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Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 1 of 17 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA ATLANTA DIVISION DARYL UPSHAW, individually and on behalf of all others similarly situated, Plaintiff, v. Case No.: CLASS ACTION NATIONWIDE MUTUAL INSURANCE COMPANY, DEMAND FOR JURY TRIAL Defendant, CLASS ACTION COMPLAINT Plaintiff Daryl Upshaw ( Plaintiff Upshaw ), individually and on behalf of all others similarly situated, allege on personal knowledge, investigation of his counsel, and on information and belief as follows: NATURE OF ACTION 1. This case involves activities by Nationwide Mutual Insurance Company ( Nationwide ) (and by and through its agents) to market its services and/or attempt to contact individuals it believes to be its customers, through use of automated calls and/or pre-recorded messages in plain violation of the Telephone

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 2 of 17 Consumer Protection Act, 47 U.S.C. 227 et seq. (hereinafter referred to as the TCPA ). 2. As described more fully below, Nationwide has violated the TCPA by making calls to Plaintiff Upshaw and Class Members on their cellular telephones using an automatic telephone dialing system and/or an artificial or prerecorded voice as described in 47 U.S.C. 227(b)(1), without Plaintiffs and Class Members prior express consent within the meaning of the TCPA. 3. Plaintiff Upshaw brings this action for statutory damages and injunctive relief under the TCPA, 1 all arising from the illegal actions of Nationwide, who commissioned these campaigns in which pre-recorded and/or automatically dialed messages were used to generate new business or support existing business, and therefore benefitted from those campaigns. JURISDICTION AND VENUE 4. This Court has subject matter jurisdiction pursuant to the Class Action Fairness Act of 2005 ( hereinafter referred to as CAFA ), codified as 28 U.S.C. 1332(d)(2). The matter in controversy exceeds $5,000,000, in the aggregate, 1 Plaintiff Upshaw originally filed this case in the Southern District of Ohio. After Nationwide moved to dismiss that case, however, the parties jointly requested to dismiss Plaintiff Upshaw from that case so that he might file it in this Court instead, given the pendency of the similar Rice-Redding, et al. v. Nationwide Mut. Ins. Co. case here. The Southern District of Ohio granted that request on February 23, 2018. - 2 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 3 of 17 exclusive of interest and costs, as each member of the proposed Class of thousands is entitled to up to $1,500.00 in statutory damages for each violation of the TCPA. Further, Plaintiff alleges a national class, which will result in at least one Class member from a different state. 5. This Court has federal question jurisdiction pursuant to 28 U.S.C. 1331 and 47 U.S.C. 227 et seq. 6. This Court has personal jurisdiction over Nationwide because the company is licensed to conduct business in the State of Georgia, and does conduct business in the State of Georgia, it has established minimum contacts showing that it has purposefully availed itself of the resources and protection of the State of Georgia. 7. Venue is proper in the United States District Court for the Northern District of Georgia because Nationwide is deemed to reside in any judicial district in which it is subject to personal jurisdiction at the time the action is commenced, and because Nationwide s contacts with this District are sufficient to subject it to personal jurisdiction. PARTIES 8. Plaintiff Daryl Upshaw is, and at all times mentioned herein was, an individual citizen of the State of Ohio, who resides in Columbus, Ohio. - 3 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 4 of 17 9. Defendant Nationwide is the parent company of a series of interrelated insurance and financial services companies. Nationwide is an Ohio corporation with corporate headquarters in Columbus, Ohio. THE TELEPHONE CONSUMER PROTECTION ACT OF 1991 (TCPA), 47 U.S.C. 227 10. In 1991, Congress enacted the TCPA 2 in response to a growing number of consumer complaints regarding certain telemarketing practices. 