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Case 5:15-cv-00112-RWS Document 1 Filed 07/14/15 Page 1 of 12 PageID #: 1 IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF TEXAS TEXARKANA DIVISION ELISSA SHETZER, Individually and on Behalf of All Others Similarly Situated PLAINTIFF vs. Case No. 5:15-cv-112 HARTE-HANKS RESPONSE MANAGEMENT/AUSTIN LP DEFENDANT ORIGINAL COMPLAINT COLLECTIVE ACTION COMES NOW Plaintiff Elissa Shetzer, individually and on behalf of all others similarly situated, by and through her attorney Josh Sanford of the Sanford Law Firm, PLLC, and for her against Defendant Harte Hanks Response Management/Austin LP ( Defendant ), does hereby state and allege as follows: I. JURISDICTION AND VENUE 1. Plaintiff, individually and on behalf of all others similarly situated, brings this action under the Fair Labor Standards Act, 29 U.S.C. 201, et seq. ( FLSA ), for declaratory judgment, monetary damages, liquidated damages, prejudgment interest, civil penalties and costs, including reasonable attorneys fees as a result of Defendant s failure to pay Plaintiff and all others similarly situated overtime compensation for all hours that Plaintiff and all others similarly situated worked in excess of forty (40) per workweek. Page 1 of 12

Case 5:15-cv-00112-RWS Document 1 Filed 07/14/15 Page 2 of 12 PageID #: 2 2. The United States District Court for the Eastern District of Texas has subject matter jurisdiction over this suit under the provisions of 28 U.S.C. 1331 because this suit raises federal questions under the FLSA. 3. Defendant conducts business within and without the State of Texas, operating and managing a telephone call center in Texarkana, Texas, among other enterprises. 4. Venue lies properly within this Court under 28 U.S.C. 1391(b)(1) and (c)(2), because the State of Texas has personal jurisdiction over Defendant, and Defendant therefore resides in Texas. 5. Plaintiff Elissa Shetzer ( Shetzer or Plaintiff ) was employed by Defendant at one of its facilities located in the Texarkana Division of the Eastern District of Texas. 6. The acts alleged in this Complaint had their principal effect within the Texarkana Division of the Eastern District of Texas, and venue is proper in this Court pursuant to 28 U.S.C. 1391. II. THE PARTIES 7. Shetzer is a citizen of the United States and a resident and domiciliary of the State of Arkansas. At all times relevant to the allegations in this Complaint, Shetzer was an hourly-paid employee at Defendant s telephone call center in Texarkana, Texas. Page 2 of 12

Case 5:15-cv-00112-RWS Document 1 Filed 07/14/15 Page 3 of 12 PageID #: 3 8. At all times material herein, Plaintiff and those similarly situated have been entitled to the rights, protections and benefits provided under the FLSA. 9. At all times material herein, Plaintiff and those similarly situated have been classified by Defendant as non-exempt from the overtime requirements of the FLSA, 29 U.S.C. 207. 10. Defendant is an employer within the meaning set forth in the FLSA and was, at all times relevant to the allegations in this Complaint, Plaintiff s employer. 11. Defendant is a Delaware corporation headquartered in Texarkana, Texas, providing its clients with customer contact management services and operating a customer service call center located in Texarkana, Texas. 12. Defendant is a subsidiary of Harte-Hanks, Inc., a Delaware corporation. 13. Defendant employs more than one hundred (100) hourly-paid employees at its various locations. 14. Defendant has employees that handle, sell, or otherwise work on goods or materials that have been moved in or produced for commerce. 15. Defendant s annual gross volume of sales is not less than $500,000.00. 16. Defendant s registered agent for service of process for the state of Texas is Donald R. Crews, 200 Concord Plaza Dr., Ste. 800, San Antonio, Texas 78216. Page 3 of 12

Case 5:15-cv-00112-RWS Document 1 Filed 07/14/15 Page 4 of 12 PageID #: 4 III. FACTUAL ALLEGATIONS 17. Plaintiff repeats and re-alleges all previous paragraphs of this Complaint as though fully incorporated in this section. 18. At all relevant times herein, Defendant was/is the employer of Plaintiff and similarly situated employees within the meaning of the FLSA. 19. During the period relevant to this lawsuit, Plaintiff worked at Defendant s call center in Texarkana, Texas, as a customer service representative. 20. At all relevant times herein, Defendant directly hired Plaintiff and similarly situated employees to work in its customer call service center, paid them wages and benefits, controlled their work schedules, duties, protocols, applications, assignments and employment conditions, and kept at least some records regarding their employment. 21. At all relevant times herein, Plaintiff was employed by Defendant as a customer service representative. Plaintiff and similarly situated employees were/are classified by Defendant as non-exempt under the FLSA, and were/are paid an hourly rate. 22. Defendant recorded Plaintiff s regular working time using an electronic system linked to Defendant s phone system. 23. At all relevant times herein, Defendant failed to accurately record all of the time worked off the clock by Plaintiff and similarly situated employees and failed to properly compensate all of the off-the-clock hours. Page 4 of 12

