:17-cv Document 1 Filed in TXSD on 04/24/17 Page 1 of 23

IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS SHERMAN DIVISION

In the United States District Court for the District of Colorado

Case 3:17-cv DJH Document 3 Filed 02/06/17 Page 1 of 10 PageID #: 13

Case: 1:18-cv Document #: 1 Filed: 08/29/18 Page 1 of 10 PageID #:1 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION

Case 3:15-cv AJB-KSC Document 1 Filed 10/16/15 PageID.1 Page 1 of 11 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA

Case 4:18-cv HCM-DEM Document 1 Filed 07/31/18 Page 1 of 9 PageID# 1 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF VIRGINIA

IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, LAW DIVISION

FILED: NEW YORK COUNTY CLERK 11/29/ :47 PM INDEX NO /2015 NYSCEF DOC. NO. 52 RECEIVED NYSCEF: 11/29/2017

CASE 0:13-cv JRT-JJK Document 1 Filed 08/26/13 Page 1 of 5 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MINNESOTA ) ) ) Civil Action

Case: 4:17-cv Doc. #: 1 Filed: 07/19/17 Page: 1 of 14 PageID #: 1 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF MISSOURI

Case: 1:15-cv Document #: 1 Filed: 01/23/15 Page 1 of 10 PageID #:1

* IN THE * CIRCUIT COURT * * * *

Case 2:18-cv PMW Document 2 Filed 06/06/18 Page 1 of 21 UNITED STATES DISTRICT COURT DISTRICT OF UTAH, CENTRAL DIVISION

4:15-cv TGB-EAS Doc # 1 Filed 05/29/15 Pg 1 of 9 Pg ID 1 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION

IN THE UNITED STATES DISTRICT COURT NORTHER DISTRICT OF GEORGIA

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF TEXAS DALLAS DIVISION PLAINTIFF S COMPLAINT AND APPLICATION FOR PERMANENT INJUNCTION

U NITED STATES DISTRICT C OURT tor the

UNITED STATES DISTRICT COURT WESTERN DISTRICT OF MICHIGAN

Case 5:17-cv BRO-FFM Document 1 Filed 07/17/17 Page 1 of 19 Page ID #:1

Case 3:16-cv KI Document 1 Filed 11/14/16 Page 1 of 8

Case3:05-cv WHA Document1 Filed02/14/05 Page1 of 5

IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION

IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS, WESTERN DIVISION

2:15-cv CSB-DGB # 1 Page 1 of 11 IN THE UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT OF ILLINOIS COMPLAINT

Case: 1:16-cv Document #: 1 Filed: 08/16/16 Page 1 of 14 PageID #:1

IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF LOUISIANA SHREVEPORT DIVISION

IN THE CIRCUIT COURT OF THE EIGHTEENTH JUDICIAL CIRCUIT DUPAGE COUNTY, ILLINOIS - LAW DIVISION. v. No.: COMPLAINT AT LAW

Courthouse News Service

Case 1:11-cv JBS-AMD Document 37 Filed 06/27/12 Page 1 of 16 PageID: 223 IN THE UNITED STATES DISTRICT COURT DISTRICT OF NEW JERSEY

Case 1:14-cv Document 1 Filed 06/05/14 USDC Colorado Page 1 of 7 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO

Case: 1:17-cv Document #: 1 Filed: 10/19/17 Page 1 of 16 PageID #:1

UNITED STATES DISTRICT COURT MIDDLE DISTRICT OF FLORIDA TAMPA DIVISION

Courthouse News Service

TORT LAW. By Helen Jordan, Elaine Martinez, and Jim Ponce

Transcription:

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 1 of of 16 JUSTIN MILLS, 3311 Toledo Terrace Suite B 201 Hyattsville, Maryland 20782 Plaintiff IN THE UNITED STATES DISTRICT COURT FOR DISTRICT OF MARYLAND vs. CIVIL ACTION NO: 1:15-cv-00495 RDB ANNE ARUNDEL COUNTY MARYLAND; 44 Calvert Street Annapolis, Maryland 21401 SERVE: Nancy Duden, County Attorney 2660 Riva Road, 4th Floor Annapolis, Maryland 21401 and OFFICER DOUGLAS BILTER, ANNE ARUNDEL COUNTY POLICE (Individually and Officially); 111 Appian Way Pasadena, Maryland 21122 and OFFICER KYLE SHAPELOW, ANNE ARUNDEL COUNTY POLICE (Individually and Officially); 9933 Maidbrook Road Parkville, Maryland 21234 and CHRISTOPHER COULTER (Individually and as Agent of co-defendant, The Cordish Companies, Inc.); 7002 Arundel Mills Circle Suite 7777 1

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 2 of of 16 Hanover, MD 21076 and GIORGIO ISELLA (Individually and as Agent of co-defendant, The Cordish Companies, Inc.); 601 East Pratt Street Suite 600 Baltimore, Maryland 21202 and THE CORDISH COMPANIES, INC. (T/N THE CORDISH COMPANIES); 601 East Pratt Street Suite 600 Baltimore, Maryland 21202 SERVE: RC Ventures, Inc. 6th Floor 601 East Pratt St. Baltimore, MD 21202 and PPE CASINO RESORTS MARYLAND, LLC (T/N MARYLAND LIVE! CASINO); 7 ST. PAUL STREET SUITE 820 BALTIMORE, MD 21202 Serve: CSC-Lawyers Incorporating Service Company 7 St. Paul Street Suite 820 Baltimore, MD 21202 Defendants. PLAINTIFF S SECOND AMENDED COMPLAINT Jury Trial Demanded 2

