HomeMy WebLinkAbout2024-02-13 - AGENDAS - SPECIALCITY OF SANTA CLARITA
CITY COUNCIL
A. SPECIAL MEETING
Tuesday, February 13, 2024
5:00 PM
City Council Chambers
23920 Valencia Blvd.
Santa Clarita, CA 91355
AGENDA
CALL TO ORDER
ROLL CALL
PUBLIC PARTICIPATION FOR AGENDIZED ITEMS
Pursuant to Government Code section 54954.3 members of the public are afforded one minute
(with double the time allotted to non-English speakers using a translator) to address the
legislative body concerning any item that has been described in the special meeting agenda.
CLOSED SESSION
CONFERENCE WITH LEGAL COUNSEL - EXISTING LITIGATION
Government Code Section 54956.9(d)(1)
Name of case: City of Santa Clarita v. County of Los Angeles
LASC Case No. 22STCP01395
CONFERENCE WITH LEGAL COUNSEL - ANTICIPATED LITIGATION
Initiation of litigation pursuant to Government Code Section 549569(d)(1) and (d)(4)
Name of case: Gloria Johnson v. City of Grants Pass, Oregon
USSC Case No. 23-175
CONFERENCE WITH LEGAL COUNSEL - ANTICIPATED LITIGATION
Significant exposure to litigation pursuant to Government Code Section 54956.9(d)(2)
March 30, 2023, Claim by Mazzy Peacock against the City of Santa Clarita (attached)
CONFERENCE WITH REAL PROPERTY NEGOTIATORS
Government Code Section 54956.8
Property: Assessor's Parcel Nos. 2833-001-087; 2833-004-097; 2833-005-011, 012, 013,
014; and 2833-005-902, 903, 904 and Lyons Avenue within the boundaries of those listed
APNs
Negotiating Parties: Laurene Weste and County of Los Angeles
City's Authorized Negotiator: Kevin G. Ennis, Special Counsel, and Ken Striplin, City
Manager
Under Negotiation: Price and Terms
RECESS TO CLOSED SESSION - TO BE HELD IN THE CARL BOYER ROOM
RECONVENE TO OPEN SESSION
CITY ATTORNEY ANNOUNCEMENT
ADJOURN
Page 2
NOTICE OF SPECIAL MEETING
CITY OF SANTA CLARITA
CITY COUNCIL
A SPECIAL MEETING OF THE CITY COUNCIL OF SANTA CLARITA WILL BE HELD
ON THE 13TH DAY OF FEBRUARY AT 5:00 PM IN THE COUNCIL CHAMBER
LOCATED ON THE FIRST FLOOR OF THE CITY HALL AT 23920 VALENCIA BLVD.,
SANTA CLARITA, CALIFORNIA, FOR THE PURPOSE OF HOLDING A CLOSED
SESSION TO CONSIDER THOSE ITEM(S) LISTED ON THE ATTACHED AGENDA.
Cameron Smyth, Mayor
STATE OF CALIFORNIA )
COUNTY OF LOS ANGELES ) ss
CITY OF SANTA CLARITA )
I, Mary Cusick, City Clerk, do hereby certify that a copy of the Notice of Special Meeting of the
City Council of the City of Santa Clarita, CA, to be held on the 13th day of February 2024, at the
hour of 5:00 PM was delivered and posted pursuant to Government Code 54956.
Dated: February 8, 2024
Mary Cusick
City Clerk
Page 3
City of Santa Clafita
Claim for Damages Form
Note
Claims against the City of Santa Clanta for death, injury to person or to personal property
must be filed not later thin six (6) months after the occurrence (Government Code Sec.
911.2). Claims for damages to real property must be filed not later than one (1) year after
the occurrence (Government Code Sec. 911.2). Please be sure your claim is against the
City of Santa Clanta, not another agency.
Instructions
1. Read the entire claim form before filing.
CrrY CLERK's OfFLCE Use ONLY
CLAIM NO.
