No *5o4- SEP RE TURN COP'S IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF SPOKANE STATE OF WASHINGTON,

Similar documents
IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF WALLA WALLA. Plaintiff, Defendant. I. INTRODUCTION

IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF SPOKANE STATE OF WASHINGTON, NO Plaintiff, I.

IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF KING

IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF KING. DISCONTINUANCE WEIDNER PROPERTY MANAGEMENT LLC, Defendant.

UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF LOUISIANA

FILED 16 AUG 29 PM 2:30

FILED 16 NOV 03 PM 2:13

FILED 16 AUG 09 PM 2:59

7 IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF PIERCE 8 STATE OF WASHINGTON, 9 Plaintiff,

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WASHINGTON

NO Attorney for Judgment Creditor: Audrey Udashen 23 Assistant Attorney General

IN THE CIRCUIT COURT OF THE THIRTEENTH JUDICIAL CIRCUIT, FOR HILLSBOROUGH COUNTY, FLORIDA CIVIL DIVISION

STATE OF WASHINGTON KING COUNTY SUPERIOR COURT

U.S. EEOC v Promens USA, Inc. and Bonar Plastics, Inc.

Case 2:14-cv JLR Document 24 Filed 08/31/15 Page 1 of 44 THE HONORABLE JAMES L. ROBART 2

Equal Employment Opportunity Commission, Plaintiff, v. Studley Products, Inc. and Wildwood Industries, Inc., Defendants.

Case Number: CIV-MARTINEZ-GOODMAN DEFAULT FINAL JUDGMENT AS TO DEFENDANTS YOUR YELLOW PAGES. INC., CITY PAGES. INC..

Case 2:06-cv RSM Document 30 Filed 05/04/2006 Page 1 of 6

STATE OF WASHINGTON, KING COUNTY SUPERIOR COURT. Defendants.

TITLE IX: GENERAL REGULATIONS. Chapter 90. FAIR HOUSING

HAMILTON MUNICIPAL COURT 345 HIGH STREET, HAMILTON, OHIO Hamiltonmunicipalcourt.org EVICTION PROCEDURE CLERK OF COURTS

Superintendent Procedure 3210SP.B Discrimination Complaint Process Approved by: s/ Larry Nyland Date: 3/8/18 Dr. Larry Nyland, Superintendent

Seattle City Attorney Peter S. Holmes

GOODS & SERVICES AGREEMENT FOR ORDINARY MAINTENANCE. between the City of and

CHAPTER 19 FAIR HOUSING

EEOC v. Mason County Forest Products, LLC

Equal Employment Opportunity Commission v. Bob Watson Chevrolet

NO. 14 The Plaintiff, State of Washington, by and through its attorneys Robert W. Ferguson,

STATE OF WASHINGTON KING COUNTY SUPERIOR COURT NO.

Form 61 Fair Housing Ordinance

IN THE UNITED STATES DISTRICT COURT. FOR THE NORTHERN DISTRICT OF ILLIll~ STATES DISTRICT COURT WESTERN DIVISION CONSENT DECREE THE LITIGATION

Page 31-1 rev

United States of America v. The City of Belen, New Mexico

Equal Employment Opportunity Commission v. Dutch Farms, Inc.

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

UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF NORTH CAROLINA

EEOC v. CMC Service of Chicago, LLC d/b/a Great Clips for Hair

EEOC v. U-Haul International Inc.

TENANT SELECTION PLAN Providence House 312 N 4 th Street, Yakima WA Phone: TRS/TTY: 711

SENATE FILE NO. SF0132. Sponsored by: Senator(s) Scott and Representative(s) Stubson and Walters A BILL. for

Case 2:06-cv RSM Document 26 Filed 04/17/2006 Page 1 of 10

IllY _ UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE EQUAL EMPLOYMENT OPPORTUNITY ) CIVIL NO. COO-16S1 Z 10 COJ\.

Chapter 40 HUMAN RELATIONS COMMITTEE

FEDERAL TRADE COMMISSION UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA

Name (Mr./Mrs./Ms./Title) M F Date Mailing Address

TENANT SELECTION PLAN

STATE OF WASHINGTON KING COUNTY SUPERIOR COURT DISCONTINUANCE V.

