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BEFORE THE
DEPARTMENT OF ALCOHOLIC BEVERAGE CONTROL
OF THE STATE OF CALIFORNIA
In the Matter of the Accusation Against:
File: 47-610800
BASILICOS PASTA E VINO, INC. Fl LE we 20090281
DBA: BASILICOS PASTA E VINO
premises: 21301 brooknunstsr JUL 162 ACCUSATION UNDER
STED RGILCOHOLIC BEVERAGE
HUNTINGTON BEACH, CA. 92646-89ye9HOUC BEVERAG! CONTR NTROLACT AND
STATE CONSTITUTION
LICENSF(S): On-Sale General Fating Place
Thereby complain and accuse the above respondent(s), holding the above li yased on the following,
statement of facts:
COUNT I
By reason of the following facts, there is cause for suspension or revocation of the license(s), in accordance
Seetinn 24200 and Seetions 24200(a) and (h) af the Business and Professions Code. It is further alleged
that the continuance of the license would be contrary to public welfare and/or morals as set forth in Article XX,
Section 22 of the California State Constitution and Sections 24200(a) and (b) of the Business and Professions
Code. The facts which constitute the basis for the suspension or revocation by the Department are as follows:
On or about July 13, 2020, respondent-licensee(s) kept or permitted, in conjunction with the licensed premises,
a disorderly house, or place in which people abide or to which people resort to the disturbance of the
neighborhood, or in which people abide or resort to for purposes which are injurious to the public safety, health,
convenience, or morals, in violation of Business and Professions Code Section 25601,
Licensee(s) Previous Record: Licensed as above since March 24, 2020.
WHEREFORE, I recommend that a hearing be held on this accusation.
Dated this 15th day of July 2020.
Assistant Chief Counsel
Department of Alcoholic Beverage Control
‘noc-200 610)