HomeMy WebLinkAbout08-21-2019 HE 8.21.19 PACKET (2)CbORN
WASHINGTON
HEARING EXAMINER
August 21, 2019
2:00 p.m.
City Council Chambers
25 West Main Street
Case No: APL19-0001
Applicant(s): The Perfect Massage, LLC
Sufang Liang
Agent: Paul Cullen, PLLC
316 Occidental Avenue S., Suite 500
Seattle, WA 98104
Request: Appeal of the Community Development Director's decision
to deny the City of Auburn business license application for
"The Perfect Massage", Auburn City Code 5.15.020(A)(2),
5.15.040, and 5.15.050(6)
Project Location: 1101 Outlet Collection Way, Suite 206
Auburn, WA
Page 1 of 81
Cn-YOF, LL- °:':
CITY OF AUBURN
� T
AU.B V �~T
Planning & Development Department
. `;.-
Auburn City Hall Annex, 2"d Floor
WASHINGTON
1 East Main Street
Auburn, Washington 98001-4998
Tel: 253.931.3090
Fax: 253.804.3114
pennitcenter(a)auburnwa.00v
www.auburnwa.gov
19P4 / 940P 64d /
APPEAL OF AN ADMINISTRATIVE DECISION
CITY OF AUBURN
CITY CLERKS OFFICE
MAY 31, 2019
APPEAL OF AN ADMINISTRATIVE DECISION -,SUBMITTAL
CHECKLIST
DIG TAL COPIES OF WRITTEN MATERIALS
Please provide a labeled and readable compact disc(s) containing digital versions of all submitted
written materials and graphics for use by the City of Auburn during the administrative appeal
process. Staff will use this information in report preparation and public noticing so please be sure to
provide current and accurate information. Written materials should be submitted to be compatible
with Microsoft Office desktop software products. Plans and graphics should be submitted in pdf or
of format.
APPLICATION FEES - Make checks Pavable to the City of Auburn
All application fees, including, but not limited to: fee for an Appeal of Administrative Decision. Some
fees will not be invoiced until actual costs are known. Current fee schedule can be found @
http://www.auburnwa.gov/business/Permits Licenses.asp under 'Permit and Application Fees'.
The City of Auburn accepts cash, checks, Visa and Mastercard. /2.-
WR,ITTEN
MATERIALS - Total of ten (10) copies unless otherwise noted
A. APPLICATION FORM Provide a completed application form signed by the property owner(s)
and/or applicant with the completed Application Submittal Checklist. (One [1] original and 9
copies)
B. WRITTEN DECISION/DETERMINATION Provide one (1) copy of the written
decision/determination being appealed. If you have not yet received a written
decision/determination, requests must be submitted to the appropriate public official which will
be fulfilled within 5 days of receipt.
71 C. WRITTEN STATEMENT. Provide a detailed statement where the appellant must clearly address:
1. The errors which the appellant believes were made in the action or decision which is being
appealed, or the procedural irregularities associated with the action or decision;
2. Specific reasons why the city's action or decision should be reversed or modified;
3. The harm which is expected to be suffered by the appellant as a result of the action or
decision being appealed. If the appellant is a group or organization, the harm to any one or
more members of the group or organization must be stated;
4. The desired outcome of the appeal.
EJ ---`D. APPEAL OF AN ADMINISTRATIVE DECISION APPLICATION SUBMITTAL CHECKLIST —
Addressing written material. RECEIVED
MAY 31201.9
CITYOFAUDURN
4COMMUNITy DEVELOPMENT
Vb�pU-of 81
4
FILE #: OPFICE U6E OOL y
APPE i AL OF AN ADMINISTRATIVE DECISION APPLICATION
A85MA-M.' I Use n7ailwal address c.I& meeting 110tificatlon, 0 Check box if Pt'irnaly Contact
ADDRE$S:
COMPANY,,
j C(,
77RI7677� Meve'�
(C=ITY, STXrE, z1p)
PAX:_ A
E-MAIL:
SIGNATURE!_.5
&f -Q4
44-
PRiNTED NAME:
(Signatum Reqotreco
ILI-01-
COMPAW
ADDRESS,
xa
(CITY, STATE, 7-1p)
PHONE: ;49
_ F
0
E-MAIL;
;'check box if PrImety Contact
$IGNATUR�: PWNTSD NAME% 1,2
r -
1:13OP&RTY —OWIMOM ' r A ttooh SePamite sheet it peod�ic/,
COMPANY: r,11001(bOK If PlYrnary Contact
ADDRESS:
(CITY, UTATE, ZIP)
PHONE-:. ------
SIGNATURE:_ FAX.
(Signature Required)
Page 3 of 81
CITY OP AUBURN
Plannino & Developlent DOPartmant
%V .. AS t
AWurm ORY Hall Annex, 2nd Moor
1 F -448t MR(n Strout
Auburn, W05114t011 W01-4908
Tak 43,031,30go
Pax: 253,804-3114
FILE #: OPFICE U6E OOL y
APPE i AL OF AN ADMINISTRATIVE DECISION APPLICATION
A85MA-M.' I Use n7ailwal address c.I& meeting 110tificatlon, 0 Check box if Pt'irnaly Contact
ADDRE$S:
COMPANY,,
j C(,
77RI7677� Meve'�
(C=ITY, STXrE, z1p)
PAX:_ A
E-MAIL:
SIGNATURE!_.5
&f -Q4
44-
PRiNTED NAME:
(Signatum Reqotreco
ILI-01-
COMPAW
ADDRESS,
xa
(CITY, STATE, 7-1p)
PHONE: ;49
_ F
0
E-MAIL;
;'check box if PrImety Contact
$IGNATUR�: PWNTSD NAME% 1,2
r -
1:13OP&RTY —OWIMOM ' r A ttooh SePamite sheet it peod�ic/,
COMPANY: r,11001(bOK If PlYrnary Contact
ADDRESS:
(CITY, UTATE, ZIP)
PHONE-:. ------
SIGNATURE:_ FAX.
(Signature Required)
Page 3 of 81
May 28, 2019
City of Auburn
Attn: Shawn Campbell, City Clerk
25 W. Main St.
Auburn, WA 98001
scampbellCaD,auburnwa.gov
PAUL., CULLE&RIP W..
316 Occidental Avenue South, Suite 500
Seattle, WA 98104
TEL: 206.447.4130 / FAX: 206.447.6915
paul@cullenlawoffices.com
Re: Sufang Liang and The Perfect Massage, LLC
Notice of Appeal
Ladies and Gentlemen:
Pursuant to ACC 5.15.070, please consider this letter and its attachments our Notice of
Appeal on behalf of our clients, Sufang Liang and The Perfect Massage, LLC. This notice
extends to the denial decision of May 8, 2019 (copy attached) and is based on the specific
grounds alleged in the attached Notice of Appeal. Please address any further communication
to the undersigned and please forward us a copy of all documents referring or relating to the
application, its processing, and its denial. We make the latter request pursuant to the Public
Disclosure Act and related authority.
Enclosures
cc: Sufang Liang
Very truly yours,
PAUL CULLEN, PLLC
By:
Paul Cullen
Attorney for Sufang Liang and The Perfect Massage, LLC
Page 4 of 81
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
BEFORE THE HEARING EXAMINER OF THE CITY OF AUBURN
In re the Appeal of-
THE
fTHE PERFECT MASSAGE, LLC and NOTICE OF APPEAL
SUFANG LIANG (Cleric's Action Required)
Petitioner,
TO: TINA KRISS, BUSINESS LICENSE CLERK
CITY OF AUBURN, WASHINGTON
COMES NOW the petitioner, Sufang Liang and The Perfect Massage, LLC, by and through counsel,
Paul Cullen, and enters this notice of appeal of the denial of their application for a business license in the City
of Auburn.
Grounds for Appeal: Ms. Sufang Liang is a licensed massage therapist whose business is The
Perfect Massage, LLC. On March 1, 2019, Ms. Liang filed her application for business license with the City
of Auburn. Subsequently, Ms. Liang received a letter of denial dated May 8, 2019. We dispute the denial of
her application herein in that the bases of the decision do not comply with the statutory reasons for denial,
both factually and legally, including, but not limited to the following errors:
1. The decision states the applicant violated aspects of the Kent City Code where no such
violations have been found;
2. The decision alleges that "As part of Case No. K00124337 in Kent Municipal Court the
applicant surrendered her business license" when no such surrender took place as part of that case;
NOTICE OF APPEAL - 1
PAUL CULLEN, PLLC
ATTORNEY AT LAW
316 OCCIDENTAL AVE. S., SUITE 500
SEATTLE, WA 98104
Tel: 206.447.4311, Fax: 206447.6915
PAUL@CULLENLAWOFFICES.COM
Page 5 of 81
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
3. The decision alleges violation of applicable state, federal and local law with regard to the
Kent City Code when no such violation has been found or adjudicated; and
4. The underlying factual and legal bases of the denial which refer or relate to Kent interactions
of Ms. Liang are mischaracterized and inaccurately cast as the basis for denial.
Accordingly, we request an administrative hearing and reconsideration of the reissuance of the
petitioner's application for business license with the City of Auburn
DATED this 281 day of May 2419.
NOTICE OF APPEAL - 2
PAUL CULLEN, PLLC
By:
Paul Cullen, WSBA No. 7132
Attorney for Petitioner
PAUL CULLEN, PLLC
ATTORNEY AT LAW
316 OCCIDENTAL AVE. S., SUITE 500
SEATTLE, WA 98104
Tel: 206.447.4311, Fax: 206447.6915
PAUL t@CULLENLAWOFFICES.COM
Page 6 of 81
CITY OF
U
Nancy BaCkLIS, Mayor
RN_
'WASHINGTON 25 West Main Street Auburn WA 98001-4998 www.a.uburnwa.gov * 253-931 -3000
Sent by Certified Mail, Return Receipt Requested
May 8, 2019
S-ufang Liang
2436 1 Street NE, Apt. C
Auburn, WA 98002-2480
Re: Denial of Business License Application — BUS -34122
Dear Ms... Liang,
On March 1, 2:019, applied for _a, business license in the City of Auburn to operate a massage
therapy business. I am denying your application 'I"OT this business license.
The denial is based on Auburn City Code ("ACC") 5.15.020(A)(2), 5,15.040, and. 5. 1 5.050(B)
because of your violation of an applicable state, federal, or local law; specifically, the Kent City
Code. In reaching my decision., I relied on a prior Order on Pre -Trial Diversion that you entered
into in the City of Kent on December 28, 2018, Case No. 1','0,01.24337 KP CN, and a citation
from the City of Kent dated October 1.4, 2018 for Prostitution Loitering in violation of K'CC
9.02.080, Citation No. K-124137, As part of Case No. K00124337 KP CN, you surrendered
your: Kent Business License.
Under the City code, because you had a similar license surrendered as part of the Judge's Order
arising from a citation for Prostitution Loitering within two (2) years prior to the license
application, the City of Auburn cannot issue a business license at this time. The City will refund
you. the full amount of fees paid for the business license application in the amount of $100.00.