2. See page two for dragram upon which to locate place of acadent.
3. Sign the claim form on the boitpm of second page. The form must be signed by claimant or person on his/her behalf
(Gbvernmenf Codg Sec,.910.2).
4. Attach separate sheets, if necessary, to give full details, Please be sure to sign and date each additional page.
5. File original iigned claim form with the City Clerk at Santa Clarita City Hall, 23920 Valencia Blvd, Suite 120, Santa Clazita, CA
91355-2196. Please make copies of claim and enclosures for claimant's records.
NAMEOFCLAIMANT Mazzy Peacock, a minor, by and through
DATE OF BIRTH
SOCIAL SECURITY NUMBER
her Guardian ad Litem, Stacy Peacock
June 11, 2013
STREET ADDRESS Q$ POST OFFICE BOX OF CLAIMANT
CITY, STATE, LP
HOME TELEPHONE NUMBER
c/o Owen, Patterson & Owen, LLP, 23822 W. Valencia Blvd., Ste, 303
Valencia, California 91355
661-799-3899
STREET ADDRESS OR POST OFFICE BOX WHERE NOTICES ARE TO BE SENT
CRY, STATE, ZIP
DRIVER'S LICENSE NUMBER
c/o Owen, Patterson & Owen, LLP, 23822 W. Valencia Blvd., Ste. 303
Valencia, California 91355
N/A
OCCUPATION & BUSINESS ADDRESS
CITY, STATE, ZIP
BUSINESS TELEPHONE NUMBER
N/A
661-799-3899
DATE AND TIME DAMAGE OR INJURY OCCURRED
NAMES OF CRY EMPLOYEES INVOLVED
October 19, 2022; approx. 3:15 p.m.
David Okon, Supervisor, Neighborhood Services
WHERE DID DAMAGE OCCUR7 LOCATE ON DIAGRAM ON REVERSE SIDE OF THIS SHEET. WHERE APPROPRIATE, GIVE STREET NAMES AND MEASUREMENTS FROM LANDMARKS,
See Attachment
DESCRIBE IN DETAIL ALL CIRCUMSTANCES REGARDING HOW THE DAMAGE OR INJURY OCCURRED.
See Attachment
WHY DO YOU CLAIM THE CITY IS RESP0NSIBLE7
See Attachment
DESCRIBE, IN DETAIL, EACH INJURY OR DAMAGE
See Attachment
DAMAQEBINCURREDTDDATE EXACT:
ESTIMATEGPROSPECTIVE DAMAGES ASFAR ASKNOWN: Damages exceed $25,000-00
DAMAGETOPROPERTY $
EXPENSES FOR MEDICAL & HOSPITALCARE
$
FUTURE EXPENSES FOR MEDICAL & HOSPITAL CARE
$
LOSS OF EARNINGS
$
FUTURE LOSS OF EARNINGS
$
SPECIAL DAMAGES FOR
$
OTHER PROSPECTIVE SPECIAL DAMAGES
$
GENERAL DAMAGES
$
PROSPECTIVE GENERAL DAMAGES
$
TOTAL DAMAGES INCURRED TO DATE
$
TOTAL PROSPECTIVE DAMAGES
$
TOTAL CLAIMED AS OF DATE OF PRESENTATION OF THIS CLAIM
$
WAS DAMAGE AND/OR INJURY INVESTIGATED BY POLICE? YES NO 0
WAS A POUCEISHERIFF'S REPORTTAKEN? YES ❑ NO
IF SO, WHAT CITYI
IF SO, WHAT IS THE REPORT NUMBER?:
WERE PARAMEDICS OR AMBULANCE CALLED? YES ❑ No
IF SO, NAME OF CITY OR AMBULANCE:
IF INJURED, STATE DATE, TIME, NAME AND ADDRESS OF DOCTOR OF YOUR FIRST visor
See Attachment
Original claims must be filed with the City Clerk (Government Code Sec. 915 (a)).
