Complaint Against Turn About Ranch
Complaint Against Turn About Ranch
Complaint Against Turn About Ranch
9391)
KATIE PANZER (Bar No. 16919)
HOLLINGSWORTH LAW OFFICE, LLC
1881 South 1100 East
Salt Lake City, Utah 84105
Telephone: (801)415-9909
Facsimile: (801) 303-7324
april@aprilhollingsworthlaw.com
katie@aprilhollingsworthlaw.com
HANNAH ARCHULETA,
COMPLAINT
Plaintiff, (Jury Demand)
vs. Case No.
TURN-ABOUT RANCH, a
corporation, Judge
Defendant.
Plaintiff Hannah Archuleta, hereby complains and alleges against Defendant, Turn-
1. Ms. Archuleta is a former student of Defendant and was a minor at the time she
was entrusted to its care. Defendant allowed a male staff member to sexually assault Ms.
Archuleta on multiple occasions and took no remedial action after Ms. Archuleta reported the
sexual assaults. Instead, Defendant retaliated against Ms. Archuleta by subjecting her to both
physical and emotional abuse to silence her. Defendant was negligent in hiring, retaining, and
supervising the staff member who assaulted Ms. Archuleta and is vicariously liable for the staff
member’s assaults and batteries. Additionally, Defendant’s retaliation against Ms. Archuleta for
PARTIES
5. This Court has jurisdiction over the parties and subject matter of this action
6. Venue in this action is proper in this Court pursuant to Utah Code § 78(B)-3-307.
7. Hannah Archuleta was a minor when, in the wake of appearing on the Dr. Phil
Show, and at Dr. Phil’s recommendation, her parents entrusted her to the care of Turn-About
Ranch, a medical and educational facility for troubled teens. There, an adult male staff member
(“Male Staff Member”) sexually assaulted Ms. Archuleta multiple times. To make matters
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worse, Turn-About’s Management took no remedial action after Ms. Archuleta reported being
8. On or about October 22, 2019, an employee of the Dr. Phil Show hired and
arranged to have Ms. Archuleta transported to the Turn-About Ranch by Safe Interventions. At
9. During the period Ms. Archuleta was in the custody, care, and control of Turn-
About Ranch, a Ranch employee, the Male Staff Member, sexually assaulted her twice.
11. The Male Staff Member’s first sexual assault of Ms. Archuleta occurred
approximately a week and a half after she arrived at Turn-About. Ms. Archuleta was alone in the
kitchen at a building known as “Roundy.” The Male Staff Member walked up behind her, and
without warning or even words, grabbed Ms. Archuleta’s buttocks. Ms. Archuleta was shocked
and scared. She spun around. The Male Staff Member was nonchalant and acted like nothing
happened. Ms. Archuleta was paralyzed with fear. She was a minor, she had recently arrived, and
she carried the heavy stigma of her “patient” status. The Male Staff Member, by contrast, was
not only a grown man, but was in a position of authority over her as a Turn-About staff. As an
adult with control over Ms. Archuleta, he made her feel powerless.
12. From that point forward, when the Male Staff Member was in proximity to her,
13. No doubt aware of her helplessness, the Male Staff Member sexually assaulted
Ms. Archuleta again, in or about late November or early December 2019. His assault occurred in
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the kitchen of the building known as the “Barn.” As Ms. Archuleta was reaching up into the
cabinet area for dishes, the Male Staff Member aggressively slipped his hand under her buttocks
and touched her vaginal area. He squeezed her vagina and buttocks crack. Ms. Archuleta was
terrified and wheeled around in order to stop the battery. The Male Staff Member casually
walked away, again seemingly untroubled by any fear that there would be consequences for his
sexual assault.
Ms. Archuleta Reports the Male Staff Member’s Sexual Assaults to Turn-About
Staff and Management, Including to the Ranch Director.
14. Within approximately 24 hours of the Male Staff Member’s second sexual assault
of her, Ms. Archuleta reported the incident to Turn-About staff. In particular, Ms. Archuleta
notified a Residential Coach, a therapist, and a nurse. Ms. Archuleta was instructed to write a
detailed letter describing the Male Staff Member’s assaults, which she was told would be given
15. The Turn-About staff to whom Ms. Archuleta reported the assaults were
skeptical and dismissive of her allegations. For instance, the Residential Coach responded that
Ms. Archuleta was lying “because you’re crying so much” about what happened, adding, “only
liars cry.” Turn-About staff shamed and humiliated Ms. Archuleta for expressing emotion at
16. Despite the shame and humiliation, as well as fear of retaliation, Ms. Archuleta
nonetheless wrote the letter that described the Male Staff Member’s assaults. She provided it to a
member of the Ranch’s Management in person, together with a detailed oral account of the Male
Staff Member’s predatory behavior. The member of the Ranch’s Management responded with
similar skepticism.
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Turn-About Staff Takes No Remedial Action and Instead Retaliates Against Ms. Archuleta
for Reporting the Male Staff Member’s Sexual Assaults.
17. Turn-About failed to take prompt, remedial steps to protect Ms. Archuleta and
other female minors in the Ranch’s care and custody from further sexual harassment, sexual
abuse, and/or physical abuse by the Male Staff Member.
18. Turn-About took no meaningful disciplinary action with respect to the Male Staff
Member. He remained employed on the Turn-About premises, where Ms. Archuleta encountered
him on multiple occasions. Fearing the Male Staff Member would assault her again, these
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e. Forcing Ms. Archuleta to sleep on a wooden plank with no pillow.
f. Giving Ms. Archuleta additional forced labor in extreme temperatures, and
leaving her outside in below-freezing temperatures.
g. Verbally abusing Ms. Archuleta, including by telling her that she was stupid,
fat, a bad person, manipulative, weak, pathetic, pretending to have anxiety,
etc.
h. Publicly humiliating Ms. Archuleta, including criticizing, degrading, and
embarrassing her in group meetings.
i. Threatening Ms. Archuleta with physical violence.
j. Depriving Ms. Archuleta of sleep.
21. Around the same time Ms. Archuleta made her complaint regarding the Male
Staff Member, another minor also reported being sexually assaulted by the Male Staff Member.
22. Turn-About staff also subjected this minor to similar retaliation to which it
subjected Ms. Archuleta, and forbade Ms. Archuleta and the other minor victim from what it
termed “gossiping” about the Male Staff Member.
23. Even after these reports and complaints, Turn-About allowed the Male Staff
Member to remain at the Ranch, thereby enabling him access to other female minor wards of the
Ranch.
24. As a staff member at Turn-About, Defendant placed the Male Staff Member in
direct contact with patients/students, almost all of whom were minors, at all relevant times. It is
under these circumstances that Ms. Archuleta came into contact with the Male Staff Member,
who used his position of authority and trust over Ms. Archuleta to take advantage of her young
age and vulnerability so that he could sexually harass, molest, and abuse her as described herein.
25. By hiring the Male Staff Member to serve as Staff to educate, advise, and/or
mentor minor female children, Turn-About held the Male Staff Member out to the public,
including Ms. Archuleta and their families, to be of high ethical and moral repute, and to be in
good standing with Defendant and the public. Inherent in these representations was the
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understanding that the Male Staff Member was selected to educate, lead, guide, mentor, and
counsel minors such as Ms. Archuleta. Ms. Archuleta and her family reasonably assumed that
the Male Staff Member was worthy of their trust. As a result, the Male Staff Member was put in
a position to supervise, mentor, and counsel minor female students at Turn-About, including Ms.
Archuleta.
26. At all times material hereto, Turn-About employed the Male Staff Member as a
Staff member. In such capacity, the Male Staff Member was under the direct supervision,
employ, agency, and control of the Ranch. His employment duties and responsibilities with
Turn-About included, in part and on information and belief, providing for the supervision,
education, and well-being of patients/students of the Ranch and other minors at Turn-About,
including Ms. Archuleta.