You may appeal from this notice denying your business license application to the City hearing
examiner. The appeal must be submitted in writing as provided in this chapter and filed with the
business license clerk within twenty ("20") days from the date of receipt of this letter. Failure to..
appeal shall constitute a waiver of all rights to an administrative hearing and determination of the
,matter. (ACC 5.15.060).
S1 eret
KfT
Director of Community Development Services
JT/tic
COR19-0070
cc: Paul. Cullen, PLLC (e-mail to.j2q_ul( -Ces, —CoJrI7
,,ti —_
David Pierce, Applicant Representative (e-mail to David Pierce d
j)a1dray L&zLhoo.cotn)
Tina Friss, Administrative Assistant
AUBURN* MOPLE THANYOU IMAGINED
Page 7 of 81
WRITTEN STATEMENT
Re: Sufang Liang and The Perfect Massage Application for Auburn City Business
License and Appeal of Denial dated May 8, 2019
To Whom It May Concern:
Our office represents Sufang Liang and her business, The Perfect Massage. The
UBI number for The Perfect Massage, LLC is 604396754. Please consider the following
comments in regard to my clients' appeal of the denial of her application for an Auburn
business license.
Introduction
Sufang Liang was born April 28, 1971 in China. On March 30, 2016 she earned
her Washington State massage certificate, No. MA60646337. For those not familiar with
massage licensing standards, it bears noting that an applicant must pass a national test
which is both very difficult and is only given in English. Full licensure for a non-native
English speaker is very difficult. It was a significant achievement for Sufang to pass the
MBLEX test and obtain a license in her chosen field. In 2016, she and a partner
purchased The Perfect Massage in Kent. The shop had an excellent reputation for quality
massage and ethical practice. She is married and has two children.
It would be naive to say there is not a problem involving some Asian massage
businesses. In fact, there is an active online review site that police often cite when
investigating such shops for unethical conduct. The site is called "Rubmaps" and I'm sure
if you inquired of detectives in Auburn, they will recognize it and tell you that it is a valuable
investigative source where incidents of prostitution are frequently referred to. They will
also tell you that the absence of such "reviews" or ones which indicate no illicit activities
provides a good indication of legitimate business practices.
I've attached the City of Kent listing and the listing for The Perfect Massage.
Please compare them. Ms. Liang's shop has only two reviews posted for the 2-1/2 years
Sufang practiced 7 days a week in Kent. Both reviews indicate a complete absence of
unethical behavior such as is frequently referenced in other reviews for other premises.
Page 8 of 81
Both the comparative absence of reviews and the absence of any reference to illicit
activity are strong indications that Ms. Liang obeys the law in this respect.
The Kent Investigation and Actions
Ms. Liang's experience with Kent police was summary and typical of that of others.
Then police went to her shop twice before closing the doors on October 26, 2018. The
first time the police went to Perfect Massage to check Sufang's massage certificate and
her identification. After finding no issues, they left. The second time the police went to
the shop they checked the patient health forms and asked questions. Again, no
discernable problems. Nevertheless, on that visit the police demanded that Sufang close
the shop immediately and threatened to return daily until the shop was closed. She was
effectively locked out when the police posted warning signs on the door and yellow crime
tape in various places. Shortly thereafter, Sufang received notice that she was charged
in Kent Municipal Court with prostitution loitering. She also received a notice that the
business license was subject to a separate revocation proceeding, based on the
misdemeanor charge apparently.
The background for these actions is as follows: In August, September and October
of 2018, the City of Kent launched a broad preplanned operation aimed at closing down
Asian massage shops. Sufang's shop was one of the 18 the City targeted. The
commonality among all the shops is the fact they were each operated by Chinese
immigrants. No non -Chinese businesses were investigated. In general, police engaged
in both undercover investigations and in overt highly visible, coercive investigations aimed
at dissuading customers from going to the shops and at convincing the owners to close.
In some cases, police visited shops daily telling the owners that they were going to close
them down and they would come back every day until they closed their shop. Warning
signs were posted on doors and yellow police scene tape was draped across entryways
without warrants or other authority. The business owners were afraid to enter their shops
for days and couldn't access their personal belongings.
The City filed business license revocation actions as to each shop at the same
time it filed misdemeanor criminal cases, ignoring the fact that many of the violations
alleged were simple executory licensing or advertising violations and the fact that the
business license revocation hearings were scheduled prior to any realistic potential
disposition date on the criminal charges. The bases of the license revocations and the
criminal charges ranged from alleged prostitution to failing to post duly issued and valid
state massage licenses on the wall and even to the non -crime of not including massage
license numbers of employees on outdoor signage. A number of the allegations were
either not crimes at all or were technical violations akin to forgetting one's driver's license.
In one case, a defendant was charged with prostitution where she was provably not even
present that day and video showed another person with a similar name was in fact
present.
Page 9 of 81
Sufann's Response
When Ms. Liang was informed of the nature of the charge against her, she burst
into tears and had to be consoled by her husband. She vehemently denied the allegation
and, in my view as a former prosecutor in two jurisdictions, the officer's report fails
abysmally to support the charge. Generally, that charge is appropriate when someone
solicits another to commit the crime of prostitution or patronizing a prostitute. The
ordinance itself refers to the type of behavior one might imagine a street prostitute
engaged in — hailing cars, beckoning to passers-by and otherwise engaging in overt
solicitation. Here, there was not a hint of the typical conduct the ordinance is aimed at,
much less of prostitution involving an explicit offer to perform a sex act and agreement to
pay a certain amount of money. The officer's report was replete with generalities and
assumptions did not reference any sex act or conduct apparently prohibited. It is
remarkable that the arraignment court found probable cause given the evidence before
it. Moreover, almost 3 years of practice daily produced zero references on Rubmaps to
illicit conduct.
Sadly, based on this report, Ms. Liang was faced with a difficult decision — go to
trial where a conviction could end her career in massage therapy and dramatically impact
her immigration status (thus breaking up her family) or entering a toothless diversion
agreement (copy attached) that did not admit guilt, did not stipulate to any allegation or
facts and would result in a dismissal with prejudice after one year. She chose the safe
and cost-effective course on advice of counsel.
To summarize, Ms. Liang has not been found guilty of anything and has not
stipulated to any violation. Her case will be dismissed with prejudice in late December
2019. She denied any massage -related violation and the circumstantial evidence on the
Rubmaps site supports her as an ethical legal practitioner. There is no stipulation to
alleged facts and no finding in the Kent Municipal Court case.
Similarly, Ms. Liang chose to voluntarily surrender her business license. There
was no finding and the matter was not litigated. As such, she has not been found to have
committed any criminal act and her business license has not been involuntarily removed
based on any alleged violation. She chose to give it up. There was no hearing.
The impact of the denial here is significant. Perfect Massage has financial
obligations related to leasehold costs and equipment purchases. The business is not
high margin and legal costs as well as other costs will be debilitating for a family business.
Beyond that, we sincerely believe that the City would be served by reputable, diligent
practitioners who take pride in providing a valuable service at the highest professional
standards.
For these reasons, we respectfully ask that the denial of the Auburn application be
reversed. Sufang Liang values her massage license and enjoys the work. She looks
forward to continuing her career in Auburn and sincerely hopes the City issues her
business license. It is suggested that she will be a valuable member of the business
Page 10 of 81
community and that her standards of practice will provide the City with a valuable asset
in the health care community.
Very truly yours,
PAUL CULLEN, PLLC
By:
Paul Cullen
Attorney for Sufang Liang and
The Perfect Massage
cc: Sufang Liang
Enclosures: Copy of Order on Pretrial Diversion and Rubmap pages.
Copy of Kent Business License Order
Copy of Website pages
Page 11 of 81
1
2
3
4
511
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
IN THE KENT MUNICIPAL COURT
FOR THE CITY OF KENT, KING COUNTY, STATE OF WASHINGTON
CITY OF KENT, a Washington municipal NO. K00124337 KP CN
corporation,
ORDER ON PRE-TRIAL DIVERSION
Plaintiff,
VS.
SUFANG LIANG,
Defendant(s),
The Parties, by and through the attorneys of record below -named,
respectfully request the court to grant the following Pre -Trial Div rslon Order.
Waiver of.J.pryTr1g1 (CrRLJ 6.1,lialh The Defendant understands
that she/he has the right to trial by jury unless she/ho waives the right to a
jury trial. The Defendant hereby waives her/his jury trial right and requests
that her/his guilt or innocence be decided by a judge,
2-9 /_J_ 'i Lo �/
Date Defendant
Date City
1:v_@r_Df _NpggAyTri _1_LC_r_RJL_33JgU_2_U1J_), The Defendant
understands that she/he has the right to be tried within 60 or 90 days
PAT FITZPATRICK
Pre -Trial Diversion Kent City Attomey
Conditions of Release 220 - 40, Avenue South
Kent, Washington 98032
P;(253) 856-5770
F: (253) 856-6770
Page 12 of 81
V
1
2
3
4
'S
6
7
8
9'
10
11
12
13
14
15
16
17
t8
19
20
21
22
23
24
25
p
following the "commencement date", and that if the Defendant does not
receive a trial within this time period the case may be dismis ed with
prejudice. The Defendant's current speedy trial expiration is��'�
The Defendant gives up her/his right Po, a speedy trial and agrees to a new
commen em nt date of / r' , with an expiration date of
? t> ,
g,
DATE
DEFENDANT
1. period of Pre -Trial Supervision, The Defendant agrees that Kent
Municipal Court will maintain supervision for 12 months following entry
of Order.
2. Court Attendance. The Defendant understands and agrees that he or
she shall be present In court at all future court hearings unless
previously waived in writing by the judge,
. Criminal Law Violations. The Defendant shall have no criminal law
violations. (The Defendant agrees that this Court may take action
alleging the Defendant's violation of this condition prior to any
resolution of the new criminal law violation. The Defendant specifically
agrees that a "conviction" is not a prerequisite to this Court taking
action to revoke pre-trial supervision due to the Defendant's violation of
this condition, The Defendant further agrees that In any hearing on a
violation of this condition, the City will proceed via the admission of
police reports alone, The Defendant further agrees that the Defendant's
petition or other request of any Washington court to grant the
Defendant a deferred prosecution pursuant to RCW 10.05 et seq. for
any new criminal law violation occurring after the signing of this Order
constitutes a violation of this condition.)