XX... 3 TEXAS WORKFORCE COMMISSION... 3 CHAPTER 819. TEXAS WORKFORCE COMMISSION CIVIL RIGHTS DIVISION... 4

Case 1:19-cv Document 3 Filed 01/16/19 Page 1 of 16 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF NEW YORK. Case No.

Case 1:13-cv JG-JMA Document 1 Filed 04/29/13 Page 1 of 18 PageID #: 1

A. Definitions. For purposes of this article, the following terms have the meanings set forth below:

Case 2:12-cv Document 1 Filed 12/06/12 Page 1 of 14

Equal Employment Opportunity Commission, Plaintiff, v. Mint Julep Restaurant Operations, LLC d/b/a Cheddar's Casual Cafe, Defendant.

HOW THE CITY OF SEATTLE ANTIDISCRIMINATION ORDINANCE CAN AFFECT YOUR WORKPLACE

IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF FLORIDA CASE NO.

CITY OF PROSSER REQUEST FOR PROPOSAL. To Provide. On Call Electrical Services. Located at: TH STREET PROSSER, WASHINGTON 99350

APPEAL A FORCIBLE DETAINER JUDGMENT

NOW, THEREFORE, BE IT ENACTED AND ORDAINED,

Equal Employment Opportunity Commission v. Japanese Food Solutions Inc., d/b/a Minado Restaurant

Olympia School District Complaint Procedures: Discrimination and Sexual Harassment-Personnel

IN THE CIRCUIT COURT OF THE FOURTH JUDICIAL CIRCUIT IN AND FOR NASSAU COUNTY, FLORIDA CIVIL ACTION. vs. DIVISION: A

)

Case: 1:14-cv Document #: 266 Filed: 10/05/17 Page 1 of 12 PageID #:5588

BYLAWS OF THE COLORADO NONPROFIT ASSOCIATION

SAN JOAQUIN COUNTY EQUAL EMPLOYMENT OPPORTUNITY OFFICE

LEASE ADDENDUM FOR DRUG-FREE HOUSING. Property Address:

Adopted: August 1996 Wheaton ISD #803 Policy 401

EEOC v. Pacific Airport Services, Inc.,

STATE OF WASHINGTON KING COUNTY SUPERIOR COURT

NOTICE OF PENDENCY AND PROPOSED SETTLEMENT OF CLASS ACTION AND SETTLEMENT HEARING

STATE OF WASHINGTON KING COUNTY SUPERIOR COURT

Cornell University ILR School. Judge Karen E. Schreier

For Staff of the Division of Information Technology June 2017

Chapter 220 HUMAN RIGHTS. ARTICLE I Discriminatory Practices. Section Unlawful Housing Practices.

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MARYLAND CONSENT DECREE. I. Background

Article XIII. Vacation Home Rentals. 28A-68 Purpose of article. The city council of the city of South Lake Tahoe finds and declares as follows:

Northwest Wisconsin WDA #7 Equal Opportunity In Employment, Affirmative Action, and Service Delivery Statement

Case: 1:12-cv Document #: 576 Filed: 07/06/17 Page 1 of 15 PageID #:22601

IN THE CIRCUIT COURT OF THE TWENTIETH JUDICIAL CIRCUIT IN AND FOR LEE COUNTY, FLORIDA

Case 1:16-cv CCB Document 98 Filed 06/28/16 06/23/16 Page 1 of 14 11

United States Equal Employment Opportunity Commission, Plaintiff, v. Jetson Midwest Mailers, Inc., Defendant.

INDEPENDENT SALES ASSOCIATE AGREEMENT

IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF WISCONSIN. Civil Action No.: [PROPOSED] CONSENT DECREE. Press Release.

STATE OF WASIDNGTON KING COUNTY SUPERIOR COURT

KNICKERBOCKER APARTMENTS TENANT SELECTION PROCEDURE

Bylaws NAMI Wyoming National Alliance on Mental Illness (Adopted by Membership 5/2/09, as amended 5/18/14)

EEOC v. NEA-Alaska, Inc.

