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Case 1:14-cv-00452-CCB Document 1 Filed 02/17/14 Page 1 of 9 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MARYLAND (NORTHERN DIVISION M.V., a minor, by her parent and next friend, VICTOR VILLAFUERTE, 28723 Hudson Corner Road Marion, MD 21838 Plaintiff, Case No. v. PFC. LAWRENCE DAISEY, in his individual capacity, 319A W. Main Street Crisfield, Maryland 21817 Defendant. Jury Trial Demanded COMPLAINT FOR DAMAGES AND INJUNCTIVE RELIEF COMES NOW Plaintiff, M.V., a minor by her parent and next friend, VICTOR VILLAFUERTE, for her Complaint against Defendant PFC. LAWRENCE DAISEY, stating as follows: NATURE OF ACTION 1. Plaintiff, a minor child who was twelve years old at the time of the events at issue, seeks damages and declaratory and injunctive relief under 42 U.S.C. 1983 in connection with Defendant Daisey s unlawful arrest, detention, and deprivation of liberty of M.V., in violation of plaintiff s rights under the United States Constitution and federal law. PARTIES 2. Plaintiff M.V. is a fifteen-year-old child residing in Somerset County, Maryland. She was twelve years old at the time the challenged acts occurred. Plaintiff M.V. brings this 1

Case 1:14-cv-00452-CCB Document 1 Filed 02/17/14 Page 2 of 9 action by and through her parent and next friend, Victor Villafuerte, in accordance with Federal Rule of Civil Procedure 17(c. 3. Defendant Daisey is employed by the City of Crisfield Police Department. He is sued in his individual capacity. Because his home address is unknown, his work address is listed in the caption of this Complaint. Defendant Daisey is a person within the meaning of 42 U.S.C. 1983. JURISDICTON AND VENUE 4. This Court has jurisdiction pursuant to 28 U.S.C. 1331 and 1343 and 42 U.S.C. 1983. 5. Defendant Daisey s actions and the events giving rise to Plaintiff s claims occurred within the jurisdiction of the United States District Court for Maryland. Accordingly, venue is proper in this Court pursuant to 28 U.S.C. 1391. FACTS COMMON TO ALL CLAIMS 6. On or about December 22, 2010, an employee of Starbright Laundromat, located on North Fourth Street in Crisfield, Maryland, became aware of a broken window at the laundromat. The Starbright Laundromat reported the broken window to the Crisfield Police Department. Defendant Daisey was not present and did not see the breaking of the window. 7. On February 17, 2011, Defendant Daisey, who was investigating the broken window, drove in his police car to the home of M.V. 8. The Villafuerte family owns their home and have been residents of Somerset County for over 20 years. 2

Case 1:14-cv-00452-CCB Document 1 Filed 02/17/14 Page 3 of 9 9. Defendant Daisey spoke to M.V. s mother and requested that M.V. s mother provide him with the names, dates of birth, and Social Security numbers of family members. Defendant Daisey was aware that M.V. s mother did not speak proficient English. 10. Defendant Daisey spoke to M.V. about the broken window at the Starbright Laundromat. M.V. stated to Defendant Daisey that she had accidentally broken the laundromat window. Defendant Daisey was aware that M.V. was a minor and approximately 12 years old. 11. Defendant Daisey spoke with M.V. s father about the broken window. M.V. s father stated that he would pay for the broken window. Defendant Daisey was aware that M.V. s father did not speak proficient English. 12. Defendant Daisey informed the Villafuerte family that he would return the following day. 13. Defendant Daisey returned to M.V. s family home on the evening of February 18, 2011. M.V. s father was outside the house and anticipated a discussion with Defendant Daisey about payment for the broken laundromat window. 14. Defendant Daisey spoke to M.V. s father but did not provide any information about payment for the window. Instead, Defendant Daisey asked to speak to M.V. 15. M.V. s father called M.V. to come outside. When M.V. came outside, Defendant Daisey reached for his handcuffs and said that he was going to arrest M.V. and take her with him. 16. Defendant Daisey did not have a warrant to arrest M.V. 17. M.V. s father asked Defendant Daisey for an English-Spanish language interpreter. Defendant Daisey did not provide an interpreter and did not contact the Crisfield Police Department to secure an interpreter. 3