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 3 of of 16 This civil action arises from the February 21, 2014, unlawful detention, assault, and false imprisonment of Plaintiff Justin Mills (hereinafter, Plaintiff or Mills ) at the Maryland Live! Casino in Anne Arundel County, Maryland, after he initially and lawfully declined to follow casino security guards and later lawfully declined to show his identification to casino employees. This action is brought pursuant to the Civil Rights Act, 42 U.S.C. 1983, the United States Constitution, the Maryland state Constitution and the laws of the State of Maryland, including the Local Government Tort Claims Act, Md. Code Ann., Cts & Jud. Proc. 5-304(c)(3), the common law of assault, false imprisonment, false light, negligent hiring, and other causes of action more fully set forth below. JURISDICTION 1. The jurisdiction of this Court is invoked pursuant to 28 U.S.C. 1331, 1332, and 1343, and 42 U.S.C. 1983, and the supplemental jurisdiction of this Court to hear claims arising under state law is invoked pursuant to 28 U.S.C. 1367. Venue is appropriate in Greenbelt Federal Court under 1391(b) and 1392. PLAINTIFF 2. The Plaintiff, Justin Mills, is an adult citizen resident of Silver Spring, Maryland, and has sufficient contacts to warrant personal jurisdiction in this State and this Federal Court. DEFENDANTS 3

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 4 of of 16 3. Defendant Anne Arundel County, Maryland, is a unit of local government in the State of Maryland, with sufficient contacts to warrant personal jurisdiction in this State and this federal court. 4. Officers Douglas Bilter and Kyle Shapelow are officers with the Anne Arundel County Police Department with sufficient contacts to warrant personal jurisdiction in this State and this Federal Court. At all times pertinent to this complaint, both were acting in the course and scope of their employment and under the color of State law in Maryland. The officers actions as set forth in this complaint was in reckless disregard of the safety and well being of the Plaintiff, who was not engaged in criminal activity. 5. Defendant Maryland Live! Casino is the trade name of PPE Casino Resorts Maryland, LLC (hereinafter, PPE Casino Resorts ), a Maryland limited liability company, and may be served with process by service upon its resident agent CSC Lawyers Incorporating Service Company, 7 St. Paul Street, Suite 820, Baltimore, MD 21202. At the times set forth in this complaint, PPE Casino Resorts Maryland, LLC (601 E. Pratt Street, 6 th Floor, Baltimore, MD 21202) owned and operated the Maryland Live! Casino in Anne Arundel County, Maryland. At various times described in this complaint, PPE Casino Resorts Maryland, LLC through its employees and/or agents including Christopher Coulter, Security Shift Manager; Giorgio Isella, Operations Manager; and other security guards, acted jointly with the other co-defendants to deprive the Plaintiff of rights protected by the common law, statutes, federal and state constitutions. In so doing, PPE Casino Resorts acted in conspiracy with county officials, who acted under 4

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 5 of of 16 color of law, and is liable for the actions of Maryland Live! Casino personnel and other co-conspirators in this case. 6. Defendant Maryland Live! Casino is owned and operated by The Cordish Companies, Inc. (hereinafter, Cordish ), a Maryland corporation, and may be served with process by service upon its resident agent RC Ventures, Inc., 6 th Floor, 601 East Pratt St., Baltimore, MD 21202. The Cordish Companies, Inc. operates under the trade name The Cordish Companies, developed the Maryland Live! Casino in Anne Arundel County, Maryland, and owned and operated the entity Maryland Live! Casino at the relevant time of this complaint. At various times described in this complaint, Cordish acted jointly with the other co-defendants to deprive the Plaintiff of rights protected by the common law, statutes, federal and state constitutions. In so doing, Cordish acted under color of law and is liable for the actions of the Maryland Live! Casino personnel in this case. FACTUAL ALLEGATIONS 7. On February 21, 2014, the Plaintiff was a patron of the Maryland Live! Casino in Anne Arundel County, Maryland. The Plaintiff had visited the casino on several prior occasions. On the above date, the casino sent a complimentary limousine to pick up and transport the Plaintiff to its establishment to play blackjack. The Plaintiff had been playing blackjack for several hours and had won and lost a couple thousand dollars that evening. At some point in the evening, the Plaintiff left the blackjack table to use the restroom. Upon exiting the restroom, the Plaintiff was intercepted by Mr. Christopher 5

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 6 of of 16 Coulter and at least two other casino guards. Mills was told, come with us, by Defendant Coulter. 8. The Plaintiff ignored Coulter and continued walking toward the exit, but Mr. Coulter stepped in front of him, blocking his egress. Defendant Coulter grabbed the Plaintiff s right arm while another security personnel grabbed the Plaintiff s left arm, physically preventing the Plaintiff from leaving the casino. The Plaintiff replied that he had done nothing illegal and informed Defendants he wished to leave the casino. 9. Mr. Coulter, while on the main floor of the casino, told the Plaintiff to walk with him and threatened otherwise to just take you over there by force. The Plaintiff again refused, stating that he was not required to go with them. In response, Mr. Coulter assaulted the Plaintiff by grabbing the Plaintiff s arm and bending it forcefully behind his back in front of the general casino public and other employees that jointly escorted the Plaintiff. While forcefully continuing to hold the Plaintiff s arm in this position, Mr. Coulter, accompanied by other security guards, forcibly removed the Plaintiff to a room not ordinarily accessible to patrons (hereinafter, security holding room ) and kept the Plaintiff therein against his will. 10. In the security holding room, Mr. Coulter demanded that the Plaintiff provide identification. Despite again requesting to leave, the Plaintiff was told by agents of Defendant Cordish that he would not be able to leave without first providing identification. The Plaintiff again declined to provide it. 11. The Plaintiff asserted he had a right to refuse to provide Defendants with his identification. Upon information and belief, the casino was requesting the identification 6

