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Eric J. Bakewell (SBN 241529)
EJBakewell@Venable.com FILED
Ramanda R. Luper (SBN 313606) a
RRLuper@Venable.com pier colleen
VENABLE LLP emia!
2049 Century Park East, Suite 2300 5949
Los Angeles, CA 90067 DEG 2 4 2018
Telephone: ' (310) 229-9900 Sherr yy
Facsimile: (310) 229-9901
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Patrice Of8
Attorneys for Plaintiff,
VICTOR BORACHUK and
JUPITERRETURN, LLC
SUPERIOR COURT OF THE STATE OF CALIFORNIA
FOR THE COUNTY OF LOS ANGELES - CENTRAL DISTRICT.
VICTOR BORACHUK, an individual; cawekB STCyo95u0
JUPITERRETURN, LLC, a California limited
liability company,
COMPLAINT FOR:
Plaintiffs,
1, BREACH OF CONTACT;
v. 2. PROMISSORY ESTOPPEL;
3. FRAUD;
MICHAEL BURG, an individual; WHIZBAN' 4. INTENTIONAL
PRODUCTIONS, LLC, a Delaware limited INTERFERENCE WITH
liability corporation; GOOD ENTERTAINMENT, PROSPECTIVE ECONOMIC
FOUNDATION, a North Carolina nonprofit; ADVANTAGE;
TEENASAURUS ROX, INC., a Delaware 5. VIOLATION OF CALIFORNIA|
corporation; ES AND G ENTERTAINMENT, BUSINESS AND
INC., a Delaware corporation; and DOES 1 PROFESSIONS CODE
through 20, inclusive, SECTION 17200; AND
6. MISAPPROPRIATION OF
Defendants. LIKENESS
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INTRODUCTION
1. This case arises from a series of broken promises and other wrongdoing by
Defendant Michael Burg (and his affiliated companies") causing substantial damage to Plaintifts
Victor Borachuk and JupiterRetum, LLC (“SupiterRetumn”),
2. The first broken promise: In November 2015, Burg promised Borachuk producer
credit and compensation to Borachuk and JupiterRetum if Borachuk and JupiterRetumn helped
Burg create a television program entitled “FabLab.” Burg reneged on his promise to pay
Borachuk and JupiterReturn the roughly $350,000 Burg promised in exchange for Borachuk and
JupiterRetum’s connections within the entertainment industry, relationships with independent
contractors, film equipment, and production expertise (all of which were vital to “FabLab”).
3. The second broken promise: In November 2016, Borachuk and JupiterRetun
threatened legal action to recoup damages stemming from “FabLab.” Burg promised that if
Borachuk and JupiterReturn did not file a lawsuit and assisted Burg to develop a second project,
titled “Jump, Jive, and Thrive,” then Burg would have enough funds to pay Borachuk and
JupiterReturn for their work on “FabLab” and “Jump, Jive, and Thrive.” Borachuk and
JupiterRetum had no alternative if they wanted to get paid and again agreed Burg could use their
connections and expertise to create “Jump, Jive, and Thrive.” Burg broke his second promise
and swindled Borachuk and JupiterReturn out of at least another $100,000 for “Jump, Jive, and
Thrive” in addition to the money Burg owed for “FabLab.”
4. The third broken promise: In May 2018, Burg promised the next show—the
“Gamers” Choice Awards”—would create enough revenue to pay Borachuk and JupiterReturn
the money owed for “FabLab” and “Jump, Jive, and Thrive” along with additional compensation
for “Gamers’ Choice Awards.” Burg broke his third promise, failed to pay Borachuk and
JupiterReturn the money owed for the prior shows and “Gamers’ Choice Awards,” and damaged
' Whizbang Productions, LLC (“WhizBang”); Good Entertainment Foundation (“Good
Entertainment”); Teenasaurus Rox, Inc. (“Teenasaurus”); and ES and G Entertainment, Inc.
‘S&G") (collectively, “Defendants”).
COMPLAINTVENABLE LLP
2049 CENTURY PARK EAST, SUITE 2100
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Borachuk and JupiterReturn’s reputation with his ineptitude causing tens of thousands of actual
damages, if not more.
5. Burg utilized his various affiliated companies (including Defendants Whizbang,
Good Entertainment, Teenasaurus, and ES&G) to set up his various promises, break contracts,
defraud Borachuk and JupiterRetumn, and commit other substantial wrongdoing.
6. Burg and his affiliated entities’ conduct gives rise to numerous causes of action,
including breach of contract, promissory estoppel, fraud, intentional interference with
prospective economic advantage, violation of California Business and Professions Code section
17200, and misappropriation of likeness. Burg and his affiliated entities’ wrongful and
fraudulent behavior caused substantial damages to Borachuk and JupiterReturn including
compensation promised to Borachuk but never paid, and other actual, consequential, and
compensatory damages.
PARTI.
7, Plaintiff Victor Borachuk is an individual who resides in Los Angeles, California.
8. Plaintiff JupiterRetum is a California limited liability corporation, which
maintains a principal place of business at 810 S. Spring St. #706, Los Angeles, California 90014.
9. Defendant Burg is an individual who resides in Los Angeles, California and has
been a resident of California at all times pertinent to this action.
10, Defendant WhizBang is a Delaware limited liability corporation. WhizBang’s
actions are directed at and controlled from California in the county of Los Angeles within this
judicial district, Burg controls WhizBang.
11, Defendant Good Entertainment (formerly known as “On the Line Foundation”) is
North Carolina nonprofit. Good Entertainment's actions are directed at and controlled from
California, in the county of Los Angeles, within this judicial district. Burg is the Chief
Executive Officer of Good Entertainment.
12, Defendant Teenasaurus is a Delaware corporation. Teenasaurus’s aetions are
directed at and controlled from California, in the county of Los Angeles within this judicial
COMPLAINT