Bautista et al v. WFS Express et al
Filing
53
ORDER granting Plaintiff's 46 Motion for Attorney's Fees, Costs and Class Representative's Incentive Award. Defendants agreed to pay Settlement Amount $615,000.00 to the Class Members, inclusive of any attorney's fees and costs. The Court awards Class Counsel $153,750 in attorney's fees, and $33,255.87 in costs. This Court also awards $4,000.00 each to Plaintiffs Jikiri Bautista and Ari Silva as incentive awards for their service as the Class Representatives. Signed by Judge Ricardo S. Martinez.(SR)
1
The Honorable Ricardo S. Martinez
Noted for: May 21, 2021
2
3
4
5
UNITED STATES DISTRICT COURT
WESTERN DISTRICT OF WASHINGTON
AT SEATTLE
6
7
8
JIKIRI BAUTISTA, an individual, ARI
SILVA, an individual;
9
10
11
12
NO. 2:18-cv-00757 RSM
Plaintiffs,
v.
ORDER GRANTING PLAINTIFFS’
MOTION FOR ATTORNEY’S FEES,
WFS EXPRESS, a Delaware corporation,
COSTS AND CLASS
CONSOLIDATED AVIATION SERVICES, REPRESENTATIVE’S INCENTIVE
AWARD
a New York corporation;
13
Defendants.
14
15
16
17
18
19
20
21
22
23
24
25
WHEREAS, Plaintiffs have submitted authority and evidence supporting Plaintiffs’
Motion for Attorney’s Fees, Costs and Class Representative’s Incentive Award; and
WHEREAS, the Court, having considered the pleadings on file and being fully advised,
finds that good cause exists for entry of the Order below; now, therefore,
IT IS HEREBY FOUND, ORDERED, ADJUDGED, AND DECREED THAT:
1.
Unless otherwise provided herein, all capitalized terms in this Order shall have
the same meaning as set forth in the Plaintiffs’ Motion for Attorney’s Fees, Costs and Class
Representative Incentive Award.
2.
The Court having appointed Badgley Mullins Turner, PLLC and Abel M. Tsegga,
PLLC, as Class Counsel.
3.
Class Counsel has requested the Court award fees of $153,750.00, which largely
ORDER GRANTING PLAINTIFFS’ MOTION FOR
ATTORNEY’S FEES, COSTS, AND INCENTIVE
AWARDS - 1
CASE NO. 2:18-CV-00757 RSM
BADGLEY MULLINS TURNER
19929 Ballinger Way NE, Suite 200
Seattle, WA 98155
TEL 206.621.6566
FAX 206.621.9686
PLLC
1
consists of the Defendants’ settlement contribution, above and beyond the approximately
2
$465,962 claimed for missed meal damages.
3
4
5
6
7
8
9
10
11
4.
These requested attorney’s fees are fair and reasonable under RCW 49.48.030.
The Court reaches this conclusion after analyzing: (1) the results Class Counsel achieved; (2)
Class Counsels’ risk in this litigation; (3) the complexity of the issues presented; (4) the hours
Class Counsel worked on the case; (5) Class Counsels’ hourly rate; (6) the contingent nature of
the fee; and (7) awards made in similar cases.
5.
Class Counsel has submitted authority and declarations to support the Court’s
lodestar cross-check. See Declaration of Duncan C. Turner, and Dkt. #43.
6.
Class Counsel reasonably expended more than 587 hours on the investigation,
12
preparation, filing, and settlement of Plaintiffs’ claims. They maintained detailed
13
contemporaneous time records recording the number of hours worked. Class Counsel exercised
14
billing judgment and billed efficiently.
15
16
17
18
19
7.
Class Counsels’ hourly rates - $575.00 for Duncan Turner, $300.00 for Abel
Tsegga, and $350.00 for Mark Trivett – are reasonable hourly rates considering their individual
“experience, skill, and reputation,” see Trevino v. Gates, 99 F.3d 911, 924 (9th Cir. 1996) and
the prevailing market rates in this jurisdiction. See Blum v. Stenson, 465 U.S. 886, 895 (1984).
