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IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF MISSOURI WESTERN DIVISION AMANDA TAYLOR, ) ) Plaintiff, ) ) vs. ) Case No. 4:18-cv-701 ) VITAMIN COTTAGE NATURAL ) FOOD MARKETS, INC. a/k/a ) NATURAL GROCERS BY VITAMIN ) COTTAGE, et al., ) ) Defendants. ) NOTICE OF REMOVAL Pursuant to 28 U.S.C. 1332, 1441 and 1446, Defendants Vitamin Cottage Natural Food Markets, Inc. ( Natural Grocers ), Anthony Thebeau, and Ernest Phillips (collectively, Defendants ), file this Notice of Removal to the United States District Court for the Western District of Missouri, Western Division. A Civil Cover Sheet for this case is attached hereto as Exhibit A. Removal is proper based on the following grounds: I. Facts 1. On May 9, 2017, Plaintiff Amanda Taylor ( Plaintiff ) dually filed a Charge of Discrimination with the Equal Employment Opportunity Commission ( EEOC ) and Missouri Commission on Human Rights ( MCHR ), Charge No. FE-5/17-27364; 563-2017-01387 ( First Charge ). The First Charge named Natural Grocers By Vitamin Cottage as the Respondent, alleged sex/gender discrimination and retaliation, and set forth the following allegations: I was hired on or about December 7, 2014. I was working at the Produce Manager until in or about January 2017 when I was forced into the position of Dairy/Frozen Manager because of medical restrictions related to my disability. I made a complaint on or about March 20, 2017 that I was forced into my new position Case 4:18-cv-00701-DGK Document 1 Filed 09/06/18 Page 1 of 10

because of my pregnancy. On or about May 8, 2017, I was written up. I believe I was forced to take a new assignment and disciplined because of my sex (female, pregnancy) and disciplined in retaliation for complaining about employment discrimination in violation of Title VII of the Civil Rights Act of 1964, as amended, and the Pregnancy Discrimination Act of 1978. May 9, 2017 Charge attached hereto as Exhibit B. 2. On May 25, 2017, the MCHR issued Plaintiff a Notice of Right to Sue on the First Charge. This Notice provided that Plaintiff had the right to bring a civil action within 90 days of the date of this letter against the respondent(s) named in the complaint. [ ] No person may file or reinstate a complaint with the MCHR after the issuance of a notice of right to sue relating to the same practice or act. May 25, 2017 Notice of Right to Sue, attached hereto as Exhibit C (emphasis supplied). 3. In order to timely bring a civil action in Missouri state court based on the acts alleged in the First Charge, Plaintiff was required to do so by August 23, 2017. Plaintiff failed to do so. 4. On August 28, 2017, the Missouri Human Rights Act ( MHRA ) was amended. Among other things, this amendment changed the liability standard associated with MHRA employment discrimination claims and eliminated individual liability in such claims. As a result, employment discrimination claims brought against current/former supervisors or managers are improper under the MHRA. See Missouri SB43 ( Currently, persons acting in the interest of employers are considered employers under the MHRA and are each liable for discriminatory practices. This act modifies the definition of employer to exclude such individuals. ). 5. On November 28, 2017, Plaintiff dually filed a new, separate Charge of Discrimination with the MCHR and EEOC, Charge No. FE-11/17-28395; 563-2018-00473 ( Second Charge ). This Second Charge named Natural Grocers by Vitamin Cottage, Anthony 2 Case 4:18-cv-00701-DGK Document 1 Filed 09/06/18 Page 2 of 10

