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UNITED STATES v THE CBM GROUP INC Click to find out why . . .



Keywords & Phrases
CaseNo: USVTCGI164803, Plaintiff: UNITED STATES, State: OR Oregon, UniqueCaseRef: LCD>USVTCGI164803, Alvera, Discriminatory, Domestic Violence, Oregon, Victims, Fair Housing Act, United States, Plaintiff-intervenor, Creekside Village Apartments, Decree, Sex, Rights, Legal Aid Services, Consent Decree, Ors, Fees, Tiffanie Alvera, Complaint, Employees, Punitive Damages, Provisions, Apartments, Tenant, Times Relevant, Paragraphs, Management, Oregon Common, Paragraph, Intervention Civil Rights, Fair Housing, Act, Violation, Inflict Personal Injury, Violence, Rental Property, Intervenor , ContentID: 120250277

Case Documents
1   CONSENT DECREE
[ see first page and extracted highlights below  ] ItemID: 124184
13 pages
PDF
2   COMPLAINT
[ see first page and extracted highlights below  ] ItemID: 124183
16 pages
PDF
Total Documents: 2 documents , 29 pages
Price: $ 24.95


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1 . CONSENT DECREE

EXTRACTED KEY WORDS
UNITED STATES
DEFENDANTS
ATTORNEY
CONSENT DECREE
ALVERA
EMPLOYEES
COURT
OREGON
APARTMENTS
TENANT
MANAGEMENT
PARAGRAPH
PLAINTIFF
FAIR HOUSING
ACT
VIOLENCE
RENTAL PROPERTY
INTERVENOR
RESIDENTIAL RENTAL PROPERTY
EVICTION
POLICY
PARTIES
ENTRY
ATTORNEY FEES
PROVISIONS
LEGAL AID SERVICES
TIFFANIE ALVERA
COUNSEL
LAW
MICHAEL W. MOSMAN
United States Attorney
Oregon State Bar #87111
RONALD K. SILVER
Assistant United States Attorney
1000 S.W. Third Avenue, Suite 600
Portland, Oregon 97204-2902
Tel. No.:  (503) 727-1044
Fax No.:  (503) 727-1117
E-mail:  ron.silver@usdoj.gov
      Attorney for Plaintiff

ELLEN JOHNSON
Legal Aid Services of Oregon
Hillsboro Regional Office
230 NE Second Avenue, Suite A
Hillsboro, OR 97124-3089
Tel. No.: (503) 648-7163
Fax No.: (503) 648-0513
Oregon State Bar # 80278
      Attorney for Tiffanie Alvera

Additional Counsel listed on signature page

W. KELLY OLSON
SHAW N M. O'N EIL
Mitchell, Lang & Smith
2000 One Main Place
101 SW Main Street
Portland, OR 97204-3230
Tel. No.: (503) 221-1011
Fax No.: (503) 248-0732
Oregon State Bar # 74239
      Attorney for Defendants



                   IN THE UNITED STATES DISTRICT COURT

                            FOR THE DISTRICT OF OREGON

Page 1 - Consent Decree, CV 01-857-PA



UNITED STATES OF AMERICA,                         )               Civil No. 01-857-PA
                                                  )
                     Plaintiff,                   )      CONSENT DECREE
                                                  )
SNIPPETS:
  • Assistant United States Attorney
  • Portland, Oregon 97204-2902
  • Legal Aid Services of Oregon Hillsboro Regional Office
  • Additional Counsel listed on signature page
  • Oregon State Bar # 74239 Attorney for Defendants
  • IN THE UNITED STATES DISTRICT COURT
  • Page 1 - Consent Decree,
  • Alvera, pursuant to Section 812of the Fair Housing Act, 42 U.S.C. §3612.
  • Plaintiff/Intervenor Alvera was formerly a tenant in the Creekside Village
  • Apartments, located in Seaside, Oregon.
  • Alvera a notice of eviction.
  • Defendants took this action pursuant to an asserted policy of evicting a tenant if the
  • victim of domestic violence, and imposing different terms and conditions on her tenancy,
  • Accordingly, the parties agree to the entry of this Consent Decree, as indicated by the
  • violating any statute or the com mitting of any tort against the Plaintiff Intervenor.
  • be payable to, given, or retained, by Legal Aid Services of Oregon or its employees.
  • GENERAL NONDISCRIMINATION PROVISIONS
  • Plaintiff intervenor Tiffanie Alvera and the Defendants have agreed to a full
  • to, and amount of, attorney fees and costs.
  • C.B.M. shall notify all employees having any responsibility for the management of any
  • residential rental property owned or operated by C.B.M.
  • to take any action which is contrary to paragraph 8 a and b above.
  • MARTHA DAV IS, Attorney at Law