4. Address updates. The Defendant agrees to Immediately notify the
Court in person or in writing of any change of residence or mailing
address and telephone number, Immediately is within 24 business
hours of the change of address,
S. practice of Massage. The Defendant agrees that she/he will not
-2 PAT FITZPATRICK
Pre -Trial Diversion i Kent City Attorney
Conditions of Release 220 - 4th Avenue south
Kent, Washington 98032
P; (253) 856-5770
F:(253) 856-6770
Page 13 of 81
Z
2
3
4
5
6
7
8
9
l {)
ll
12
13
14
15
16
17
18
19
20
21
22
23
24
25
practice massage, reflexology, aromatherapy, relaxation or other similar
disciplines In the City of Kent at any time whether through her/her own
business or as an employee of another ,
6, Kent Business License. The Defendant agrees that she/he will
voluntarily surrender her/his city business license and will not apply for
a new business license, or operate, or work in a massage, reflexology,
aromatherapy, relaxation, or other similar business within the City of
Kent.
7. Community Service. The Defendant agrees to perform 4-OTours of
community service with a non-profit organization. Proof of the
community service hours must be documented on the organization's
letterhead and provide a name and contact number for an individual
authorized with verifying the hours worked. t,j.
S. Other Condl"io�ns.
4r At-•
Procedure for Successful Completion of Pre -Trial Diversion. If
the Defendant successfully complies with the pre-trial diversion, the
Prosecution will move to dismiss with prejudice the charge(s) filed in this case.
Procedure for Violation of Pre -Trial Diversion. The Defendant
understands and agrees that she/he shall fully and completely satisfy all of the
conditions of Pre -Trial Diversion, and that failure or neglect to carry out and
fulfill any term or condition of this Order on Pre -Trial Diversion shall constitute
a violation, and a hearing will be held by the Court to determine whether a
willful violation has occurred.
The burden of proof at any violation hearing will be evidence and facts
sufficient to reasonably satisfy the court that the defendant has violated the
terms of supervision, State v. Smith, 13 Wn. App. 859 (1975).
The defendant understands that she/he has the right to contest and
object to evidence presented against her/him, She/ lie gives up that right to
contest and object to any evidence presented against her/him as to guilt or
3 PAT F117PATRICK
Pre - Trial diversion / Kent city Attorney
Conditions of Release 220.4' Avenue South
Kent, Washington 98032
P:(253) 856-5770
F: (253) 856-6770
Page 14 of 81
1
2
3
4
S'
C
7
8
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
innocence regarding the underlying charge at any future hearings if she/he
fails to comply with the conditions of this agreement. She/he also understands
that she/he has the right to resent evidence on her/ his own behalf and gives
up the right to present evidence on her/his own behalf as to guilt or innocence
regarding the underlying charge.
I understand that if I do not comply with the conditions of this
agreement, evidence will be presented against me at a future hearing and I
understand that the judge will read and review that evidence in determining
my guilt or innocence.
Upon a finding by the Court that the defendant violated a condition of
pre-trial diversion, the Court will Immediately proceed to a trial by submittal.
T i 1 The defendant agrees that
upon a court's finding that she/he has violated any condition of pre-trial
supervision, the case will be submitted on the record, The defendant
understands that this means that the Judge will read the police report and
other materials provided and, based upon the evidence, the judge will decide
If the defendant is guilty of the crimes charged in the complaint(s), I
understand that the police report in this case has been marked as an exhibit
but has not yet been admitted into evidence , I also understand that this
Agreement and the statements contained in it are not an admission of guilt
and are not sufficient by themselves to warrant a finding of guilt .
The defendant understands that by this process, she/he is giving up the
constitutional right to a jury trial, the right to hear and question witnesses, the
right to call witnesses in his or her own behalf, and the right to testify or not
testify,
The Defendant understands that the maximum sentence for the
crime(s) charged in Count y"i"�' ^- �'`'�"isp days in jail and a
$1.000 flne OMM _ is 364 days In jail and a
$5000 fine; and that the judge can Impose any sentence up to the maximum,
including costs and assessment and conditions of probation, regardless of
what the prosecutor or the defendant recommends.
The defendant acknowledges that no one has made any threats or promises to
her/him to cause her or him to agree to such a procedure,
K.CC 9,041 130 provides that each subsequent violation of Ch, 9.04 K.CC, whether alleged in the same
prosecution as the first violation or ui subsequent prosgcutions, shall constitute a gross n114Aa MATRICK
Pre -Trial Diversion / Kent city Attorney
Conditions of Release 220.4'" Avenue South
Kent, Washington 98032
P: (253) 8565770
P: (253) 856-6770
Page 15 of 81
1
2
3
4
5
6
7
8
9
10
11
12
13
W
15
16
17
18
19
20
21
22
23
24
25
DATED this day of .'V 2018.
JUDGE
Attorney --f 6 r-theW PI a In tiff, WSBA # Attorney for the Defendant, WSBA#
Defendant
(print name)
PAT FITZPATRICK
Pre -Trial Diversion 1 Kent City Attorney
Conciltions of Release 220 - 4th Avenue South
Kent, Washington 98032
N (253) 856-5770
F: (253) 856-6770
Page 16 of 81
0�
I
O M
O O
OD
W `-
r �
M Z)
C7 (1)
Lo
N
C1 0 M
(0 06
0 (00
W92
00 000) 4-7
Z
Q N
tQ C co
x'00 rnrn U9
tSiN
in C° >
D��
C
��o �M N
n
T
> M
CO o N
cl (o 0
Lo 60 �
a�°00
N . L
.JNNY
i M
O
J
gjN(nO
—= 00
turd
wi O Q
m ,a co C
N�Y
m' ro ca
rn w � rn
0 0
O
d•
N
F
t
0
co
E
ca
ro
m
E
E
N
a)
a)
a�
N
c
?(D
?s
U
Q
=U
U
C,
0
0
CD
erg
en
cFr
60-
.
g
i
U
CJ7
I�CfS�i
03
7-
K3
Z5
(1
C
>
N
+.,
05
E
w. C
LL
6/
:
w
CD
O€ i
(n�
�•
sCI
nn
V/
%a.
€`
;
r
S
U
m J
W✓
c%
4
cs
CO
fes.
i� D%
Sy..
Gs 4
V�
:i1
t7
cp
.ai
J
co
w
Pagel 8-oi$1._.._._._d..__
d•
N
/
/
° E\01)
« mo
7
CO
\m$
\\
0.(o
9 CO
0)"
5>
��/
A22®»G2E
&
g\//«
}7&/—
\
ƒ
& �a
CL CN
r-
%%gc»
§/�>
®Lo
3/\ƒ\
}
/
E
E
o
0)
O
N
N
L 0M
p.»=cn
a_)u Ew
is >Ow
LA M N
02 °0 u
m ° ca
a�C)
ro <
o 2
LV 0-
v+ j
0.9
a,
CO
�C4
b m
02
is
c
0
Page 20 of 81
ro
L
L
c�
it
N
...... _...
€._ -
0)
O
N
N
L 0M
p.»=cn
a_)u Ew
is >Ow
LA M N
02 °0 u
m ° ca
a�C)
ro <
o 2
LV 0-
v+ j
0.9
a,
CO
�C4
b m
02
is
c
0
Page 20 of 81
ro
L
co
N
n
E
E
�
0
s
......
............
_....,_.
U
0)
O
N
N
L 0M
p.»=cn
a_)u Ew
is >Ow
LA M N
02 °0 u
m ° ca
a�C)
ro <
o 2
LV 0-
v+ j
0.9
a,
CO
�C4
b m
02
is
c
0
Page 20 of 81
ro
L
00.
I
C5
O W
2 i@#
0)!
ty).
.s
V
V
.r-
U,
_
L
0
m
o.
0
m
m
0
m
E
a�
c0a'
m
0
77
rd
Chi
'o
Sig
0
LL
O
O
(n
0
N
L
co
2
.0
LL X
L
0
L
M
0..
Q7
f4
N
y
f4
a
L
w
ami uo in
x U
cc
C
C:
s
i
(Cf �.
Ll.
S9i
L.
N
}CO0)
J
(xi
N
c-
0
E
i CA
-
i
a)
}
'
CU
-
LLU
f,
0
•� � ` ca
i
C- m
O
N
C 0-
t (A
C7
LO
w
ami uo in
x U
cc
C
C:
(Cf �.
Ll.
S9i
L.
N
}CO0)
J
(xi
N
c-
c
U
° N
'0
0
O
.c
O Cj N
w
ami uo in
x U
cc
CLO
(Cf �.
Ll.
S9i
L.
N
}CO0)
CD
(xi
W
c-
0
Ll
O Cj N
C
x x x 6-1>
x x x
a
N
I
L
ca
U O
�- C • x
X X X
m
rn
N
LOa
�...__...._.__._.__._......�.�_.�_.�.__.�.��.�.._�.__..��.,_w......�,....V___�_-_._ .._.._�._.__.__._.._.._�.__�...�._�__.....,.....Y..�,...____. ..�.age.23s.%.8:1...�.....__..Y..u.... r
10 -
LL. LL.
O
O
C
J
X
V)
C
p
U O
L
cu .0
m
m Ui
m X
C+3
C
Q
uj
O
0 o i
-O
c cn
N
Cfl
C •L
C
O
E a
a�
E
OO
O
•'_Q
N
-
Lfj
"
Z
Vl
Z7 E
C7)
C
N
C
In
m
-o '0
U
X
U
d in
0O
(6
WOW
a
O
uNi E "'
o
O U
O C
�
N
M N E
Y.
C7 U Z
Q
X X X
m
rn
N
LOa
�...__...._.__._.__._......�.�_.�_.�.__.�.��.�.._�.__..��.,_w......�,....V___�_-_._ .._.._�._.__.__._.._.._�.__�...�._�__.....,.....Y..�,...____. ..�.age.23s.%.8:1...�.....__..Y..u.... r
E
E
0
EN,,
Ltd
:01
e4
03
E U,
CY)
:i'
-,E E
o CS
c",
w
Page 24 of 81
ll
1�0[SEN T
WAS 1.11 NGTQN
BEFORE THE HEARING EXAMINER
FOR THE CITY OF KENT
IN RE:
Su Fang Liang, d/b/a
Perfect Massage
10700 SE 208th Street, Suite 205
Of a Business License Revocation )
Andrew M. Reeves
Hearing Examiner
Business License No. 2160787
FINDINGS, CONCLUSIONS,
AND ORDER
SUMMARY OF RECORD
This matter having come before the Hearing Examiner on November 28, 2018, and
the testimony of witnesses having been heard and all exhibits admitted into
evidence having been considered, the Hearing Examiner makes the following
findings, conclusions, and order under Kent City Code 5.01.170.B:
FINDINGS
Background
1. On November 2, 2018, the City of Kent (City) commenced an action to
revoke the business license of Su Fang Liang, doing business as Perfect
Massage, at 10700 SE 208th Street, Suite 205, pursuant to Kent City Code
(KCC) 5.01.130, by issuing a notice of revocation of business license under
KCC 5.01.150.B. The notice stated that the City has evidence to believe the
business is engaging in an unlawful business or activity. This is grounds for
revocation of a business license under KCC 5.01.130.6. Notice of
Revocation, dated November 2, 2018.