Presentation of a false claim is a felony (California Penal Code Sec. 72; California Ins. Code 1871.1) Packet P 4
9•
NAME
See Attachment
STREETADDRESS
CITY, STATE, LPPHONE
NAME
STREET ADDRESS
CITY, STATE, ZIP
PHONE
NAME
STREETADDRESS
CITY, STATE, ZIP
PHONE
HOSPITAL
See Attachment
STREET ADDRESS
CITY, STATE, LP
DATE OF HOSPITALIZATION
DOCTOR
STREET ADDRESS
CITY, STATE, ZIP
DATE OF TREATMENT
DOCTOR
STREET ADDRESS
CRY, STATE, ZJP
DATE OF TREATMENT
Y''!b_ to C. :A. t4_ r
For all accident claims, place on the following diagram names of streets, including north, south, east, and west. Indicate place of accident by "X" and by showing house
numbers or distance to street comers. If City vehicle was involved, designate by letter "A" location of City vehicle when you fast saw it, and by 'B" location of yourself or
your vehicle when you first saw the City vehicle, location of vehicle at time of accident by "A-1" and location of your vehicle at time of accident by 'B4" and point of
impact by ' X." Note; If diagrams below do not fit the situation, attach here the proper diagram signed by claimant.
CURB
FOR AUTOMOBILE ACCIDENTS
FOR OTHER ACCIDENTS
SIDEWALK
CURB
PARKWAY
SIDEWALK
SIGNATURE CLAIMANT PER N FILIN R BEHALF TYPED NAME DATE
Tamiko B. Herron, Esq. of Owen, Patterson & Owen, LLP March 30, 2023
F
RELATIONfiH�CLAIMANT
Tamiko B. Herron, Esq. of Owen, Patterson & Owen, LLP on behalf of Claimant
Original claims must be filed with the City Clerk (Government Code Sec. 915 (a)).
Presentation of a false claim is a felony (California Penal Code Sec. 72; California Ins. Code 1871.1)
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Susan A. Owen, Esq., CSB #143805
Tamiko B. Herron, Esq., CSB #155923
J. Cody Patterson, Esq., CSB #237089
Beau M. Goodrick, Esq., CSB #311097
OWEN, PATTERSON & OWEN, LLP
23822 West Valencia Boulevard, Suite 303
Valencia, California 91355
T: (661) 799-3899
F: (661) 799-2774
E-Service Address: Litl@opolaw.com
Attorneys for Claimant, MAZZYPEACOCK
MAZZY PEACOCK, a minor, by and through)
her Guardian ad Litem, Stacy Peacock, ) ATTACHMENT TO CLAIM AGAINST
PUBLIC ENTITIES AND EMPLOYEES
Claimant, )
vs. )
CITY OF SANTA CLARITA and/or DOES 1
to 50, inclusive, )
Respondents. )
NAME AND POST OFFICE ADDRESS OF CLAIMANT:
MAZZY PEACOCK, a minor, by and through her Guardian ad Litem, Stacy Peacock, c/o Owen,
Patterson & Owen, LLP, 23822 W. Valencia Boulevard, Suite 303,Valencia, California 91355, (661)
799-3 899.
POST OFFICE ADDRESS WHERE NOTICE IS TO BE SENT:
Owen, Patterson & Owen, LLP, 23822 W. Valencia Boulevard, Suite 303, Valencia, California
91355.
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Government Claim
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DATE, PLACE AND CIRCUMSTANCES OF CLAIM:
Claimant, MAZZY PEACOCK ("Claimant"), is presently nine (9) years old, with a date of birth
of June 11, 2013.
Respondent, CITY OF SANTA CLARITA ("CITY"), is a public entity, with its principal place
of business located at 23920 Valencia Boulevard, Santa Clarita, California 91355. During all times
relevant herein and at the time of the incident, CITY owned, operated, managed, maintained, inspected,
constructed and/or controlled Valencia Meadows Park, located at 25671 Fedala Road, in Santa Clarita,
California 91355 (the "Premises")
At all times relevant to this action, DOES 11 to 20, inclusive, were the employee(s) and/or
agent(s) of CITY and/or DOES 1 to 10, inclusive, and in doing the acts complained of herein, were
acting in the course and scope of their employment and/or agency with CITY and/or DOES 1 to 10,
inclusive.