11. The TCPA regulates, among other things, the use of automatic telephone dialing equipment, or autodialers. 12. Specifically, the plain language of section 227(b)(1)(A)(iii) of the TCPA prohibits the use of autodialers to make any call to a wireless number in the absence of an emergency or the prior express consent of the called party. 13. According to findings by the FCC, the agency Congress vested with authority to issue regulations implementing the TCPA, such calls are prohibited because, as Congress found, automated or prerecorded telephone calls are a greater nuisance and invasion of privacy than live solicitation calls, and such calls can be costly and inconvenient. 2 Telephone Consumer Protection Act of 1991, Pub. L. No. 102-243, 105 Stat. 2394 (1991), codified at 47 U.S.C. 227 (TCPA). The TCPA amended Title II of the Communications Act of 1934, 47 U.S.C. 201 et seq. - 4 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 5 of 17 14. The FCC also recognized that wireless customers are charged for incoming calls whether they pay in advance or after the minutes are used. 3 15. On January 4, 2008, the FCC released a Declaratory Ruling wherein it confirmed that autodialed and prerecorded message calls to a wireless number are permitted only if the calls are made with the prior express consent of the called party. 4 FACTUAL ALLEGATIONS 16. Plaintiff Upshaw is, and at all times mentioned herein was, a person as defined by 47 U.S.C. 153(39). 17. Within the relevant statutory period, Plaintiff Upshaw has received at least four telemarketing calls from or on behalf of Defendant Nationwide to his cellular telephone number, 256-929-8434. a. August 21, 2016 at 11:00 a.m. from 800-421-3535 b. October 20, 2016 at 3:33 p.m. from 888-490-1549 c. October 20, 2016 at 8:27 p.m. from 888-490-1549 d. October 27, 2016 at 2:50 p.m. from 888-490-1549 3 In re Rules and Regulations Implementing the TCPA, CG Docket No. 02-278, Report and Order, 18 FCC Rcd 14014, 14115 ( 165) (2003). 4 In re Rules and Regulations Implementing the TCPA, CG Docket No. 02-278, Declaratory Ruling, 23 FCC Rcd 559, 564-65 ( 10) (2008) ( 2008 FCC Declaratory Ruling ). - 5 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 6 of 17 18. On information and belief, at least some of the calls Plaintiff received concerned telemarketing for Nationwide s Commercial Insurance business. On its website, Nationwide lists the number 1-888-490-1549 a number from which Plaintiff received multiple calls as a number for Commercial Insurance quotes. Similarly, Nationwide also lists the number 1-800-421-3535 a number from which Plaintiff received at least one call as the number for starting a claim for Commercial Insurance. See https://www.nationwide.com/contact-usinsurance.jsp. 19. On information and belief, the calls Plaintiff Upshaw received were made using an automatic telephone dialing system with the capacity to store or produce telephone numbers and dial those numbers at random, in sequential order, or from a database or list of numbers. 20. Plaintiff Upshaw was harmed by these calls because they were unwelcome intrusions on his privacy, annoying, and wasted his time, and because they occupied his telephone line from legitimate communications. 21. Nationwide is, and at all times mentioned herein was, a person, as defined by 47 U.S.C. 153(39). - 6 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 7 of 17 22. For the calls to Plaintiff Upshaw, Nationwide used an autodialer and/or pre-recorded messages from its own office, or hired a company that engages in the use of an autodialer and/or pre-recorded messages on Nationwide s behalf. 