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File #: 16-1960A    Version: 1
Type: County Attorney Item Status: Passed
File created: 10/28/2016 Department: County Attorney
On agenda: 11/22/2016 Final action: 11/22/2016
Title: Proposed initiation of litigation in the case of Bryan Collins and Kathleen Collins v. Golf Terrace Investment Company, LP and Thelma Creech, Property Manager - HUD Case No. 04-16-4202-8; PC Case No. 16-020 - allegations of housing discrimination.
Attachments: 1. Review of Final Investigative Report/Determination - Collins
Related files: 17-524A

Subject:

Title

Proposed initiation of litigation in the case of Bryan Collins and Kathleen Collins v. Golf Terrace Investment Company, LP and Thelma Creech, Property Manager - HUD Case No. 04-16-4202-8; PC Case No. 16-020 - allegations of housing discrimination.

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Recommended Action:

Recommended Action

Approval to authorize outside counsel to initiate litigation on behalf of Bryan Collins and Kathleen Collins through the existing agreements with Gulfcoast Legal Services, Inc. or Bay Area Legal Services, Inc. for legal services.

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Strategic Plan:

N/A

 

Summary:

In their January 25, 2016 complaint, Bryan Collins and Kathleen Collins filed a charge of housing discrimination with the U.S. Department of Housing and Urban Development (HUD) alleging Bryan Collins was subjected to unlawful housing discrimination on the basis of his handicap.  Specifically, Respondents’ denial of Complainants’ request to make a reasonable accommodation in their rules, policies, practices or services by evicting Bryan Collins when he was Baker Acted after he suffered a psychotic episode.  Kathleen Collins is Bryan Collins’ mother, legal guardian, advocate, and co-lessee. 

In accordance with the agreement between HUD and the Pinellas County Office of Human Rights (PCOHR), the Complaint was forwarded to PCOHR for handling and investigation.  Following that investigation, on April 23, 2016, PCOHR issued a finding of reasonable cause to believe that Bryan Collins was a victim of housing discrimination based on his handicap, in violation of the FHAA, 42 U.S.C. § 3604(f)(1)(A) and § 3604(f)(3)(B).  Attempts to conciliate the matter were unsuccessful. 

In accordance with Section 70-146 of the Pinellas County Code, the County Attorney’s Office is required to file a civil action on behalf of an aggrieved party seeking appropriate relief following a reasonable cause determination. 

 

Background Information:

A detailed memorandum setting forth the facts and applicable case law that led to the reasonable cause determination is attached.

 

Fiscal Impact:

Unknown

 

Staff Member Responsible:

James L. Bennett, County Attorney
Brijesh Patel, Assistant County Attorney

 

Partners:

Office of Human Rights

 

Attachments:

June 7, 2016 memo from Jason C. Ester, Senior Assistant County Attorney, to Paul Valenti, Director, Office of Human Rights