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 7 of of 16 so they could share it with other casinos as part of their collective effort to maximize their gambling advantage by blackballing those who they think are able to count cards and minimize the advantage. 12. Thereupon, two Anne Arundel County Police officers, Officers Douglas Bilter and Kyle Shapelow, were summoned by Defendant Coulter and his staff to force the Plaintiff to produce his identification. Once the police officers arrived and began speaking, the Plaintiff, in full compliance with Anne Arundel County Police Directive s Index Code 307: Video Recording, Photographing & Audio Recording by the Public (effective date February 26, 2013), began audio recording the conversation. 1 13. Officers Douglas Bilter and Kyle Shapelow, while performing their official duties under color of law, illegally held the Plaintiff against his will for approximately thirteen additional minutes as they questioned the Plaintiff, demanded his identification, or risk incarceration at the local jail. The officers repeatedly told the Plaintiff that if he did not produce his identification, he was going to be arrested, transported to their facility, fingerprinted by Anne Arundel County Police, and charged with an unknown crime. 14. The Plaintiff stated repeatedly to Defendants Bilter & Shapelow that he wanted to leave the casino and that he had done nothing illegal. In response, the co-defendants Bilter & Shapelow told him that he was suspected of counting cards. Apparently, casino employees and the Anne Arundel County Officer believed the Plaintiff was using a card 1 This audio recording, played along with the surveillance video, in the security holding room of the Plaintiff s encounter with the Anne Arundel County Police Officers, is readily available to the public on the Internet. A link to it is found on The Baltimore Sun web page story of October 27, 2014, Tussle between casinos, card counters claims state as battleground by Jeff Barker at www.baltimoresun.com/business/bs-bz-card-counting-20141027- story.html. 7

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 8 of of 16 counting strategy and alleged it was not legal in Maryland. Contrary to their claims, however, this sort of strategy is not illegal in the State of Maryland or under federal law. 15. However, Officers Bilter & Shapelow, apparently under the misimpression that card counting is illegal, threatened to arrest the Plaintiff unless he produced his identification. Officer Bilter, in full presence of Mr. Coulter, stated to the Plaintiff you can t leave here unless we ID who you are, so either you can give them your ID or you can go with us and we can fingerprint you, find out who you are. Officer Bilter, still in the presence of Mr. Coulter, continued that if the Plaintiff does not produce his identification, then I m going to detain you and I m going to take you down to the police station where I m going to fingerprint you. 16. The Plaintiff neither consented to being touched by Mr. Coulter nor did he consent to being held against his will by officers Bilter or Shapelow. 17. Moreover, the Plaintiff is never accused of committing any act that is actually illegal during this detention. The only justification provided by a casino employee during the detainment is that it s a public place and we suspect you re an advantage player so we have the right to tell people you re not welcome here. Confronted by the officers threat of arrest and coerced by Coulter s unlawful detention, the Plaintiff ultimately turned over his passport to the officers. The officer then handed the passport to casino personnel permitting them to make a photocopy of the Plaintiff s identification. 18. After providing his identification, the Plaintiff was read and handed an eviction letter by Mr. Coulter on behalf of Maryland Live! Casino. Mr. Coulter explains that he is the security manager for the casino and apparently reads from a paper to the Plaintiff, as 8

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 9 of of 16 a consequence of the actions, your permission to be on the premises of Maryland Live! Casino is hereby revoked. Mr. Coulter continues that the Plaintiff is, being asked to leave the property immediately following the eviction process. You also forfeit any and all your winnings and amenities while this eviction remains in effect. 19. At this point, the Plaintiff requested to cash in his chips but he was not permitted to do so. Casino employees told him that he is not permitted back onto the casino floor and they are not permitted to cash in his chips for him. Mr. Coulter continued reading the eviction document to the Plaintiff, and with the cooperation and the continued coercive presence of the police officers, did not permit the Plaintiff to leave until he signed the document evidencing that the document was explained to him. The Plaintiff later received a letter from Maryland Live! Casino permanently banning him from the casino and thus was never able to cash in his chips himself. 20. The Plaintiff asserts he had a right to decline to show identification to the casino officials, agents and police officers, as he had committed no crime and there was no probable cause or reasonable suspicion to detain or arrest him under state or federal law. 21. The Plaintiff asserts that Anne Arundel County has failed to properly train and supervise its law enforcement officers, and that Maryland Live! Casino has also failed to properly train and supervise its security personnel. 22. As a result of the unlawful detention, assault and arrest, as well as the refusal of the casino to give the Plaintiff the money he was owed for his chips when he initially requested it, the Plaintiff was deprived of his freedom and his property and he suffered actual compensatory and punitive damages. These damages were caused by the acts, 9

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 10 of of 16 events and conditions to be further listed in this complaint. 23. A timely notice of claim has been filed with Maryland pursuant to the provisions of the Maryland Tort Claims Act, COMAR 25.02.03, and with the County pursuant to the provisions of the Local Government Tort Claims Act, Md. Code Ann., Cts & Jud. Proc. 5-304(c)(3). The Plaintiff s claim with the County has been denied. COUNT ONE - CONSTITUTIONAL VIOLATIONS (Plaintiff v. All Defendants) 24. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 23 above. The Plaintiff was assaulted, detained, and denied the opportunity to leave without reasonable suspicion or probable cause in violation of the Fourth and Fourteenth Amendments to the United States Constitution and the Maryland Declaration of Rights by state/county agents in conspiracy with private third parties herein sued. All Defendants are liable, including the Maryland Live! Casino and the Cordish Companies, which acted jointly with other Defendants in causing the assault and detention of the Plaintiff. 25. At no time on February 21, 2014, did the Plaintiff commit any illegal action, nor was he ever charged with violating any actual laws that evening. No conduct on the part of the Plaintiff warranted the assault and continued unlawful detention by Defendants. While the casino has a right to uninvite any casino guests and deny entry to uninvited guests, it does not have the right to assault or detain persons for questioning or use force against someone legally present at the casino, or to detain them against their will. 26. Likewise, Officers Bilter or Shapelow did not have the right or legal authority to 10