23. Nationwide is directly liable for the calls to Plaintiff Upshaw, and those similarly situated class members because it actively participated in every aspect of the autodialed and/or pre-recorded telemarketing calls. CLASS ACTION ALLEGATIONS 24. Plaintiff Upshaw incorporates by reference all other paragraphs of this Complaint as if fully stated herein. 25. Plaintiff Upshaw brings this action individually and on behalf of all other persons similarly situated pursuant to Federal Rule of Civil Procedure 23, as set forth below. 26. Plaintiff Upshaw proposes the following Class definition, subject to amendment as appropriate: All persons in the United States who received a prerecorded and/or automated telemarketing call, without prior express written consent, from or on behalf of Nationwide, regarding any line of Nationwide s business other than automobile insurance, Nationwide Bank, or homeowners insurance. Collectively, all these persons will be referred to as Class Members. - 7 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 8 of 17 27. Plaintiff Upshaw is a member of, and will represent the interests of, the Class. 28. Excluded from the class is Defendant, and any entities in which Defendant has a controlling interest, Defendant s agents and employees, any Judge to whom this action is assigned, and any member of such Judge s staff and immediate family, and claims for personal injury, wrongful death and/or emotional distress. 29. Plaintiff Upshaw does not know the exact number of Class Members in the class, but reasonably believes the number of Class Members in the class is, at minimum, in the thousands. 30. Plaintiff Upshaw and all Class Members have been harmed by the acts of the Defendant, including, but not limited to, the invasion of their privacy, annoyance, waste of time, the depletion of their cell phone battery, and the intrusion on their cellular telephone that occupied it from receiving legitimate communications. 31. This Class Action Complaint seeks injunctive relief and money damages. 32. The joinder of all Class Members is impracticable due to the size and relatively modest value of each individual claim. - 8 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 9 of 17 33. Additionally, the disposition of the claims in a class action will provide substantial benefit to the parties and the Court in avoiding a multiplicity of identical suits. 34. Class Members can be identified through records maintained by Nationwide, its telemarketing agents, and/or telephone carriers. 35. There are well defined, nearly identical, questions of law and fact affecting all parties. 36. The questions of law and fact, referred to above, involving the class claims predominate over questions which may affect individual Class Members. 37. Such common questions of law and fact include, but are not limited to, the following: a. Whether the Defendant used an automatic telephone dialing system in its non-emergency calls to Telemarketing Class Members telephones to promote its goods or services. b. Whether Defendant used an artificial or prerecorded voice in its non-emergency calls to Telemarketing Class Members telephones. c. Whether the Defendant can meet its burden of showing it obtained prior express consent (i.e., written consent that is clearly and unmistakably stated), to make calls to the Telemarketing Class; - 9 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 10 of 17 d. Whether the Defendant s conduct was knowing and/or willful; e. Whether the Defendant is liable for statutory damages; and f. Whether the Defendant should be enjoined from engaging in such conduct in the future. 38. Further, Plaintiff Upshaw will fairly and adequately represent and protect the interests of the Class. 39. Plaintiff Upshaw has no interest which are antagonistic to any member of the Class. 