CITY and/or DOES 1 to 50, inclusive, shall sometimes collectively be referred to herein as
I "RESPONDENTS."
On October 19, 2022, Claimant was lawfully at the Premises, which is a CITY owned and
operated park, during business hours, with her father, Tommy Peacock ("Tommy"), along with other
parents, family and children. The Premises is specifically provided for by CITY for the use of
guests/patrons. While Claimant was playing a game with the children at the Premises, one of the
children leaned against a light pole that was on/at the Premises. Suddenly, and without warning, the light
pole gave way and fell down onto Claimant and other child, Max Yang. The incident was witnessed by
Tommy and other individuals at the Premises. The incident caused Claimant to suffer severe and
ongoing injuries.
CITY employee and/or agent, David Okon ("Okon"), a supervisor with neighborhood services, a
division of CITY and/or DOES 1 to 10, inclusive, arrived at the Premises after the incident. Per the
CITY Incident Report, attached hereto as Exhibit "1," Okon requested CITY employees and/or agents to
turn off the electrical output to the light pole. Okon then took photographs of the light pole and had the
light pole removed from the Premises. Okon noted in the CITY Incident Report that "[t]he only safety
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Government Claim
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hazards that were observed was that [sic] pole was compromised due to rust." The CITY Incident Report)
also stated: "We have been in the process of inspecting pole bases throughout the parks. After this
incident we will be looking at ways to improve the inspections to better locate potential hazards."
Prior to and at the time of the incident, there were no signs, warnings, cones, fences and/or
barriers to indicate there was any type of dangerous condition at/on the Premises where Claimant was
injured. There was no signage at the Premises indicating any type of usage restrictions, nor were there
any signs or warnings at the Premises regarding any dangerous conditions of the light pole and/or
surrounding areas. There were also no CITY employees and/or agents at the Premises who informed
guests/patrons of any dangers at/on the Premises.
GENERAL DESCRIPTION OF INDEBTEDNESS, OBLIGATION, INJURY, DAMAGE OR
LOSS:
Claimant seeks to recover damages from RESPONDENTS based upon a claim of wrongful
conduct by RESPONDENTS and/or other public employees(s), the name(s) and address(es) of whom
are currently unknown. DOES 11 to 20, inclusive, are the employees and/or agents of CITY and/or
DOES 1 to 10, inclusive, and all acts complained of by Claimant against DOES 11 to 20, inclusive, were
committed by them in the course and scope of their employment with CITY and/or DOES 1 to 10,
inclusive.
Claimant also seeks to recover damages from RESPONDENTS based upon a claim of negligent
I conduct by RESPONDENTS and other public employee(s), the name(s) and address(es) of whom are
currently unknown, as set forth below.
At all times mentioned herein, Claimant had the expectation that she would be free from physical
I injury on the Premises. RESPONDENTS, and each of them, owed Claimant a duty to ensure that the
Premises were free from any dangerous conditions. (Government Code §§830, 835.)
Claimant seeks to recover damages from RESPONDENTS based upon a claim of wrongful
I conduct by RESPONDENTS, public entities and/or agencies and employees, the names and addresses
which are currently unknown, upon a claim that there was a dangerous condition of public property,
which is and at the time of the incident, was owned, controlled, operated, constructed, repaired,
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Government Claim
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inspected and/or maintained by said RESPONDENTS. At all times relevant, RESPONDENTS were
responsible for inspecting the Premises for dangerous conditions and placement of signage, fencing or
warnings related thereto. The dangerous conditions complained of include, inter alia, the light pole,
inadequate signage, warnings, supervision, and protective mechanisms to prevent injuries such as
Claimant's, and other conditions which posed a danger that were not readily apparent to users of the
Premises, including Claimant. Warnings, fencing, signage or other mechanisms could have and should
have been used to warn and protect users, including Claimant, from being injured as a result of the
dangerous conditions which existed at the Premises on the date of the incident.
