Case 3:11-cv-05499 Document 1 Filed 06/30/11 Page 1 of 7 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT TACOMA



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Case :-cv-0 Document Filed 0/0/ Page of Hon. UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT TACOMA DAVE AXTELL, v. Plaintiff, JAMES J. WILLIAMS BULK SERVICE TRANSPORT, INC., TRANS-SYSTEM, INC., and SYSTEM TWT TRANSPORTATION, INC., Defendants. Civil Action No. COMPLAINT Plaintiff, Dave Axtell ( Mr. Axtell ), by and through his undersigned attorneys, brings this Complaint against James J. Williams Bulk Service Transport, Inc. ( JJW ), Trans-System, Inc. ( Trans-System ), and System TWT Transportation, Inc. ( TWT Transportation ) (collectively hereinafter, Defendants ) and alleges as follows: I. NATURE OF THIS ACTION. This is a civil action brought pursuant to the Uniformed Services Employment and Reemployment Rights Act of, U.S.C. 0 - ( USERRA ). Defendants willfully violated Mr. Axtell s USERRA rights, first, by failing to promptly and properly reemploy him following his honorable discharge from active duty with United States Air Force and, subsequently, by improperly terminating his employment. Mr. Axtell seeks his lost wages and benefits, as well as liquidated damages for Defendants willful violation of USERRA. 00 STEWART STREET, SUITE COMPLAINT (Civil Action No. ) () -0

Case :-cv-0 Document Filed 0/0/ Page of II. JURISDICTION AND VENUE. This Court has jurisdiction over this action pursuant to U.S.C. and U.S.C. (b).. The United States District Court for the Western District of Washington is a proper venue for this action under U.S.C. (c)() because Defendant JJW is a company that maintains a place of business in this judicial district. Additionally, venue is proper under U.S.C. (b) because all or a substantial part of the events giving rise to this action occurred in this district.. All statutory conditions precedent to the initiation of this lawsuit have been fulfilled. III. PARTIES. Mr. Axtell maintains a residence in University Place, Washington.. Defendant JJW maintains a place of business at 0 S. Hendrickson Drive, Kalama, WA, which is within the jurisdiction of this Court. Defendant JJW employed, managed, and controlled Mr. Axtell s daily activities during his employment with JJW.. Defendant Trans-System is the parent company of Defendant JJW, paid Mr. Axtell s wages in 0, and directed the operations of JJW. Trans-System maintains a place of business in Spokane, Washington.. Defendant TWT Transportation is a subsidiary of Trans-System that assisted with the direction of JJW and paid Mr. Axtell s wages in 0. TWT Transportation maintains a place of business in Cheney, Washington. IV. FACTS A. Following his Honorable Discharge from Active Duty, Defendants Failed to Timely and, Then, to Properly Reemploy Mr. Axtell.. JJW is a trucking company that specializes in hauling hazardous materials throughout the Northwest United States and western Canada.. On or about on April,, Mr. Axtell commenced full-time employment as a truck driver with JJW/Defendants. 00 STEWART STREET, SUITE COMPLAINT (Civil Action No. ) () -0

Case :-cv-0 Document Filed 0/0/ Page of. In approximately, Duane Johnsen ( Mr. Johnsen ), the General Manager for JJW at the time, offered Mr. Axtell the position of Driver Supervisor with a $,000 annual salary and a work week capped at hours. Mr. Axtell accepted the position.. As a Driver Supervisor, Mr. Axtell trained and supervised truck drivers, performed dispatch duties, performed special assignments for the General Manager, responded (along with others) to accidents and spills, and ensured that truck drivers had all appropriate disposable equipment.. At the time he was a Driver Supervisor, Mr. Axtell lived in University Place, Washington and performed his duties at both JJW s Pacific, Washington and Kalama, Washington (near Longview, Washington) locations. He commuted on a weekly basis between these two duty locations. Defendants provided Mr. Axtell with a gas card to account for his driving expenses, and lodged him in a motel when he was in Kalama.. On or about April, 0, Mr. Axtell was called into active duty and, shortly thereafter, deployed overseas in support of Operation Enduring Freedom by the United States Air Force. Mr. Axtell had given Mr. Johnsen and Defendants at least two weeks notice of this service obligation. At the time of his departure for military service, Mr. Axtell held the position of Driver Supervisor.. The day after his honorable release from active duty, on or about April, 0, Mr. Axtell contacted Defendants seeking reemployment as a Driver Supervisor.. Defendants failed to promptly reemploy Axtell. Instead, even after being informed of their obligations under USERRA, JJW personnel informed Mr. Axtell that he would be required to obtain a current commercial driver s license ( CDL ) and to pass a Department of Transportation ( DOT ) physical and drug test, before he would be considered for reemployment and permitted to work for Defendants.. Additionally, JJW employees, including new JJW General Manager Francis McGee and JJW Human Resources Representative Jeff Benesch ( Benesch ), informed Mr. Axtell that his former Driver Supervisor position no longer existed in Pacific and that, if he wanted a position at Defendants Kalama location, he had to live within 0 minutes of Kalama. As known 00 STEWART STREET, SUITE COMPLAINT (Civil Action No. ) () -0