2. The holder of the business license was duly notified of the City's intent to
revoke the business license associated with Perfect Massage and received
proper notice of the opportunity to appear at a hearing scheduled before the
City's Hearing Examiner on November 28, 2018. Declaration of Mailing,
dated November 15, 2018,
Revocation Hearing
3. The Hearing Examiner held a hearing on the business license revocation on
November 28, 2018, to allow the parties to the hearing, or legal counsel for
the parties, to call witnesses and present evidence and rebuttal evidence in
this matter, under KCC 5.01.160.D.
Findings, Conclusions and Order
City of Kent Hearing Examiner
Revocation Hearing, Perfect Massage
Page 1 of 4
Page 25 of 81
W
4. Attorney Paul Cullen represented Su Fang Liang, d/b/a Perfect Massage, at
the hearing. Attorney Victoria Robben represented the City at the hearing.
5. At the outset of the hearing, Mr. Cullen noted that his client would be
voluntarily surrendering the Kent business license associated with Perfect
Massage. Mr. Cullen explained that, in advance of the hearing, he discussed
the matter with his client, using interpreters as necessary, and that his
client:
• Understood they had the right to be heard at the revocation hearing
scheduled for November 28, 2018;
• Waived the right to be heard and would voluntarily surrender the
business license;
• Requested that the Hearing Examiner enter a default order revoking
the business license;
• Waived the right to a subsequent appeal under KCC 5.01.170.C;
• Agreed not to engage in or associate with any massage,
aromatherapy, relaxation, or similar business within the City;
• And agreed that they would be prohibited from obtaining a City of Kent
business license for massage or reflexology in the future.
Argument of Mr. Cullen.
6. Mr. Cullen presented a signed order memorializing the above -detailed
information. He stressed that his client understood the consequences of
entering the order and that his client would voluntarily surrender the
business license associated with Perfect Massage. Argument of Mr. Cullen;
Voluntary Surrender of City Business License, dated November 28, 2018,
7. Ms. Robben noted that she reviewed the order prepared by Mr. Cullen and
that the City would accept the request that the business license associated
with Perfect Massage be revoked. Argument of Ms. Robben.
CONCLUSIONS
Jurisdiction
The Hearing Examiner is granted authority to conduct a hearing to determine if
there are sufficient grounds for the denial or revocation of a business license
pursuant to KCC 5.01.130. KCC 5.0.1.170. The Hearing Examiner has authority to
issue a default order whenever the holder of the business license who is properly
notified of a hearing fails to appear. KCC 5.01.160.E.
The City Code defines "business" as:
Business means all activities, occupations, pursuits, or professions located
and/or engaged in within the city, with the object of gain, benefit or
advantage to the person engaging in the same, or to any other person or
class, directly or indirectly, and includes nonprofit enterprises. The
Findings, Conclusions and Order
City of Kent Hearing Examiner
Revocation Hearing, Perfect Massage
Page 2 of 4
Page 26 of 81
X]
term business shall also mean apartment and residential rental properties of
two or more units, as well as rental housing and rental property as those
terms are defined in Chapter 5.14 KCC, but shall not mean governmental
agencies.
KCC 5.0.1.020.A.
The City Code defines "licensee" as:
Licensee means any business or business enterprise that applies for or is
granted a business license. The term licensee shall also mean the person who
submits a business license for approval, the owner or operator of a business
or business enterprise, and any corporation, partnership, nonprofit, or
organization which owns or operates the business or business enterprise.
KCC 35.01,020.E.
Conclusion Based on Findinas
The holder of the business license received proper notice of the revocation
hearing and requested that the Hearing Examiner enter a default order
revoking the business license under KCC 5.01.160.E. As detailed above, the
holder of the business license for Perfect Massage, through their attorney,
voluntarily surrendered their business license and requested that a default order
revoking the license be entered. Findings 1 - 7.
ORDER AND ASSESSMENT OF PENALTIES
The Hearing Examiner issues the following Order based on the preceding Findings
and Conclusions:
The holder of the business license, having been properly notified of the revocation
hearing, requested that the Hearing Examiner enter a default order revoking the
business license under KCC 5.01.160.E. Accordingly, the business license
associated with Perfect Massage is revoked.
SO ORDERED this 19t" day of December 2018.
Findings, Conclusions and Order
City of Kent Hearing Examiner
Revocation Hearing, Perfect Massage
Page 3 of 4
ANDREW M. REEVES
Hearing Examiner
Sound Law Center
Page 27 of 81
G
gervige of.Order ang Agsnt
The undersigned Clerk of the Hearing Examiner of the City of Kent certifies, under
penalty of perjury of the Laws of the State of Washington, as follows:
This Order and Assessment was placed in the U.S. Mail, first class postage
affixed, with the name and address of the person to whom the notice of violation
was directed as follows:
So done and attested to'thl —tt�L day ott 2019-
e
Findings, Conclusions and Order
City of Kent Hearing Examiner
Revocation Hearing, Perfect Massage
Page 4 of 4
Page 28 of 81
0
CITY OF * ** EXHIBIT A
*
A-0BURN Nancy Backus, Mayor
WASHINGTON 25 West Main Street * Auburn WA 98001-4998 * www.auburnwa.gov * 253-931-3000
CITY OF AUBURN HEARING EXAMINER
NOTICE OF PUBLIC HEARING
The Hearing Examiner of the City of Auburn, Washington, will conduct a public hearing on
Wednesday, July 17th at 5:30 P.M. in the Council Chambers of the Auburn City Hall located at
25 West Main Street, Auburn 98001 on the following:
Case Number: APL19-0001, Appeal of the Community Development Director's decision to
deny the City of Auburn business license application for "The Perfect Massage", Auburn City
Code 5.15.020(A)(2), 5.15.040, and 5.15.050(B)
Applicant/Agent: Paul Cullen, PLLC
316 Occidental Avenue S., Suite 500
Seattle, WA 98104
On behalf of Sufang Liang
2436 1 Street NE, #C
Auburn, WA 98002
Any interested person is invited to attend to express comments or opinions. Written comments
may be submitted up until and at the public hearing to Jeff Tate, Director of Community
Development, Department of Community Development, Mailing address: 25 West Main Street,
Auburn, WA 98001-4988. Physical address: 1 East Main Street, Auburn WA 98001. For
comments or questions, please contactitate anauburnwa.gov or call 253-931-3090.
For citizens with speech, sight or hearing disabilities wishing to review documents pertaining to
this hearing, should contact the City of Auburn within 10 calendar days prior to the meeting, as
to the type of service or equipment needed. Each request will be considered individually
according to the type of request, the availability of resources, and the financial ability of the City
to provide the requested services or equipment.
AUBURN * MORE THXK�6'U11MAGINED
Exhibit B
CITY OF AUBURN
RESCHEDULED HEARING EXAMINER MEETING
FOR IMMEDIATE RELEASE: July 11, 2019
Contact: Tina Kriss, Administrative Assistant
Phone: 253-931-3090
Email Address: tkriss&auburnwa.gov
The meeting of the City of Auburn Hearing Examiner scheduled for July 17, 2019 has
been rescheduled to Wednesday August 21, 2019 at 5:30 p.m. in Council
Chambers at Auburn City Hall, 25 West Main Street, Auburn, WA, 98001.
City Clerk's Office
25 West Main Street
Auburn WA 98001
253-931-3039
www.auburnwa.gov
(p5bown Gampb�7-11,MMG
City Clerk
City of Auburn
253-931-3055
Page 30 of 81
Exhibit C
CITY OF AUBURN
RESCHEDULED HEARING EXAMINER MEETING
FOR IMMEDIATE RELEASE: July 24, 2019
Contact: Jennifer Oliver, Office Assistant
Phone: 253-931-3090
Email Address: ioliverl�auburnwa.gov
The meeting of the City of Auburn Hearing Examiner scheduled for August 21, 2019 has been
rescheduled from 5:30 p.m. to 2:00 p.m. in Council Chambers at Auburn City Hall, 25 West Main
Street, Auburn, WA, 98001.
City Clerk's Office
25 West Main Street
Auburn WA 98001
253-931-3039
www.auburnwa.gov
Teresa Mattingly
Deputy City Clerks
City of Auburn
253-931-3005
Page 31 of 81
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
BEFORE THE HEARING EXAMINER FOR THE CITY OF AUBURN
RE: Perfect Massage
Business License Appeal
Case No. APL 19-0001
PREHEARING ORDER
Whereas, the following terms shall govern the appeal hearing of the above -captioned appeal:
A. Email Distribution. The email addresses the Examiner has to this point are listed below. All
documents and comments emailed pursuant to this Order should be sent to all the email addresses below
by 5:00 pm of any required deadline. Service by email shall satisfy the submittal deadlines of this order
in lieu of personal delivery or mailing of documents.
Hearing Examiner: olbrechtslaw@gmail.com
City of Auburn: Druth@auburnwa.gov; tkriss@auburnwa.gov
Appellant: paul@cullenlawoffices.com
B. Hearing Date. August 21, 2019 at 2:00 pm at the City of Auburn City Hall Council
Chambers.
C. Exhibit and Witness Lists. Witness lists should include a summary of the testimony to be
provided by each witness along with a general estimate on the length of the testimony. The time
estimates are just for scheduling purposes. Witnesses will not be bound to the estimates. Only witness
testimony and exhibits identified in the witness and exhibit lists shall be admitted into the record, except
that additional exhibits and/or testimony may be authorized upon a showing of good cause. A
reasonably unanticipated need to rebut evidence shall serve as grounds for good cause.
D. Cross -Examination. All witnesses will be subject to cross examination. The authors of any
exhibits prepared for the appeal hearing shall be available for cross-examination if request by opposing
party is made by email within 48 hours of receipt of exhibit.
PREHEARING ORDER - 1
Page 32 of 81
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
E. Hearing Format. Participation in the hearing shall be limited to the Appellant and the
City. The City shall present their case followed by Appellant response and City rebuttal. The Appellant
then the City will be given an opportunity to make a closing argument.
F. Burden of Proof ACC 2.46.120C is construed as placing the burden of proof on the
City by a preponderance of evidence.
G. Schedule. The following schedule applies:
August 7, 2019 Witness and exhibit lists due. Copies of all exhibits must also be provided
to all parties by this deadline. Copies may be placed in the mail if post-
marked by this date in lieu of emailing or may be personally delivered by
this date.
August 14, 2019 Optional pre -hearing briefs.
August 21, 2019 2:00 pm Appeal Hearing
ORDERED this 29th day of July, 2019.
PREHEARING ORDER - 2
Plu'r A.01brechts
City of Auburn Hearing Examiner
Page 33 of 81
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
Exhibit E
Hearing Examiner: Phil A. Olbrechts
BEFORE THE HEARING EXAMINER FOR THE CITY OF AUBURN
RE: Perfect Massage
Business License Appeal
Case No. APL 19-0001
WITNESS LIST
(Clerk's Action Required)
TO: THE CITY OF AUBURN; and
TO: D. RUTH , Counsel for the City of Auburn; and
COMES NOW Appellant, by and through counsel of record, Paul Cullen, and
provides the following witness identification as follows:
1. All witnesses endorsed by the City of Auburn;
2. Sufang Liang
c/o Paul Cullen, PLLC
316 Occidental Ave. S., Suite 500
Seattle, WA 98104
(206)447-4130
Ms. Liang is the appellant in this case and she may be called to testify regarding
her knowledge and understanding of the facts surrounding this matter.