Case 5:15-cv-00112-RWS Document 1 Filed 07/14/15 Page 5 of 12 PageID #: 5 24. At all relevant times herein pursuant to Defendant s common practice, Plaintiff and similarly situated employees were/are required to work off the clock, including but not limited to, reporting to work and preparation for taking customer calls, prior to the time they were allowed to clock in, as well as often remaining at work to take a final customer call after the time their phones automatically clocked them out. 25. Work performed by Plaintiff and similarly situated employees prior to clocking in included presenting for work approximately fifteen minutes prior to their scheduled shift start times to log in to Defendant s computer system and open all operating systems and programs necessary to take the first call when the shift begins. This occurred only a daily basis. 26. Even though the process of logging in and starting up Defendant s systems took as much as fifteen minutes, Defendant specifically instructed Plaintiffs not to clock in more than two or three minutes prior to their scheduled shift start times. 27. At the end of their shifts and after clocking out, Defendant required Plaintiff and similarly situated employees to log off, close out and shut down Defendant s various computer programs, a process which would take between five and ten minutes. This occurred on a daily basis. 28. In addition, approximately two to three times each week, Plaintiff and similarly situated employees would be on a customer service phone call at the time their shifts ended. Plaintiff and similarly situated employees would be clocked out at the end of the phone call, but would have to complete Page 5 of 12

Case 5:15-cv-00112-RWS Document 1 Filed 07/14/15 Page 6 of 12 PageID #: 6 administrative tasks related to the call such as notating the call and sending messages regarding the call, in addition to the daily shutting down process described above. This entire process could take as much as fifteen minutes. 29. The pre-shift and post-shift worked described above was in addition to the at least forty-hours of work performed by Plaintiff and similarly situated employees during their regularly-scheduled shifts. 30. At all relevant times herein, Defendant has deprived Plaintiff and similarly situated employees of regular wages and overtime compensation for all of the hours over forty (40) per week. 31. In all, Plaintiff and similarly situated employees worked two to three hours of overtime each week for Defendant for which they were not compensated. IV. REPRESENTATIVE ACTION ALLEGATIONS A. FLSA 216(b) Class 32. Plaintiff repeats and re-alleges all previous paragraphs of this Complaint as though fully incorporated in this section. 33. Plaintiff brings her claims for relief for violation of the FLSA as a collective action pursuant to Section 16(b) of the FLSA, 29 U.S.C. 216(b), on behalf of all persons who were, are, or will be employed by Defendant as similarly situated hourly employees at any time within the applicable statute of limitations period, who are entitled to payment of the following types of damages: a. Minimum wages for the first forty (40) hours worked each week; Page 6 of 12

Case 5:15-cv-00112-RWS Document 1 Filed 07/14/15 Page 7 of 12 PageID #: 7 b. Overtime premiums for all hours worked for Defendant in excess of forty (40) hours in any week; c. Liquidated damages; and d. the costs of this action, including attorney s fees. 35. In conformity with the requirements of FLSA Section 16(b), Plaintiff has attached hereto as Exhibit A a written Consent to Join this lawsuit. 36. The relevant time period dates back three years from the date on which Plaintiff s Original Complaint Class Action was filed herein and continues forward through the date of judgment pursuant to 29 U.S.C. 255(a), except as set forth herein below. 37. The proposed class of opt-in plaintiffs in this case is defined as all persons who meet the following requirements: a. Were, are, or will be (hereinafter were ) employed by Defendant within the United States as hourly-paid call center customer service representatives, or equivalent positions; and b. Were required to perform work outside of their scheduled working hours. 38. The proposed FLSA class members are similarly situated in that they share these traits: a. They were classified by Defendant as non-exempt from the minimum wage and overtime requirements of the FLSA; b. They performed the same or similar job duties; Page 7 of 12

Case 5:15-cv-00112-RWS Document 1 Filed 07/14/15 Page 8 of 12 PageID #: 8 c. They were subject to Defendant s common policy requiring hourly customer service representatives to perform pre-shift and post-shift work while not clocked in; and d. They were subject to Defendant s common policy of paying hourly workers for their working hours recorded by Defendant s time clock rather than their hours actually worked. 39. Plaintiff is unable to state the exact number of the class but believes that the class exceeds one hundred (100) persons. 40. Defendant can readily identify the members of the Section 16(b) class, which encompasses all hourly-paid customer service representatives. 41. The names and physical and mailing addresses of the FLSA collective action plaintiffs are available from Defendant, and a Court-approved Notice should be provided to the FLSA collective action plaintiffs via first class mail and email to their last known physical and electronic mailing addresses as soon as possible, together with other documents and information descriptive of Plaintiff s FLSA claim. V. FIRST CAUSE OF ACTION (Individual Claim for Violation of the FLSA) 43. Plaintiff repeats and re-alleges all previous paragraphs of this Complaint as though fully incorporated in this section. 44. Plaintiff asserts this claim for damages and declaratory relief pursuant to the FLSA, 29 U.S.C. 201, et seq. Page 8 of 12