40. Plaintiff Upshaw has retained counsel experienced in handling class action claims involving violations of federal consumer protection statutes, including claims under the TCPA. 41. A class action is the superior method for the fair and efficient adjudication of this controversy. CAUSES OF ACTION FIRST COUNT STATUTORY VIOLATIONS OF THE TELEPHONE CONSUMER PROTECTION ACT, 47 U.S.C. 227 ET SEQ. 42. Plaintiff Upshaw incorporates by reference the foregoing paragraphs of this Complaint as if fully set forth herein. - 10 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 11 of 17 43. The foregoing acts and omissions of the Defendant constitute numerous and multiple violations of the TCPA, including but not limited to each of the above cited provisions of 47 U.S.C. 227 et seq. 44. As a result of the Defendant s violations of 47 U.S.C. 227 et seq., Plaintiff Upshaw and Class members are entitled to an award of $500 in statutory damages for each and every violation of the statute, pursuant to 47 U.S.C. 227(b)(3)(B). 45. Plaintiff Upshaw and Class Members are also entitled to and do seek injunctive relief prohibiting the Defendant s violation of the TCPA in the future. SECOND COUNT KNOWING AND/OR WILLFUL VIOLATIONS OF THE TELEPHONE CONSUMER PROTECTION ACT, 47 U.S.C. 227 ET SEQ. 46. Plaintiff Upshaw incorporates by reference paragraphs 1 through 41 as if fully stated herein. 47. The foregoing acts and omissions of the Defendant constitute numerous and multiple knowing and/or willful violations of the TCPA, including but not limited to each of the above-cited provisions of 47 U.S.C. 227 et seq. 48. As a result of the Defendant s knowing and/or willful violations of 47 U.S.C. 227 et seq., Plaintiff Upshaw and each Class Member are entitled to - 11 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 12 of 17 treble damages of up to $1,500 for each and every violation of the statute, pursuant to 47 U.S.C. 227(b)(3). 49. Plaintiff Upshaw and all Class Members are also entitled to and do seek injunctive relief prohibiting such conduct violating the TCPA by the Defendant in the future. PRAYER FOR RELIEF WHEREFORE, Plaintiff respectfully requests that the Court grant Plaintiff and all Class Members the following relief against the Defendant: A. Injunctive relief prohibiting such violations of the TCPA by the Defendant in the future; B. As a result of the Defendant s willful and/or knowing violations of 47 U.S.C. 227(b)(1), Plaintiff Upshaw seeks for himself and each Class Member treble damages, as provided by statute, of up to $1,500 for each and every violation of the TCPA; C. As a result of Defendant s statutory violations of 47 U.S.C. 227(b)(1), Plaintiff Upshaw seeks for himself and each Class Member $500 in statutory damages for each and every violation of the TCPA; E. An award of attorneys fees and costs to counsel for Plaintiff Upshaw and the Class as permitted by law; - 12 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 13 of 17 F. An order certifying this action to be a proper class action pursuant to Federal Rule of Civil Procedure 23, establishing an appropriate Class the Court deems appropriate, finding that Plaintiff Upshaw is a proper representative of the Class, and appointing the lawyers and law firms representing Plaintiff as counsel for the Class; G. Such other relief as the Court deems just and proper. Dated: March 21, 2018 By: s/steven H. Koval Steven H. Koval Georgia Bar No. 428905 THE KOVAL FIRM, LLC 3575 Piedmont Road Building 15, Suite 120 Atlanta, GA 30305 Telephone: (404) 513-6651 Facsimile: (404) 549-4654 Steve@KovalFirm.com - 13 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 14 of 17 Jonathan D. Selbin (pro hac vice to be filed) Email: jselbin@lchb.com LIEFF CABRASER HEIMANN & BERNSTEIN, LLP 250 Hudson Street, 8th Floor New York, NY 10013 Telephone: (212) 355-9500 Facsimile: (212) 355-9592 Daniel M. Hutchinson (pro hac