W rMSS LIST - I
PAUL CULLEN, PLLC
ATTORNEY AT LAW
316 OCCIDENTAL AVE. S., SUITE 500
SEATTLE, WA 98104
Tel: (206) 447-4130 / Fax: (206) 447.6915
Page 34 of 81
1
2
3
4
5
6
7
B
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
3. Lavon M. Watson
Watson Consulting Services
2796 Danbury Ln. SW, # 1225
Tumwater, Washington 98512
watsonconsultingservicesCaD-gmail.com
425-829-8885
Mr. Watson is a former police officer and licensed massage therapist who
consults as an expert in the massage field to individuals, litigants, governmental entities
and massage schools and businesses. He will testify regarding the reputation and legal
compliance of the appellant's business in Kent as well as Auburn.
4. Appellant reserves the right to supplement the witness identifications
herein pursuant to newly discovered evidence.
DATED this 7th day of August 2019.
PAUL CULLEN, PLLC
WITNESS LIST - 2
��By: -e
Paul Cullen, WSBA No. 7132
Attorney for Sufang Liang
PAUL CULLEN, PLLC
ATTORNEY AT LAW
316 OCCIDENTAL AVE. S., SUITE 500
SEATTLE, WA 98104
Tel: (206) 447-4130 / Fax: (206) 447.6915
Page 35 of 81
Exhibit F
BEFORE THE HEARING EXAMINER FOR THE CITY OF AUBURN
COUNTY OF KING, STATE OF WASHINGTON
In re DENIAL OF BUSINESS LICENSE
APPLICATION OF
THE PERFECT MASSAGE,
Appellant.
No. APL 19-0001
WITNESS AND EXHIBIT LIST
TO: Paul Cullen, counsel for Appellant
COMES NOW the City of Auburn and submits the following list of possible
primary witnesses and exhibits.
A. FACT/LAY WITNESSES
NONE
B. EXHIBITS
1. Finds, Conclusion, and Order of the City of Kent Hearing Examiner, In Re Su
Fang Lian, d/b/a Perfect Massage, Business License No. 216078731. photos
of the interior of 4607 S Myrtle St. Seattle 98118.
2. Order on Pre -Trial Diversion, City of Kent, v. Sufang Liang, No.
K00124337KPCN, Kent Municipal Court.
AUBLIRN'S WITNESS LIST
Page 1 of 2
CITY OF AUBURN
Legal Department
25 West Main Street
Auburn Washington 980f f
(253) 931-3030 FAX (253) 931-4007
1
2
3
4
5
6
7
8
9
10
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
3. October 30, 2018 Bench Warrant issued by the Kent Municipal Court in City
of Kent, v. Sufang Liang , No. K00124337.
4. City of Kent Notice of Revocation of Business License, dated November 2,
2018; July 18, 2019 email messaged from Victoria Robben to Doug Ruth
containing the November 2, 2018 Notice of Revocation.
5. Voluntary Surrender of City Business License
City reserves the right to amend this witness/exhibit list and to add witnesses an
documents as they are disclosed in discovery or that are necessary to rebut opposin
testimony.
Dated this _Z day day of August, 2019.
L -less
Douglas P. Ruth, WSBA 25498
Attorney for City of Auburn
ALIBURN'S WITNESS LIST
Page 2 of 2
CITY OF AUBURN
Legal Department
25 West Main Street
Auburn Washington 98001 f
(253) 931-3030 FAX (253) 931-4007
Exhibit
VI
Page 38 of 81
KEN T
WASHINGTON
BEFORE THE HEARING EXAMINER
FOR THE CITY OF KENT
IN RE:
Su Fang Liang, d/b/a
Perfect Massage
10700 SE 208th Street, Suite 205
Of a Business License Revocation )
Andrew M. Reeves
Hearing Examiner
Business License No. 2160787
FINDINGS, CONCLUSIONS,
AND ORDER
SUMMARY OF RECORD
This matter having come before the Hearing Examiner on November 28, 2018, and
the testimony of witnesses having been heard and all exhibits admitted into
evidence having been considered, the Hearing Examiner makes the following
findings, conclusions, and order under Kent City Code 5.01.170.B:
FINDINGS
Background,
1. On November 2, 2018, the City of Kent (City) commenced an action to
revoke the business license of Su Fang Liang, doing business as Perfect
Massage, at 10700 SE 208th Street, Suite 205, pursuant to Kent City Code
(KCC) 5.01.130, by issuing a notice of revocation of business license under
KCC 5.01.150.B. The notice stated that the City has evidence to believe the
business is engaging in an unlawful business or activity. This is grounds for
revocation of a business license under KCC 5.01.130.6. Notice of
Revocation, dated November 2, 2018,
2. The holder of the business license was duly notified of the City's intent to
revoke the business license associated with Perfect Massage and received
proper notice of the opportunity to appear at a hearing scheduled before the
City's Hearing Examiner on November 28, 2018. Declaration of Mailing,
dated November 15, 2018,
Revocation Hearing
3. The Hearing Examiner held a hearing on the business license revocation on
November 28, 2018, to allow the parties to the hearing, or legal counsel for
the parties, to call witnesses and present evidence and rebuttal evidence in
this matter, under KCC 5.01.160.D.
Findings, Conclusions and Order
City of Kent Hearing Examiner
Revocation Hearing, Perfect Massage
Page 1 of 4
Page 39 of 81
4. Attorney Paul Cullen represented Su Fang Liang, d/b/a Perfect Massage, at
the hearing. Attorney Victoria Robben represented the City at the hearing.
5. At the outset of the hearing, Mr. Cullen noted that his client would be
voluntarily surrendering the Kent business license associated with Perfect
Massage. Mr. Cullen explained that, in advance of the hearing, he discussed
the matter with his client, using interpreters as necessary, and that his
client:
• Understood they had the right to be heard at the revocation hearing
scheduled for November 28, 2018;
• Waived the right to be heard and would voluntarily surrender the
business license;
• Requested that the Hearing Examiner enter a default order revoking
the business license;
• Waived the right to a subsequent appeal under KCC 5.01.170.C;
• Agreed not to engage in or associate with any massage,
aromatherapy, relaxation, or similar business within the City;
• And agreed that they would be prohibited from obtaining a City of Kent
business license for massage or reflexology in the future.
Argument of Mr. Cullen.
6. Mr. Cullen presented a signed order memorializing the above -detailed
information. He stressed that his client understood the consequences of
entering the order and that his client would voluntarily surrender the
business license associated with Perfect Massage. Argument of Mr. Cullen;
Voluntary Surrender of City Business License, dated November 28, 2018,
7. Ms. Robben noted that she reviewed the order prepared by Mr. Cullen and
that the City would accept the request that the business license associated
with Perfect Massage be revoked. Argument of Ms. Robben.
CONCLUSIONS
Jurisdiction
The Hearing Examiner is granted authority to conduct a hearing to determine if
there are sufficient grounds for the denial or revocation of a business license
pursuant to KCC 5.01.130. KCC 5.01.170, The Hearing Examiner has authority to
issue a default order whenever the holder of the business license who is properly
notified of a hearing fails to appear. KCC 5.01.160.E.
The City Code defines "business" as:
Business means all activities, occupations, pursuits, or professions located
and/or engaged in within the city, with the object of gain, benefit or
advantage to the person engaging in the same, or to any other person or
class, directly or indirectly, and includes nonprofit enterprises. The
Findings, Conclusions and Order
City of Kent Hearing Examiner
Revocation Hearing, Perfect Massage
Page 2 of 4
Page 40 of 81
term business shall also mean apartment and residential rental properties of
two or more units, as well as rental housing and rental property as those
terms are defined in Chapter 5.14 KCC, but shall not mean governmental
agencies.
KCC 5.01.020.A.
The City Code defines "licensee" as:
Licensee means any business or business enterprise that applies for or is
granted a business license. The term licensee shall also mean the person who
submits a business license for approval, the owner or operator of a business
or business enterprise, and any corporation, partnership, nonprofit, or
organization which owns or operates the business or business enterprise.
KCC 35.01, 020. E.
Conclusion Based on Findings
The holder of the business license received proper notice of the revocation
hearing and requested that the Hearing Examiner enter a default order
revoking the business license under KCC 5.01.160.E. As detailed above, the
holder of the business license for Perfect Massage, through their attorney,
voluntarily surrendered their business License and requested that a default order
revoking the license be entered. Findings 1 - 7.
ORDER AND ASSESSMENT OF PENALTIES
The Hearing Examiner issues the following Order based on the preceding Findings
and Conclusions:
The holder of the business license, having been properly notified of the revocation
hearing, requested that the Hearing Examiner enter a default order revoking the
business license under KCC 5.01.160.E. Accordingly, the business license
associated with Perfect Massage is revoked.
SO ORDERED this 19th day of December 2018.
ANDREW M. REEVES
Hearing Examiner
Sound Law Center
Findings, Conclusions and Order
City of Kent Hearing Examiner
Revocation Hearing, Perfect Massage
Page 3 of 4
Page 41 of 81
Servif,e_of Order and Assessment
The undersigned Clerk of the Hearing Examiner of the City of Kent certifies, under
penalty of perjury of the Laws of the State of Washington, as follows:
This Order and Assessment was placed in the U.S. Mail, first class postage
affixed, with the name and address of the person to whom the notice of violation
was directed as follows:
So done and attested to thisMn—..... day o u I __._, 2019.
e
Findings, Conclusions and Order
City of Kent Hearing Examiner
Revocation Hearing, Perfect Massage
Page 4 of 4
Page 42 of 81
Exhibit
0
Page 43 of 81
I
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
IN THE KENT MUNICIPAL COURT
FOR THE CITY OF KENT, KING COUNTY, STATE OF WASHINGTON
CITY OF KENT, a Washington municipal NO. K00124337 KP CN
corporation,
ORDER ON PRE-TRIAL DIVERSION
Plaintiff,
VS.
SUFANG LIANG,
Defendant(s).
The Parties, by and through the attorneys of record below -named,
respectfully request the court to grant the following 'Pre -Trial Div rslon Order.
vj�w q -? (tot �1
Waiver of Jury Trial (CrRLJ 6.i.ilal). The Defendant understands
that she/he has the right to trial by jury unless she/he waives the right to a
jury trial. The Defendant hereby waives her/his jury trial right and requests
that her/his guilt or innocence be decided by a judge.