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 11 of of 16 detain the Plaintiff against his will. Importantly, the Plaintiff made clear from the inception of his encounter with casino security, and later with county police officers on February 21, 2014, that he wanted to leave the casino. The Plaintiff in no way agreed or consented to the deprivation of his liberty or to the assault against him. 27. Defendant Anne Arundel County has financially benefited greatly from the Maryland Live! Casino. The Anne Arundel County Police Department alone received a $2.7 million dollar grant in relation to the Maryland Live! Casino. Furthermore, it has a police station within the Casino, wherein uniformed police officers operate and dispatch service calls within the premises of the Casino. 28. At a very minimum, Anne Arundel County had a responsibility to educate the officers regarding gaming laws, to the extent they will come into contact with patrons of the casino and be required to respond to allegations that the patron was violating gaming; e.g., counting cards. Defendant Anne Arundel County failed to do so. 29. Failure to educate and properly train the officers demonstrates a clear indifference to the needs of the community vis a vis law enforcement and other responsibilities of Anne Arundel County police in and around the casino. Constitutional violations can only be expected when the officers who have contact with casinos lack the simplest training on gaming laws and their enforcement. COUNT TWO NEGLIGENCE (Plaintiff v. Defendants Cordish, PPE, Coulter and Isella) 30. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 29 above. 11

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 12 of of 16 31. Defendants Coulter and Isella acted negligently in detaining and using excessive force upon the Plaintiff to detain him in a public area without reasonable suspicion or probable cause. Officers Bilter and Shapelow also breached their duty of care by permitting the unlawful detention of the Plaintiff under the threat of arrest, and also by continuing to detain the Plaintiff without reasonable suspicion or probable cause. 32. Maryland Live! Casino has a duty of care to train and supervise their employees as to how to treat patrons and as to what kind of gaming is illegal. Counting cards without mechanically assisted devices is not illegal. Thus, Maryland Live! Casino, along with its parent company and the other co-defendants, breached its duty of care to the patrons of the Casino, including the Plaintiff, by improperly training, hiring, and/or supervising its security staff. 33. Similarly, Anne Arundel County Police Department has a duty of care to train and supervise their officers as to when an individual may be detained, what constitutes probable cause, and what constitutes reasonable suspicion. Anne Arundel County Police Department, along with Anne Arundel County, are both liable for negligence by failing to properly train, supervise, and/or direct their individual employees including Officers Bilter & Shapelow. 34. Maryland Live! Casino, The Cordish Companies, Anne Arundel County Police Department, and Anne Arundel County s negligence proximately and directly caused the Plaintiff injury and damages. COUNT THREE - COMMON LAW ASSAULT (Plaintiff v. Defendants Cordish, PPE, Coulter, Isella, Bilter and Shapelow) 12

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 13 of of 16 35. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 34 above. Defendant Coulter, individually, Maryland Live! Casino, and its parent company are liable for assault upon the Plaintiff as described above. Defendant Coulter intentionally and forcefully grabbed the Plaintiff s arm, twisted it and placed the Plaintiff s arm in a hold. At no time did the Plaintiff consent to this intentional, offensive, unlawful, and harmful touching. Furthermore, at no time did the Plaintiff pose a threat to Defendant Coulter or to anyone in the casino, nor did the Plaintiff use force himself to warrant Defendant Coulter grabbing the Plaintiff s arm, placing it in a hold behind Plaintiff s back, and forcibly taking the Plaintiff to the security holding room. Defendant Coulter s actions were all recorded by the casino s security cameras, which have been made public. 36. The Plaintiff suffered injury, both mental and physical, as a proximate and direct cause of the Assault. COUNT FOUR - FALSE ARREST AND FALSE IMPRISONMENT (Plaintiff v. Defendants Cordish, PPE, Coulter and Isella, Bilter and Shapelow) 37. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 33 above. As previously explained, the Plaintiff was unlawfully detained and held against his will, first by employees of the casino and later by the two Anne Arundel County Police officers named as Defendants herein. All Defendants are liable, including the Maryland Live! Casino and The Cordish Companies, which acted jointly with other Defendants in causing the assault and unlawful detention of the Plaintiff. 38. Defendants Bilter and Shapelow are also liable for the false arrest and false 13

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 14 of of 16 imprisonment of the Plaintiff when they arrived the scene and continued to damage the Plaintiff by preventing him from leaving the Casino. 39. The Plaintiff suffered physical and emotional injury as a direct result of the false arrest and false imprisonment. COUNT FIVE FALSE LIGHT (Plaintiff v. Defendants Cordish, PPE, Coulter, Isella, Bilter and Shapelow) 40. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 39 above. Defendant Coulter s assault of the Plaintiff on February 21, 2014, took place on the floor of the casino. By publicly causing the Plaintiff to be placed in a hold, and by escorting him from the floor of the casino, in that manner, Defendant Coulter and other security guards employed by Maryland Live! Casino falsely held out the Plaintiff to be a criminal or wrongdoer. 41. The Plaintiff had not committed any illegal act and therefore the actions by the Casino directly and proximately placed the Plaintiff in a false light and caused damages to his reputation. COUNT SIX NEGLIGENT HIRING AND RETENTION (Plaintiff v. Defendants Cordish, PPE, Coulter and Isella) 42. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 41 above. Upon information and belief, Maryland Live! Casino knew or should have known that Defendant Coulter was potentially dangerous and unfit for the work assigned to him. Maryland Live! Casino failed to exercise reasonable care in hiring Defendant Coulter and, as a result, the Plaintiff was injured. 14

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 15 of of 16 COUNT SEVEN CIVIL CONSPIRACY (Plaintiff v. Defendants Cordish, PPE, Coulter, Isella, Bilter and Shapelow) 43. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 42 above. Upon information and belief, Officer Douglas Bilter, and Kyle Shapelow while under course and scope of their employment and under the color of State law in Maryland colluded with Christopher Coulter and Georgia Isella to unlawfully detain and commit conversion against Plaintiff. 44. Officer Douglas Bilter, Officer Kyle Shapelow, Christopher Coulter, and Giorgio Isella were aware of the wrongful nature of the detention of Plaintiff, and of the chip cashing refusal. Officer Bilter, Officer Shapelow, Christopher Coulter, and Giorgio Isella all understood that Plaintiff was being detained on the basis that Plaintiff was suspected of engaging in a lawful activity and intentionally colluded to commit False Imprisonment and Conversion. During the course of the detention Plaintiff repeatedly stated that he had done nothing illegal, was being unlawfully detained and would like to leave. Officer Bilter stated, Counting cards is what they re accusing you of. Giorgio Isella stated, We suspect you are an advantage player. Officer Shapelow stated, We re not accusing you of any wrong doing. We re telling you we need your ID, either you re going to give us the ID or we gotta expunge your ID through fingerprints. Plaintiff requested to cash in his chips and Christopher Coulter stated, You won t be able to. Officer Douglas Bilter stated, If you wanna play tough ball that s fine, we re not going to let you cash in your chips. 45. Maryland Live! Casino, The Cordish Companies, Officer Douglas Bilter, Officer 15