Case 1:14-cv-00452-CCB Document 1 Filed 02/17/14 Page 4 of 9 18. M.V. s father told M.V. to go into the house. After M.V. entered the house, M.V. s father turned to follow her into the house, at which point Defendant Daisey pulled out his taser and pointed it at M.V. s father. M.V. s father stopped walking and asked Defendant Daisey to show a warrant for M.V. s arrest. 19. Defendant Daisey responded that he did not need a warrant. Defendant Daisey also stated that unless he was allowed to arrest M.V. and take her to the station that he would call the state troopers and arrest the entire Villafuerte family. 20. M.V. s father turned and walked up the steps of the side porch in order to reenter the family home. Defendant Daisey followed M.V. s father up onto the side porch and again pointed the taser at M.V. s father, stating a second time that he would call state troopers to the home if M.V. s father did not allow Defendant Daisey to arrest M.V. and take her to the police station. 21. Defendant Daisey did not believe that M.V. could not be apprehended on a later date. 22. Defendant Daisey did not believe that M.V. would cause physical injury or property damage to another. 23. Defendant Daisey did not believe that M.V. would tamper with, dispose of, or destroy evidence related to the broken laundromat window. 24. Defendant Daisey did not believe there was child abuse or neglect with respect to M.V., and Defendant Daisey did not believe that M.V. was in serious, immediate danger. 25. Defendant Daisey did not believe that the M.V. was in immediate danger from her surroundings, and Defendant Daisey did not believe that M.V. s removal was necessary for her protection. 4

Case 1:14-cv-00452-CCB Document 1 Filed 02/17/14 Page 5 of 9 26. After Defendant Daisey threatened a second time to have the Villafuerte family arrested, M.V. s father called M.V. outside again and suggested to Defendant Daisey that he, the father, transport M.V. to the police station. Defendant Daisey refused to allow M.V. s father to transport M.V. to the police station. 27. Defendant Daisey handcuffed M.V., placed her in the police car, and transported her to the police station. M.V. s father followed behind the police car in M.V. s father s own car. 28. At the police station, M.V. was fingerprinted and photographed. When M.V. s father presented a Mexican embassy card with a written request for an interpreter, Defendant Daisey ignored the request and did not provide an interpreter. 29. Defendant Daisey released M.V. after photographing and fingerprinting her, and after requiring M.V. s father to sign a completed English-language form titled Police Request for Juvenile Charges. The Police Request for Juvenile Charges form stated that the charge against M.V. was malicious destruction of property valued in excess of $500. 30. In the months subsequent to the arrest of his child, M.V. s father received no notice of a hearing for M.V. M.V. s father inquired at the public defender s office, Maryland Department of Juvenile Services office, and at courts in the area, and never located any record of a hearing date. 31. Following the arrest, M.V. suffered from nightmares and began to have trouble sleeping. M.V. still has trouble sleeping. The week following the arrest, M.V. visited her pediatrician who referred her to a therapist. M.V. has been seeing a therapist approximately once a week since 2012. 5

Case 1:14-cv-00452-CCB Document 1 Filed 02/17/14 Page 6 of 9 color of law. 32. At all times, Defendant Daisey acted within the scope of his authority and under 33. Defendant Daisey was trained on procedures to arrest and/or cite minor children for misdemeanor offenses, including misdemeanor destruction of property. Defendant Daisey s training included the protections afforded by the Maryland Constitution, the U.S. Constitution, and Maryland statutes. Based on his training and experience, Defendant Daisey knew or should have known the legal requirements for warrantless arrest of minor children for misdemeanor offenses and the circumstances under which a minor child should be arrested and taken from her parents to the police station. COUNT I (Violation of the Fourth Amendment to the U.S. Constitution 34. Paragraphs 2-33 are realleged and incorporated herein by reference. 35. Defendant Daisey, acting under color of state law, has deprived M.V. of her right to be free from unreasonable seizures, a right guaranteed by the Fourth and Fourteenth Amendments to the United States Constitution, by arresting Plaintiff without a warrant, court order, or any other legal authority to do so. 36. Defendant Daisey arrested M.V. for allegedly having engaged in malicious destruction of property, a misdemeanor under Maryland law. Defendant Daisey lacked probable cause to believe M.V. had broken the laundromat window maliciously. 37. None of the elements of the alleged crime were committed or attempted in the presence or within the view of Defendant Daisey. 38. Defendant Daisey acted with malice or willfulness or with deliberate, reckless, and callous indifference to Plaintiff s federally protected rights. 6