Equal Employment Opportunity Commission et al. v. Majesty Maintenance, Inc.

Licensing and Standards Committee Item LS23.1, adopted as amended, by City of Toronto Council on December 5, 6, 7 and 8, 2017 CITY OF TORONTO

NOW, THEREFORE, BE IT ORDAINED BY THE GOVERNING BODY OF THE CITY OF MERRIAM, KANSAS

Case 3:15-cv RBL Document 11-1 Filed 03/26/15 Page 2 of 159 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT TACOMA

of Newtown Township, Bucks County, Pennsylvania, and it is hereby ENACTED and

tokingcp STATE OF WASHINGTON KING COUNTY SUPERIOR COURT

Case 1:14-cv FAM Document 60 Entered on FLSD Docket 12/17/2014 Page 1 of 15

Case 4:10-cv YGR Document Filed 06/17/16 Page 1 of 11

EEOC & Wolansky v. United Healthcare of Florida, Inc.

Case 2:03-cv BBD-sta Document 14 Filed 08/05/2004 Page 1 of 7

NO. VALVOLINE INSTANT OIL 10 CHANGE FRANCHISING, INC. ASSURANCE OF 11 DISCONTINUANCE

PROCEDURE TO FILE AN EVICTION

Ff LED. l'fi) lc!fl- ~ SEP ENDORSED. CLERK OF THE COURT BY: MA. 8ENIGNA D. GOODMAN Deputy Clerk

Transcription:

1 2 3 4 5 RE TURN COP'S SEP 14 2017 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF SPOKANE STATE OF WASHINGTON, V. Plaintiff, DOMUS URBIS, LLC, Defendant. I. INTRODUCTION No. 17203*5o4- CONSENT DECREE 1.1. The State of Washington, by and through its attorneys, Robert W. Ferguson, Attorney General, and Chalia Stallings-Ala'ilima, Assistant. Attorney General, filed this action against Defendant Dornus Urbis, LLC ("Domus Urbis") to enforce Title VIII of the Civil Rights Act of 1968, as amended by the Fair Housing Amendments Act of 1988,42 U.S.C. 3604 ("FHA") and the Washington Law Against Discrimination, RCW 49.60.222 ("WLAD"), 1.2.The parties have voluntarily agreed, as indicated by the signatures below, to resolve the claims against Defendant without the necessity of a trial on the merits. All communications related to this Consent Decree may be directed to:, Office of the Attorney General, 800 Fifth Avenue, Suite 2000, Seattle, WA, 98104. 1.3. The parties agree that this Consent Decree does not constitute evidence or an admission regarding the existence or non-existence of any issue, fact, or violation of any law alleged by the Attorney General with the exception that Defendant admits to the jurisdiction of this Court. CONSENT DECREE ATTORNEY GENERAL OF WASHINGTON civil Rights Unit Seattle, WA 98104-3188 (206) 442-4492

SEP 14 2017 (Copy Receipt) SUPERIOR COURT OF WASHINGTON COUNTY OF SPOKANE STATE OF WASHINGTON Plaintiffs)/Petitioner(s), VS. DOMUS URBIS, LLC Defendant(s)/Respondent(s). Clerk's Date Stamp JUDGE RAYMOND F. CLARY 94 CASE NO. 2017-02-03584-4 CASE ASSIGNMENT NOTICE AND ORDER (NTAS) CASE STATUS CONFERENCE DATE: DECEMBER 15, 2017 AT 9:00 AM ORDER YOU ARE HEREBY NOTIFIED that this case is preassigned for all further proceedings to the judge noted above. You are required to attend a Case Status Conference before your assigned judge on the date also noted above. The Joint Case Status Report must be completed and brought to the Status Conference. A Case Schedule Order, with the trial date, will be issued at the Status Conference. Under the individual calendar system, the court will operate on a four-day trial week. Trials will commence on Monday, Tuesday, Wednesday or Thursday. Motion Calendars are held on Friday. All motions, other than ex parte motions, must be scheduled with the assigned judge. Counsel must contact the assigned court to schedule motions and working copies of all motion pleadings must be provided to the assigned court at the time of filing with the Clerk of Court. Pursuant to LCR 40 (b) (10), motions must be confirmed no later than 12:00 noon two days before the hearing by notifying the judicial assistant for the assigned judge. Please contact the assigned court to schedule matters regarding this case. You may contact the assigned court by phone, court department e-mail or through the Spokane County Superior Court web page at http://www.spokanecounty.org/1140/superior-court DATED: 09/14/2017. MICHAEL P. PRICE PRESIDING JUDGE NOTICE: The plaintiff shall serve a copy of the Case Assignment Notice on the defendant(s). CASE ASSIGNMENT NOTICE LAIR 0.4.1(b) (4/2001) Rpt032 Page 1 of 1

1 1 2 SEP.1 4 2017 7 8 9 10 Il 12 13 14 15. 16 17 18 19 20 21 22 23 IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF SPOKANE STATE OF WASH1NGfiON, NO. 1720 3584-- v. DOMUS URBIS, LLC,, Plaintiff, CONSENT DECREE Defendant. I. INTRODUCTION 1.1. The State of Washington, by and through its attorneys,: Robert W. Ferguson, Attorney General, and Chalia Stallings-Ala'ilima, Assistant Attorney General, filed this action against Defendant Domus Urbis, LLC ("Dom-Lis Urbis") to enforce Title VIII of the Civil Rights Act of 1968, as amendedby the Fair Housing Amendments Act of 1988, 42 U.S.C. 3604 ("FHA"). and the Washington Law Against Discrimination, RCW 49.60.222 ("WLAD"). 1.2.The parties have voluntarily agreed, as indicated by the signatures below, to resolve the claims: against Defendant without-the necessity of a trial.on the merits. All communications related to this Consent Decree may be directed to;, Office of the Attorney General, 800 Fifth Avenue; Suite 2000, Seattle, WA, 98104. 1.3. The parties agree that this Consent Decree does not constitute evidence or an admission regarding the existence or non-existence of any'issue, fact, or violation of any law alleged by the Attorney General with the exception that Defendant admits to the j uiisdiction of this Court.. CONSENT DECREE ] ATTORNEY GENERAL OF WASHINGTON 800 Fitch Avenue, Suite 2000 Seattle, WA 98104-3188 (206)442-4492

1 I)<. INVESTIGATION 2 2.1. Defendant Domus Vrbis is a for-profit business in Washington State engaged in 3 the rental of residential dwellings; as defined by both 42 U.-S.C. 3602(b) and RCW 4 49.60,040(9). Domus Urbis's principal place of business on file with the WA Secretary o State 5 is 509 N Brower #2 Medical Lake, WA 99022. Domus Urbis managed,, marketed and rented 6 residential housing to the.publie at. 1515 and 1519 West Sharp Avenue Spokane, WA 99201 until 7 the property was sold in March 2017; 8 2.2. In October 201-6T the State of Washington conducted an investigation to evaluate 9 Defendant's compliance with the FHA and WLAD. The investigation revealed Defendant violated 10 the FHA and WLAD by refusing to relit and/or refusing to negotiate the rental of a dwelling to.a 11 prospective tenant based on the use of rental assistance provided by the U.S. Department of 12 Veterans Affairs and U.S. Department of Housing and Urban Development to veterans with 13 disabilities ("VASH voucher"), 14 2.3. Defendant posted an advertisement on Craigslist for.a one bedroom apartment at 15 1515: and 1519 West Sharp. Avenue Spokane, WA 99201. The advertisement directed the public 16 to http://ww~v.apartinctitsfor entspok-ane,com for more information, photos and floor plans. 17 Defendant was contacted by email regarding the residential rental. Defendant was notified by the 18 inquirer that he had a VASH voucher and was asked if Defendant took "veteran Vash vouchers." 19 The inquiry -further included information to the Defendant that the VASH voucher helped :the 20 inquirer pay "a really good portion" of his. rent. Defendant's representative responded that 21 Defendant was "not taking vouchers at thus time." Defendant's email response was signed "Jessica." 22 Wherefore, it is ORDERED, ADJUDGED, and DECREED; 23 III, INJUNCTION 3.1. Defendant Domus Urbis, its agents, employees, successors, and all other persons inactive concert or participation with it, is enjoined with respect to the rental of dwellings from: CONSENT DECREE 2 ATTORNEY.GENERAL OF WASIUNGTOW. 800 Fifth Avenue, suite 2000 Seattle, WA 93104.3188 (206)442-4.92