Case 1:15-cv-00495-RDB Document 31-1 37 Filed 08/06/15 07/20/15 Page 16 of of 16 Kyle Shapelow, Christopher Coulter, and Giorgio Isella are jointly and severally liable for each act done by the other conspirators. RELIEF SOUGHT 46. Wherefore, the Plaintiff demands a jury trial on all counts, and upon a verdict in his favor, asks that actual and compensatory damages of $500,000.00 be assessed against all Defendants, jointly and severally; as well as punitive damages of $1,000,000.00 be assessed against all Defendants jointly and severally, for those claims for which they are available by law, and that he be awarded costs, attorney s fees, and all other relief to which he is entitled under State and Federal law. The Plaintiff also seeks leave of Court to freely amend this complaint in due course and to add co-defendants upon proper cause and justification. Respectfully Submitted, By: /S/ Abraham Fernando Carpio, Esquire Prince George s Professional Park 3311 Toledo Terrace Suite B-201 (301) 559-8100 (O) Counsel for Plaintiff 16

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 1 of 18 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF MARYLAND GREENBELT DIVISION Style Definition: Normal JUSTIN MILLS, 3311 Toledo Terrace Suite B 201 Hyattsville, Maryland 20782 Plaintiff vs. 49500495 RDB ANNE ARUNDEL COUNTY MARYLAND; 44 Calvert Street Annapolis, Maryland 21401 SERVE: Nancy Duden, County Attorney 2660 Riva Road, 4th Floor Annapolis, Maryland 21401 and CIVIL ACTION NO: 81:15-cv- Formatted: Font: 12 pt OFFICER DOUGLAS BILTER, ANNE ARUNDEL COUNTY POLICE (Individually and Officially); 111 Appian Way Pasadena, Maryland 21122 and OFFICER KYLE SHAPELOW, ANNE ARUNDEL COUNTY POLICE (Individually and Officially); 9933 Maidbrook Road Parkville, Maryland 21234 and ANNE ARUNDEL COUNTY POLICE DEPARTMENT; Formatted: Font: Bold 1

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 2 of 18 8495 Veterans Highway Millersville, MD 21108 and CHRISTOPHER COULTER (Individually and as Agent of co-defendant, The Cordish Companies, Inc.); 7002 Arundel Mills Circle Suite 7777 Hanover, MD 21076 and GIORGIO ISELLA (Individually and as Agent of co-defendant, The Cordish Companies, Inc.); 601 East Pratt Street Suite 600 Baltimore, Maryland 21202 and THE CORDISH COMPANIES, INC. (T/N THE CORDISH COMPANIES); 601 East Pratt Street Suite 600 Baltimore, Maryland 21202 SERVE: RC Ventures, Inc. 6th Floor 601 East Pratt St. Baltimore, MD 21202 and PPE CASINO RESORTS MARYLAND, LLC (T/N MARYLAND LIVE! CASINO); 7 ST. PAUL STREET SUITE 820 BALTIMORE, MD 21202 2

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 3 of 18 Serve: CSC-Lawyers Incorporating Service Company 7 St. Paul Street Suite 820 Baltimore, MD 21202 Defendants. PLAINTIFF S SECOND AMENDED COMPLAINT Jury Trial Demanded This civil action arises from the February 21, 2014, unlawful detention, assault, and false imprisonment of Plaintiff Justin Mills (hereinafter, Plaintiff or Mills ) at the Maryland Live! Casino in Anne Arundel County, Maryland, after he initially and lawfully declined to follow casino security guards and later lawfully declined to show his identification to casino employees. This action is brought pursuant to the Civil Rights Act, 42 U.S.C. 1983, the United States Constitution, the Maryland state Constitution and the laws of the State of Maryland, including the Local Government Tort Claims Act, Md. Code Ann., Cts & Jud. Proc. 5-304(c)(3), the common law of assault, false imprisonment, false light, negligent hiring, and other causes of action more fully set forth below. JURISDICTION 1. The jurisdiction of this Court is invoked pursuant to 28 U.S.C. 1331, 1332, and 1343, and 42 U.S.C. 1983, and the supplemental jurisdiction of this Court to hear claims arising under state law is invoked pursuant to 28 U.S.C. 1367. Venue is appropriate in Greenbelt Federal Court under 1391(b) and 1392. PLAINTIFF 3

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 4 of 18 2. The Plaintiff, Justin Mills, is an adult citizen resident of Silver Spring, Maryland, and has sufficient contacts to warrant personal jurisdiction in this State and this Federal Court. DEFENDANTS 3. Defendant Anne Arundel County, Maryland, is a unit of local government in the State of Maryland, with sufficient contacts to warrant personal jurisdiction in this State and this federal court. 4. Officers Douglas Bilter and Kyle Shapelow are officers with the Anne Arundel County Police Department with sufficient contacts to warrant personal jurisdiction in this State and this Federal Court. At all times pertinent to this complaint, both were acting in the course and scope of their employment and under the color of State law in Maryland. The officers actions as set forth in this complaint was in reckless disregard of the safety and well being of the Plaintiff, who was not engaged in criminal activity. 5. Defendant Maryland Live! Casino is the trade name of PPE Casino Resorts Maryland, LLC (hereinafter, PPE Casino Resorts ), a Maryland limited liability company, and may be served with process by service upon its resident agent CSC Lawyers Incorporating Service Company, 7 St. Paul Street, Suite 820, Baltimore, MD 21202. At the times set forth in this complaint, PPE Casino Resorts Maryland, LLC (601 E. Pratt Street, 6 th Floor, Baltimore, MD 21202) owned and operated the Maryland Live! Casino in Anne Arundel County, Maryland. At various times described in this complaint, PPE Casino Resorts Maryland, LLC through its employees and/or agents including 4

