Filing# 191994680 E-Filed 02/14/2024 09:07:27 PM
IN THE CIRCUIT COURT FOR THE 17th JUDICIAL CIRCUIT
IN AND FOR BROWARD COUNTY, FLORIDA
CASE NO.: CACE-22-007895
VER VER ENTERTAINMENT, LLC,
Plaintiff,
VS.
KISEAN ANDERSON, A/K/A
SEAN KINGSTON"
cir
Defendant.
i
COMPLAINT
VER
Plaintiff, VER ENTERTAINMENT, LLC., ("Ver Ver" or "Plaintiff'),
by and
through undersigned counsel, hereby sues Defendant, Kisean Anderson, a/k/a Sean Kingston.
("Anderson" or "Defendant"),and in support thereof states as follows:
PARTIES, JURISDICTION, AND VENUE
1. This is an action for damages of more than fiftythousand dollars ($50,000.00)
attorneys'fees,and litigation
exclusive o f interest, costs.
2. Plaintiff,Ver Ver is a Florida corporationthat regularlytransacts business in
Broward County, Florida.
3 Defendant, Kisean Anderson, a/k/a Sean Kingston is an individual who resides in
Broward County, Florida.
4. Plaintiff and Defendant entered into a contract for the sale and installation of a 232-
inch television into Defendant's residence in Broward County, Florida. Defendant's breach ofthis
contract and associated conduct, as fullyset forth below, forms the basis of Plaintiff's Complaint.
*** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 02/14/2024 09:07:25 PM.****
INTRODUCTION
5. Plaintiff is a nationallyrenowned corporationthat sells and installs high end
television and sound systems.
6. Defendant is a nationallyknown recording artist and uses his stage name "Sean
Kingston" while conductinghis business affairs.
7. On September 23,2023, Defendant contacted Plaintiffvia Instagram and expressed
an interest in one of Plaintiff's premierproducts,a 232-inch Colossal TV, coupled with a robust
sound system.
8 In connection with the purchase of the Colossal TV and sound system, Defendant
made numerous false to Plaintiff.
representations
9- Defendant alleged that he had a current and ongoing working relationshipwith
recordingartist Justin Bieber.
10. To induce Plaintiff to accept a much lower down payment and credit towards the
purchase price, Defendant promised Plaintiff that he would produce promotional videos of
Plaintiff' s corporationwith Mr. Bieber.
11. Defendant had no ongoing working with Mr. Bieber, nor did Defendant and Mr.
Bieber have any intention o f producing promotionalvideos o f Plaintiff's corporation.
12. Defendant made these false statements to induce Plaintiff into installing
a 232-inch
Colossal TV and sound system with as small a down payment as possible.
13. Defendant never had any intention of paying Plaintiff in full for its Colossal TV
and sound system.
14. Shortly thereafter,Plaintiff and Defendant entered into a contractual agreement,
attached hereto as Exhibit A.
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15. On November 15, 2023, Defendant wired Plaintiff $30,000.00 to commence
manufacturing ofthe 232-inch Colossal TV.
16. On December 14, 2023, Plaintiff completely performed its contractual obligations
the 232-inch Colossal
by installing TV and sound system at Defendant's residence at 4610 S.W
178th Avenue, Fort Lauderdale, FL 33331.
17. On December 17, 2023, Defendant met Plaintiff at his residence to fullyexplain
how the Colossal TV and sound system worked.
18. Defendant was fullysatisfied with both the functionality
and installation of the
Colossal TV system and signed documentation confirmingthe same. See Exhibit B.
19. As per the Contract, Defendant was obligatedto pay Plaintiff in full upon
installation of the Colossal TV and audio system.
20. Defendant immediately breached the Contract by failingto pay Plaintiff as
contractually
agreed.
21. Defendant then began providing a litanyof excuses as to why payment wasn't
made.
22. On January 15, 2024, Defendant sent Plaintiff a NOVO alert advising that
Plaintiff' s remaining balance was forthcoming.
23. Plaintiff's were false, and no money was ever transferred
representations to
Defendant.
24. On January 29, 2024, Defendant arranged for Plaintiff to come to Defendant's
residence and to pick up a check for the full outstanding
balance of the Contract.
25. When Plaintiffarrived at Defendant's residence,he was met by Defendant's cousin,
who advised that no one else was at the residence,and that he knew nothing about a check.
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26. Plaintiff and Defendant spoke that same day. Defendant apologized and arranged
for Plaintiff to return to Defendant's residence to pick up a check for payment in full.
27. Once again, Plaintiff returned to Defendant's residence, and was met by
Defendant's cousin. Once again,Defendant's cousin had no knowledge as to Plaintiff's alleged
check.
28. Unbeknownst Defendant has a long historyof engaging in fraudulent
to Plaintiff,
conduct.
29. In 2015, judgment was entered against Defendant for obtaining $356,000.00 in
watches without paying for them.
30. In 2016, judgment was again entered against Defendant when he obtained
$301,500.00 in jewelry without paying for it.
31. Again in 2022, Defendant was sued for obtaining two luxury watches worth
$1,054,107.50 and failingto pay for them.
32. Additionally, at all material times that Plaintiff and Defendant were
communicating, Defendant was at that time and will remain on felonyprobation for trafficking
in stolen property.
33. All of Defendant's misrepresentationswere designed to add Defendant to
Plaintiff's list of victims.
COUNTI
DEFENDANT'S BREACH OF CONTRACT
34. Plaintiff offered to sell Defendant a 232-inch Colossal TV and sound system for
the terms contained within the Contract. See Exhibit A.