The public property, i.e., the Premises, was in a dangerous condition prior to and on the date of
the incident, the injuries sustained by Claimant was directly and proximately caused by the dangerous
condition, and said RESPONDENTS failed to discharge a mandatory duty to ensure that the public
property was safely constructed, controlled, inspected, repaired and maintained.
The dangerous conditions created a reasonably foreseeable risk of the kind of injury which was
suffered by Claimant, and said RESPONDENTS had actual or constructive notice of the dangerous
conditions a sufficient time prior to the time of the incident. Specifically, the Premises Park Inspection
report, dated July 13, 2022, which is three months prior to the date of the incident states in the
"Comments" section: "There is a Piece of Concrete missing on the sidewalk by the flagpole it needs to
be fixed." [sic] (A true and correct copy of the Park Inspection Report is attached hereto as Exhibit "2.")
RESPONDENTS had the ability to take measures to protect against the dangerous conditions,
having the authority and duty to take such measures at public expense with funds and other means
immediately available to them. This is evidenced by not only the CITY Incident Report, which states
that upon arrival at the Premises, the electrical was turned off and the light pole was removed from the
Premises, but by the RESPONDENTS' Repair Report, dated November 1, 2022, which states that there
was a "rusted light pole" at the Premises, which caused closure of the Premises. The "Reason Closed"
states: "removed light pole from site due to rust, got it fixed and painted, ran new electrical and installed
back on site with new nuts and washers, also put new covers." (A true and correct copy of the Repair
Report is attached hereto as Exhibit "3.")
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Government Claim
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RESPONDENTS had a duty to warn and take other actions to prevent injury such as that
sustained by Claimant. The dangerous conditions were of such nature that they would not be reasonably
apparent to, nor anticipated by Claimant, despite the due care exercised by her.
RESPONDENTS, and each of them, are responsible for the negligent acts and omissions of their
employees and/or agents under Government Code §815.2, et seq.
RESPONDENTS owed a duty of care to Claimant, a guest/patron of the Premises, to protect her
and to refrain from committing any acts that would harm or injure Claimant as alleged herein.
RESPONDENTS breached such duties by their actions and/or inactions as alleged herein, and
such breaches of duty(ies) was/were a substantial factor in causing injury to Claimant.
The injuries suffered by Claimant as set forth herein are precisely the type of injuries which the
aforementioned statutes and regulations are designed to prevent; i.e., to protect and to prevent injuries to
minor and/or persons with the issues that Claimant suffers from.
Claimant's damages consist of general damages for physical and emotional pain and suffering;
I and special damages, including but not limited to, medical expenses, future medical expenses and other
damages.
LEGAL BASES FOR RECOVERY AGAINST RESPONDENTS:
Claimant seeks recovery against CITY and/or DOES 1 to 10, inclusive, as public agencies and/or
entities, DOES 11 to 20, inclusive, and/or other public employee(s), the name(s) and address(es) of
which are currently unknown, based upon all applicable legal theories under California law, including
but not limited to, all legal theories which are legally and factually applicable to the claim asserted by
Claimant herein and are incorporated herein by this reference.
The public RESPONDENTS in this action include CITY and/or DOES 1 to 10, inclusive, public
I agencies and/or entities, and/or DOES 11 to 20, inclusive, and other public employee(s), the name(s)
and address(es) of whom are currently unknown.
///
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Government Claim
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AMOUNT CLAIMED:
The amount of total damage sustained by Claimant is currently unknown but the said amount is
in excess of $10,000.00. Jurisdiction of the claim, if unresolved, and litigated, is asserted to lie with the
appropriate Superior Court for the State of California.
Dated: March 30, 2023 OWEN, PAS RSQN &,PWJVN, LLP
a
TAMIKO"BA 4E"ON; ESQ.