Tony Thebeau ( Thebeau ), and Ernest Paul Phillips ( Phillips ) as Respondents. Both Thebeau and Phillips are individuals. 6. In the Second Charge, Plaintiff only makes a claim of retaliation and provides the following narrative: I previously filed charges of discrimination against the above named respondents on or about for gender (pregnancy) and disability discrimination. Since beginning with Natural Grocers management has known about my inability to work morning shifts, due to familial obligations, and they have always worked with me to accommodate this. Only now, after returning from pregnancy leave (on October 23, 2017) and filing two charges of discrimination, my previously requested latestarts pose a problem. Furthermore, I was never informed (until returning from pregnancy leave) that after a three week transition I would be scheduled per business needs and the previous accommodation would be taken away. Obviously, this change was further retaliation against me for asserting my legal rights under the Missouri Human Rights Act. Finally, after giving the proper notice that I would not be able to work an unfairly scheduled morning shift, I was terminated. November 28, 2017 Charge, attached hereto as Exhibit D. 7. On May 31, 2018, the MCHR issued Plaintiff a Notice of Right to Sue on the Second Charge. Thus, Plaintiff was required to file any civil action based on her retaliation claim asserted in the Second Charge on or before August 29, 2018. May 31, 2018 Notice of Right to Sue, attached hereto as Exhibit E. 8. On July 31, 2018, Plaintiff initiated a civil action captioned Amanda Taylor v. Vitamin Cottage Natural Food Markets, Inc., et al., Case No. 1816-CV19466, in the Circuit Court of Jackson County, Missouri (the State Court Action ). 9. The Petition filed in the State Court Action contains counts alleging Gender Discrimination in Violation of the Missouri Human Rights Act and Retaliation in violation of the Missouri Human Rights Act. True and correct copies of all the process, pleadings, and orders in the State Court Action that have been received by Defendants are attached hereto as Exhibit F. 3 Case 4:18-cv-00701-DGK Document 1 Filed 09/06/18 Page 3 of 10

10. In addition to naming Natural Grocers, Plaintiff also names Phillips and Thebeau as individual defendants. 11. All Defendants have been served with a copy of the Summons and Petition. 12. This Notice of Removal is being filed within thirty (30) days of the receipt of any pleadings setting forth the claim for relief upon which the action is based and is, therefore, timely under 28 U.S.C. 1446. 13. Defendants have not filed an Answer or other pleading in the State Court Action. II. This Court has Diversity Jurisdiction. 14. Plaintiff alleges that she is a resident of the State of Missouri. Petition 2. Therefore, Defendants believe in good faith that Plaintiff is a citizen of the State of Missouri for purposes of diversity jurisdiction. 15. Plaintiff correctly alleges that Defendant Natural Grocers is headquartered in Colorado. Petition 3. In addition, Natural Grocers is a Colorado corporation. See Exhibit G, Natural Grocers Articles of Creation filed with the Missouri Secretary of State. 16. Plaintiff makes no allegations in the State Court Action regarding the residence or citizenship of Defendant Thebeau. However, Thebeau is a sham defendant who, as a matter of law, cannot be held liable in this matter. All of Plaintiff s claims against Thebeau are employment law claims brought under the MHRA, which, as of August 28, 2017, does not provide for a private right of action against individuals. 1 17. Plaintiff also makes no allegations in the State Court Action regarding the residence or citizenship of Defendant Phillips. However, Phillips is also a sham defendant who, as a matter 1 Defendants intend to file a motion to dismiss Plaintiff s MHRA gender discrimination claim as it is untimely and/or not properly exhausted, and a motion to dismiss Thebeau and Phillips from the case entirely for the reasons set forth herein. 4 Case 4:18-cv-00701-DGK Document 1 Filed 09/06/18 Page 4 of 10

of law, cannot be held liable in this matter. All of Plaintiff s claims against Phillips are employment law claims brought under the MHRA, which, as of August 28, 2017, does not provide for a private right of action against individuals. 18. Complete diversity still exists between the parties because Thebeau and Phillips are improper defendants, and Natural Grocers is a Colorado corporation with its principal place of business in Colorado. Filla v. Norfolk S. Ry. Co., 336 F.3d 806, 809 (8th Cir. 2003). A nondiverse party named in the state court action may be disregarded if the federal court determines that the party s joinder is fraudulent such that no possible cause of action has been stated against that party. Id. 19. Specifically, pursuant to Missouri Senate Bill 43, effective August 28, 2017, the MHRA was amended to bar individual liability. See Mo. Rev. Stat. 213.010(8) (defining employer to exclude individuals). 20. Any allegations in the State Court Action arising from Plaintiff s First Charge are time-barred. Because Plaintiff was required to file any claims arising from the First Charge on or before August 23, 2017, and failed to do so, she is now precluded from asserting any claims arising from that Charge. 21. The only operative Charge in this matter is the Second Charge. This Charge was filed on November 28, 2017 ninety-two (92) days after the MHRA was amended. The allegations in the Second Charge only involve alleged retaliation that Taylor claims occurred only now, after returning from pregnancy leave (on October 23, 2017). The MCHR issued its Notice of Right to Sue on May 31, 2018 two hundred seventy-six (276) days after the MHRA was amended. 5 Case 4:18-cv-00701-DGK Document 1 Filed 09/06/18 Page 5 of 10

