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Case 6:17-cv-01130-RBD-KRS Document 1 Filed 06/20/17 Page 1 of 8 PagelD 1 1 iltb UNITED STATES DISTRICWIMT MIDDLE DISTRICT OF FLOR1VA'20 ORLANDO DIVISION. CI-IARLES M. FOX, on behalf of himself and others similarly situated, Plaintiff, r^-; CASE NO.: (../.:14_07_ 1133+W--5 0-0 I SERVICES, SUPPORTS AND SOLUTIONS, INC., a Florida Profit Corporation, and RICHARD P. STIER. individually. Defendants. COLLECTIVE ACTION COMPLAINT AND DEMAND FOR JURY TRIAL Plaintiff, CHARLES M. FOX (-Mr. Fox- or "Plaintiff"), on behalf of himself and others similarly situated, files this Complaint against Defendants, SERVICES, SUPPORTS AND SOLUTIONS INC. ("SSS"), and RICHARD P. STIER ("RS")(collectively "Defendants-) and states as follows: CLASS SOUGITT TO BE CERTIFIED Plaintiff seeks to conditionally certify the following class of individuals: "Any and all hourly paid caretakers who worked for Defendants during the last three (3) years at any of Defendants' facilities whom: (a) were misclassified as independent contractors; (b) worked more than forty (40) hours per week: and (c) were not paid time and one half overtime compensation for all hours worked over forty (40) per workweek.- JURISDICTION 2. Jurisdiction in this Court is proper as the claims are brought pursuant to the Fair Labor Standards Act, as amended (29 U.S.C. 201, et seq., hereinafter called the "FLSA-) to

Case 6:17-cv-01130-RBD-KRS Document 1 Filed 06/20/17 Page 2 of 8 PagelD 2 recover unpaid back wages, an additional equal amount as liquidated damages, obtain declaratory relief, and reasonable attorney's fees and costs. 3. The jurisdiction of the Court over this controversy is based upon 29 U.S.C. 216(b). 4. This Court has the authority to grant declaratory relief pursuant to the FLSA and the Federal Declaratory Judgment Act ("DJA"), 28 U.S.C. 2201-02. PARTIES 5. At all times material hereto, Plaintiff was and continues to be a resident of Volusia County, Florida. 6. At all times material hereto, Defendants were, and continue to be a Florida company/individual who continue to be engaged in business in Florida, with their principal place of business in Volusia County, Florida. 7. Defendant, RS, resides in Volusia County, Florida, and is the owner and operator of SSS. 8. At all times material hereto, Plaintiff was "engaged in commerce" within the meaning of 6 and 7 of the FLSA. 9. At all times material hereto, Plaintiff was an "employee" of Defendants within the meaning of FLSA, but Defendants intentionally misclassified Plaintiff, and numerous others, as independent contractors, to avoid the requirements of the FLSA and other related tax and employment laws. 10. At all times material hereto, Defendants owned and operated their principal place of business in Volusia County, Florida. 2

Case 6:17-cv-01130-RBD-KRS Document 1 Filed 06/20/17 Page 3 of 8 PagelD 3 11. At all times material hereto, Defendants werc Plaintiff's "employer" within the meaning of FLSA. 12. At all times relevant to this Complaint, Defendant, RS maintained and exercised the authority to: (a) hire and fire and fire employees of SSS; (b) determine the rates of pay for employees of SSS; (c) set the schedules and working hours for employees of SSS; and (d) create the pay policies and procedures for employees considered an employer as defined by the FLSA. of SSS. By virtue of the foregoing, RS is 13. Defendant SSS was and continues to be an "employer" within the meaning of FLSA. 14. At all times material hereto, Defendants were, and continue to be, "enterprises engaged in commerce, within the meaning of FLSA. 15. Specifically, Defendants had two (2) or more employees handling, selling, or otherwise working on goods or materials that had been moved in or produced for commerce. 16. At all times material hereto, Defendants accepted and processed payments from their customers and others, which were drawn on out-of-state bank accounts. 17. Based upon information and belief, the annual gross revenue of Defendants was in excess of $500,000.00 per annum during the relevant time periods. 18. At all times material hereto, the work performed by the Plaintiff was directly essential to the business performed by Defendants. STATEMENT OF FACTS 19. From April I, 2012, through current, Plaintiff was an hourly paid employee of Defendants, and performed caretaker and other services in Defendants' facility. 3