Case :-cv-0 Document Filed 0/0/ Page of to JJW, Mr. Axtell s residence in University Place was more than 0 minutes from Kalama. Moreover, the so-called 0 minute policy was both unwritten and previously unheard of.. Over three months later, on or about July, 0, after he obtained his CDL and passed his DOT physical and drug test, Defendants reemployed Mr. Axtell as a new truck driver. The truck driving position did not have the same or comparable duties to the Driver Supervisor position that Mr. Axtell held prior to his military deployment. In addition, the truck driver position was not salaried, and Mr. Axtell worked longer hours than he had worked as a Driver Supervisor. Furthermore, as he was a new employee, Defendants required Mr. Axtell to attend new employee orientation and initially required him to be trained by drivers whom he himself had previously trained, at half his already-reduced pay and without full benefits. B. Defendants Improperly Terminated Mr. Axtell. On or about August, 0, Mr. Axtell contacted a representative from The National Committee for Employer Support of the Guard and Reserve ( ESGR ) regarding concerns about JJW s non-compliance with USERRA. The ESGR representative thereafter contacted JJW human resources representative Benesch concerning Mr. Axtell s complaint. Nonetheless, Defendants still refused to reinstate Mr. Axtell into the Driver Supervisor or comparable position, and restore his status as a salaried employee.. On September, 0, the vehicle that Mr. Axtell was driving incurred a small (half of one gallon) oil spill on the highway. While Mr. Axtell quickly cleaned the spill, a Washington State Patrol Officer conducted an inspection that uncovered a broken spring on the trailer. The Officer permitted Mr. Axtell to drive the vehicle to the customer s yard for repairs, and the vehicle was back in service the following day.. During September 0, Mr. Axtell raised objections to improper documentation practices regarding the hauling of hazardous materials by certain JJW customers, with the knowledge, participation and approval of Jerrod Stockton, JJW s Regulatory Compliance and Safety Manager.. According to Defendants own written progressive disciplinary policy, Mr. Axtell should have received a Level One probation for the September incident involving the oil 00 STEWART STREET, SUITE COMPLAINT (Civil Action No. ) () -0

Case :-cv-0 Document Filed 0/0/ Page of spill. Instead, on October, 0, Defendants imposed the more severe and unwarranted Level Two probation. Level Two probation meant that any additional discipline within the next days would result in automatic termination.. On October, 0, Defendants terminated Mr. Axtell s employment after an incident that allegedly occurred on or about October, 0. Defendants claimed that Mr. Axtell was hauling a load without proper paperwork, despite its knowledge of evidence indicating that Mr. Axtell had been unaware of the missing paperwork, had acted reasonably and professionally, and that other employees were at fault for the incident. Upon information and belief, other employees involved in the incident were not disciplined.. On or about March 0,, Mr. Axtell filed a complaint with the United States Department of Labor ( DOL ), alleging that JJW had violated his rights under USERRA. The DOL s Veterans Employment and Training Service ( VETS ) conducted an investigation into Mr. Axtell s claim and determined that the claim had merit. In accordance with U.S.C. (a)(), DOL referred Axtell s complaint to the Attorney General of the United States. V. USERRA CLAIMS. Paragraphs through are realleged and incorporated by reference.. Defendants violated U.S.C. and of USERRA, among other ways, by failing or refusing to: (a) promptly reemploy Mr. Axtell; (b) reemploy Mr. Axtell in the position in which he would have been employed had his employment not been interrupted by military service, or a position of like seniority, status and pay, the duties of which Mr. Axtell was qualified to perform.. Defendants violated U.S.C. of USERRA, among other ways, by discharging Mr. Axtell from his employment with Defendants without cause within one () year of his reemployment.. As a result of the Defendants unlawful conduct in violation of USERRA, Mr. Axtell has suffered a loss of earnings and other benefits of employment in an amount to be proven at trial. 00 STEWART STREET, SUITE COMPLAINT (Civil Action No. ) () -0

Case :-cv-0 Document Filed 0/0/ Page of. Mr. Axtell seeks liquidated damages in an amount to be proven at trial because Defendants violations of USERRA were willful. VI. PRAYER FOR RELIEF WHEREFORE, Mr. Axtell prays that the Court enter judgment against Defendants and their officers, agents, employees, successors and all persons in active concert or participation with them, as follows: A. Declare that the termination of Mr. Axtell s employment by Defendants was unlawful and in violation of USERRA; B. Enjoin Defendants from taking any action against Mr. Axtell that fails to comply with the provisions of USERRA; C. Order that Defendants fully comply with the provisions of USERRA by paying Mr. Axtell for his loss of wages and other benefits suffered by reason of their failure or refusal to comply with the provisions of this law; D. Order that Defendants fully comply with the provisions of USERRA by paying Mr. Axtell liquidated damages thereof by reason of their willful failure or refusal to comply with the provisions of this law; E. Award Mr. Axtell prejudgment interest on the amount of lost wages found due; and F. Grant such other and further relief as may be just and proper together with the costs and disbursements of this lawsuit 00 STEWART STREET, SUITE COMPLAINT (Civil Action No. ) () -0

Case :-cv-0 Document Filed 0/0/ Page of Dated this 0th day of June,. Respectfully submitted, THOMAS PEREZ Assistant Attorney General LORETTA KING Acting Chief JODI DANIS Special Counsel s/ Kristofor J. Hammond KRISTOFOR J. HAMMOND, VA Bar No. * Senior Trial Attorney United States Department of Justice Civil Rights Division, Employment Lit. Section 0 Pennsylvania Avenue, N.W., PHB Room 0 Washington, DC 0 Phone: --0 Fax: -- E-mail: Kristofor.Hammond@usdoj.gov JENNY A. DURKAN United States Attorney s/ J. Michael Diaz J. MICHAEL DIAZ, WSBA # 0 Assistant United States Attorney United States Attorney's Office 00 Stewart Street, Suite Seattle, Washington - Phone: --0 Fax: --0 E-mail: Michael.Diaz@usdoj.gov Attorneys for Dave Axtell *Conditional Admission Pending 00 STEWART STREET, SUITE COMPLAINT (Civil Action No. ) () -0