Attorneys for Claimant,
MAZZY PEACOCK, by and through her
Guardian ad Litem, Stacy Peacock
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Government Claim
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Your Name
David Okon
Job Title
Supervisor
Incident Information
Incident Involving (Choose One)
Resident/Patron
Email
dokon@santa-clarita.com
Division
Neighborhood Services
Staff
Name of Person(s) Involved
Mazzy Peacock, Max Yang
Date
Time
10/19/2022
03:15:00 PM
Phone Number
Location
661-670-3325
Valencia Meadows Park/Pool, 25671 Fedala Rd
If other, please specify location:
Minor (Under 18 years of age?)
Yes
No
Name of Parent or Guardian
Tommy Peacock, Fan Yang
Reported to Supervisor (Name/Title)
David Okon
Detailed Description of Incident
At about 3:15 pm I had received a phone call on the parks line of a light pole that had fallen. The call came from
Charlie Gerencer. I then reached out to staff to help with removal of the pole. As I arrived on scene, I noticed that
the light pole was lying on the ground and there were about 10 kids in the area. After speaking with the group, I
learned that the kids were playing a game in the area of the light pole. One of the kids was feeling dizzy and
leaned against the pole and at that time the pole fell down, As it fell 2 kids were in the path of the falling pole that
got injured. One of the kids (Mazzy) sustained an injured on her ankle. The other kid (Maxual) sustained an
ankle injury and some scratches on his back, When I got there Maxual already had Band-Aids on his back. Both
kids had ice on their ankles when I arrived. I had staff safety off the electrical and I took some pictures of the
damage. The light pole was then removed. We placed a cone and A frame to make sure that the area was safe
and secure.
Detailed Description of Injuries/Damage
Mazzy - Her ankle was swollen, and she was unable to walk or put any type of weight on it. No other signs of
injuries were seen or disclosed.
Maxual - His ankle was swollen, and he was able to put some weight on it and move around, but he was in pain.
He also had two spots on his back with scratches, but I was unable to see if they were pre-existing to this event.
He had band -aids covering them.
Safety Hazards Observed
The only safety hazards that were observed was that pole was compromised due to rust.
Do you feel something could have been done to prevent this accident?
Yes
No
Packet Pg. 13
If yes, please explain:
We have been in the process of inspecting pole bases throughout the parks. After this accident we will be looking
at ways to Improve the Inspections to better locate potential hazards.
Upload an Image or attachment If applicable
Witness(es)
Name Phone Number
Charlie Gerencer 828-329-7315
Action Taken
First Aid Given
N/A
Medical Attention? (Other than first aid)
Yes
No
Sheriff -Police Report #
N/A
Refused Attention?
............. .............................. I ..............
.........
Was attention refused?
Yes
No
Name of person refusing medical attention
David Okon
Staff Well -Being
Was staff member injured?
Yes
1 No
Employee Signature
Employee Name
David Okon
Supervisor Signature
Administered by
N/A
Method of transportation
j Ambulance
Private Vehicle
(j Other
Signature
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Supervisor Name
Cassidy Skelton
Signature *
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Packet Pg. 16
Name: ,•rU Valencia Meadows Park Inspection
Date:"II
Restroom Building:
Plumbing/ Fixtures
Hand Dryers
Roofing & Objects on Roof
Floor Drains + Deck Drains Outside RR
Paint Interior & Exterior
Partitions
Janitorial:
Pipe Chase Cleanliness
(Cobwebs, Leaves, Dirt, etc)
Basketball Court:
Backboards & Nets
Hardware
Paint Backboard & Posts
Surfacing
Ballfield:
Fencing (Chain Link)
Bleachers
Benches
Base Boards & Backstop
Drinking Fountain: (2)
Paint
Operational
Backflow Cage:
Paint
Hardware/ Mechanics
Condition Ok:
Parking Lot:
Striping
Handicapped Stalls
Signage
Condition 01<:
a k�•
01�
0 l�
Locks & Door Hinges: Lube August
Operational r)Y
Fire Extinguisher: (2)
Inspected for Operation
Walkway & Building Lighting:
Light Check February June October
Posts & Base Covers
k 0 Y
Paint
Q�
C)V"
Fixtures & Lenses Clean
oz
Building Lighting
p ({
Timers & Controls
Pressure Regulator/ Water Pressure Test:
Test March July November
PSI
Regulator Leaking
o
Park Signs & Monument Sign:
6
Clean r i�
Visible & Not Faded
I/ _
Lighting
r14
Benches & Tables: (19) Vinyl Coated Tables
(6) Vinyl Coated Benches (2) Concrete Benches
Vinyl Coating
Hardware
Concrete Intact/ Vandalism
Shade Structure:
Wood Structure & Paint
Flag Pole:
MPR Building Interior & Exterior:
Plumbing/ Fixtures VOA I!
