Cesar Sanchez-Guzman VS. Bryan Singer
Cesar Sanchez-Guzman VS. Bryan Singer
Cesar Sanchez-Guzman VS. Bryan Singer
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SUPERIOR COURT OF THE STATE OF WASHINGTON
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FOR KING COUNTY
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CESAR SANCHEZ-GUZMAN,
9 NO.
Plaintiff,
10 COMPLAINT FOR DAMAGES
v.
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12 BRYAN SINGER,
13 Defendant.
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Plaintiff CESAR SANCHEZ-GUZMAN, by and through his attorneys, hereby states
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and alleges as follows:
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I. INTRODUCTION
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1.1. This claim arises from childhood sexual abuse that Plaintiff Cesar Sanchez-
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21 1.2. When Plaintiff Cesar Sanchez-Guzman was 17 years old, he was sexually
22 assaulted by Bryan Singer on a yacht.
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1.3. In about 2003, Cesar was invited to a party on a yacht owned by Lester Waters.
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At the party, he met Defendant Bryan Singer, who offered to give Cesar a tour of the yacht.
During this tour, Bryan Singer lured Cesar into a room, shut the door and demanded that Cesar
6 who resides in King County, Washington. When he was a minor, Plaintiff was sexually
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3.2 As such, this Court has jurisdiction over this matter pursuant to RCW 2.08.010,
21 Bryan Singer, and other adult friends of Mr. Waters. Cesar was 17 years old at the time. The
22 yacht sailed in Lake Union and Lake Washington and alcohol was served.
23 4.3 At one point during the party, Bryan Singer introduced himself to Cesar and
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offered to give Cesar a tour of the yacht. At the time, Cesar did not know who Bryan Singer
was other than that his name was Bryan and that he was a friend of Mr. Waters.
6 Singer then forced Cesar to the floor, shoved Cesars face against his crotch area and demanded
7 Cesar perform oral sex on him. Bryan Singer pulled out his penis, smacked Cesar in the face
8 with it and forced it into Cesars mouth. Cesar pleaded with him to stop, however he continued
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to force Cesar to perform oral sex, causing Cesar to choke.
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4.6 Bryan Singer threw Cesar onto the bed, pulled down Cesars pants and
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performed oral sex on Cesar. Cesar pleaded for him to stop.
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4.7 Bryan Singer then forcibly anally penetrated Cesar. Cesar pleaded for him to
14 stop.
15 4.8 Later, Bryan Singer approached Cesar and told him that he was a producer in
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Hollywood and that he could help Cesar get into acting as long as Cesar never said anything
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about the incident. He then told Cesar that no one would believe him if he ever reported the
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incident, and that he could hire people who are capable of ruining someones reputation.
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4.9 The sexual abuse has caused Cesar to experience severe psychological, mental
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21 and emotional injuries, shame, humiliation and loss of enjoyment of life. These injuries are
22 persistent, permanent and debilitating in nature. Cesar did not discover the causal connection
23 between the sexual assault and his injuries for which this claim is brought.
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4.10 As a result of the misconduct and unlawful acts described herein, Plaintiff has
suffered, and continues to suffer, general and special damages. These damages include, but are
not limited to, emotional distress, mental anguish, physical and mental pain and suffering, a
6 5.1 Plaintiff re-alleges the paragraphs set forth above and below.
7 5.2 Defendant Bryan Singer intentionally engaged in harmful and offensive contact
8 with Plaintiff while Plaintiff was a minor. This contact included sexual assault.
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5.3 As a direct and proximate result of that intentional harmful and offensive
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contact, Plaintiff suffered general and special damages.
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B. OUTRAGE/INTENTIONAL INFLICTION OF EMOTIONAL DISTRESS
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5.4 Plaintiff re-alleges the paragraphs set forth above and below.
14 5.5 Defendant Bryan Singer engaged in extreme and outrageous conduct by sexually
23 5.8 Plaintiff re-alleges the paragraphs set forth above and below.
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5.9 Defendant Bryan Singer violated the Sexual Exploitation of Children Act, RCW
9.68A. et al., by sexual abusing and exploiting Plaintiff. This includes, but is not limited to,
violations of RCW 9 .68A.040, which prohibited sexual exploitation of Plaintiff while he was
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Plaintiff prays for judgment against the Defendant for general and special damages in
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an amount to be proven at the time of trial, and for such other and further relief as the Court
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deems just and equitable.
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Plaintiff specifically reserves the right to pursue additional causes of action that are
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supported by the facts pleaded herein or that may be supported by other facts that emerge during
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discovery.
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DATED this 7th day of December, 2017.
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17 By:
Michael T. Pfau, WSBA No. 24649
18 [email protected]
Vincent T. Nappo, WSBA No. 44191
19 [email protected]
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Anelga Doumanian, WSBA No. 50981
[email protected]
21 Attorneys for Plaintiff
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