86zt-lI. 1. Plaintiff, Jose River4 residing in Roselle Park, New Jersey, was employed by

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THE SATTIRA.IU LAW FIRM, P.C. Ravi Sattiraju, Esq. (Attomey Id. No.035251998) I 16 Village Boulevard, Suite 200 Princeton, New Jersey 08540 Tel: (609) 799-1266 Fax: (609) 799-1267 Email : rsattiraj u@sattiraj ula*fi rm.com Attomeys for Plaintiff, Jose Rivera U JJ JOSE RIVERA, Plaintiff, NEW JERSEY TRANSIT & JAMES SCHWORN Defendants. SUPERIOR COURT OF NEW JERSEY LAW DIVISION ESSEX COI-TNTY DOCKET NO. Civil Action L 86zt-lI COMPLAINT AND JURY DEMAND PlaintiffJose Rivera (hereinafter "Plaintiff'), by way of Complaint against Defendants, New Jersey Transit ('NJT") hereby states as follows: THE PARTIES 1. Plaintiff, Jose River4 residing in Roselle Park, New Jersey, was employed by Defendant at all times relevant to this matter. 2. At all times relevant to this matter, Plaintiff has been an employee of Defendant NJT as "employee" is defined under the New Jersey Law Against Discrimination, N.J.S.A. 10:5- I et seq. ("LAD"). 1

3. Defendant, NJ Transit, which is headquartered in Newark, New Jersey, was the "employer" of Plaintiff as defined by the LAD. 4. Defendant Schwom, at times relevant to this matter, was a member of upper level management ofnjt as defined by LAD, and aided and abetted the discrimination and retaliation to which Plaintiffhas been subjected. 5. Defendant NJT conducts business in Essex County, and the underlying facts took place in Essex County. Venue is thus properly laid in Essex County pursuant tor 4:3-2(b) SPECIFIC ALLEGATIONS 6. In January 2014, Plaintiff was employed by NJT as a Senior Director, Purchasing and Materials Management, and reported to Defendant Schwom. 7. In January 2014, Defendants were sued in the matter ofpra llilson, et al. v. New Jersey Transit, ESX-L-263-14, which alleged systemic race discrimination at NJ Transit. Defendant Schwom was among the individual defendants accused of discrimination. 8. This matter settled in July 2016 for $3.6 million after extensive litigation in which Defendant spent $1.5 million in outside counsel fees. 9. Plaintiff was intimidated and pressured by Defendant Schwom not to report the discrimination he witnessed. Defendant Schwom told Plaintiff that he had to be careful about what version of the truth they put forward. 10. Plaintiff was intimidated by Mr. Schwom not to report the discrimination that he witnessed at NJ Transit in his departrnent. Plaintiff testified at his deposition that he also felt.,

intimidated by NJ Transit's outside counsel not to report the discrimination and retaliation that he witnessed at NJ Transit. I 1. After the Wilson Complaint was filed, Defendant Schwom was obsessed with the lawsuit and would bring up the topic 4-5 times a week to Plaintiff. 12. In March 2014, Plaintiff first met with outside counsel representing NJ Transit in lhe lllilson maller. 1 3. Immediately thereafter, Defendant Schworn communicated to Plaintiff that he suspected that Plaintiffs answers to outside counsel regarding discrimination at NJ Transit did not match up with Defendant Schwom's responses on that topic. 14. After the March 2014 meeting with outside counsel, Plaintiffs work life changed as he was subjected to an ongoing campaigrr of retaliation that continues to this day. following: 15. Plaintiffhas been subjected to ongoing retaliation, including but not limited to the ll. ll1. iv. vi Defendants maligned Plaintiffs reputation within and outside of NJ Transit, which impacted his ability to secure other positions; Plaintiff was denied promotional opporhrnities within NJ Transit and no longer receivedjob postings that he used to get; Plaintiff was denied the staffrng assistance he needed to perform his job; Plaintiffs job responsibilities have been reduced which reduced his profile within the organization; Defendants produced reports that falsely attacked the productivity of Plaintiff s department; While Defendant Schwom had previously told Plaintifftold that he was the logical choice to replace Defendant Schworn, Defendant Schwom later said at a staff meeting that Defendants would seek to find his replacement extemally; J