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 5 of 18 Christopher Coulter, Security Shift Manager; Giorgio Isella, Operations Manager; and other security guards, acted jointly with the other co-defendants to deprive the Plaintiff of rights protected by the common law, statutes, federal and state constitutions. In so doing, PPE Casino Resorts acted in conspiracy with county officials, who acted under color of law, and is liable for the actions of Maryland Live! Casino personnel and other co-conspirators in this case. 6. Defendant Maryland Live! Casino is owned and operated by The Cordish Companies, Inc. (hereinafter, Cordish ), a Maryland corporation, and may be served with process by service upon its resident agent RC Ventures, Inc., 6 th Floor, 601 East Pratt St., Baltimore, MD 21202. The Cordish Companies, Inc. operates under the trade name The Cordish Companies, developed the Maryland Live! Casino in Anne Arundel County, Maryland, and owned and operated the entity Maryland Live! Casino at the relevant time of this complaint. At various times described in this complaint, Cordish acted jointly with the other co-defendants to deprive the Plaintiff of rights protected by the common law, statutes, federal and state constitutions. In so doing, Cordish acted under color of law and is liable for the actions of the Maryland Live! Casino personnel in this case. FACTUAL ALLEGATIONS 7. On February 21, 2014, the Plaintiff was a patron of the Maryland Live! Casino in Anne Arundel County, Maryland. The Plaintiff had visited the casino on several prior occasions. On the above date, the casino sent a complimentary limousine to pick up and 5

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 6 of 18 transport the Plaintiff to its establishment to play blackjack. The Plaintiff had been playing blackjack for several hours and had won and lost a couple thousand dollars that evening. At some point in the evening, the Plaintiff left the blackjack table to use the restroom. Upon exiting the restroom, the Plaintiff was intercepted by Mr. Christopher Coulter and at least two other casino guards. Mills was told, come with us, by Defendant Coulter. 8. The Plaintiff ignored Coulter and continued walking toward the exit, but Mr. Coulter stepped in front of him, blocking his egress. Defendant Coulter grabbed the Plaintiff s right arm while another security personnel grabbed the Plaintiff s left arm, physically preventing the Plaintiff from leaving the casino. The Plaintiff replied that he had done nothing illegal and informed Defendants he wished to leave the casino. 9. Mr. Coulter, while on the main floor of the casino, told the Plaintiff to walk with him and threatened otherwise to just take you over there by force. The Plaintiff again refused, stating that he was not required to go with them. In response, Mr. Coulter assaulted the Plaintiff by grabbing the Plaintiff s arm and bending it forcefully behind his back in front of the general casino public and other employees that jointly escorted the Plaintiff. While forcefully continuing to hold the Plaintiff s arm in this position, Mr. Coulter, accompanied by other security guards, forcibly removed the Plaintiff to a room not ordinarily accessible to patrons (hereinafter, security holding room ) and kept the Plaintiff therein against his will. 10. In the security holding room, Mr. Coulter demanded that the Plaintiff provide identification. Despite again requesting to leave, the Plaintiff was told by agents of 6

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 7 of 18 Defendant Cordish that he would not be able to leave without first providing identification. The Plaintiff again declined to provide it. 11. The Plaintiff asserted he had a right to refuse to provide Defendants with his identification. Upon information and belief, the casino was requesting the identification so they could share it with other casinos as part of their collective effort to maximize their gambling advantage by blackballing those who they think are able to count cards and minimize the advantage. 12. Thereupon, two Anne Arundel County Police officers, Officers Douglas Bilter and Kyle Shapelow, were summoned by Defendant Coulter and his staff to force the Plaintiff to produce his identification. Once the police officers arrived and began speaking, the Plaintiff, in full compliance with Anne Arundel County Police Directive s Index Code 307: Video Recording, Photographing & Audio Recording by the Public (effective date February 26, 2013), began audio recording the conversation. 1 13. Officers Douglas Bilter and Kyle Shapelow, while performing their official duties under color of law, illegally held the Plaintiff against his will for approximately thirteen additional minutes as they questioned the Plaintiff, demanded his identification, or risk incarceration at the local jail. The officers repeatedly told the Plaintiff that if he did not produce his identification, he was going to be arrested, transported to their facility, fingerprinted by Anne Arundel County Police, and charged with an unknown crime. 1 This audio recording, played along with the surveillance video, in the security holding room of the Plaintiff s encounter with the Anne Arundel County Police Officers, is readily available to the public on the Internet. A link to it is found on The Baltimore Sun web page story of October 27, 2014, Tussle between casinos, card counters claims state as battleground by Jeff Barker at www.baltimoresun.com/business/bs-bz-card-counting-20141027- story.html. 7

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 8 of 18 14. The Plaintiff stated repeatedly to Defendants Bilter & Shapelow that he wanted to leave the casino and that he had done nothing illegal. In response, the co-defendants Bilter & Shapelow told him that he was suspected of counting cards. Apparently, casino employees and the Anne Arundel County Officer believed the Plaintiff was using a card counting strategy and alleged it was not legal in Maryland. Contrary to their claims, however, this sort of strategy is not illegal in the State of Maryland or under federal law. 15. However, Officers Bilter & Shapelow, apparently under the misimpression that card counting is illegal, threatened to arrest the Plaintiff unless he produced his identification. Officer Bilter, in full presence of Mr. Coulter, stated to the Plaintiff you can t leave here unless we ID who you are, so either you can give them your ID or you can go with us and we can fingerprint you, find out who you are. Officer Bilter, still in the presence of Mr. Coulter, continued that if the Plaintiff does not produce his identification, then I m going to detain you and I m going to take you down to the police station where I m going to fingerprint you. 16. The Plaintiff neither consented to being touched by Mr. Coulter nor did he consent to being held against his will by officers Bilter or Shapelow. 17. Moreover, the Plaintiff is never accused of committing any act that is actually illegal during this detention. The only justification provided by a casino employee during the detainment is that it s a public place and we suspect you re an advantage player so we have the right to tell people you re not welcome here. Confronted by the officers threat of arrest and coerced by Coulter s unlawful detention, the Plaintiff ultimately turned over his passport to the officers. The officer then handed the passport to casino 8