8.
Applying these rates to the number of hours reasonably expended in litigation,
20
21
22
23
24
25
Class Counsels’ fee lodestar is approximately $157,611.50 This lodestar reflects work that was
reasonable and necessarily expended on the pursuing Plaintiffs’ claims and that are estimated to
occur in concluding the case.
9.
Here, Plaintiffs pursued the action under a remedial Washington employment
statute. Class Counsel pursued this action on a contingency fee basis and assumed the risk that if
ORDER GRANTING PLAINTIFFS’ MOTION FOR
ATTORNEY’S FEES, COSTS, AND INCENTIVE
AWARDS - 2
CASE NO. 2:18-CV-00757 RSM
BADGLEY MULLINS TURNER
19929 Ballinger Way NE, Suite 200
Seattle, WA 98155
TEL 206.621.6566
FAX 206.621.9686
PLLC
1
they were unsuccessful, they would receive no compensation for their work on the certified
2
questions or settlement negotiations. This action presented novel issues, including whether
3
Defendants’ liability was reduced by individual Class Members’ alleged failure to properly
4
5
6
7
8
9
10
record meal periods.
10.
Class Counsel performed high-quality work, resulting in an extremely favorable
collective settlement for Class Members. Class Members net recovery represents approximately
90.3% of the wages owed for missed regular and overtime meal periods. This is an excellent
result for the Class.
11.
Defendants agreed to pay Settlement Amount of Six Hundred and Fifteen
11
Thousand dollars ($615,000.00) to the Class Members, inclusive of any attorney’s fees and costs.
12
Further, the Defendants agreed to bear the cost of settlement notice and administration, and all
13
payroll taxes arising from the Settlement Agreement. As such, the fees and costs incurred by
14
Class Counsel were reasonable, necessary, and appropriately documented in the declarations
15
filed by Class Counsel.
16
17
18
19
20
21
12.
This Court also awards $4,000.00 each to Plaintiffs Jikiri Bautista and Ari Silva
as incentive awards for their service as the Class Representatives.
13.
Based on the foregoing findings and analysis, the Court awards Class Counsel
$153,750 in attorney’s fees, and $33,255.87 in costs.
IT IS SO ORDERED this 3rd day of June, 2021.
22
23
A
24
RICARDO S. MARTINEZ
CHIEF UNITED STATES DISTRICT JUDGE
25
ORDER GRANTING PLAINTIFFS’ MOTION FOR
ATTORNEY’S FEES, COSTS, AND INCENTIVE
AWARDS - 3
CASE NO. 2:18-CV-00757 RSM
BADGLEY MULLINS TURNER
19929 Ballinger Way NE, Suite 200
Seattle, WA 98155
TEL 206.621.6566
FAX 206.621.9686
PLLC
1
Presented by:
2
BADGLEY MULLINS TURNER, PLLC
3
7
/s/ Mark A. Trivett_____________
Mark A. Trivett, WSBA No. 46375
Duncan C. Turner, WSBA No. 20597
Telephone: (206) 621-6566
Facsimile: (206) 621-9686
Email: mtrivett@badgleymullins.com
Email: dturner@badgleymullins.com
Attorneys for Plaintiffs
8
ABEL M. TSEGGA, PLLC
9
/s/Abel M. Tsegga
Abel M. Tsegga, WSBA No. #46349
PO Box 5246, Lynnwood, WA 98046
144 Railroad Ave., #308
Edmonds, WA 98020
Telephone: 206-697-4878
Email: abel@tglawgrp.com
Attorney for Plaintiffs
4
5
6
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
ORDER GRANTING PLAINTIFFS’ MOTION FOR
ATTORNEY’S FEES, COSTS, AND INCENTIVE
AWARDS - 4
CASE NO. 2:18-CV-00757 RSM
BADGLEY MULLINS TURNER
19929 Ballinger Way NE, Suite 200
Seattle, WA 98155
TEL 206.621.6566
FAX 206.621.9686
PLLC
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?