Case 6:17-cv-01130-RBD-KRS Document 1 Filed 06/20/17 Page 4 of 8 PagelD 4 20. Defendants, however, in an effort to avoid the payment of overtime to Plaintiff, and others similarly situated, as well as to avoid compliance with various tax and other employment laws, purposefully misclassified Plaintiff and others similarly situated, as independent contractors. 21. At various material times hereto, Plaintiff, and others similarly situated, worked for Defendants in excess of forty (40) hours within a work week. 22. During Plaintiff's employ, Defendants failed to compensate Plaintiff at a rate of one and one-half times Plaintiff's regular rate for all hours worked in excess of forty (40) hours in a single work week. 23. Instead, Defendants appear to have paid straight time for same, which is illegal. 24. Plaintiff, and other similarly situated employees, should be, and should have been, compensated at the rate of one and one-half times their regular rate for those hours that they worked in excess of forty (40) hours per week, as required by through the FLSA. 25. Defendants have violated Title 29 U.S.C. 206 and 207 from June 8, 2014, current in that: a. Plaintiff, and others similarly situated, worked in excess of forty (40) hours per week during their employment with Defendants; b. No payments or provisions for payment have been made by Defendants to properly compensate Plaintiff, and others similarly situated, at the statutory rate of one and one-half times Plaintiff s regular rate of pay for those hours worked in excess of forty (40) hours per work week, as provided by the FLSA; and 4

Case 6:17-cv-01130-RBD-KRS Document 1 Filed 06/20/17 Page 5 of 8 PagelD 5 c. Defendants failed to maintain proper pay and time records as mandated by the FLSA. 26. Plaintiff has retained the law firm of CELLER LEGAL, PA. to represent him, and others similarly situated, in the litigation and has agreed to pay the firm a reasonable fee for its services. COUNT I VIOLATION OF 29 U.S.C. 207 OVERTIME COMPENSATION 27. Plaintiff re-alleges and reavers paragraphs 1 through 26 of the Complaint, as if fully set forth herein. 28. From at least June 8, 2014, and continuing currently, Plaintiff, and others similarly situated, work/worked in excess of the forty (40) hours per week for which they were not compensated at the statutory rate of one and one-half times their regular rate of pay. 29. Plaintiff, and others similarly situated, were entitled to be paid at the statutory rate of one and one-half times their regular rate of pay for those hours worked in excess of forty (40) hours. 30. At all times material hereto, Defendants failed and continue to fail to maintain proper pay and time records as mandated by the FLSA. 31. Defendants' actions were willful and/or showed reckless disregard for the provisions of the FLSA, as evidenced by their failure to compensate Plaintiff, and others similarly situated, at a rate of one and one-half times their regular rate of pay for the hours worked in excess of forty (40) hours per week when they knew, or should have known, such was, and is due. 32. Defendants failed to properly disclose or apprise Plaintiff, or others similarly 5

Case 6:17-cv-01130-RBD-KRS Document 1 Filed 06/20/17 Page 6 of 8 PagelD 6 situated, of their rights under the FLSA, and purposefully misclassified them as independent contractors when the true nature of their relationship with Defendants was that of employees. 33. Due to the intentional, willful, and unlawful acts of Defendants, Plaintiff, and others similarly situated, suffered and continue to suffer damages and lost compensation worked over forty (40) hours per week, plus liquidated damages. for time 34. Plaintiff is entitled to an award of reasonable attorney's fees and costs pursuant to 29 U.S.C. 216(b). COUNT II DECLARATORY RELIEF 35. Plaintiff adopts all allegations in paragraphs 1 through 34, above. 36. Plaintiff and Defendants have a Fair Labor Standards Act dispute pending, which the Court has jurisdiction to hear pursuant to 28 U.S.C. 1331, as a federal question exists. 37. The Court, also, has jurisdiction to hear Plaintiff's request for declaratory relief pursuant to the Declaratory Judgment Act. 28 U.S.C. 2201-2202. 38. Plaintiff may obtain declaratory relief. 39. Defendants employed Plaintiff and others similarly situated. 40. Defendants misclassified Plaintiff and others similarly situated as independent contractors. 41. Defendants are joint employers, subject to the coverage of the FLSA. 42. Defendants failed to properly pay Plaintiff, and others similarly situated, for all overtime hours worked. 43. Defendants failed to pay Plaintiff in a timely fashion, as required by the FLSA. 44. Defendants did not keep accurate time records pursuant to 29 U.S.C. 211(c) and 6