27. As a student at Turn-About, where the Male Staff Member was employed and
worked, Ms. Archuleta was under the Male Staff Member’s direct supervision, care, and control,
thus, creating a special relationship, fiduciary relationship, and confidential relationship with
Defendant. Additionally, as minor children under the custody, care and control of Defendant,
Defendant stood in loco parentis with respect to Ms. Archuleta while she was attending school-
related functions at Turn-About. As responsible parties and employers controlling the Male Staff
Member, Defendant was in a special relationship with Ms. Archuleta and owed special duties to
Ms. Archuleta.
28. On information and belief, prior to and during Ms. Archuleta’s enrollment at
Turn-About in 2019, Defendant knew or should have known that the Male Staff Member posed
an unreasonable risk of sexually inappropriate conduct (i.e. sexual abuse, sexual exploitation,
and inappropriate sexual relationships, etc.) towards minor females to whom he had access
through his employment or otherwise. Defendant knew or should have known that the Male Staff
Member would use his position of authority and trust acting on behalf of Defendant to gain
access to children, including Ms. Archuleta, on the Ranch’s facilities and grounds, which
allowed him to sexually abuse minor females, including Ms. Archuleta.
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29. Despite the awareness of Turn-About of the danger of sexual assault, sexual
battery, sexual advances, or any other sexually inappropriate conduct that the Male Staff
Member posed towards minor females he encountered through his employment, Turn-About
failed to take adequate steps to protect Ms. Archuleta and other female students from harm.
Turn-About failed to supervise or monitor the Male Staff Member, limit his contact with minor
female students, warn female students or parents of the danger posed by the Male Staff Member,
and otherwise failed to act reasonably to prevent the Male Staff Member from sexually
assaulting or engaging in sexually inappropriate behavior towards female students.
30. Defendant also implemented various measures which made the Male Staff
Member’s conduct harder to detect including:
a. Permitting the Male Staff Member to remain in a position of authority and trust
after Defendant knew or should have known he sexually harassed and/or sexually
abused female minors;
b. Placing the Male Staff Member in a separate and secluded environment with
minor children, which allowed him to sexually and physically interact with and
abuse female students such as Ms. Archuleta;
c. Allowing the Male Staff Member to come into contact with minors, including Ms.
Archuleta, without any supervision;
d. Failing to inform law enforcement officials of the fact that Ms. Archuleta and
others were or may have been sexually abused after Defendant knew or should
have known that the Male Staff Member may have sexually abused Ms. Archuleta
or others.
e. Holding out the Male Staff Member to Ms. Archuleta and to the community as
being in good standing and trustworthy; and
f. Failing to take reasonable steps, and to implement reasonable safeguards to
supervise or monitor employees, volunteers, representatives or agents such as the
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Male Staff Member to avoid acts of unlawful sexual conduct by employees like
the Male Staff Member with students, especially those who were minor children;
31. As a direct and proximate result of Defendant’s unlawful conduct as alleged, Ms.
Archuleta has suffered physical injury, severe emotional distress, humiliation, embarrassment,
mental and emotional distress and anxiety, and economic harm, in an amount to be determined at
trial.
FIRST CAUSE OF ACTION
(Negligent Hiring and Supervision)
32. Ms. Archuleta incorporates the foregoing paragraphs as if fully set forth herein;
33. Defendant owed a duty of to Ms. Archuleta and other female minors in its care to
prevent and protect them from sexual assault, sexual battery, or other sexually inappropriate
34. Defendant knew or should have known that the Male Staff Member posed a threat
of harm to its minor female students, including Ms. Archuleta. Defendant failed to exercise
reasonable care to mitigate the threat of harm to Ms. Archuleta and other female minors
35. Defendant breached its duty of care to Ms. Archuleta by hiring and retaining the
Male Staff Member and allowing him access to female minors in its care, despite knowledge of
36. Defendant breached its duty of care to Ms. Archuleta by failing to adequately
supervise the Male Staff Member and prevent him from sexually assaulting or engaging in
37. Defendant’s negligent hiring, retention, and supervision of the Male Staff
Member was the direct cause of the Male Staff Member’s sexual assault and sexual battery of
Ms. Archuleta.