1 3,1.1. Refusing to engage in a real estate transaction because. of honorably 2 discharged veteran or military status ("veteran status") or the presence of any sensory, 3 mental, or physical disability, or the use of a trained dog guide or service animal by a 4 person with,a disability C'disability"); 5 3.1.2. - Discrizninating against any person on the basis of disability and/or veteran 6 status in any aspect of the rental of a dwelling; 7 3.1.3. Making statements in connection with the rental of a dwelling that express 8 a preference, limitation, or discrimination based on veteran status or disability; 9 3.1.4. Aiding, abetting, encouraging, or inciting the commission of an unfair or 10 diserhainatory practice; 11 3.1.5. Failing or refusing to notify the public that dwellings owned or operated by 12 Defendant are available to all persons, including those who use VASH vouchers, on a non- 13 discriminatory basis; and 14 3,1.6. Failing or refusing to take such affirmative steps as inay be necessary to 15 prevent the recurrence of any discriminatory conduct in the future and to eliminate; to the 16 extent practicable, the effects of Defendant's unlawful practices. 17 3.2. Dom-Lis Urbis agrees not to engage in the practices described in paragraph 3.1. This 18 provision shall apply to all residential dwellings marketed or managed by Domus Urbis or its 19 principals, officers, managers, or agents during the term of this Consent Decree, including all 20 dwellings in which Domus.Urbis or its principals, officers, managers, or agents has or acquires 21 a direct or indirect ownership or management interest. 22 3.3. Jessica Glenn agrees not to engage in the practices described in paragraph 3.1 on 23 behalf of any other residential rental business in which she is listed with the WA Secretary of State as a registered agent or governing person. ' CONSENT DECREE 3 ATTORNEY GENERAL OF WASHINGTON Seattle, WA 98104-3138 (206)442-4492

I IV. NON-DISCRIMINATION POLICY AND NOTICE TO THE PUBLIC 2 4.1. Upon entry of this Consent Decree, Defendant Domus Urbis shall implement the 3 Nondiscrimination Policy appearing at Appendix A. The Nondiscrimination Policy shall apply to 4 all properties: covered by paragraph 3.2, of this Consent Decree. S 4.2: Within fourteen (l4) days of entry of this Consent Decree, and throughout its term, 6 Defendant Domus Urbis shall distribute the Nondiscrimination Policy to all its current tenants. For 7 individuals who become tenants later than fourteen (14) days after the entry of this Consent Decree, 8 Defendant Domus Urbis shall distribute the Nondiscrimination Policy to them at the time the lease 9 agreement is signed. 10 4.3. Within fourteen (14) days of entry of this Consent Decree, and throughout its term, 11 Defendant Domus Urbis shall take the following steps to notify the public of the Nondiscrimination 12 Policy: 13 4.3.1. Prominently post at any rental office that is used for the rental of dwellings, 14 a fair housing sign no smaller than ten (10) inches by fourteen (14).inches, indicating that 15 all apartments are available for rent, on a nondiscriminatory basis; 16 4.3.2. Prominently post on any webpage or internet advertisement used to promote 17 Defendant Domus Urbis's business that all apartments are available for rent oil a 18 nondiscriminatory basis; and 19 4.3.3. Include the following phrase in the rental application(s) and the rental 20 agreement(s) used for rental dwelling units in boldface type, using letters of equal or greater 21 size to those of the text in the body of the document:. 22 We do not discriminate in any term; condition, or privilege of rental on the basis of race, color, religion (creed), gender, 23 gender expression, age, national origin (ancestry), disability, marital status, familial status, sexual. orientation, or military status, in any of our activities or operations, which include the marketing and rental of residential dwellings. We charge the same amount of rent, deposit(s), and fee(s) regardless if part or all of the tenants' income is related to membership in :a CONSENT DECREE 4 ATTORNEY GENERAL OF WASHINGTON 800Tifth Avenue,. Suite 2000 Seattle, WA 98104-3188 (206)442-4492