Case 6:17-cv-01130-RBD-KRS Document 1 Filed 06/20/17 Page 7 of 8 PagelD 7 29 C.F.R. Part 516. 45. Defendants failed to take affirmative steps to support a good faith defense. 46. Plaintiff, and others similarly situated, are entitled to liquidated damages. 47. It is in the public interest to have these declarations of rights recorded. 48. Plaintiff's declaratory judgment action serves the useful purpose of clarifying and settling the legal relations in issue. 49. The declaratory judgment action terminates and affords relief from uncertainty, insecurity, and controversy giving rise to the proceeding. WHEREFORE, Plaintiff respectfully requests that judgment against Defendants: be entered in his favor a. Declaring, pursuant to 29 U.S.C. 2201 and 2202, that the acts and practices complained of herein are in violation of the maximum hour provisions of the FLSA; b. Awarding Plaintiff the declaratory relief sought herein; c. Conditionally certifying a class of similarly situated individuals. d. Awarding the certified class overtime compensation in the amount due to them for time worked in excess of forty (40) hours per work week; e. Awarding the certified class liquidated damages in an amount equal to the overtime award; f. Awarding the certified class reasonable attorney's fees and costs and expenses of the litigation pursuant to 29 U.S.C. 216(b); g. Awarding the certified class pre-judgment interest; 7

Case 6:17-cv-01130-RBD-KRS Document 1 Filed 06/20/17 Page 8 of 8 PagelD 8 h. Ordering any other further relief the Court deems just and proper. JURY DEMAND Plaintiff demands trial by jury on all issues so triple as a matteight by jury. Dated: June 13, 2017. I ichar ZEller, Esq. Ida Bar No.0173370 Noah E. Storch, Esq. Florida Bar No. 0085476 RICHARD CELLER LEGAL, P.A. 7450 Griffin Road, Suite 230 Davie, Florida 33314 Telephone: (866) 344-9243 Facsimile: (954) 337-2771 E-mail: richard@floridaovertimelawyer.com E-mail: noah@floridaovertimelawyer.com Attorney for Plaintiff 8