Cabinets & Countertops till
Flooring i!
Paint
Doors & Windows Gy_
Roofing & Rain Gutters )!
Concrete Walkway:
Cracks or Uneven
Trash Cans:
Paint
_ oil
Packet Pg. 17
Name; � Valencia Meadows Park Inspection
Date,7f1���..Z nl/
Condition of Pole, Flag & Cable _01-_ Dents/ Vandalism ^�
Solar Light Intact
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Request: 6577703 Entered on: 11/01/2022 3:17 PM By: Alex Moreno
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L.usw►ner MIUMIauvn
Name: Alex Moreno Phone: (661) 294-2520
Address: Alt. Phone:
Email: AMORENO@santa-
clarita.com
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Topic: Aquatics Staff OnlyMaintenance (All Pools) - Request type: Request
Status: Closed Priority: Normal
Assigned to: Samantha Huanca Entered Via: Phone
Address or Location:
Park Name: Valencia Meadows
Facility Name: Valencia Meadows Pool
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usted light pole
In Progress Notes
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removed light pole from site due to rust, got it fix and painted, ran new electrical wire and installed back on site with
new nuts and washers, also put new covers.
Date Expect Closed: 11/08/2022
Date Closed: 11/01/2022 3:17 PM By: Alex Moreno
Enter Field Notes Below
Notes:
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Notes Taken By:
Date:
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FA
rd
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W1.
PROOF OF SERVICE
I STATE OF CALIFORNIA
COUNTY OF LOS ANGELES
I am employed in the County of Los Angeles, State of California. I am over the age of 18 and
not a party to the within action; my business address is 23822 West Valencia Boulevard, Suite 303,
Valencia, California 91355.
On March 30, 2023, I served the foregoing document described as: CITY OF SANTA
CLARITA CLAIM FOR DAMAGES AND ADDENDUM TO CLAIM on the interested parties
this action:
[ X ] by placing [ X ] the original [ X ] a true copy thereof enclosed in a sealed envelope addressed as
follows:
SEE ATTACHED SERVICE LIST
[X ] (BY MAIL) I am "readily familiar" with the firm's practice of collection and processing
correspondence for mailing. Under that practice it would be deposited with the U.S. postal
service on that same day with postage thereon fully prepaid at Santa Clarita, California in the
ordinary course of business. I am aware that on motion of the party served, service is presumed
invalid if postal cancellation date or postage meter date is more than one day after date of deposit
for mailing in affidavit.
(ONLY BY ELECTRONIC TRANSMISSION) Only by e-mailing the document(s) to the
persons at the e-mail address(es) listed, based on notice provided that, during the Coronavirus
(Covid-19) pandemic, this office will be working remotely, not able to send physical mail as
usual, and is therefore using only electronic mails. No electronic message or other indication that
the transmission was unsuccessful was received within a reasonable time after the transmission.
This is necessitated during the declared National Emergency.
[ X ] (STATE) I declare under penalty of perjury under the laws of the State of California that the
foregoing is true and correct.
[ ] (FEDERAL) I declare that I am employed in the office of a member of the board of this Court at
whose direction service was made.
Executed on March 30, 2023, at Valencia, Californi
Guadalupe Ramirez
-7-
Government Claim
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City Clerk
Santa Clarita City Hall
23920 Valencia Boulevard, Suite 120
Santa Clarita, California 91355-2196
SERVICE LIST
Original + 2 copies
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Government Claim
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