Case 1:14-cv-00452-CCB Document 1 Filed 02/17/14 Page 7 of 9 39. As a result of Defendant Daisey s deprivation of Plaintiff s constitutional rights, Plaintiff has suffered substantial damages and seeks to recover actual and compensatory damages, including, but not limited to, mental anguish, medical costs, court costs, and attorney s fees. Plaintiff also seeks to recover punitive damages as a result of Defendant Daisey s conduct. COUNT II (Deprivation of Liberty 40. Paragraphs 2-39 are realleged and incorporated herein by reference. 41. Defendant Daisey deprived her of a liberty interest without the adequate procedural safeguards or due process. 42. Defendant Daisey arrested Plaintiff and following her arrest took her away from her family to the police station where he detained, photographed, and fingerprinted her. During the time of her detention, Plaintiff was not allowed to be with her father. 43. Defendant Daisey, acting under color of state law, and in violation of M.V. s rights guaranteed by the Fourteenth Amendment to the United States Constitution, deprived M.V. of her liberty interest without the adequate procedural safeguards. 44. Defendant Daisey acted with malice or willfulness or with deliberate, reckless, and callous indifference to Plaintiff s federally protected rights. 45. As a result of Defendant Daisey s deprivation of Plaintiff s liberty interest without the adequate procedural safeguards, Plaintiff has suffered substantial damages and seeks to recover actual and compensatory damages, including, but not limited to, mental anguish, medical costs, court costs, and attorney s fees. Plaintiff also seeks to recover punitive damages as a result of Defendant Daisey s conduct. 7

Case 1:14-cv-00452-CCB Document 1 Filed 02/17/14 Page 8 of 9 JURY DEMAND 46. Plaintiff demands a trial by jury. PRAYER FOR RELIEF WHEREFORE, Plaintiff M.V. requests that the Court grant the following relief: a. injunctive and equitable relief; b. compensatory damages, including, but not limited to, damages for emotional pain, suffering, humiliation, inconvenience, mental anguish, loss of enjoyment of life, and other non-pecuniary losses; c. judgment against Defendant for actual damages; d. punitive and exemplary damages; e. costs, including reasonable and necessary attorneys fees, as well as expert fees; f. prejudgment and post-judgment interest as allowed by law; and g. such other and further relief, at law or in equity, to which Plaintiff may be justly entitled. 8

Case 1:14-cv-00452-CCB Document 1 Filed 02/17/14 Page 9 of 9 Dated this 17th day of February, 2014 Respectfully submitted, /s/ Douglas W. Baruch Douglas W. Baruch (Bar No. 12554 Aaron T. Tucker (Bar No. 17127 FRIED, FRANK, HARRIS, SHRIVER & JACOBSON LLP 801 17 th Street, N.W. Washington, D.C. 20006 Telephone: (202 639-7000 Fax: (202 639-7003 douglas.baruch@friedfrank.com aaron.tucker@friedfrank.com and Amy Pedersen (seeking admission pro hac vice Maribel Hernández Rivera (seeking admission pro hac vice MEXICAN AMERICAN LEGAL DEFENSE & EDUCATIONAL FUND 1016 16th St. N.W., Suite 100 Washington, D.C. 20036 Tel: (202 293-2828 Fax: (202 293-2849 apedersen@maldef.org mhernandez-rivera@maldef.org Attorneys for Plaintiff 9

Case 1:14-cv-00452-CCB CIVIL Document COVER 1-1 SHEET Filed 02/17/14 Page 1 of 3 (SEE INSTRUCTIONS ON NEXT PAGE OF THIS FORM. I. (a PLAINTIFFS DEFENDANTS M.V., a minor, by her parent and next friend, Victor Villafuerte Daisey, Lawrence (b Somerset (EXCEPT IN U.S. PLAINTIFF CASES (c (Firm Name, Address, and Telephone Number see attachment Somerset (IN U.S. PLAINTIFF CASES ONLY (If Known II. BASIS OF JURISDICTION (Place an X in One Box Only III. CITIZENSHIP OF PRINCIPAL PARTIES (Place an X in One Box for Plaintiff (For Diversity Cases Only and One Box for Defendant PTF DEF PTF DEF (U.S. Government Not a Party or and (Indicate Citizenship of Parties in Item III IV. NATURE OF SUIT (Place an X in One Box Only CONTRACT TORTS FORFEITURE/PENALTY BANKRUPTCY OTHER STATUTES PERSONAL INJURY PERSONAL INJURY PROPERTY RIGHTS LABOR SOCIAL SECURITY PERSONAL PROPERTY REAL PROPERTY CIVIL RIGHTS PRISONER PETITIONS FEDERAL TAX SUITS Habeas Corpus: IMMIGRATION Other: V. ORIGIN (Place an X in One Box Only VI. CAUSE OF ACTION VII. REQUESTED IN COMPLAINT: VIII. RELATED CASE(S IF ANY 02/17/2014 FOR OFFICE USE ONLY (specify (Do not cite jurisdictional statutes unless diversity 42 U.S.C. Section 1983 Unlawful arrest To enjoin and remedy violations of civil rights laws CLASS ACTION DEMAND $ To Be Determined (See instructions: /s/ Douglas W. Baruch JURY DEMAND:

Case 1:14-cv-00452-CCB Document 1-1 Filed 02/17/14 Page 2 of 3 INSTRUCTIONS FOR ATTORNEYS COMPLETING CIVIL COVER SHEET FORM JS 44 I.(a (b (c II. III. IV. Plaintiffs-Defendants. County of Residence. Attorneys. Jurisdiction.. ; NOTE: federal question actions take precedence over diversity cases. Residence (citizenship of Principal Parties. Nature of Suit. V. Origin. VI. VII. Cause of Action. Do not cite jurisdictional statutes unless diversity. Requested in Complaint. VIII. Related Cases. Date and Attorney Signature.

Case 1:14-cv-00452-CCB Document 1-1 Filed 02/17/14 Page 3 of 3 Civil Cover Sheet M.V., by her parent and next friend, Victor Villafuerte v. Daisey Attachment I.(c Attorneys Douglas W. Baruch (D. Md. Bar No. 12554 Aaron Tucker (D. Md. Bar No. 17127 Fried, Frank, Harris, Shriver & Jacobson LLP 801 17th Street NW Washington, D.C. 20006 Tel: (202 639-7000 Maribel Hernández Rivera (Pro Hac Vice admission pending Amy Pedersen (Pro Hac Vice admission pending Mexican American Legal Defense and Educational Fund 1016 16th Street NW, Unit 100 Washington, D.C. 20036 Tel: (202 293-2828

Case 1:14-cv-00452-CCB Document 1-2 Filed 02/17/14 Page 1 of 2 AO 440 (Rev. 12/09 Summons in a Civil Action UNITED STATES DISTRICT COURT for the District of Maryland M.V., a minor, by her parent and next friend, VICTOR VILLAFUERTE, Plaintiff PFC. LAWRENCE DAISEY, in his individual capacity Defendant v. Civil Action No. SUMMONS IN A CIVIL ACTION To: (Defendant s name and address Pfc. Lawrence Daisey, 319A W. Main Street Crisfield, Maryland 21817 A lawsuit has been filed against you. Within 21 days after service of this summons on you (not counting the day you received it or 60 days if you are the United States or a United States agency, or an officer or employee of the United States described in Fed. R. Civ. P. 12 (a(2 or (3 you must serve on the plaintiff an answer to the attached complaint or a motion under Rule 12 of the Federal Rules of Civil Procedure. The answer or motion must be served on the plaintiff or plaintiff s attorney, whose name and address are: Douglas W. Baruch Aaron T. Tucker Fried, Frank, Harris, Shriver & Jacobson LLP 801 17th Street NW Washington, D.C. 20006 Telephone: (202 639-7000 If you fail to respond, judgment by default will be entered against you for the relief demanded in the complaint. You also must file your answer or motion with the court. CLERK OF COURT Date: Signature of Clerk or Deputy Clerk

Case 1:14-cv-00452-CCB Document 1-2 Filed 02/17/14 Page 2 of 2 AO 440 (Rev. 12/09 Summons in a Civil Action (Page 2 Civil Action No. PROOF OF SERVICE (This section should not be filed with the court unless required by Fed. R. Civ. P. 4 (l This summons for (name of individual and title, if any was received by me on (date. I personally served the summons on the individual at (place on (date ; or I left the summons at the individual s residence or usual place of abode with (name, a person of suitable age and discretion who resides there,, and mailed a copy to the individual s last known address; or on (date I served the summons on (name of individual designated by law to accept service of process on behalf of (name of organization on (date ; or, who is I returned the summons unexecuted because ; or Other (specify:. My fees are $ for travel and $ for services, for a total of $. I declare under penalty of perjury that this information is true. Date: Server s signature Printed name and title Server s address Additional information regarding attempted service, etc: