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I JOHN D.PHILLIPS <br /> District Attorney FILED <br /> 2 San Joaquin County 9r lIAR I B AM Q' S9 <br /> BY: DAVID J. IREY#142864 <br /> 3 DIANE P. KILLCOYNE 9173547 c ti.r <br /> Deputy District Attorneys <br /> If ILL i)S, ��(tiil <br /> 4 P.O. Box 990 y MARYMCINERMEY <br /> Stockton, CA 95201 ' ...... -i <br /> 5 (209)468-2400 <br /> 6 Attorneys for Plaintiff <br /> 7 <br /> 8 SUPERIOR COURT FOR THE STATE OF CALIFORNIA <br /> 9 FOR THE COUNTY OF SAN JOAQUIN <br /> 10 THE PEOPLE OF THE STATE OF CALIFORNIA ) CASE NOW 0©1956 <br /> 11 ) <br /> Plaintiff, ) COMPLAINT FOR <br /> 12 ) INJUNCTION, CIVIL <br /> V. ) PENALTIES AND OTHER <br /> 13 } RELIEF <br /> DAVID FISCH,FISCH ENVIRONMENTAL, ) <br /> 14 DENNIS ROMERO,SHERRY ROMERO, and DOES 1 ) <br /> through 20, Inclusive ) <br /> 15 Defendants. ) <br /> 16 <br /> 17 AIRISDICTION AND VENUE <br /> 18 1. The authority of the District Attorney of San Joaquin County to bring this action is <br /> 19 derived from statutory language of the State of California, specifically Business and Professions <br /> 20 Code §17204 and §17206 and Health and Safety Code §25299.02 and §25503.5. <br /> 21 2. THE PEOPLE OF THE STATE OF CALIFORNIA, by and through JOHN D. <br /> 22 PHILLIPS, District Attorney of San Joaquin County, bring this action in the public interest and in <br /> 23 the name of THE PEOPLE OF THE STATE OF CALIFORNIA and hereby allege: <br /> 24 DEFENDANTS <br /> 25 3. The defendants transact business within the County of San Joaquin and elsewhere <br /> 26 throughout the State of California. The alleged violations of the law,hereinafter described,have <br /> 27 been carried out within said San Joaquin County and elsewhere throughout the State of <br /> 28 California. The alleged actions of the defendants and each of them,jointly and separately, as set <br /> I <br />