I protected class. We will not reject a. potential tenant solely on 2 the basis of voucher use.. V. TRAINING 3 5.1. Within fourteen (14) days of the entry of this Consent Decree, Defendant Domus 4 Urbis shall provide a copy ofthis ConsentAe_ cree and the Nondiscrimination Policy to its principals, 5 officers, directors, agents, managers, and employees. Defendant Domus Urbis shall secure a signed 6 statement from each agent or employee acknowledging that he or she has received and read the Consent Decree and the Nondiscrimination Policy and agrees to abide by the relevant provisions of 9 10 11 12 1.3 14 15 1s 17 1$ 19 21 22 23 the Consent Decree and the Nondiscrimination. Policy. This statement shall be in the form of Appendix B. 5.2. During-the term of this Consent Decree, within fourteen (14) days after.each'new agent or employee becomes involved inmarketing, showing, renting, or.managing units; Defendant Domus Urbis shall provide a copy of this Consent Decree. and the Noodismirnimtion Policy to each such agent or employee and secure a signed statement from each agent or employee acknowledging that he or she has received and read the Consent Decree, :and agrees to abide by the relevant provisions of the Consent. Decree and the Nondiscrimination Policy. This statement shall be in the form of Appendix B. 5.3. Within. ninety (90) days from the date of entry of this Consent Decree, Defendant Dom-us Urbis :and all its principals, officers, directors, agents, managers, and employees shall undergo in-person fair housing training with specific emphasis on veteran status :and disability discrimination. The training shall be conducted by an independent,, qualified third party, approved in advance by the Office of the Attorney General, Defendant Dom-us Urbis' shall obtain confirmation of attendance for each individual who receives training including the date, name of the course, length of the course, name of the instructor, and name of the individual who completed, the course, Copies of these certificates, 'in the form of Appendix `C; shall be submitted to the Office of the Attorney General: Defendant Domus Urbis shall bear any expenses associated with this training. CONSENT-DECREE 5 ATTORNEY GENERAL OF WASHINGTON 800 Fifth Avenue; Suite 2000 Seattle, WA 98104-1188 (206)442-4492

1 VI. COMPLIANCE TESTING 2 6.1. The Attorney General may take steps to monitor Defendant Domus Urbis's 3 compliance with this Consent Decree including, but not limited to, conducting fair housing tests 4 at any office(s) or location(s) at which Defendant Dornus Urbis and/or its agent, Jessica Glenn; 5 conducts marketing, rental, or property management activities, 6 VIL REPORTING AND DOCUMENTATION RETENTION REQUIREMENTS 7 7.1. Defendant Domus Urbis shall, no later than fourteen (14) days after. occurrence, 8 provide to the Attorney General notification and documentation of the following events: 9 7.1A. Any change to the rules or practices regarding the Nondiscrimination 10 Policy (Appendix A), 11 7.1.2. Proof.of notification of the.consent Decree and Nondiscrimination 12 Policy, including executed copies of Appendix B, and a list of the names and addresses for all 13 tenants to whom the Nondiscrimination Policy was provided; 14 7.1.3. Proof of completion of the required fair housing training in the form of 15 Appendix C and 16 7.1A. Any written or oral complaint against Defendant Domus Urbis; or Domus 17 Urbis's agents or employees, regarding discrimination in housing. The notification shall include 18 the full details of the complaint, including the complainant's name, address, and telephone 19 number. if the complaint is written, Defendant Domus Urbis shall provide a copy of the written 20 complaint with the notification, Upon the Attorney General's request, Defendant Domus, Urbis 21 shall also provide, within fourteen (1 4) days of the request, all information concerning any such 22 complaint and the.substance of any resolution of such'coniplaint; 23 7.2. Within six (6) months after entry ofthis Consent Decree, and every six (6) months thereafter for the duration of this Consent Decree, Defendant Domus Urbis shall deliver to the Attorney General executed copies of Appendices B and C; to the extent not previously provided. CONSENT DECREE ( ATTORNEY GENERAL OF WASEENGTON Seattle, WA 98104-3188 :(206)442-4492

