I 2 3 4 5 6 ,| 8 9 10 t2 l3 I4 !f l6 t'] t8 19 20 21 22 23 24 25 26 27 28 KAMALA D. HARRIS Attorney General of Califomia SARA J. DR.{Ktr Scnior Assistant Attorney General RONAI-D L. DIEDRICH Deputy Attomey General Stare Bar No. 95146 WII,LIAM P. ToRNGREN Deputy Attorney General State Bar No. 5 8493 1300 1 Street, Suite 125 P.O. Box 944255 Sacramento, CA 94244-2550 Telephon€: (916) 323-3033 F^x: (916)327-2319 E-mai1: [email protected][email protected]Attomeys for Cot plaifianl BEFORE THE CALIFORNIA GAMBLING CONTROL COMMISSION STATE OF CALIF'ORNIA In the Matter ofthe First Amended Accusation Against: Sacramento Casino Royale, LLC, license no. GEOW-003186, dba: Casino Royale, license no. GBGE-Oo1295, 500 Leisure Lane Sacramento. California 958 I 5 and James Kouretas, Managing Member, license no. GEOW-003185 and William Blanas, Member, license no. CEOW-003 | 87 and BGC No.: BGC-HQ20t4-00001AC OAH No. 2014110146 STIPULATED SETTLEMENT; DECISION AND ORDER (Sacrametrto Casino Royale, LLC) Stipulated Settlement (Sacramento Casino Royale, LLC)
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I KAMALA D. HARRIS Califomia · Sacramento Casino Royale, LLC, license no. GEOW-003186, dba: Casino Royale, license no. GBGE-Oo1295, 500 Leisure Lane Sacramento. California 958 I
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KAMALA D. HARRISAttorney General of CalifomiaSARA J. DR.{KtrScnior Assistant Attorney GeneralRONAI-D L. DIEDRICHDeputy Attomey GeneralStare Bar No. 95146WII,LIAM P. ToRNGRENDeputy Attorney GeneralState Bar No. 5 8493
1300 1 Street, Suite 125P.O. Box 944255Sacramento, CA 94244-2550Telephon€: (916) 323-3033F^x: (916)327-2319E-mai1: [email protected]
E. Steams Living Trust (collectively, Members and, individually, Member). Each Member is a
2 respondent in the First Amended Accusation and a licensee. 1 Each Member's license will
3 expire on April 30, 2016.
4 JURISDICTION
5 3. On November 3, 2014, Settling Respondent was served with the original
6 Accusation/ as well as a Statement to Respondent (Gov. Code, § 11505, subd. (b», Request for
7 Discovery (Gov. Code, § 11597.6), copies of Government Code sections 11507.5, 11507.6 and
8 11507.7, and two copies of the Notice of Defense form (Gov. Code, §§ 11505 & 11506).
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4. Settling Respondent filed a timely Notice of Dcfense.
5. On November 26,2014, Settling Respondent was served with the First Amended
11 Accusation.
12 ADVISEMENT AND WAIVERS
13 6. Settling Respondent has carefully reviewed, and has discussed with counsel, the
14 legal and factual allegations in the First Amended Accusation. Settling Respondcnt has also
15 carefully reviewed, and has discussed with counsel, this Stipulated Settlement. Settling
16 Respondent fully understands the terms and conditions contained within this Stipulated
17 Settlement and the effects thereof.
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7. Settling Respondent is fully aware of its legal rights in this maUer, including: the
right to a hearing on all the allegations in the First Amended Accusation; the right to be
represented by counsel of its choice at its own expense; the right to confront and cross-examine
the witnesses against it; the right to present evidence and testify on its own behalf; the right to
the issuance of subpoenas to compel the attendance of witnesses and the production of
1 Faye E. Steams (Ms. Stearns) was the trustor, a trustee, and the beneficiary ofthc Faye E . Stearns Living Trust (Trust). She was a respondent in the First Amended Accusation. She passed away. Consequently, on September 23,2015, Complainant withdrew the First Amended Accusation as to her. The Trust and its sole trustee, Stanley Parrish, remain as respondents in the First Amended Accusation.
2 On November 3, 2014, Complainant issued an emergency order that, among other things, ordered Settling Respondent to suspend and cease any and all gambling related activities at, and close, the gambling establishment. On December 22, 2014, Complainant issued a modified emergency order, which remains in effect.
1 . 16. The parties agr:ee that • . .photocopy, facsimile or ~c copy of this Stipllated
2 SetUemeJlt, ·mcludiog.copics wiftI Signatures thereon, shall haw the same force and effect as an
3 originaL
4 17. In cons:I~ti!lD of the above admissiODs and stipuJations, tho parties agree, that the' . 5: Commission may, without furtlru ""tieo or fODDo] p«>eee<!ing, imu: and cn!er the DeciQon and
6 Orocr adOpting this StiPulated Settlement • . . .
7 SETIUNG !lESPQNDEN'!;'S ACCEPrAliCE
8 ~ott1iog Rosp"- has carefullytead and eo.~delOd th. above Stipul.t.d Settlem""t,
9 SettUng Respondent disc1lssed its terms and ~ witb lea-I OOlUliel. Sealing Respondent.
)0 alao _ the Stipu!otcd Settlem ... and the eIIbcts itwiJlli.vo on Settling R;sP_'