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 9 of 18 personnel permitting them to make a photocopy of the Plaintiff s identification. 18. After providing his identification, the Plaintiff was read and handed an eviction letter by Mr. Coulter on behalf of Maryland Live! Casino. Mr. Coulter explains that he is the security manager for the casino and apparently reads from a paper to the Plaintiff, as a consequence of the actions, your permission to be on the premises of Maryland Live! Casino is hereby revoked. Mr. Coulter continues that the Plaintiff is, being asked to leave the property immediately following the eviction process. You also forfeit any and all your winnings and amenities while this eviction remains in effect. 19. At this point, the Plaintiff requested to cash in his chips but he was not permitted to do so. Casino employees told him that he is not permitted back onto the casino floor and they are not permitted to cash in his chips for him. Mr. Coulter continued reading the eviction document to the Plaintiff, and with the cooperation and the continued coercive presence of the police officers, did not permit the Plaintiff to leave until he signed the document evidencing that the document was explained to him. The Plaintiff later received a letter from Maryland Live! Casino permanently banning him from the casino and thus was never able to cash in his chips himself. 20. The Plaintiff asserts he had a right to decline to show identification to the casino officials, agents and police officers, as he had committed no crime and there was no probable cause or reasonable suspicion to detain or arrest him under state or federal law. 21. The Plaintiff asserts that Anne Arundel County has failed to properly train and supervise its law enforcement officers, and that Maryland Live! Casino has also failed to properly train and supervise its security personnel. 9

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 10 of 18 22. As a result of the unlawful detention, assault and arrest, as well as the refusal of the casino to give the Plaintiff the money he was owed for his chips when he initially requested it, the Plaintiff was deprived of his freedom and his property and he suffered actual compensatory and punitive damages. These damages were caused by the acts, events and conditions to be further listed in this complaint. 23. A timely notice of claim has been filed with Maryland pursuant to the provisions of the Maryland Tort Claims Act, COMAR 25.02.03, and with the County pursuant to the provisions of the Local Government Tort Claims Act, Md. Code Ann., Cts & Jud. Proc. 5-304(c)(3). The Plaintiff s claim with the County has been denied. COUNT ONE - CONSTITUTIONAL VIOLATIONS (Plaintiff v. All Defendants) 24. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 23 Formatted: No underline above. The Plaintiff was assaulted, detained, and denied the opportunity to leave without reasonable suspicion or probable cause in violation of the Fourth and Fourteenth Amendments to the United States Constitution and the Maryland Declaration of Rights by state/county agents in conspiracy with private third parties herein sued. All Defendants are liable, including the Maryland Live! Casino and the Cordish Companies, which acted jointly with other Defendants in causing the assault and detention of the Plaintiff. 25. At no time on February 21, 2014, did the Plaintiff commit any illegal action, nor was he ever charged with violating any actual laws that evening. No conduct on the part of the Plaintiff warranted the assault and continued unlawful detention by Defendants. 10

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 11 of 18 While the casino has a right to uninvite any casino guests and deny entry to uninvited guests, it does not have the right to assault or detain persons for questioning or use force against someone legally present at the casino, or to detain them against their will. 26. Likewise, Officers Bilter or Shapelow did not have the right or legal authority to detain the Plaintiff against his will. Importantly, the Plaintiff made clear from the inception of his encounter with casino security, and later with county police officers on February 21, 2014, that he wanted to leave the casino. The Plaintiff in no way agreed or consented to the deprivation of his liberty or to the assault against him. 27. Defendant Anne Arundel County has financially benefited greatly from the Maryland Live! Casino. Formatted: Font color: Black The Anne Arundel County Police Department alone received a $2.7 million dollar grant in relation to the Maryland Live! Casino. Furthermore, it has a police station within the Casino, wherein uniformed police officers operate and dispatch service calls within the premises of the Casino. 28. At a very minimum, Anne Arundel County had a responsibility to educate the officers regarding gaming laws, to the extent they will come into contact with patrons of the casino and be required to respond to allegations that the patron was violating gaming; e.g., counting cards. Defendant Anne Arundel County failed to do so. 29. Failure to educate and properly train the officers demonstrates a clear indifference to the needs of the community vis a vis law enforcement and other responsibilities of Anne Arundel County police in and around the casino. Constitutional violations can only 11

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 12 of 18 be expected when the officers who have contact with casinos lack the simplest training on gaming laws and their enforcement. COUNT TWO - NEGLIGENCE 27(Plaintiff v. Defendants Cordish, PPE, Coulter and Isella) 30. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 2329 above. 31. 28. All individual Defendants acted negligently in not meeting the reasonable standard of care in their employment. Defendants Coulter and Isella acted negligently in Formatted: Font color: Black detaining and using excessive force upon the Plaintiff to detain him in a public area without reasonable suspicion or probable cause. Officers Bilter and Shapelow also breached their duty of care by permitting the unlawful detention of the Plaintiff under the threat of arrest, and also by continuing to detain the Plaintiff without reasonable suspicion or probable cause. 2932. Maryland Live! Casino has a duty of care to train and supervise their employees as to how to treat patrons and as to what kind of gaming is illegal. Counting cards without mechanically assisted devices is not illegal. Thus, Maryland Live! Casino, along with its parent company and the other co-defendants, breached its duty of care to the patrons of the Casino, including the Plaintiff, by improperly training, hiring, and/or supervising its security staff. 3033. Similarly, Anne Arundel County Police Department has a duty of care to train and supervise their officers as to when an individual may be detained, what constitutes probable cause, and what constitutes reasonable suspicion. Anne Arundel County Police 12