vice to be filed) Email: dhutchinson@lchb.com 275 Battery Street, 29th Floor San Francisco, California 94111-3339 Telephone: (415) 956-1000 Facsimile: (415) 956-1008 John T. Spragens (pro hac vice to be filed) 222 2nd Avenue S., Suite 1640 Nashville, TN 37201 Alexander H. Burke (pro hac vice to be filed) Email: aburke@burkelawllc.com Daniel J. Marovitch (pro hac vice to be filed) Email: dmarovitch@burkelawllc.com BURKE LAW OFFICES, LLC 155 N. Michigan Avenue, Suite 9020 Chicago, IL 60601 Telephone: (312) 729-5288 Facsimile: (312) 729-5289 Edward A. Broderick (pro hac vice to be filed) ted@broderick-law.com Anthony Paronich (pro hac vice) anthony@broderick-law.com Broderick & Paronich, P.C. 125 Summer St., Suite 1030 Boston, MA 02360 Telephone: (508) 221-1510 Matthew McCue (pro hac vice to be filed) Email: mmccue@massattorneys.net Law Office Of Matthew McCue 1 South Ave, Suite 3 Natick, MA 01760 Telephone: (508) 655-1415 - 14 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 15 of 17 Matthew R. Wilson (pro hac vice to be filed) Email: mwilson@meyerwilson.com Michael J. Boyle, Jr. (pro hac vice to be filed) Email: mboyle@meyerwilson.com MEYER WILSON CO., LPA 1320 Dublin Road, Ste. 100 Columbus, Ohio 43215 Telephone: (614) 224-6000 Facsimile: (614) 224-6066 Attorneys for Plaintiff and the Proposed Class - 15 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 16 of 17 DEMAND FOR JURY TRIAL Plaintiff hereby requests a jury on all matters so triable. Dated: March 21, 2018 s/steven H. Koval By: Steven H. Koval Georgia Bar No. 428905 THE KOVAL FIRM, LLC 3575 Piedmont Road Building 15, Suite 120 Atlanta, GA 30305 Telephone: (404) 513-6651 Facsimile: (404) 549-4654 Steve@KovalFirm.com - 16 -

Case 1:18-cv-01203-CAP Document 1 Filed 03/21/18 Page 17 of 17 CERTIFICATION OF COUNSEL I hereby certify in accordance with U.S.D.C. N.D. Ga. Local Rule 7.1D that the foregoing CLASS ACTION COMPLAINT has been prepared using Times New Roman, 14 point font, as required in U.S.D.C. N.D. Ga. Local Rule 5.1C. Dated: March 21, 2018 s/steven H. Koval By: Steven H. Koval Georgia Bar No. 428905 THE KOVAL FIRM, LLC 3575 Piedmont Road Building 15, Suite 120 Atlanta, GA 30305 Telephone: (404) 513-6651 Facsimile: (404) 549-4654 Steve@KovalFirm.com - 17 -

Case 1:18-cv-01203-CAP Document 1-1 Filed 03/21/18 Page 1 of 1 JS 44 (Rev. 06/17) CIVIL COVER SHEET The JS 44 civil cover sheet and the information contained herein neither replace nor supplement the filing and service of pleadings or other papers as required by law, except as provided by local rules of court. This form, approved by the Judicial Conference of the 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 PAGE OF THIS FORM.) I. (a) PLAINTIFFS DEFENDANTS DARYL UPSHAW NATIONWIDE MUTUAL INSURANCE COMPANY (b) County of Residence of First Listed Plaintiff Franklin (EXCEPT IN U.S. PLAINTIFF CASES) County of Residence of First Listed Defendant (IN U.S. PLAINTIFF CASES ONLY) NOTE: IN LAND CONDEMNATION CASES, USE THE LOCATION OF THE TRACT OF LAND INVOLVED. (c) Attorneys (Firm Name, Address, and Telephone Number) Attorneys (If Known) Steven H. Koval, KOVAL FIRM, LLC 3575 Piedmont Road, Building 15, Suite 120 Atlanta, GA 30305 (404) 513-6651 II. BASIS OF JURISDICTION (Place an X in One Box Only) III. CITIZENSHIP OF PRINCIPAL PARTIES (Place an X in One Box for Plaintiff (For Diversity Cases Only) and One Box for Defendant) 1 U.S. Government 3 Federal Question PTF DEF PTF DEF Plaintiff (U.S. Government Not a Party) Citizen of This State 1 1 Incorporated or Principal Place 4 4 of Business In This State 2 U.S. Government 4 Diversity Citizen of Another State 2 2 Incorporated and Principal Place 5 5 Defendant (Indicate Citizenship of Parties in Item III) of Business In Another State Citizen or Subject of a 3 3 Foreign Nation 6 6 Foreign Country IV. NATURE OF SUIT (Place an X in One Box Only) Click here for: Nature of Suit