1 7.3. (Jpon reasonable notice to counsel for Defendant Domus Urbis; representatives of 2 the Office- ofthe Attorney General shall be permitted to-access,. inspect, and/or copy all business 3 records or documents under control of Defendant Domus Urbis and/or its agent, Jessica Glenn, 4 and depose any principal, officer, director, agent, manager, employee, or representative of 5 Defendant Domus Urbis in order to monitor compliance with this Consent Decree, 6 VIII. PAYMENT 7 8.1. Pursuant to RCW 19.86.140, RCW 19.86.080, and RCW 49.60.030(2), Defendant 8 Domus Urbis shall pay:$5,500 to the Attorney General. 9 8.2. The Attorney General shall use the funds for recovery of its fees and costs in 10 investigating this matter, future monitoring and enforcement of this Consent Decree, consumer 11 restitution, damages, Cy pres to remediate the impacts of housing discrimination, or for any lawful 12 purpose in the discharge of the Attorney General's duties at the sole discretion of the Attorney 13 General. 14.8.3. Failure to pay these funds within fourteen (14) days of entry of the Consent Decree 15 shall be a: material breach of this Consent Decree. The payment. shall be made by a valid check, 16 made payable to the "Attorney General -- State of Washington", and shall, be delivered.to the Office.17 of the Attorney General, Attention., Chalia. Stallings-Ala'ilima,, 800 Fifth 18 Avenue, Suite 2000, Seattle, Washington 98104-3188. 19 IX. ENTRY AND DURATION 20 9.1. This Consent Degree shall be in effect for a period of three (3) years from the date 21, of its entry. The Court shall retain jurisdiction for the duration of this. Consent Decree to enforce 22. its terms, after wh ch.time the case shall be dismissed with prejudice. 23 9.2. The Attorney General may move the Court to extend the duration of the Consent Decree in the event of noncompliance, whether intentional or not, with any of its terms, or if it believes the interests of justice so require. CONSENT DECREE 7 ATTORNEY GENERAL OF WASHINGTON Seattle, WA 98104-3188..(206).442-4492

.1 9.3. Violation of any of the terms of this Consent Decree shall constitute a violation 2 of an injunction for which civil penalties may be sought by the Attorney General pursuant to 3 RCW 19.86.140 and/or such other remedies as may be provided by law, 4 X. ADDITIONAL PROVISIONS 5 10,1. This Consent Decree shall bebinding upon and inure to the benefit of Defendant 6 Dom-Lis Urbis's successors and assigns. Defendant Domus Urbis and its successors and assigns 7 shall notify the.state at least thirty (30) days prior to any:change-in-control of DefendantDomus 8 Urbis that would change the identity of the corporate entity responsible for compliance. 9 obligations arising under. this Consent Decree, including but not limited to dissolution, 10 assignment, sale, merger; or other action that would result in the emergence of a successor 11 corporation; or the creation or dissolution of a subsidiary, parent, or affiliate that engages in any 12 acts or practices.subject to this order. 13 10.2. Nothing in this Consent Decree shall be construed to limit or bar any other 14 governmental entity or person from pursuing other available remedies against Defendant Domus 15 Urbis or any other person. 16 10.3 The parties agree that; as of the date of the entry of this Consent Decree, litigation 17 is not "reasonably foreseeable" concerning the matters described above. To.the extent that either 18 party previously implemented a litigation hold to preserve.documents,_ electronically stored 19 information (ESz}, or things related to the matters described above, the party is no longer required 20' to maintain such litigation hold. Nothing in this paragraph relieves either party of any other 2.1 obligations imposed by this Consent. Decree. 22 1-23 Approved on this _ day of.(nt '2017. JUDGE CONSENT DECREE 8 ATTORNEY GENERAL OF WASHINGTON Civil Rights.Unit Seattle, WA 98104-3188 (206)442-4492