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 13 of 18 Department, along with Anne Arundel County, are both liable for negligence by failing to properly train, supervise, and/or direct their individual employees including Officers Bilter & Shapelow. 3134. Maryland Live! Casino, The Cordish Companies, Anne Arundel County Police Department, and Anne Arundel County s negligence proximately and directly caused the Plaintiff injury and damages. COUNT THREE - COMMON LAW ASSAULT 32(Plaintiff v. Defendants Cordish, PPE, Coulter, Isella, Bilter and Shapelow) 35. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 2934 above. Defendant Coulter, individually, Maryland Live! Casino, and its parent company are liable for assault upon the Plaintiff as described above. Defendant Coulter intentionally and forcefully grabbed the Plaintiff s arm, twisted it and placed the Plaintiff s arm in a hold. At no time did the Plaintiff consent to this intentional, offensive, unlawful, and harmful touching. Furthermore, at no time did the Plaintiff pose a threat to Defendant Coulter or to anyone in the casino, nor did the Plaintiff use force himself to warrant Defendant Coulter grabbing the Plaintiff s arm, placing it in a hold behind Plaintiff s back, and forcibly taking the Plaintiff to the security holding room. Defendant Coulter s actions were all recorded by the casino s security cameras, which have been made public. 3336. The Plaintiff suffered injury, both mental and physical, as a proximate and direct cause of the Assault. COUNT FOUR - FALSE ARREST AND FALSE IMPRISONMENT 13

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 14 of 18 34(Plaintiff v. Defendants Cordish, PPE, Coulter and Isella, Bilter and Shapelow) 37. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 3033 above. As previously explained, the Plaintiff was unlawfully detained and held against his will, first by employees of the casino and later by the two Anne Arundel County Police officers named as Defendants herein. All Defendants are liable, including the Maryland Live! Casino and The Cordish Companies, which acted jointly with other Defendants in causing the assault and unlawful detention of the Plaintiff. 35. The Anne Arundel County Police Department, Anne Arundel County,38. Defendants Bilter and their individual officersshapelow are also liable for the false arrest and false imprisonment of the Plaintiff causedwhen they arrived the scene and continued to damage the Plaintiff by their employees.preventing him from leaving the Casino. 3639. The Plaintiff suffered physical and emotional injury as a direct result of the false arrest and false imprisonment. COUNT FIVE - CONVERSION FALSE LIGHT 37(Plaintiff v. Defendants Cordish, PPE, Coulter, Isella, Bilter and Shapelow) 40. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 31 above. 38. Unreasonably withholding possession from one who has the right to it is considered conversion. In this case, the Plaintiff was unlawfully deprived of his money on February 21, 2014, when he was not permitted to cash in his earned chips at the 14

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 15 of 18 Casino. The Plaintiff explicitly asked Defendant Coulter to cash in his chips prior to Formatted: Font color: Black leaving the casino so that he may get his money. Defendant Coulter refused the request and the Plaintiff was prevented from doing so by the individual Defendants named herein in this suit and thus each is individually liable for conversion. 39. Maryland Live! Casino, The Cordish Companies, Anne Arundel County Police Department, and Anne Arundel County are all liable for conversion of the Plaintiff s property both individually and jointly due to the actions of their respective employees. 40. The Plaintiff suffered monetary loss and financial loss as a direct result of Defendants actions. COUNT SIX FALSE LIGHT 41. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 40 above. Defendant Coulter s assault of the Plaintiff on February 21, 2014, took place on the floor of the casino. By publicly causing the Plaintiff to be placed in a hold, and by escorting him from the floor of the casino, in that manner, Defendant Coulter and other security guards employed by Maryland Live! Casino falsely held out the Plaintiff to be a criminal or wrongdoer. 4241. The Plaintiff had not committed any illegal act and therefore the actions by the Casino directly and proximately placed the Plaintiff in a false light and caused damages to his reputation. COUNT SEVENSIX NEGLIGENT HIRING AND RETENTION 43(Plaintiff v. Defendants Cordish, PPE, Coulter and Isella) 42. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 4041 15

Case 1:15-cv-00495-RDB Document 31-2 37-1 Filed 07/20/15 08/06/15 Page 16 of 18 above. Upon information and belief, Maryland Live! Casino knew or should have known that Defendant Coulter was potentially dangerous and unfit for the work assigned to him. Maryland Live! Casino failed to exercise reasonable care in hiring Defendant Coulter and, as a result, the Plaintiff was injured. COUNT EIGHTSEVEN CIVIL CONSPIRACY 44(Plaintiff v. Defendants Cordish, PPE, Coulter, Isella, Bilter and Shapelow) 43. The Plaintiff re-alleges and incorporates by reference paragraphs 1 through 4042 Formatted: Justified above. Upon information and belief, Officer Douglas Bilter, and Kyle Shapelow while under course and scope of their employment and under the color of State law in Maryland colluded with Christopher Coulter and Georgia Isella to unlawfully detain and commit conversion against Plaintiff. 4544. Officer Douglas Bilter, Officer Kyle Shapelow, Christopher Coulter, and Giorgio Isella were aware of the wrongful nature of the detention of Plaintiff, and of the chip cashing refusal. Officer Bilter, Officer Shapelow, Christopher Coulter, and Giorgio Isella all understood that Plaintiff was being detained on the basis that Plaintiff was suspected of engaging in a lawful activity and intentionally colluded to commit False Imprisonment and Conversion. During the course of the detention Plaintiff repeatedly stated that he had done nothing illegal, was being unlawfully detained and would like to leave. Officer Bilter stated, Counting cards is what they re accusing you of. Giorgio Isella stated, We suspect you are an advantage player. Officer Shapelow stated, We re not accusing you of any wrong doing. We re telling you we need your ID, either you re going to give 16