Hector Bermudez Complaint
Hector Bermudez Complaint
Hector Bermudez Complaint
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COMPLAINT FOR DAMAGES
Case 2:17-cv-04193-DSF-AFM Document 1 Filed 06/06/17 Page 2 of 9 Page ID #:2
1 I.
2 VENUE AND JURISDICTION
3 1. This action is brought under 42 U.S.C. 1983 and the First and
4 Fourteenth Amendments of the United States Constitution. Jurisdiction is founded
5 on 29 U.S.C. 1331 and 1343(1), (2), (3), and (4).
6 2. Venue is proper in the Central District of California. The facts and
7 circumstances underlying all claims, as well as the injuries took place within the
8 geographical jurisdiction of this Court.
9 II.
10 PARTIES
11 3. At all relevant times, Plaintiff HECTOR BERMUDEZ (Plaintiff) was
12 and is a person residing in the County of Los Angeles, State of California, and was
13 and is a competent adult.
14 4. At all relevant times, Plaintiff was and is a sworn law enforcement
15 officer for the Torrance Police Department. Plaintiff holds the rank of Lieutenant.
16 5. Plaintiff is informed, believes, and alleges that, at all relevant times,
17 Defendant City of Torrance (City), is a municipality within the County of Los
18 Angeles, State of California, and operated the Torrance Police Department (TPD),
19 which is an agency of the City of Torrance, and at all relevant times was and is the
20 employer of Plaintiff.
21 6. At all relevant times, Defendant Chief Mark Matsuda was the Chief of
22 Police of the TPD.
23 7. Plaintiff is informed, believes, and alleges that, at all relevant times,
24 Defendants DOES 1 through 10, inclusive, are and at all times mentioned, were
25 managers, supervisors, and/or employees of Defendant City, and/or Defendants
26 DOES 1 through 10, inclusive, and at all relevant times mentioned were acting in
27 the course and scope of their employment with Defendant City and/or DOES 1
28 through 10 are liable under the doctrine of respondent superior pursuant to section
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COMPLAINT FOR DAMAGES
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COMPLAINT FOR DAMAGES
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COMPLAINT FOR DAMAGES
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1 for the unlawful use of CLETS/JDIC did so in furtherance of his off-duty security
2 job for the TPD Sergeant.
3 18. Bermudez reasonably believed that the former Captain was willfully
4 obstructing Bermudez from performing his official duties, which was a violation of
5 California Penal Code section 148 et seq. Bermudez then told the former Captain to
6 either tell the Deputy Chief about his actions, or Bermudez would do so. That next
7 day, Bermudez told the Deputy Chief about the circumstances involving the former
8 Captain and the Internal Affairs investigation.
9 19. Towards the end of 2014, the investigation against the TPD employee
10 was completed. In early 2015, a former Captain completed an unwarranted and
11 unfavorable annual performance evaluation on Bermudez.
12 20. In or around July of 2015, TPD announced that two promotions to the
13 position of Captain were available. Bermudez and three other candidates tested for
14 the promotion. After the interview process, Bermudez was ranked last, even though
15 he was more qualified than at least two other candidates.
16 21. Subsequently, Chief Matsuda promoted a candidate to the Captain
17 position that was far less qualified than Bermudez.
18 22. Bermudez had been a police officer and Lieutenant longer than one of
19 the candidates promoted. Bermudez had also worked more divisions than one of the
20 candidates promoted. Further, out of all the candidates, Bermudez had the second
21 highest experience as a Lieutenant. One of the candidates selected, had the least
22 amount of experience as a Lieutenant. Lastly, Bermudez was advised that his oral
23 interview was better than all the other candidates.
24 23. Since Bermudez exercised his rights to report what he reasonably
25 believed to be unlawful conduct, Mark Matsuda retaliated against him by denying
26 him the promotion to the Captain position.
27 ///
28 ///
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COMPLAINT FOR DAMAGES
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1 IV.
2 FIRST CAUSE OF ACTION FOR VIOLATION OF FIRST AMENDMENT
3 RIGHTS-FREEDOM OF SPEECH (42 U.S.C. 1983)
4 (Against Defendant Mark Matsuda and DOES 1-10)
5 24. Bermudez repeats and re-alleges each and every allegation set forth in
6 paragraphs 1-23 above, and incorporates same by reference as though set forth fully
7 herein.
8 25. In taking the actions referred to above, Defendants were acting under
9 color of law by acting under the actual and apparent authority of the positions they
10 held as described above.
11 26. Bermudezs complaint to the Deputy Chief in 2014 was protected
12 speech under the First Amendment of the United States Constitution.
13 27. At all times, Bermudez enjoyed the protections of the free speech
14 provision of the First Amendment to the Constitution of the United States and the
15 California Constitution, Art. 1 1. Pursuant to those protections, Bermudez had the
16 right to speak as a citizen regarding matters of public concern without fear of
17 retaliation or reprisal in his employment.
18 28. Bermudez is informed and believes that the Defendants acts, including
19 but not limited to, completing an unfavorable performance evaluation and refusing
20 to promote Bermudez to the rank of Captain, were adverse acts done in retaliation
21 for his complaint to the Deputy Chief. These actions essentially deprived Bermudez
22 of his constitutionally protected right to free speech.
23 29. The matters upon which Bermudez was exercising his rights to free
24 speech were matters of the utmost public concern, in that his speech affected
25 members of the community and sworn peace officers who had a duty to uphold and
26 follow the law.
27 30. Defendants violated Bermudezs clearly established right to free speech
28 in doing the actions described in this claim.
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COMPLAINT FOR DAMAGES
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COMPLAINT FOR DAMAGES
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COMPLAINT FOR DAMAGES
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2 DEMAND FOR JURY TRIAL
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5 Plaintiff HECTOR BERMUDEZ requests that this action be determined by
6 trial by jury.
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Dated: June 6, 2017 LAW OFFICE OF BIJAN DARVISH
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/S/ Bijan Darvish
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By: ________________________________
13 BIJAN DARVISH
Attorney for Plaintiff
14 HECTOR BERMUDEZ
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COMPLAINT FOR DAMAGES