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Commuter Shuttle Petition

Commuter Shuttle Petition

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The lawsuit to be filed in San Francisco today against the city of San Francisco and tech companies including Google, Apple and Genetech, asking a judge to prevent the tech commuter shuttle program from going forward. The program is scheduled to begin July 1, 2014.
The lawsuit to be filed in San Francisco today against the city of San Francisco and tech companies including Google, Apple and Genetech, asking a judge to prevent the tech commuter shuttle program from going forward. The program is scheduled to begin July 1, 2014.

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Categories:Types, Legal forms
Published by: San Francisco Examiner on May 01, 2014
Copyright:Traditional Copyright: All rights reserved

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05/04/2014

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RICHARD T. DRURY (Cal. Bar No. 163559) MICHAEL R. LOZEAU (Cal. Bar No. 142893) REBECCA L. DAVIS (Cal. Bar. No. 271662) CHRISTINA M. CARO (Cal. Bar. No. 250797) LOZEAU | DRURY LLP 410 12th Street, Suite 250 Oakland, CA 94607 Tel: (510) 836-4200 Fax: (510) 836-4205 E-mail: richard@lozeaudrury.com rebecca@lozeaudrury.com Attorneys for Petitioners and Plaintiffs
SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF SAN FRANCISCO
COALITION FOR FAIR, LEGAL AND ENVIRONMENTAL TRANSIT, a non-profit unincorporated association; SERVICE EMPLOYEES INTERNATIONAL UNION LOCAL UNION 1021, an organized labor union; SARA SHORTT, an individual; and ELIZABETH ALEXANDER, an individual, Petitioners and Plaintiffs, vs. CITY AND COUNTY OF SAN FRANCISCO, a municipal corporation; BOARD OF SUPERVISORS OF THE CITY AND COUNTY OF SAN FRANCISCO, governing  body of the City and County of San Francisco; PLANNING COMMISSION OF THE CITY AND COUNTY OF SAN FRANCISCO, a  public entity; SAN FRANCISCO PLANNING DEPARTMENT, a public entity; MAYOR EDWIN M. LEE, in his official capacity; SAN FRANCISCO MUNICIPAL TRANSPORTATION AGENCY, a public entity; BOARD OF DIRECTORS OF THE SAN FRANCISCO MUNICIPAL TRANSPORTATION AGENCY, a public entity; and DOES 1 through 10, inclusive, Respondents and Defendants. Case No.:
VERIFIED PETITION FOR WRIT OF MANDATE AND COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF
(California Environmental Quality Act (“CEQA”), Pub. Res. Code § 21000, et seq.; Code of Civil Procedure §§ 1094.5, 1085) Dept: CEQA Case
1 VERIFIED PETITION FOR WRIT OF MANDATE AND COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF
 
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SAN FRANCISCO MUNICIPAL TRANSPORTATION AGENCY, a public entity; ALTRANS- TRANSPORTATION MANAGEMENT ASSOCIATION, INC., a California corporation; APPLE, INC., a California corporation; BAUER’S INTELLIGENT TRANSPORTATION, INC., a California corporation; BLACK TIE TRANSPORTATION LLC, a California limited liability company; COMPASS TRANSPORTATION, INC., a California corporation; EL CAMINO CHARTER LINES, INC., a California corporation; GENENTECH, INC., a Delaware corporation; GOOGLE, INC., a Delaware Company; HORIZON COACH LINES PAYMASTER LLC, a California limited liability company; MCCARTHY COOK & CO., a Delaware corporation; MCLEAN CONSULTING SERVICES INC., a California corporation; MERCURY TOURS, a California corporation; MOBILITY PLUS TRANSPORTATION LLC, a California limited liability company; PENINSULA TRAFFIC CONGESTION RELIEF ALLIANCE, a joint  powers authority; PURE LUXURY LIMOUSINE SERVICE, a California corporation; REGENTS OF THE UNIVERSITY OF CALIFORNIA, governing body of the University of California; RIDEPAL, INC., a Delaware corporation; ROYAL COACH TOURS, a California corporation; the SAN FRANCISCO HEALTH COMMISSION, a  public entity; SAN FRANCISCO MINIBUS CHARTER CO., a suspended California corporation; SFO SHUTTLE BUS COMPANY, a California corporation or corporate subsidiary; TRANSMETRO, a California corporation; WILLIAMS SONOMA, INC., a Delaware corporation; and ROES 1 through 100, inclusive, Real Parties in Interest and Defendants.
2 VERIFIED PETITION FOR WRIT OF MANDATE AND COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF
 
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Petitioners and Plaintiffs COALITION FOR FAIR, LEGAL AND ENVIRONMENTAL TRANSIT, SAN FRANCISCANS AGAINST DISPLACEMENT, a non-profit unincorporated association; SERVICE EMPLOYEES INTERNATIONAL UNION LOCAL UNION 1021, an organized labor union; SARA SHORTT, an individual; and ELIZABETH ALEXANDER, an individual, (collectively, “Petitioners”) petition this Court on their own behalf, on behalf of their members, on behalf of the general public and in the public interest pursuant to Code of Civil Procedure (“CCP”) § 1094.5 and Public Resources Code (“PRC”) § 21168, or, in the alternative,  pursuant to CCP § 1085 and PRC § 21168.5, for a writ of mandate, and for declaratory and injunctive relief directed to Respondents and Defendants the CITY AND COUNTY OF SAN FRANCISCO, a municipal corporation; BOARD OF SUPERVISORS OF THE CITY AND COUNTY OF SAN FRANCISCO, governing body of the City and County of San Francisco; PLANNING COMMISSION OF THE CITY AND COUNTY OF SAN FRANCISCO, a public entity; SAN FRANCISCO PLANNING DEPARTMENT, a public entity; MAYOR EDWIN M. LEE, in his official capacity; SAN FRANCISCO MUNICIPAL TRANSPORTATION AGENCY, a public entity; BOARD OF DIRECTORS OF THE SAN FRANCISCO MUNICIPAL TRANSPORTATION AGENCY, a public entity; and DOES 1 through 10, inclusive, (collectively, “Respondents” or “City”), and Real Party in Interest and Defendant SAN FRANCISCO MUNICIPAL TRANSPORTATION AGENCY (“SFMTA”). Petitioners are informed and believe, and thereupon allege, that real parties in interest to this action may include ALTRANS- TRANSPORTATION MANAGEMENT ASSOCIATION, INC., a California Corporation; APPLE, INC., a California company; BAUER’S INTELLIGENT TRANSPORTATION, INC., a California Corporation; BLACK TIE TRANSPORTATION LLC, a California limited liability company; COMPASS TRANSPORTATION, INC., a California Corporation; EL CAMINO CHARTER LINES, INC., a California Corporation; GENENTECH, INC., a Delaware Company; GOOGLE, INC., a Delaware Company; HORIZON COACH LINES PAYMASTER LLC, a California limited liability company; MCCARTHY COOK & CO., a Delaware Corporation; MCLEAN CONSULTING SERVICES INC., a California Company; MERCURY TOURS, a California company; MOBILITY PLUS
3 VERIFIED PETITION FOR WRIT OF MANDATE AND COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF

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