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R ECEi VEL) <br /> AL21U <br /> BHN JUAUUiN UUUNIY <br /> 1 JAMES P. WILLETT SBN 88837 OFFlCE OF WERGENCy <br /> SERWM <br /> District Attorney of San Joaquin County ROSA JUN L <br /> _, <br /> 2 DAVID J. IREY- SBN 142864 Filed <br /> flUEtRU, %iERK <br /> Supervising Deputy District Attorney <br /> 3 Environmental Prosecutions Unit THERESA CARLETON <br /> P.O. Box 990 By <br /> 4 Stockton, CA 95201 DEPUTY <br /> Telephone: (209)468-2400 <br /> 5 Facsimile: (209)468-0314 <br /> 6 Attorneys for Plaintiff <br /> 7 SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN JOAQUIN <br /> 8 STOCKTON BRANCH <br /> 9 The People of the State of California, ) No. CV 028605 <br /> 10 Plaintiff, ) PERMANENT INJUNCTION <br /> 11 v ) (B&P CODE § 17203) <br /> AND FINAL JUDGMENT <br /> 12 ) PURSUANT TO <br /> STIPULATION <br /> TATA FOODS CORP., a California Corporation d.b.a ) <br /> 13 DENNY'S RESTAURANT ) <br /> 14 Defendant(s). <br /> 15 Upon the consent of the parties hereto, and it appearing to the court that there is good cause for the <br /> 16 entry of this Stipulated Final Judgment, <br /> 17 IT IS ORDERED, ADJUDGED AND DECREED as follows: <br /> 18 1. This court has jurisdiction of the subject matter of this action and each of the parties hereto. <br /> 19 2. The injunctive provisions of this Final Judgment are applicable to defendants, its subsidiaries and <br /> 20 divisions, and any agent, employee, representative and all persons, corporations, or other entities acting by, <br /> 21 through, under, or on behalf of defendants and all persons in concert with or participating with said <br /> 22 defendants with actual or constructive knowledge of this injunction, only insofar as they are doing business <br /> 23 in the State of California and confined to defendant's RESTAURANT SERVICES activities in the County <br /> 24 of San Joaquin and elsewhere in the State of California. <br /> 25 3. Defendants with actual or constructive knowledge of this injunction, only in so far as they are <br /> 26 doing business in the State of California, in the course of defendant's RESTAURANT SERVICES <br /> 27 activities, are pursuant to Health and Safety Code Chapter 6.95 hereby permanently enjoined from: <br /> 28 a. Violating Health and Safety Code §25503.5(a),being a business that handles a hazardous <br /> 1. <br />