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COMPLIANCE INFO_2000-2011
Environmental Health - Public
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EHD Program Facility Records by Street Name
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2300 - Underground Storage Tank Program
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PR0231083
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COMPLIANCE INFO_2000-2011
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Last modified
2/6/2024 3:49:03 PM
Creation date
6/23/2020 6:41:17 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
2000-2011
RECORD_ID
PR0231083
PE
2361
FACILITY_ID
FA0003735
FACILITY_NAME
QUICK N EASY MART
STREET_NUMBER
2057
Direction
S
STREET_NAME
EL DORADO
STREET_TYPE
ST
City
STOCKTON
Zip
95206
APN
16515309
CURRENT_STATUS
01
SITE_LOCATION
2057 S EL DORADO ST
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
Scanner
KBlackwell
Supplemental fields
FilePath
\MIGRATIONS\E\EL DORADO\2057\PR0231083\PERMANENT INJUNCTION & FINAL JUDGMENT 10-19-09.PDF
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EHD - Public
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1 JURISDICTION AND VENUE <br />2 3. The Defendants transact business within the County of San Joaquin and elsewhere <br />3 throughout the State of California. The alleged violations of the law, hereinafter described, have <br />4 been carried out within said San Joaquin County and elsewhere throughout the State of California. <br />5 The alleged actions of the Defendants and each of them, jointly and separately, as set out below, are <br />6 in violation of the law and public policy of the State of California. Unless enjoined and restrained by <br />7 an order of this court, the Defendants will continue to retain the means to engage in unlawful action <br />8 and practices and courses of conduct set out below. <br />9 DEFENDANTS <br />10 4. Defendant QUICK STOP MART, a business of unknown type of organization, is, and at <br />11 all times relevant herein was, engaged in the business of GASOLINE SALES/MINI-MART, located <br />12 at 2057 S. EL DORADO ST., STOCKTON, CALIFORNIA. <br />13 5. Defendant CHARAN SINGH DHILLON, individually dba QUICK STOP MART, is and <br />14 at all times relevant herein was, engaged in the business of GASOLINE SALES/MINI-MART, <br />15 located at 2057 S. EL DORADO ST., CALIFORNIA. <br />16 6. Defendant SUKHWINDER SINGH individually dba QUICK STOP MART, is and at all <br />17 times relevant herein was, engaged in the business of GASOLINE SA.LES/MINI-MART, located at <br />18 2057 S. EL DORADO ST., CALIFORNIA. <br />19 7. Defendant DOES ONE through FIFTY are connected and responsible for the acts <br />20 complained of below. Their real names are unknown at this time, and the People will amend this <br />21 complaint at a later date when the true identities of DOES ONE through FIFTY are discovered. <br />22 8. Whenever in this Complaint reference is made to any act of Defendants, such allegation <br />23 shall be deemed to mean that Defendants and their officers, agents, employees, or representatives, <br />24 did or authorized acts while actively engaged in the management, direction, or control of the affairs <br />25 of said Defendants, and while acting within the course and scope of their duties. <br />26 <br />27 <br />28 2 <br />11 VERIFIED COMPLAINT <br />
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