_?'Fz�!_ /�' 0/�
Date
Date
SQL r I"C'P
Defendant
City
Waiver of S12eg 1y Trial (CrRLJ 13(c)(,2)(i)), The Defendant
understands that she/he has the right to be tried within 60 or 90 days
- 1 PAT FITZPATRICK
Pre -Trial Diversion I Kent City Attorney
Conditions of Release 220 - 40, Avenue South
Kent, Washington 98032
P: (253) 856-5770
F: (253) 856-6770
Page 44 of 81
r
2
3
4'',
SIII
i
6
7
8
9
10
11
12
13
14
l5
16
17
18
19
20
21
22
23
24
25
following the "commencement date", and that If the Defendant does not
receive a trial within this time period the case may be dismis ed with
prejudice, The Defendant's current speedy trial expiration is
The Defendant gives up her/his right pp, a speedy trial and agrees to a new
commen em nt date of / / g with an expiration date of
3127 0 .
DATE DEFENDANT
•T ..mr-112CIMPH•s • • •
1. Period of Pre -Trial Supervision, The Defendant agrees that Kent
Municipal Court will maintain supervision for 12 months following entry
of Order.
2. Court Attendance, The Defendant understands and agrees that he or
she shall be present In court at all future court hearings unless
previously waived In writing by the judge,
3. Criminal Law Violations. The Defendant shall have no criminal law
violations. (The Defendant agrees that this Court may take action
alleging the Defendant's violation of this condition prior to any
resolution of the new criminal law violation, The Defendant specifically
agrees that a "conviction" Is not a prerequisite to this Court taking
action to revoke pre-trial supervislon due to the Defendant's violation of
this condition. The Defendant further agrees that in any hearing on a
violation of this condition, the City will proceed via the admission of
police reports alone, The Defendant further agrees that the Defendant's
petition or other request of any Washington court to grant the
Defendant a deferred prosecution pursuant to RCW 10.05 et seq, for
any new criminal law violation occurring after the signing of this Order
constitutes a violation of this condition,)
4. Address Updates. The Defendant agrees to Immediately notify the
Court In person or In writing of any change of residence or mailing
address and telephone number, immediately Is within 24 business
hours of the change of address,
5. Practice of Massage. The Defendant agrees that she/he will not
-2 PAT FMPATRICK
Pre -Trial Diversion / Kent City Attorney
Conditions of Release 220 - 41„ Avenue South
Kent, Washington 98032
P: (253) 856-5770
F: (253) 856-6770
Page 45 of 81
3
11
5
6
7
8
9
12
13
14
15
16
17
18
19
20
21
22
23
24
25
practice massage, reflexology, aromatherapy, relaxation or other similar
disciplines in the City of Kent at any time whether through her/her own
business or as an employee of another .
6. Kent Business License. The Defendant agrees that she/he will
voluntarily surrender her/his city business license and will not apply for
a new business license, or operate, or work in a massage, reflexology,
aromatherapy, relaxation, or other similar business within the City of
Kent.
7. Community Service. The Defendant agrees to perform e�ours of
community service with a non-profit organization. Proof of the
community service hours must be documented on the organization's
letterhead and provide a name and contact number for an individual
authorized with verifying the hours worked.
J� u� Goi 4 tFo 1�1
8. Other Conditions.a'O"'t
I ev
r
�LJ -
4z_
Procedure for Successful Completion of Pre -Trial Diversion. If
the Defendant successfully compiles with the pre-trial diversion, the
Prosecution will move to dismiss with prejudice the charge(s) filed in this case.
Procedure for Violation of pre -Trial Diversion. The Defendant
understands and agrees that she/he shall fully and completely satisfy all of the
conditions of Pre -Trial Diversion, and that failure or neglect to carry out and
fulfill any term or condition of this Order on Pre -Trial Diversion shall constitute
a violation, and a hearing will be held by the Court to determine whether a
willful violation has occurred.
The burden of proof at any violation hearing will be evidence and facts
sufficient to reasonably satisfy the court that the defendant has violated the
terms of supervision, Stare v. Smith, 13 Wn. App. 859 (1975).
The defendant understands that she/he has the right to contest and
object to evidence presented against her/him. She/ he gives up that right to
contest and object to any evidence presented against her/him as to guilt or
3 PAT FITZPATRICK
Pre -Trial Diversion ! Kent City Attorney
Conditions of Release 220 -01 Avenue South
Kent, Washington 98032
P: (253) 856-5770
F: (253) 856-6770
Page 46 of 81
innocence regarding the underlying charge at any future hearings If she/he
I falls to comply with the conditions of this agreement. She/he also understands
2 that she/he has the right to resent evidence on her/ his own behalf and gives
up the right to present evidence on her/his own behalf as to guilt or Innocence
3 regarding the underlying charge.
4 I understand that If I do not comply with the conditions of this
agreement, evidence will be presented against me at a future hearing and I
5 understand that the judge will read and review that evidence in determining
G my guilt or innocence.
7 Upon a finding by the Court that the defendant violated a condition of
pre-trial diversion, the Court will Immediately proceed to a trial by submittal.
8
9 1LW_b_Y__Subrrti tai (CrRI.J 6.1.2(b)„), The defendant agrees that
upon a court's finding that she/he has violated any condition of pre-trial
10 supervision, the case will be submitted on the record, The defendant
understands that this means that the Judge will read the police report and
11 other materials provided and, based upon the evidence, the judge will decide
12 If the defendant Is guilty of the crimes charged in the complaint(s), I
understand that the police report In this case has been marked as an exhibit
13 but has not yet been admitted Into evidence . I also understand that this
14 Agreement and the statements contained In It are not an admission of guilt
and are not sufficient by themselves to warrant a finding of guilt ,
15 The defendant understands that by this process, she/he Is giving up the
16 constitutional right to a jury trial, the right to hear and question witnesses, the
right to call witnesses in his or her own behalf, and the right to testify or not
17 testify,
The Defendant understands that the maximum sentence for the
18crlme(s) charged In Counts 4�O days In jail and a
19 $1000 fin Is 364 days In jail and a
$5000 fine; and that the judge can Impose any sentence up to the maximum,
20 including costs and assessment and conditions of probation, regardless of
21 what the prosecutor or the defendant recommends.
22 The defendant acknowledges that no one has made any threats or promises to
23 her/him to cause her or him to agree to such a procedure,
24 1 KCC 9.04.130 provides that each subsequent violation of Ch. 9,04 KCC, whether alleged in the same
prosecution as the First violation or in subsequent prosgcutions, shall constitute a gross nlis*A9*A112PATRICK
25 Pre-Trial Diversion ! Kent City Attorney
Conditions of Release 220.4'" Avenue South
Kent, Washington 98032
P: (253) 856-5770
P: (253) 856-6770
Page 47 of 81
1
2
3
4
5
6
7
s
9'
lU
11
12
13
III
15
16
17
18
19
20
21
22
23
24
25
DATED this v day of y 2018.
auDGE
Attorney for the Plaintiff, W SBA #
Attorney for the Defendant, WSBA# —?&3 2—
rjafanrlanl
(print name)
42-~28 r g
5 PAT 1`1117PATRICK
Pre -Trial Diversion I Kent City Attorney
Conditions of Release 220 - 0 Avenue South
Kent, Washington 98032
P: (253) 856-5770
P:(253) 856-6770
Page 48 of 81
Exhibit
0
Page 49 of 81
r„r �
KENT MUNICIPAL COURT !
,..e:
1220 CENTRAL AVE SOUTH
KENT, WA 98032 i
253-856-5730 a~;y
r, yi
CITY OF KENT
KING COUNTY
STATE OF WASHINGTON
Plaintiff, vs
LIANG, SUFANG
24361 ST NE #C
AUBURN, WA 98002
Defendant
The State of Washington to all Peace Officers,
Greetings: A complaint/information under oath or ceMflcation has been filed in this court,
charging the defendant with the crimes hereon described.
Therefore, In the name of the State of Washington, you are commanded to arrest the
defendant and keep the defendant In custody until the defendant Is discharged according to
law, and make due return of this warrant with your manner of service endorsed thereon. Cash
or surety bond to be approved by court. Service of this warrant by telegraph or teletype is
authorized.
Warrant
Bail $600 Warrant Exp 10/26/2021 Case No K00124337
Cash Bail or Bail Bond
Reason(s) for Issuance:
Probable Cause
Comments
Bench Warrant
Defendant
DOB 04/28/1971
Sex F Race A
Height 5ft oin
Weight 115
Eyes BRO
Hair BLK
DL# LIANGS"293J8
St WA Exp 4/28/2021'
FBI#
DOC#
SID#
Employer
AKA / DBA
Physical Description
Alternative Address
Violation
Officer's 16686 Viol. Date 10/12/2018
Number Orig Agy
Orig Agency KNP Case No
Complainant - Under DOHERTY, ERIC M
Oath or Certification
Description of Charge(s):
K9.02,620 PROSTITUTION LOITERING
CHECKED
IQ
GivenUnder1-11-1111
yfHand This 30 Day Of October 2018 ,....... „..
,Judge
....................PHILLIPS, GLENN,IVL....,..,.
I Hereby Certify That I Arrested the Named Defendant Service Fees
On The_,�_ Day of _31 120 - g Service
Officer -�Y1'1 iyl V1 Mileage
Agency �i(1{l 1 % Total
Page 50 of 81
Exhibit
El
Page 51 of 81
gam;.
KENT
,V,
11191111111iiq pil pi'111�111 11�111i'
via Personal Service and Certified Mall/Return Receipt Requested
November 2, 2018
TO: Su Fang Liang
d/b/a Perfect Massage
10700 SE 208" St, Ste 205
Kent, WA 98031
The City of Kent has evidence to believe your business is engaging in prostitution.
The City intends to revoke your busi1)eSS'license pursuant to Kent City Code (KCC)
5.01.130.
In addition, the City intends to pursue criminal charges that will prevent
you from operating a massage related business in accordance with
KCC 5.01.135. Evidence of the unlawful conduct occurring at your business is
attached as,Exhibit_I
A revocation hearing has been scheduled before the city's hearing examiner on
November 25, 20,18 at 1«Q ppm. The hearing will be held in Chambers on the
first floor of Kent City Hall, 220 Fourth Avenue South, Kent, WA 98032. The
hearing will be conducted in accordance with KCC 5.01.160.
If you fall to appear on the date and time noted above, your right to a hearing will
be forfeited, default judgment will be entered, and your business license will be
revoked. It is unlawful for a business to operate within the City of Kent without a
business license.
If you have a scheduling conflict, you must immediately contact the assistant for
the hearing examiner, Tanya Kosen, at (253) 856-5461. Your request for a
continuance will be reviewed by the hearing examiner. If you would like to
voluntarily relinquish your business license and cancel the hearing, please notify me
in writing at vrobben0kentw .gny.