1 2 3 4 5 6 7 8 9 10 11 12 13 14 1S Presented by: ROBERT W. FERGUSON Attorney General &I CHALIA STALLINGS-ALA'IL MA, WSBA#40694 Assistant Attorney General Office of the Attorney General Seattle, WA 98104 (206) 3-5480 ChaliaS@atg.wa. jgov approved for entry by. ROBERT ROW _,EY, 128 Attorney.for Domus I 16 17 18 19 20 21 22 23 CONSENT DECREE 9 ATTORNEY GENERAL OF WASHINGTON 800 Fifth Avenue, Suite2000 Seattle, WA 98104-3188 (206)442-4492

A.PPENDIY A NONDISCRIMINATION POLICY It is the policy of Domus Uibis, LLC to comply with Title. VIII of the Civil Rights Act of 1968, as amended, commonly known as the Fair Housing Act, the Washington Law Against Discrimination, and the Washington Consumer. Protection Act, by ensuring that apartments are available to all persons without regard to race, color, religion, national origin, sex, sexual orientation, marital status, familial status, honorably discharged veteran or military status, or disability. This policy means that, among other things, Domus Urbis, LLC and all their agents. and employees with the responsibility for showing, renting, or managing any dwelling units must not discriminate: in any aspect of the rental of dwellings against qualified applicants or teriants..specifically, they may not: 10 11. 12 13 14 15 16 17 18 19.20 21 22 23 A: Refuse to rent, refuse to negotiate for the rental of, or otherwise make unavailable or deny, a dwelling to any person based on any the characteristics underlined above; B. Use different rental polices; lease terms, or other conditions of application or tenancy based on any of the characteristics underlined above unless required by law; C. Make, print, or publish, or cause to be made, printed, or published any notice, statement, or advertisement, with respect to the rental of a dwelling that indicates any preference, limitation, or discrimination based on any of the characteristics underlined above; or.d, To represent to a person, based on any of the characteristics underlined above, that any dwelling is not available for inspection or rental. when such dwelling is in fact so available. This means that Domus Urbis, LLC cannot and will not choose tenants, set lease terms, use rental policies, or make other decisions about tenants or prospective tenants based on the characteristics listed in the first paragraph.,any agent or employee who fails: to comply with. this Nondiscrimination Policy will be subject to appropriate disciplinary action, Any action taken by an agent or employee that results in unequal service to, treatment of, or behavior toward tenants or actual or potential applicants on the basis of race, color, religion, national origin, sex, sexual orientation, marital status; familial status, honorably discharged veteran or military status, or disability may constitute a violation of state and/or federal.fair housing laws. Any tenant- or applicant who believes that any of the above policies have been violated by any owner, agent, or employee may contact the Washington Attorney General's office toll-free at (844) 323-3 864 or the Washington State Human Rights Commission at (800) 233-37. CONSENT DECREE 10 ATTORNEY.GENERAL.OF WASIIMGTON Seattle, WA 9&104-3188.(200 442-4492

1 z 3 4 5 6 7 APPENDIX B ACKNOWLEDGMENT OF RECEIPT OF CONSENT ORDER AND NONDISCRIMINATION POLICY I acknowledge that on, 201 was provided copies of the- Consent Decree entered by the Court in State of Washington v. Domus W is, LLC, Civil A.ctioh No. (Spokane County Superior Court) and the Nondiscrimination Policy adopted by Domus Urbis, LLC pursuant thereto. I have read and understand these documents and have had my questions about these documents answered. I understand my legal responsibilities and. shall comply with those responsibilities. 9 10 11 12 13 14 15 16 Signature Print Name Job Titte/Position Date 17 18 19 20 21 22 23 CONSENT DECREE 1 ATTORNEY GENERAL OF WASHINGTON Civil Righ6 Unit 800 Fifth Avenue; Suite 2000 Seattle, WA 98104-3188 (206) 442-4492

e I v 1 2 92 4 APPENDIX C EMPLOYEE TRAINING ACKNOWLEDGMENT I acknowledge that on 1 20, I received minutes of inperson fair Housing training, 5 6. 7 8 Signature Print Name s 10 11 12 Job Title/Position Date 13 14 15 16 17 18 19 20 21 22 23 CONSENT DECREE 12 ATTORNEY GENERAL OF WASHINGTON Civil Rights Uiut. Seattle, WA 981043188 (206)442-4492