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38. As a result of being sexually assaulted by the Male Staff Member, Ms. Archuleta
has suffered physical injury, severe emotional distress, humiliation, embarrassment, mental and
39. Ms. Archuleta incorporates the foregoing paragraphs as if fully set forth herein.
40. When the Male Staff Member approached Ms. Archuleta, he intended to cause her
41. As a result of the Male Staff Member’s acts, Ms. Archuleta was in fact placed in
42. In performing the acts alleged above, the Male Staff Member acted with the intent
43. At no time did Ms. Archuleta consent to any of the acts by the Male Staff
44. In subjecting Ms. Archuleta to unwanted sexual contact, the Male Staff Member
caused an apprehension of imminent harmful and offensive contact in Ms. Archuleta whenever
45. By employing the Male Staff Member, Defendant furnished the impetus for his
assault of Ms. Archuleta and his acts were an outgrowth of his employment. Therefore,
Defendant is vicariously liable for the Male Staff Member’s assault of Ms. Archuleta.
46. As a direct and proximate result of the Male Staff Member’s unlawful conduct,
Ms. Archuleta suffered physical injury, severe emotional distress, humiliation, embarrassment,
mental and emotional distress and anxiety, and economic harm, in an amount to be determined at
trial.
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47. The conduct of the Male Staff Member in committing acts of sexual assault
against Ms. Archuleta was willful and malicious and manifested a knowing and reckless
indifference toward, and disregard of her rights, and thus Ms. Archuleta is entitled to punitive
damages.
48. Ms. Archuleta incorporates the foregoing paragraphs as if fully set forth herein.
49. In performing the acts described above, the Male Staff Member acted with the
intent to make a harmful and offensive contact with Ms. Archuleta’s person.
50. As described above, the Male Staff Member did in fact make a harmful and
51. Ms. Archuleta found the Male Staff Member’s contact to be offensive.
52. Because of The Male Staff Member’s position of authority over Ms. Archuleta,
and by virtue of her age, Ms. Archuleta could not and did not consent to such acts.
53. As a result of the Male Staff Member’s conduct, Ms. Archuleta was physically
54. By employing the Male Staff Member, Defendant furnished the impetus for his
battery of Ms. Archuleta and his acts were an outgrowth of his employment. Therefore,
Defendant is vicariously liable for the Male Staff Member’s battery of Ms. Archuleta.
55. As a direct and proximate result of the Male Staff Member’s unlawful conduct,
Ms. Archuleta suffered physical injury, severe emotional distress, humiliation, embarrassment,
mental and emotional distress and anxiety, and economic harm, in an amount to be determined at
trial.
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56. The conduct of the Male Staff Member in committing acts of sexual battery
against Ms. Archuleta was willful and malicious and manifested a knowing and reckless
indifference toward, and disregard of her rights, and thus Ms. Archuleta is entitled to punitive
damages.
57. Ms. Archuleta incorporates the foregoing paragraphs as if fully set forth herein.
58. In subjecting Ms. Archuleta to sexual assault and battery, the Male Staff Member
intentionally and recklessly engaged in intolerable and outrageous conduct that caused Ms.
59. Any reasonable person would have known that taking such action would cause
60. By employing the Male Staff Member, Defendant furnished the impetus for his
intentional infliction of emotional distress on Ms. Archuleta and his acts were an outgrowth of
his employment. Therefore, Defendant is vicariously liable for the Male Staff Member’s actions.
actions toward Ms. Archuleta that were intolerable and outrageous, and caused her severe
emotional distress.
62. Any reasonable person would have known that taking such action—especially
63. The Male Staff Member’s and Defendant’s conduct was willful and malicious and
manifested a knowing and reckless indifference toward, and disregard of, Ms. Archuleta’s
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64. As a direct and proximate cause of the intentional infliction of emotional distress,
Ms. Archuleta has suffered damages and is entitled to recover damages in an amount to be
proven at trial.
JURY DEMAND
6. For pre-judgment and post-judgment interest at the highest lawful rate; and
7. For such other further and additional relief the Court deems just and proper.
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