vll. vlll Plaintiffhas suffered economically because he was denied the opportunity to secure higher level and more lucrative positions; and Plaintiff was continually blamed for issues that were non-existent and/or not his fault. 16. Plaintiff also met with outside counsel on the Price litigation on other instances, including one meting where he was pressured to not disclose the discriminatory treatment that he had observed. 17. In July 2015 and March 2016, Plaintiff prepared detailed memorandum to NJT's Human Resources and EEO offices describing the retaliation to which he had been subjected. 18. Plaintiff also set forth that he was subjected to race/national origin discrimination including, but not limited to, that Defendant Schwom offered Plaintiff the same compensation that he paid to white males that were two or three levels below Plaintiff. 19. Defendants did not take effective remedial steps to remedy the illegal treatment to which Plaintiff was subjected and it has continued to the present. 20. Plaintiff was deposed over two days in February 2016. During his deposition, Plaintifftestified about the illegal discrimination to which the Wilson Plaintiffs were subjected, as well as the retaliation Defendants were imposing upon him. Plaintiffalso testified that Defendant Schwom engaged in other unethical conduct such as showing preferential treatment to employees with whom he had a sexual relationship. 21. Plaintifftestified that Defendant Schwom engaged in blatant retaliation when he told Pia Wilson that he could not help with her compensation because she was suing him. 4

22. Following Plaintiff s testimony in the Wilson case, and the settlement of that matter, Plaintiff continues to suffer from ongoing retaliation from Defendants as a result ofhis protected complaints. COUNT ONE NEW JERSEY LAW AGAINST DISC RIMINATION 23. Plaintiff reasserts the above Paragraphs as ifset forth at length herein. 24. Defendants' conduct against Plaintiff violates the New Jersey Law Against Discrimination, N.J.S.A. 10:5-1 et 99q. in that Plaintiff was discriminated agaisnt because of his race and national origin. 25. Defendant Schworn is further liable because he aided and abetted the discriminatory conduct against Plaintiff. 26. As a result of Defendants' conduct, Plaintiff has endured significant damages including, but not limited to, physical and bodily injuries, severe emotional distress, humiliation, embarrassment, personal hardship, career and social disruption, psychological and emotional harm, economic losses, and other such damages. WHEREFORE, Plaintiff respectfirlly requests that the Court enter judgrnent in his favor, together with (i) damages to be determined at trial, with interest; (ii) pre-judgrnent and postjudgment interest at the highest rates allowed by law; (vii) attomeys' fees, costs and expenses with appropriate enhancement; and (viii) all other legally permissible relief that the Court deems appropriate. 5

COUNT TWO RETALIATION IN VIOLATION OT THE NEW JI,RSEY LAW AGAINST DISCRIMINATION 29. Plaintiff reasserts the above Paragraphs as ifset forth at length herein. 30. Defendants' conduct against Plaintiff violates the New Jersey Law Against Discrimination, N.J.S.A.. 10:5-1 et seq., given that they have subjected him to ongoing rctaliation for Plaintiff engaging in protected activity under the LAD. 31. Defendant Schwom is firther liable because he aided and abetted the retaliatory conduct against Plaintiff. 32. As a result of Defendants' conduct, Plaintiff has endured sigrificant damages including, but not limited to, physical and bodily injuries, severe emotional distress, humiliation, embarrassment, personal hardship, career and social disruption, psychological and emotional harm, economic losses, and other such damages. WHEREFORE, Plaintiff respectfully requests that the Court enter judgment in his favor, together with (i) damages to be determined at trial, with interest; (ii) pre-judgrnent and postjudgrnent interest at the highest rates allowed by law; (vii) attomeys' fees, costs and expenses with appropriate enhancement; and (viii) all other legally permissible relief that the Court deems appropriate. 6

Plaintiff hereby demands a trial by jury. DEMAND FORJURY TRIAL Date: December 13,2016 THE SA LAWFIRM,P.C. Ravi Sattirajq Esq. NJ Bar Id. No. 03525 1998 1 16 Village Boulevard, Suite 200 Princeton, New Jersey 08540 Plaintiff. DESIGNATION OF TRIAL COUNSEL Pursuant to Rule 4:5-1(c), Ravi Sattiraju, Esq. is hereby desigrated as trial counsel for Date: December 13,2016 2*"-.{"Hr- THE SATTIRAJU LAW FIRM, P.C. Ravi Sattiraju, Esq. NJ Bar Id. No. 035251998 I 16 Village Boulevard, Suite 200 Princeton, New Jersey 08540 7

CERTIFICATION PURSUANT TO R 4:5-r I hereby certifu, pursuant to Rule 4:5-1 that the matter in controversy herein is the subject ofno other pending legal proceeding or arbitration nor is any other legal proceeding contemplated to the best of my information and belief. Further, I know of no other party who should be joined in this lawsuit. Date: December 13,2016 z-/,-1" RAVI SATTIRAJU 8