Case 5:15-cv-00112-RWS Document 1 Filed 07/14/15 Page 9 of 12 PageID #: 9 45. At all relevant times, Defendant has been, and continues to be, Plaintiff s employer within the meaning of the FLSA, 29 U.S.C. 203. 46. At all relevant times, Defendant has been, and continues to be, an enterprise engaged in commerce within the meaning of the FLSA, 29 U.S.C. 203. 47. 29 U.S.C. 206 and 207 require any enterprise engaged in commerce to pay all employees a minimum wage for all hours worked up to forty (40) in one week and to pay one and one-half times regular wages for all hours worked over forty (40) hours in a week, unless an employee meets certain exemption requirements of 29 U.S.C. 213 and all accompanying Department of Labor regulations. 48. Defendant classified Plaintiff as non-exempt from the overtime requirements of the FLSA. 49. Despite the entitlement of Plaintiff to minimum wage and overtime payments under the FLSA, Defendant failed to pay Plaintiff an overtime rate of one and one-half times her regular rate of pay for all hours worked over forty (40) in each one-week period. 50. Defendant s failure to pay Plaintiff all overtime wages owed was willful. 51. By reason of the unlawful acts alleged herein, Defendant is liable to Plaintiff for monetary damages, liquidated damages, and costs, including reasonable attorneys fees, for all violations that occurred within the three (3) years prior to the filing of this Complaint. Page 9 of 12

Case 5:15-cv-00112-RWS Document 1 Filed 07/14/15 Page 10 of 12 PageID #: 10 VI. SECOND CAUSE OF ACTION (Collective Action Claim for Violation of the FLSA) 52. Plaintiff repeats and re-alleges all previous paragraphs of this Complaint as though fully incorporated in this section. 53. Plaintiff, individually and on behalf of all others similarly situated, asserts this claim for damages and declaratory relief pursuant to the FLSA, 29 U.S.C. 201, et seq. 54. At all relevant times, Defendant has been, and continues to be, an employer of Plaintiff and all those similarly situated within the meaning of the FLSA, 29 U.S.C. 203. 55. Defendant classified Plaintiff and all others similarly situated as non-exempt from the overtime requirements of the FLSA. 56. Despite the entitlement of Plaintiff and those similarly situated to minimum wage and overtime payments under the FLSA, Defendant failed to pay Plaintiff and all those similarly situated an overtime rate of one and one-half times their regular rates of pay for all hours worked over forty (40) in each one-week period. 57. Defendant willfully failed to pay overtime wages to Plaintiff and to others similarly situated. 58. By reason of the unlawful acts alleged herein, Defendant is liable to Plaintiff and all those similarly situated for monetary damages, liquidated Page 10 of 12

Case 5:15-cv-00112-RWS Document 1 Filed 07/14/15 Page 11 of 12 PageID #: 11 damages, and costs, including reasonable attorneys fees, for all violations that occurred within the three (3) years prior to the filing of this Complaint. VII. PRAYER FOR RELIEF WHEREFORE, premises considered, Plaintiff Elissa Shetzer, individually on behalf of herself and all others similarly situated and the members of the proposed Section 216 class, respectfully prays as follows: A. That Defendant Harte Hanks Response Management/Austin LP, be summoned to appear and answer this Complaint; B. For orders regarding certification of and notice to the proposed collective and class members; C. For an order of this Honorable Court entering judgment in her favor against Defendant for her actual economic damages in an amount to be determined at trial; D. For liquidated damages as provided for under the FLSA; E. For punitive damages in an amount to be determined at trial; F. For attorneys fees, costs, and pre-judgment interest; and G. For such other and further relief as this Court deems necessary, just and proper. Page 11 of 12

Case 5:15-cv-00112-RWS Document 1 Filed 07/14/15 Page 12 of 12 PageID #: 12 Respectfully submitted, ELISSA SHETZER, Individually and on Behalf of All Others Similarly Situated, PLAINTIFF SANFORD LAW FIRM, PLLC ONE FINANCIAL CENTER 650 SOUTH SHACKLEFORD, SUITE 411 LITTLE ROCK, ARKANSAS 72211 TELEPHONE: (501) 221-0088 FACSIMILE: (888) 787-2040 By: /s/ Josh Sanford Josh Sanford Texas. Bar No. 24077858 josh@sanfordlawfirm.com Page 12 of 12