22. To initiate an action under the MHRA, a claimant must first exhaust the applicable administrative remedies provided by law. See Dorsey v. Pinnacle Automation Co., 278 F.3d 830, 838 (8th Cir. 2001); Galambos v. Fairbanks Scales, 144 F. Supp. 2d 1112, 1124 (Mo. App. E.D. 2000) (citing Stuart v. General Motors Corp., 217 F.3d 621, 630 (8th Cir. 2000)). Before filing suit, a plaintiff first must file a charge of discrimination with the EEOC or a state or local agency with authority to seek relief. Richter v. Advance Auto Parts, Inc., 686 F.3d 847, 850 (8th Cir. 2012) (internal citations omitted). The charge of discrimination filed with the administrative agency (EEOC or MCHR) must set forth the facts and nature of the charge, and the claimant must receive a notice of the right to sue from the administrative agency before filing suit. Tart v. Hill Behan Lumber Co., 31 F.3d. 668, 672 (8th Cir. 1994) (citing Mo. Ann. Stat. 213.075, 213.111(1)) (emphasis added). Filing a lawsuit within ninety (90) days of the MCHR s issuance of the right-to-sue is an absolute prerequisite to suit. See Hammond v. Mun. Corr. Inst., 117 S.W. 3d 13, 136-37 (Mo. Ct. App. 2003) (under the MHRA, Mo. Rev. Stat. 213.111.1, the ninety-day period for filing a civil action commences to run from the date the MCHR issues a right-to-sue letter; civil action filed under the MHRA ninety-one days after issuance of the right-to-sue letter issued by the MCHR was untimely). 23. Plaintiff s naming Phillips and Thebeau as parties to this action is improper because, as of August 28, 2017 (the date the MHRA was amended), there was no possibility that Plaintiff could establish a MHRA claim against them. 24. The operative Charge, and the alleged acts complained of therein, occurred after SB 43 became effective. Despite clear and unequivocal language in the statute prohibiting individual liability against them, Plaintiff nonetheless named Phillips and Thebeau as defendants in the State Court Action. This was clearly an improper attempt to defeat diversity jurisdiction. 6 Case 4:18-cv-00701-DGK Document 1 Filed 09/06/18 Page 6 of 10

25. Accordingly, for purposes of diversity jurisdiction, Phillips and Thebeau should be disregarded because no legally valid cause of action has been stated against them, nor could it be stated against them. Filla 336 F.3d 806 at 809. 26. It is readily evident that a fact finder could legally conclude that the damages Plaintiff seeks exceed the jurisdictional requisite of $75,000 based on (1) the extensive allegations and prayers for damages under Plaintiff s MHRA claims and (2) the availability under the MHRA of significant damages, including compensatory and punitive damages, as well as attorneys fees on these claims. 27. The United States Supreme Court and the Eighth Circuit have long instructed that whether the amount in controversy is satisfied is determined based on the damages that plaintiff seeks in her petition, to which she might be entitled under the controlling law for the claims pled. In other words, if a plaintiff has articulated a legal basis for a potential award of damages which might satisfy the jurisdictional amount, then federal jurisdiction exists. St. Paul Mercury Indemnity Co. v. Red Cab Co., 303 U.S. 283, 288 89, 58 S.Ct. 586, 590 (1938); Kopp v. Kopp, 280 F.3d 883, 884-885 (8th Cir. 2002). 28. Plaintiff alleges numerous types of damages available for alleged violation of the MHRA, which could exceed $75,000. Most notably, Plaintiff seeks recovery on her MHRA claims for actual and punitive damages, costs, reasonable attorneys fees, and for any other remedy that the Court deems equitable. (See Petition at WHEREFORE clauses of Counts I and II). The MHRA specifically allows for recovery of punitive damages and attorneys fees. R.S. Mo. 213.111.2. 29. In calculating the amount in controversy, a party seeking removal of a civil action to federal court may include, among other potential recoveries, a plaintiff s claims for 7 Case 4:18-cv-00701-DGK Document 1 Filed 09/06/18 Page 7 of 10