Code Descriptions. CONTRACT TORTS FORFEITURE/PENALTY BANKRUPTCY OTHER STATUTES 110 Insurance PERSONAL INJURY PERSONAL INJURY 625 Drug Related Seizure 422 Appeal 28 USC 158 375 False Claims Act 120 Marine 310 Airplane 365 Personal Injury - of Property 21 USC 881 423 Withdrawal 376 Qui Tam (31 USC 130 Miller Act 315 Airplane Product Product Liability 690 Other 28 USC 157 3729(a)) 140 Negotiable Instrument Liability 367 Health Care/ 400 State Reapportionment 150 Recovery of Overpayment 320 Assault, Libel & Pharmaceutical PROPERTY RIGHTS 410 Antitrust & Enforcement of Judgment Slander Personal Injury 820 Copyrights 430 Banks and Banking 151 Medicare Act 330 Federal Employers Product Liability 830 Patent 450 Commerce 152 Recovery of Defaulted Liability 368 Asbestos Personal 835 Patent - Abbreviated 460 Deportation Student Loans 340 Marine Injury Product New Drug Application 470 Racketeer Influenced and (Excludes Veterans) 345 Marine Product Liability 840 Trademark Corrupt Organizations 153 Recovery of Overpayment Liability PERSONAL PROPERTY LABOR SOCIAL SECURITY 480 Consumer Credit of Veteran s Benefits 350 Motor Vehicle 370 Other Fraud 710 Fair Labor Standards 861 HIA (1395ff) 490 Cable/Sat TV 160 Stockholders Suits 355 Motor Vehicle 371 Truth in Lending Act 862 Black Lung (923) 850 Securities/Commodities/ 190 Other Contract Product Liability 380 Other Personal 720 Labor/Management 863 DIWC/DIWW (405(g)) Exchange 195 Contract Product Liability 360 Other Personal Property Damage Relations 864 SSID Title XVI 890 Other Statutory Actions 196 Franchise Injury 385 Property Damage 740 Railway Labor Act 865 RSI (405(g)) 891 Agricultural Acts 362 Personal Injury - Product Liability 751 Family and Medical 893 Environmental Matters Medical Malpractice Leave Act 895 Freedom of Information REAL PROPERTY CIVIL RIGHTS PRISONER PETITIONS 790 Other Labor Litigation FEDERAL TAX SUITS Act 210 Land Condemnation 440 Other Civil Rights Habeas Corpus: 791 Employee Retirement 870 Taxes (U.S. Plaintiff 896 Arbitration 220 Foreclosure 441 Voting 463 Alien Detainee Income Security Act or Defendant) 899 Administrative Procedure 230 Rent Lease & Ejectment 442 Employment 510 Motions to Vacate 871 IRS Third Party Act/Review or Appeal of 240 Torts to Land 443 Housing/ Sentence 26 USC 7609 Agency Decision 245 Tort Product Liability Accommodations 530 General 950 Constitutionality of 290 All Other Real Property 445 Amer. w/disabilities - 535 Death Penalty IMMIGRATION State Statutes Employment Other: 462 Naturalization Application 446 Amer. w/disabilities - 540 Mandamus & Other 465 Other Immigration Other 550 Civil Rights Actions 448 Education 555 Prison Condition 560 Civil Detainee - Conditions of Confinement V. ORIGIN (Place an X in One Box Only) 1 Original Proceeding 2 Removed from State Court 3 Remanded from Appellate Court 4 Reinstated or Reopened 6 Multidistrict Litigation - VI. CAUSE OF ACTION VII. REQUESTED IN COMPLAINT: VIII. RELATED CASE(S) IF ANY DATE FOR OFFICE USE ONLY 5 Transferred from Another District (specify) Cite the U.S. Civil Statute under which you are filing (Do not cite jurisdictional statutes unless diversity): Transfer 8 Multidistrict Litigation - Direct File 47 U.S.C. 227 Brief description of cause: A putative class action lawsuit for automated telemarketing pursuant to the Telephone Consumer Protection Act CHECK IF THIS IS A CLASS ACTION DEMAND $ CHECK YES only if demanded in complaint: UNDER RULE 23, F.R.Cv.P. 5,000,000.00 JURY DEMAND: Yes No (See instructions): JUDGE Timothy C. Batten, Sr. SIGNATURE OF ATTORNEY OF RECORD 03/21/2018 s/steven H. Koval DOCKET NUMBER RECEIPT # AMOUNT APPLYING IFP JUDGE MAG. JUDGE 1:16cv03634-TCB Print Save As... Reset

ClassAction.org This complaint is part of ClassAction.org's searchable class action lawsuit database and can be found in this post: Man Sues Nationwide Mutual Insurance Company Over Unwanted Phone Calls