1111,1411, Case 6:17-cv-01130-RBD-KRS Document 1-1 Filed 06/20/17 Page 1 of 1 PagelD 9 JS 44 (Rev. 12/12) CIVIL COVER SHEET The JS 44 civil cover sheet and the information containcd herein neither replace nor supplement the filing and service ofpleadings or other papers as required by law, except as provided by local rules of court. This form, approved by the Judicial Conference ofthe United States in September 1974, is required for the use of the Clerk of Court for the purpose of initiating the civil docket sheet. (SEE INSTRUCTIONS ON NEXT PAGEOF THIS FORM.) I. (a) PLAINTIFFS DEFENDANTS SERVICES, SUPPORTS AND SOLUTIONS, INC., CHARLES M. FOX, on behalf of himself and others a Florida Profit Corporation, and RICHARD P. STIER, similarly situated, (b) County of Residence of First Listed Plaintiff Volusia County of Residence of First Listed Defendant Volusia (EXCEPT IN U.S. PLAINTIFF ('SES) (IN U.S. PlAINTIFF CASES ONLY) NOTE: IN LAND CONDEMNATION CASES, USE THE LOCATION OF TIIE TRACT OF LAND INVOLVED. (c) Attorneys (Firm Name. Address, and Telephone Number) Richard Celler Legal, P.A., 7450 Griffin Road, Suite 230, Davie, FL 33314 Tel: (866) 344-9243 Attorneys (IfKnown) 11. BASIS OF JURISDICTION (Placean "X" in One Box Only) III. CITIZENSHIP OF PRINCIPAL PARTIES (Place an "X" in One Box for Plaintiff (ForDiversity ('ases Only) and One Box.for Defendant) 3 1 U.S. Government M 3 Federal Question PTF DEF PTF DEF Plaintiff (U.S. (iovernment.vot a Party) Citizen of Tbis State 0 1 CI I Incorporated or Principal Place 0 4 1 4 of Business In This State 0 2 U.S. Govemment CI 4 Diversity Citizen of Another State CI 2 CI 2 Incorporated and Principal Place 0 5 0 5 Defendant (Indicate Caszenslup fparties In Item BB of Business In Another State IV. NATURE OF SUIT (Place an "X" in One Box Only) DATE nrsarro A OM" FOR OFFICE USE ONLY I m Arvr V II %JR SIGNA Citizen or Subject ofa C1 3 3 3 Foreign Nation 0 6 Ci 6 Foreum Country 17 r 1 0.t rawrwrzo vnwirw.iwkww,w w DAMRAU r I1. (-Wean') Cite the U.S. Civil Statute under which you are filing (Do not cite jurisdictimuslstatutes unless diversio9: 29 U.S.C. 201, et seq., hereinafter calle the "FLSA" VI. CAUSE OF ACTION I Brier description of cause: 1 I I e tst rarma IA SillVA Cl 110 Insurance PERSONAL INJURY PERSONAL INJURY a 625 Drug Related Seizure CI 422 Appeal 28 USC 158 0 375 False Claims Act 1 120 Marine 0 310 Airplane CI 365 Personal Injury of Property 21 USC 881 1 423 Withdrawal 0 400 State Reapportionment 3 130 Miller Act 0 315 Airplane Product Product Liability 1 690 Other 28 USC 157 C1 410 Antitrust O 140 Negotiable Instrument Liability 3 367 Health Carel 0 430 Banks and Banking a 150 Recovery: of Overpayment 0 320 Assault, Libel & Pharmaceutical PROPERTY RIGHTS, CI 450 Commerce & Enforcement of.ludgment Slander Personal Injury 0 820 Copyrights 0 460 Deportation CI 151 Medicare Act CI 330 Federal Employers' Product Liability 0 830 Patent 0 470 Racketeer Influenced and CI 152 Recovety of Defaulted Liability a 368 Asbestos Personal CI 840 Trademark CornimOrganizations Student Loans CI 340 Marine Injury Product CI 480 Consumer Credit (Excludes veterans) 0 345 Marine Product Liability LABOR SOCIAL SECURITY CI 490 Cable/Sat TV 1 153 Recovery of Overpayment Liability PERSONAL PROPERTY M 710 Fair Labor Standards 0 861 H1A (1395fI) 0 850 SecuritiesiCommodities: of Veteran's Benefits 0 350 Motor Vehicle 3 370 Other Fraud Act CI 862 Black Lung (923) Exchange O 160 Stockholders' Suits a 355 Motor Vehicle CI 371 Truth in Lending 0 720 Labor/Management 0 863 D1WC/DIWW (405(g)) 0 890 Other Statutory Actions 3 190 Other Contract Product Liability 0 380 Other Personal Relations 0 864 SS1D Title XVI CI 891 Agricultural Acts CI 195 Contract Product Liability 0 360 Other Personal Property Damage 31 740 Railway Labor Act 0 865 RSI (405(g)) CI 893 Environmental Matteis 0 196 Franchise Injury 0 385 Property Damage CI 751 Family and Medical 0 895 Freedom of Information 0 362 Personal Injury. Product Liability Leave Act Act Medical Malpractice CI 790 Other Labor Litigation 1 896 Arbitration REAL PROPERTY CIVIL RIGHTS PRISONER PETITIONS CI 791 Employee Retirement FEDERALTAX SUITS CI 899 Administrative Procedure 3 210 Land Condemnation 0 440 Other Civil Rights Habeas Corpus: Income Security Act 0 870 Taxes (U.S. Plaintiff Act/Review or Appeal of 1 220 Foreclosure 0 441 Voting 0 463 Alien Detainee or Defendant) Agency Decision 0 230 Rent Lease & Ejectment 0 442 Employment 0 510 Motions to Vacate 3 871 1RS Third Party CI 950 Constitutionality of C/ 240 Torts to Land CI 443 Housing/ Sentence 26 USC 7609 State Statutes 0 245 Tort Product Liability Accommodations 0 530 General 0 290 All Other Real Property 0.445 Amer. widisabilities CI 535 Death Penalty IMMIGRATION Employment Other: 0 462 Naturalization Application 0 446 Amer. w/disabilities CI 540 Mandamus & Other 0 465 Other Immigration Other CI 550 Civil Rights Actions 0 448 Education 0 555 Prison Condition 3 560 Civil Detainee Conditions of Confinement V. ORIGIN (Place an "X" in One Box Only) >11 I Original 0 2 Removed from 0 3 Remanded from 0 4 Reinstated or 0 5 Transferred from CI 6 Multidistrict Proceeding State Court Appellate Court Reopened Another District Litigation VII. REQUESTED IN Ci/ CHECK IF THIS IS A CLASS ACTION DEMAND S CHECK YES only ifdemanded in complaint: COMPLAINT: UNDER RULE 23, F.R.Cv.P. JURY DEMAND: XI Yes 0 No VIII. RELATED CASE(S) IF ANY 06/08/2017 (See instructunta): JUDSZV,L------' ) _^'''...7 DOCKET NUMBER ATTORNEY OF RECEIPT AMOUNT 1FP JUDGE MAG. JUDGE

Case 6:17-cv-01130-RBD-KRS Document 1-2 Filed 06/20/17 Page 1 of 1 PagelD 10 unvutio DMIT{11 tiv ORIANOOMNON CI IAR LES M. FOX, on hohalrahitusoic similarly situated, 'A r 3C (A---5T Plainta V. SERVICES, SUPPORTS AND SOI.UTION, and RICI1A RD a Florida Profit Corporation, individually. Defendants, Lawsuit. MNSENT 'rp tv!oble PikUTY P1LM.MEE 1, C1-1ARLES M. FOX, consent to bocomo tho u party plaintitf ho ukwo-ityloti Date: June 8, 2017 Signature: Print: earlr/r-le5 EDOL

ClassAction.org This complaint is part of ClassAction.org's searchable class action lawsuit database and can be found in this post: Services, Supports and Solutions Hit with Unpaid OT Suit