  • 2 . COMPLAINT

    EXTRACTED KEY WORDS
    ALVERA
    DISCRIMINATORY
    DOMESTIC VIOLENCE
    VICTIMS
    FAIR HOUSING ACT
    OREGON
    PLAINTIFF-INTERVENOR
    CREEKSIDE VILLAGE APARTMENTS
    SEX
    RIGHTS
    ATTORNEYS
    LEGAL AID SERVICES
    LAW
    ORS
    FEES
    UNITED STATES
    COMPLAINT
    PUNITIVE DAMAGES
    TIMES RELEVANT
    PARAGRAPHS
    OREGON COMMON
    TIFFANIE ALVERA
    INTERVENTION CIVIL RIGHTS
    VIOLATION
    INFLICT PERSONAL INJURY
    TERMINATING
    FUTURE ENFORCEMENT
    INTERVENES
    PROVISIONS
    
     1    Ellen Johnson
          Legal Aid Services of Oregon
     2    230 NE 2nd Ave, Suite A
          Hillsboro, OR 97124
     3    Telephone: 503.648.7163
          Fax: 503.648-0513
     4    Email: Ellen.Johnson@lasoregon.org
          Bar number: 80-278
     5
          Additional counsel listed
     6    on signature page.
     7    Attorneys for Plaintiff-Intervenor
     8
                                        IN THE UNITED STATES DISTRICT COURT
     9                                       FOR THE DISTRICT OF OREGON
    10
    
    11     UNITED STATES OF AMERICA,                                )     Civil No.  01-857-PA
    12                                                              )
                               Plaintiff,                           )
    13                                                              )     COMPLAINT IN INTERVENTION
           and                                                      )     CIVIL RIGHTS [Housing
    14                                                              )     (42 U.S.C. §§3601 et seq.)
           TIFFANIE ALVERA                                          )     DEMAND FOR JURY TRIAL
    15                                                              )
                               Plaintiff-Intervenor,                )
    16                                                              )
                       vs.                                          )
    17                                                              )
           THE C.B.M. GROUP, INC., a California                     )
    18     Corporation, CREEKSIDE VILLAGE                           )
           APARTMENTS, a Limited Partnership,                       )
    19     EDWARD MACKAY AND DORIAN                                 )
           MACKAY, General Partners, KAREN                          )
    20     MOCK, INEZ CORENEVSKY,                                   ))
    21                         Defendants                           )
    
    22
    
    23
                                             PRELIMINARY STATEMENT
    24
    
    25    Page 1 -            COMPLAINT IN INTERVENTION CIVIL RIGHTS [Housing Discrimination
    26                        (42 U.S.C. §§3601 et seq.) DEMAND FOR JURY TRIAL
                                                   LEGAL AID SERVICES OF OREGON
                                                        HILLSBORO REGIONAL OFFICE
                                                  230 NORTHEAST SECOND, SUITE A
                                                               (503) 648-7163
    
    SNIPPETS:
  • Ellen Johnson Legal Aid Services of Oregon
  • Attorneys for Plaintiff-Intervenor
  • This is a sex discrimination case brought on behalf of a woman,
  • Alvera seeks a declaration that the defendants' actions violated the Fair Housing Act,
  • ORS 659.033 and Oregon common law; an injunction against future enforcement of this policy
  • against victims of domestic violence; compensatory damages; punitive damages; and attorneys'
  • Plaintiff-intervenor, Tiffanie Alvera, intervenes to protect her interests as an aggrieved
  • 10 in the above action brought by the United States to enforce the provisions of the Fair
  • At all times relevant to this action, plaintiff-intervenor Tiffanie Alvera was a tenant who
  • resided in the Creekside Village Apartments in Seaside, Oregon, in the District of Oregon..
  • On or about October 22, 1999, plaintiff-intervenor Tiffanie Alvera filed a timely complaint
  • 25 Page 3 - COMPLAINT IN INTERVENTION CIVIL RIGHTS [Housing Discrimination
  • reasonable cause existed to believe that discriminatory housing practices occurred and issued
  • violation of the Fair Housing Act and thereby causing actual injury to Ms.
  • 18 threatening to inflict personal injury upon the landlord or any tenant of the Creekside
  • Defendants' alleged policy of terminating the tenancy of or refusing to rent an apartment to
  • In the United States and in Oregon, the overwhelming majority of victims of domestic
  • Plaintiff-intervenor repeats and realleges the allegations in paragraphs 1 through 54 of this
  • Award plaintiff-intervener reasonable costs and attorney fees.
  •    |