Victoria L. Robben
Assistant City Attorney
Page 52 of 81
18-14401 ORIG Supplement No
KENT POLICE DEPARTMENT CASE REPORT
Reported Date
220 4th Avenue South 09/28/2018
Kent, WA98032.8895 Crime/Incident
�,KcPhone,
(2 3) 6 -5800 BUSINESS LICENSES (N)
Member#/Dept ID#
BRATLIEN,EM
Phone
Fax
Report Officer Printed At
1252246/BRATLIEN,EM 10/26/2018 11:07 Page 1 of 2
Page 53 of 81
Agency
Case No
Supplement No Reported Date Reported Time
KENT POLICE DEPARTMENT CASE REPORT
18-14401
ORIG
09/28/2018 19:45
CAD Call No
Status
Crime/Incldent
KP180073627
REFERRED TO DETECTIVES
BUSINESS
LICENSES
Location
City
10700 SE 208 ST #205
KENT
Rep Dist NTZ
Beat
From Date
From Time
To Date
To Time
067 KP
4
09/28/2018
19:45
09/28/2018
19:45
Member#/Dept ID#
Assignment
Entered
By
1252246/BRATLIEN,EM
PATROL
GRAVE 1
POWER 1252246
Assignment
RMS TransferProp
Trans Stat
Approving Officer
PATROL GRAVE 1 POWER
Successful
Successful
45824
Approval Date
Approval Time
09/30/2018
02:33:56
# Offenses
Offense
Description
Complaint Type
AC
Use
Bas
oc
1
OTHER POLICE REPORT (N)
OTHER POLICE
REPORT
#Pr
MOE
I Act
Weapon/Force
IBRS
No
CargoTheft?
Dom Vlol?
#Offenses Offense
Description
Complaint Type
AC Use
Blas
Loc
2 GG03 (N)
None/Unknown
#Pr MOE
Act Weapon/Force MRS No
Cargo Theft? Dom Viol?
T
Invl No Type Name
MNI
1 I LIANG,SUFANG
956816
Race
Sex
DOB
A F
04/28/1971
Invl
Invl No
Type
Name
MN
PI
2
I
YANG,LINGQIAO
902827
Race
Sex
DOB
A F 08/15/1975
Report Officer Printed At
1252246/BRATLIEN,EM 10/26/2018 11:07 Page 1 of 2
Page 53 of 81
ORIGn` "°
18-14401
KENT POLICE DEPARTMENT CASE REPORT
On 09/28/18 1 performed a business check of Perfect Massage located at 10700 SE 208th St #205 in the City of
Kent, County of King, State of Washington,
Perfect Massage has a neon sign in the front window advertising "foot massage". I entered the business and
observed an open seating area consisting of a small couch, chairs and a small table to the left of the door. To the
right of the door was a desk.
I was greeted by Sufang Liang who stated she worked at the business providing massages. She showed me her
massage license which was posted on the wall in the lobby along with the business licenses. Liang was wearing a
black and grey shirt and stretchy pants. She stated another female was also working giving massages.
The second female came to the lobby and identified herself via WA drivers license as Lingqiao Yang. She was
wearing a black shirt and black stretchy pants. Her massage license was also posted on the wall.
I photographed all licenses, WA IN and the females as well as a clipboard with appointments written on lined
paper which was on the desk. The photos were later entered into VeriPic.
Case referred to Detective Doherty.
By affixing my electronic signature below in the form of my type written name, I certify under penalty of perjury
under the laws of the State of Washington that this report is true and correct.
E Bratlien
Dated this 29th day of September, 2018, in the City of Kent, Washington.
Report Officer Printed At
1252246/BRATLIEN,EM 10/26/2018 11:07 Page 2 of 2
Page 54 of 81
10-14401 0001 Supplement No
KENT POLICE DEPARTMENT CASE REPORT
Reported Date
220 4th Avenue South 10/13/2018
Kent, WA 96032»6895 Crime/Incident
� K *TL N Phone: (253) 8W6800 PROSTITUTION (A)
inn:«e«mr o:+
Fax: (263) 85EI-6800 Member#/Dept lD#
DOHERTY,EM
Phone
Fax
PRN
1622867
Report Officer Printed At
316686/DOHERTY,EM 10/26/2018 11:07 Page 1 of 2
Page 55 of 81
18-14401 0001 Supplement No
KENT POLICE DEPARTMENT CASE REPORT
On 10/12/2018 the Kent Police Special Investigations Unit conducted an undercover operation at Perfect
Massage, located at 10700 SE 208th St in Kent. The undercover officer (UC) paid Sufang Liang $80 ($60 house
fee + $20 tip) for a massage. During the massage Sufang made repeated, deliberate contact with the intimate
areas of the UC which appeared to be aimed at sexual gratification. The massage violated numerous standards
for professional massage as set forth in chapter Chapter 246-830 of the Washington Administrative Code,
including behavior in violation of section WAC 246-16-100 outlining sexual misconduct.
Sufang will be cited at -large for Prostitution Loitering (citation K124337).
Case cleared with single adult at -large arrest.
By affixing my electronic signature below in the form of my type written name, I certify under penalty of perjury
under the laws of the State of Washington that this report is true and correct.
E. Doherty / 316686
Dated this 14 day of October, 2018, in the City of Kent, Washington.
Report officer Printed At
316686/DOHERTY,EM 10/26/2018 11:07 Page 2 of 2
Page 56 of 81
KENT POLICE DEPARTMENT CASE REPORT
Ken 4th AV l
Kent, WA s803$nnz--689 s$ss
�e K61T Phow (253) pax. (ss) 866-6800 nn
Phone
Fax
18-14401
Reported Date
10/23/2018
Crimellncldenl
PROSTITUTION (A)
Member#/Dept ID#
DOHERTY,EM
Supplement No
0002
On 10/23/2018 the Kent Police Special Investigations Unit conducted an additional undercover operation at
Perfect Massage. During this operation a female undercover officer (UC) entered the business posing as a
customer. The UC paid $60 for a one hour massage (+$20 tip) from Sufang Liang. The purpose of this undercover
operation was the highlight the sexual nature of the massage given to the male UC on 10/12/2018 by contrasting
how Sufang would behave with a female customer.
The massage provided by Sufang to the female UC was dramatically different than the one provided to the male
UC. Sufang kept the female UC's intimate areas covered during almost the entire massage. The one exception
was when Sufang wiped the massage oil of her back with a hot towel and briefly moved the privacy towel,
exposing the UC's buttocks.
Sufang also made virtually no contact with the female UC's buttocks (she brushed over the UC's buttocks once
with her forearm). This is in stark contrast to the massage Sufang gave the male UC in which she spent a
disproportionately large amount of time rubbing and caressing his buttocks.
Sufang also did not massage near the female UC's genital area, avoiding her hips and upper thighs. In contrast,
she frequently had her hands within one inch of the male UC's genitals and extensively massaged his hips and
upper inner thighs.
Sufang also afforded the female UC complete privacy at all times she was undressed. With the male UC, Sufang
stayed in the room on multiple occasions when he was undressed.
Sufang's behavior during the massages with the two UCs clearly demonstrates the sexual nature of her contact
with the male UC.
End of supplemental.
By affixing my electronic signature below in the form of my type written name, I certify under penalty of perjury
under the laws of the State of Washington that this report is true and correct.
E. Doherty / 316686
Dated this 23 day of October, 2018, in the City of Kent, Washington.
Report Officer Printed At
316686/DOHERTY,EM 10/26/2018 11:07 Page 1 of 2
Page 57 of 81
0002ent N°
18-14401
KENT POLICE DEPARTMENT CASE REPORT
Report Ofrt°er Printed At
316686/DOHERTY,EM 10/26/2018 11:07 Page 2 of 2
Page 58 of 81
KENT POLICE DEPARTMENT CASE REPORT
Ke ,4th Avenue South
Kent, WA 98032-5695
\50K
� Ke
v KENT Phone: (253) 856-5800
Fax, (253) 856-6800
Phone
Fax
Agency
KENT POLICE DEPARTMENT CASE RE
I
BUSI
NESS LICENSES 1.
SPECIAL.. INVESTIGATIONS UNIT
18-14401 0003 Supplement No
Repotted Date
10/30/2018
Crime/Incident
BUSINESS LICENSES (N)
Member#/Dept ID#
BRATLIEN,EM
VaSe No 45000,1 iMOMI No Reponao unto Reported Time
18 14401 0003 10/30/201»8 00:40
1.
BRATLIEN,EM
Assignment i#MS "fraaari°t.r .
16 PATROL GRAVE 1 POWER Suaaessful
Apo royal bov
/30/201.8 03:03:10
On 10/25/18, 1 conducted a follow up at Perfect Massage located at 10700 108th Ave SE in the City of
County of King, State of Washington.
Chapter 246-030 of the Washington Administrative Cude details the standards of educatlon, business and
practice standards and limitation, credential statuses, and fees. I intended on asking an employee, Sufang Liang,
several questions regarding the legitimacy of Perfect Massage,
Upon arrival, I was grPPtpd by another employee, Lingglao Yang, who exited a massage room, She was sweating,
out of breath and adjusting her shirt as she walked to the lobby. I asked to speak with Liang. Liang then emerged
from a separate massage room, It should be noted that I utilized a Language Line Mandarin Interpreter (#200169)
to effectively communicate with Liang. It should be noted that the bolded letters are Liang's responses. I asked her
the following:
Do you keep records of every patient name? - "No".
Do you keep records of every patient age? - "No".
Do you obtain and update health history information for each patient? - "No".
Do you obtain written consent for treatment from all patents? - "No".
Do you keep records of what treatment was provided to each patient? - "No".
Do you record all information within 24 hours of treatment? - "No".
Do you retain all records for three years? - "No".
Do you properly shred records after the retention period? - "No
Do you collect taxes? How much tax do you collect for a $60 massage? - "No".
Do you provide a receipt to your patient, including those paying cash? - "Yes".
To summarize the above answers, Liang does not have any recordkeeping standard set in place to record all
patient information and history, I continued with the following questions:
Do you allow privacy when the patient is changing clothes? -"Yes"
Do you keep the patient draped during the entire massage? -"No"
Do you explain your draping and coverage boundaries to your patients? -"No"
Does your draping cover the gluteal cleft distal to the coccyx, anus, and rectum? -"Yes"
Does your draping cover the patient's genitals at all times? -"Yes"
Do you obtain prior written, verbal, and signed consent to remove gluteal draping? - "No".
Do you document any variation in draping procedure? - "No".
Is consent for draping variation obtained separate from consent for treatment? - "No".
To summarize the above answers, Liang told me she keeps the body properly draped and covered but sometimes
has to remove the draping for parts of the massage. She has failed to educate patients on draping standards.
She also admitted to failing to document all variations of draping or obtaining consent for thevariations. I made
sure Liang was aware that it was a crime to lie to the Police and that I knew and Undercover Officer had received
_
044d044d �Jtf(Ct+r —. ..:�.. _ Printed At .._
1252246/B TLIENrEM 11/01/2018 14:02 l g 1 of 2
Page 59 of 81
18-14401 0003ntNo
KENT POLICE DEPARTMENT CASE REPORT
a massage at Perfect Massage.
I continued with the following questions,
Do you touch the patient in the gluteal cleft distal to the coccyx, anus, and rectum?- "No".