punitive damages, statutory attorneys fees, and for emotional distress. See Crawford v. F. Hoffman-La Roche Ltd., 267 F.3d 760, 766 (8th Cir. 2001); see also Embry v. Everest College, 2016 WL 468012 (W. D. Mo. September 6, 2016) (stating that damages for emotional distress, punitive damages, or attorneys fees... may be considered when assessing whether the amount in controversy has been met ); Feller v. Hartford Life & Acc. Ins. Co., 817 F. Supp. 2d 1097, 1107 (S.D. Iowa 2010) (finding it rational to include the future legal expenses in calculating the amount in controversy ). 30. Plaintiff s claim for attorneys fees under the MHRA alone creates the distinct probability of a recovery in excess of $75,000 if plaintiff prevails, given that such recoveries under the MHRA often substantially exceed five figures, even when the alleged discrimination itself results in nominal or small monetary damages. See DeWalt v. Davidson Surface Air, 449 S.W.3d 401 (Mo. App. 2014) (trial court erred by reducing claim for attorneys fees of $133,198.50 under the MHRA based on a jury compensatory damage award of $7,500.00). There can be no doubt that if this action proceeds to a jury some months from now, Plaintiff s potential fee claim alone likely would exceed $75,000. 31. Accordingly, this action is one under which the Court has original jurisdiction pursuant to 28 U.S.C. 1332(a)(1) and (2), and which may be removed to this Court pursuant to 28 U.S.C. 1441. III. Venue is appropriate in this Court 32. Removal to this court is proper pursuant to 28 U.S.C. 1441(a) because this Court is the federal district court embracing the Circuit Court of Jackson County, Missouri, where the State Court Action was filed. Removal to the Western Division of this Court is proper pursuant to Local Rule 3.2. 8 Case 4:18-cv-00701-DGK Document 1 Filed 09/06/18 Page 8 of 10

33. Defendants submit this Notice of Removal without waiving any defenses to the claims asserted by Plaintiff, including but not limited to improper service of process, lack of personal or subject matter jurisdiction, Plaintiff s failure to state any claims upon which relief may be granted, or Plaintiff s failure to exhaust administrative remedies. 34. A copy of this Notice of Removal and exhibits hereto has been served upon Plaintiff, and, together with a Notice of Filing of Removal, will be filed with the Clerk of the Circuit Court of Jackson County, Missouri. WHEREFORE, Defendants pray that further proceedings in the Circuit Court of Jackson County, Missouri, be discontinued and that said Case Number: 1816-CV19466 now pending in the Circuit Court of Jackson County, Missouri, be removed to the United States District Court for the Western District of Missouri, Western Division, and that such Court assume full jurisdiction of such action as provided by law. Dated: September 6, 2018 Respectfully submitted, JACKSON LEWIS P.C. /s/ Kyle B. Russell Kyle B. Russell, MO Bar #52660 Janelle L. Williams, MO Bar #64242 7101 College Blvd, Suite 1200 Overland Park, KS 66210 Telephone: (913) 981-1018 Facsimile: (913) 981-1019 Kyle.Russell@jacksonlewis.com Janelle.Williams@jacksonlewis.com ATTORNEYS FOR DEFENDANTS 9 Case 4:18-cv-00701-DGK Document 1 Filed 09/06/18 Page 9 of 10

CERTIFICATE OF SERVICE I hereby certify that on this 6 th day of September, 2018, a true copy of the foregoing Notice of Removal was filed with the Clerk of the Court using the CM/ECF system, with a copy sent via electronic mail and via first-class U.S. mail, postage prepaid, to the following counsel of record for Plaintiff: Mark A. Jess Christie Jess Employee Law Rights Law Firm Law Offices of Mark A. Jess, LLC Kansas City Livestock Exchange Building 1600 Genessee, Suite 842 Kansas City, Missouri 64102-5639 mark.jess@employeerightslawfirm.com christie.jess@employeerightslawfirm.com www.employeerightslawfirm.com ATTORNEYS FOR PLAINTIFF /s/ Kyle B. Russell AN ATTORNEY FOR DEFENDANTS 10 Case 4:18-cv-00701-DGK Document 1 Filed 09/06/18 Page 10 of 10