Do you touch the patient's genitals?- "No".
Do you touch the patient in the perineal area?- "No".
Do you obtain prior written and oral consent for massage in the perineal area?- "No".
To summarize the above answers, Liang denied massaging any areas involving the genitals or general groin and
rectal area.
After I had concluded the questions regarding the WAC procedures, Liang explained they would hire an English
speaking employee who could get their documentation and records up to standard. She stated she would start
hiring the next day.
End Supplemental.
By affixing my electronic signature below in the form of my type written name, I certify under penalty of perjury
under the laws of the State of Washington that this report is true and correct.
E Bratllen
Dated this 30h day of October, 2018, in the City of Kent, Washington.
...........,
Depart tYPii�nr
1252246/BRATLTEN,EM.1,/01,/2018 14:02 Pag(2 of 2
Page 60 of 81
On 10/12/2018 the Kent Police Special Investigations Unit conducted an undercover operation
at Perfect Massage, located at 10700 SE 208th St in Kent. The operation was part of an emphasis
targeted at suspected illicit massage parlors in the city.
I entered the business posing as a customer. Prior to entering the business I viewed photos of
Sufang Liang and Lingqiao Yang, both of whom had been contacted by Ofc. Bratlien during her
business check on 09/28/2018. 1 was greeted in the lobby by Sufang Liang. She told me to wait
ten minutes.
About ten minutes later Linggiao came into the lobby and escorted me to a back room with a
raised massage table. She left the room while I dressed and lay on the table. I covered myself
with a privacy towel. A short time later Sufang entered the room. She asked if I wanted a
shower. I said yes, unsure if she meant before or after the massage.
Sufang began giving me a massage. Within the first few minutes of the massage she moved the
privacy towel, exposing my buttocks. During the massage she spent a disproportional amount
of time on my buttocks. The majority of the contact with my buttocks was soft, sensual touch.
The touch appeared to be intended to cause arousal and did not appear aimed at any
therapeutic purpose. Sufang frequently moved her hands within an inch of my genitals.
Sufang covered me with the privacy towel and told me to flip over. She briefly rubbed my head.
She then rubbed my chest (including nipples) and stomach before moving to my legs. She
moved the privacy towel so that it was barely covering my genitals. She then rubbed my legs
and hips, lingering within 1-2 inches from my genitals.
Sufang then told me it was time for the shower. She gave me a bathrobe and had me follow her
to a back room. As we entered the room I saw that there was a raised plastic tub with short side
walls. I recognized this as being the type used for "table showers," a service sometimes offered
at illicit massage parlors in which the employee washes the customer.
Sufang told me to take the robe off. She did not leave the room while I did or offer to cover me
up in any way as I lay on the table. She then washed my backside with a wash cloth and with
her bare hands. As she used the wash cloth, she penetrated the crevice of my buttocks.
Sufang then told me to turn over, which I did. She did not offer any sort of covering as I turned
over. Once I was lying on my back, she placed a wash cloth over my genitals. She then washed
my front side. After she was finished she walked me back to the original room and told me we
were done.
Page 61 of 81
Sufang stayed in the room as I took off the robe and began to put my clothes back on. She left
the room while I finished. When I exited the room she was seated at the desk in the lobby. I
paid her $80 for the massage ($60 + $20 tip) and left.
During the massage Safang made repeated, sustained contact with intimate areas of my body.
The contact was clearly sexual in nature and not therapeutic.
By affixing my electronic signature below in the form of my type written name, I certify under
penalty of perjury under the laws of the State of Washington that this report is true and
correct.
316686
Dated this 14 day of October, 2018, in the City of Kent, Washington.
Page 62 of 81
VeriPic
Page I of 12
https://veripic.kentwa.gov/pages/DefauItPrintView.aspx?id=all IGage/�31 s1
VeriPic
Page 2 of 12
littps:Hveripie.kentwa.gov/pages/DefaultPrintView.aspx'?id=a11 10/16/2018
Page 64 of 81
Ver[Pic
Page 3 of t21
littps://veripic.kentwa.gov/pages/DefauitPrintView.aspx?id=all 1 WO/wAl
VeriPic
littps://veripic.kentwa.gov/pages/Def'aultilrintView.aspx?id=all
Page 4of12
CL
BaQ
C
'J
VeriPic
r
W _ a .
Page 5 of 12
Nv:
�RI
littps://veripie.kentwa.gov/pages/DefaultPrintView.aspx?id=all I wj#9NAl
VeriPic
Paoe 6 of 12
https://veripic.kentwa.gov/pages/DefaultPrintView.aspx?id=all I'PU/WAl
VcriPic
Page 7 of 12
https://veripic.kentwa.,ov/pages/DefaultPi-intView.aspx?id=all I QgNpAl
VeriPic
Page 8 of 12
littps://veripic.kent�va.gov/pages/Def'W ItPrinIViekv.aspx?id=a11 10/16 7b I 1
VeriPic
Page 9 of' 12
https://veripic.kentwa.gov/pages/DefaultPrintView.aspx?id=all I� ge/4i)o s�
VeriPic Page 10 of 12
https://veripie.kentwa.gov/pages/Defau[tPrintView.aspx?id=all I W] 6/7)91 1
VeriPic
Page I I of 12
https://veripic.kentwa.gov/pages/DefauitPriiitView.aspx?id=alI I 01/041i �,
VeriPic
Page 12 of 12
https://veripic.kentwa.gov/pages/DefauItPrintView.aspx?id=all I Gage/� of 81
Doug Ruth
From: Robben, Victoria <VRobben@kentwa.gov>
Sent: Thursday, July 18, 2019 10:47 AM
To: Doug Ruth; Kosen, Tanya
Subject: RE: Perfect Massage
Attachments: Revocation Letter.pdf; 18-14401.pdf; uc statement.pdf; Veripic.pdf
CAUTION: The following message originated from outside the City of Auburn. Be careful opening links and
attachments
Attached is the revocation notice and documents referred to as "Exhibit 1" in the notice. There
was no prehearing statement. Let me know if you need anything else.
Victoria Robben, Prosecuting Attorney
Criminal Division I Office of the City Attorney
220 Fourth Avenue South, Kent, WA 98032
Phone 253-856-5775 1 Fax 253-856-6770
vrobbenCa)kentwa.aov
CITY OF KENT, WASHINGTON
KentTV21.com Facebook _ + ggff YouTube
PLEASE CONSr'IOER T}9E ENVIFtONMENT OFFOFYE PRINTING ' HIS b'.-MA11-
Page 75 of 81
Exhibit
5
Page 76 of 81
(F {Yl
Y.pluntary Surrendesig ss License
I, Sufang Liang, own Perfect Massage, a massage business in the city of Kent, located
at 10700 SE 2081h St. I have received notice of the city's intent to revoke my business
license for unlawful activity occurring at my business. Evidence of the unlawful
activity is documented In Kent Police case #18-14401. I have asked my attorney,
Paul Cullen, to act on my behalf in this matter.
Initial each statement:,,
_pc— I understand I have a right to be heard regarding the revocation of my
business license and that a hearing for that purpose has been scheduled for
November 28, 2018, at 1:00 p.m.
_pc" I waive my right to the hearing and voluntarily surrender my city business
license,
—pc— By signing this document, I am asking the City Hearing Examiner to cancel
my hearing, enter a default and revoke my city business license.
_PCI understand that by waiving my right to be heard pursuant to KCC 5.01.140,
I am also waiving my right to a subsequent appeal pursuant to KCC 5.01.170(C).
—pc— In addition to surrendering my city business license, I also agree not to engage
in or associate with any massage, aromatherapy, relaxation or similar business within
the city of Kent.
_PCI understand and agree that I will forever be prohibited from obtaining a city
of Kent business license for a massage or reflexology business.
Page 77 of 81
_IN I have had an opportunity to discuss this document with my attorney, Paul
Cullen, I have authorized Mr. Cullen to enter into this agreement of voluntary
surrender on my behalf.
Dated this day of _—, 2018, in , Washington.
Paul Cullen
I have consulted with my client herein and am authorized to act on his or her behalf and
to voluntarily surrender his or her Kent license as well as to undertake not to engage or
seek to engage in a similar business in the City of Kent
DATED this day of 2018.
Paul Cullen
Page 78 of 81
1
2
3
4
5
6
7
8
9
10
11
12
13
14
1s
16
17
18
19
20
21
22
23
24
25
26
27
28
Exhibit G
Hearing Examiner: Phil A. Olbrechts
BEFORE THE HEARING EXAMINER FOR THE CITY OF AUBURN
RE: Perfect Massage
Business License Appeal
Case No. APL 19-0001
EXHIBIT LIST
(Clerk's Action Required)
TO: THE CITY OF AUBURN; and
TO: D. RUTH , Counsel for the City of Auburn.
COMES NOW Appellant, by and through counsel of record, Paul Cullen, and
respectfully submits the following Exhibit List for the August 21, 2019 Appeal Hearing in
this matter.
I. EXHIBITS
The Respondent endorses the following documents as potential exhibits at trial:
1.1 All documents considered by the City of Auburn in relation to the application
and denial of the application herein.
EXHIBIT LIST - 1
PAUL CULLEN, PLLC
ATTORNEY AT LAW
316 OCCIDENTAL AVE. S., SUITE 500
SEATTLE, WA 98104
Tel: (206) 447-4130 / Fax: (206) 447.6915
Page 79 of 81
1
2
3
4
5
6
7
a
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
1.2 All documents included in , referring or relating to the City of Kent voluntary
relinquishment of the Kent business license of the applicant and Perfect Massage.
The applicant reserves the right to offer or endorse any and all exhibits and or
witnesses offered by the City.
DATED this 7t" day of August 2019.
EXHIBIT LIST - 2
PAUL CULLEN, PLLC
By:
Paul Cullen, WSBA No. 7132
Attorney for Sufang Liang
PAUL CULLEN, PLLC
ATTORNEY AT LAW
316 OCCIDENTAL AVE. S., SUITE 500
SEATTLE, WA 98104
Tel: (206) 447-4130 / Fax: (206) 447.6915
Page 80 of 81
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
PROOF OF SERVICE
I, ANDI KNIGHT, certify that I served a copy of this Exhibit List on the party listed
below via email and first-class mail:
Doug Ruth
City of Auburn
25 W. Main St.
Auburn, WA 98001
druth0)-auburnwa.gov
Original emailed to HE. Phil A. Olbrechts
I certify under penalty of perjury under the laws of the State of Washington that
the foregoing is true and correct.
DATED AND SIGNED at Seattle, Washington this 7th day of August 2019.
EXHIBIT LIST - 3
Andi Knight, Legal ftsistant
PAUL CULLEN, PLLC
ATTORNEY AT LAW
316 OCCIDENTAL AVE. S., SUITE 500
SEATTLE, WA 98104
Tel: (206) 447-4130 / Fax: (206) 447.6915
Page 81 of 81