35. Defendant agreed to Plaintiff's terms and gave Plaintiff$30,000.00as a depositto
commence the project.
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36. Plaintiff fullycomplied with its contractual obligations the 232-inch
by installing
Colossal TV and sound system in Defendant's residence. See Exhibit B.
37. Defendant breached the Contract by failingto pay for the Colossal TV and sound
system as agreed.
38. As a direct result ofPlaintiff's contractual breach, Defendant has suffered monetary
damages as set forth above.
COUNT II
FRAUD
39. Defendant made numerous false statements to Plaintiff as stated above.
40. Defendant representedthat he would pay for the Colossal TV and sound system in
full upon installation. Plaintiff had no intention of doing so.
41. Defendant representedthat he would make promotional videos with Mr. Justin
Bieber for Defendant's business when Plaintiff knew full well that he would not and could not do
SO.
42. Defendant representedto Plaintiff that he was transferring
money to Plaintiff via
NOVO, when he knew that he was not.
43. relied upon Defendant's false statements.
Plaintiffjustifiably
44. As a result of relyingon Defendant's false statements, Plaintiff was damages by
agreeingto a discounted pricefor the Colossal TV and audio system and providingthe system in
for
its entirety only $30,000.00.
WHEREFORE, requests that this Honorable Court enter judgment in favor of
Plaintiff,
Plaintiff and againstDefendant for treble damages, reasonable attorneys'fees and litigation
costs;
for statutory interest from the date of breach to the present and continuing;reimbursement for
incurred attorney'sfees;for injunctive such conduct in the future;and such other
reliefprohibiting
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and further relief as this Court deems proper.
Plaintiff demands a Trial by Jury.
ith
Respectfullysubmitted this 14 day of February, 2024.
/s/ .J. Dennis Card jr.
J.Dennis Card, Jr.,Esq. (FL Bar No: 0487473)
E-mail:
[email protected] CONSUMER LAW ORGANIZATION, P.A.
721 US Highway 1, Suite 201
North Palm Beach, Florida 33408
Telephone: (561) 822-3446
Facsimile: (305) 574-0132
Attorneyfor Plaintiff
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Exhibit "A"
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Imfo/explmled ty
PAOFORMA INVOICE
JIHE M??ner
5?owr.' 81wd. Boca Raton
Ftorlda. ?nltcd State
.**:
Tax ld:
Sean Kinsgtol
QUOI' 2823*j- - e&933 - 05
Addre*? P,01 Kt: COLO55AL TV C-232 KONG
Space: LIVING ROOM
..r.*t: 82,
Dltall: 5/rles 150
mmn.InA.DGs
Tel.
BUDGET -
Description of prodats and service;
COLOSSALTV
SEAN KINGSTON ECITION
7-1 GOLD FRAME SKIN
t!2**2!!L oe. UNIT P=.E , PCS.=..tl ,-#-#ULS
COLOSSAL TV C-232 MODULE 201 57 113 39 USD 1.352.09 G4 USD 86.578.Oe
VIDEO PROCESSOR H2 USD 4.580.00 1 USD 4.580.00
APPLE TV 4K FREE USD 1 USD
COOGLE TV IK FREE USD 1 Usl
--IiZ?:.yl?mE.=?&-1 .?
?- SO!?ND SVSTEM (BASfi - 33-:3*1.j. .?.1(:: -2,-i),2.*1
M,ranti SR8(315 11.2-Channel Network A/V Receiver USD 3.4SG.00 1 USD 3.456.80
SPEAKERS Kllpich SYSTEMS USD 8.450.00 1 USD 8 456.@e
Subwofer 12' R-10*SW U50 898. 00 z USD 1 780.09
11100000086 -LINTIGMfIOI?l,Kl?:A&--AKEOZ GA":.-f.?.E?-7637'
USD 78.Ge u USD 4 992.ee
Mectromechanlcal assembly
Canflguritiee and io-lsflonln: USD 450.- 1 USD 450.00
logistics FREE USD 1 U5D
Mi?i :
COMMERCIAL PRONSAL
Purchase Contract USD 36 060 86
##lo,y Inte,ratlor UED ..021.18
Soclat Iledta Agreement USD 38.513.59
0(MIED FL
Ver Ver Entertal-ent LLC 481 NE MIZNER BLVD. Bm Raton. FL 33432
2090 /OA Blvo. Pdm Deacm Gardens. FL 33405
EIN number: 35-2706228
#/ OF *ERICA CONTACT INFO
M
VER VER ENTERTAIHMENT LLC Tel. +1 386 344,B42i
ACCOUNT MJMBER 117914738 info#exgliled.tv
ROUTING NlmBER 63100277 In?tagram. com/eiplmledfl
FIlm Beach Gardens. ll-2523
Mr. *,n Klnilton
Merit 5.-aryr:
10/25//23 $36.GDO
Re--lnln- A-unt to -e p.d by 5--n Klngiton l. U- 47.-27.1., .hlc. will . p-id o..e the ln-t@U-tlon of the
equigmelt is complete + 50(ial leola adv
SEAN KINGSTON ARIEL MAIEOS
VER VER ENTERTAINMENT LLC
8
r- \/ In lANI Rn
VERVERENTERTAINMENTLLC
2000 PGA Blvd
Palm Beach Gardens, FL 33408
[email protected]
+1 386 344 8426
RECEIPT ACKNOWLEDGEMENT
The client Sean Kingston, have received the following product from EXPIMLED FL.
Product Details
1-Microled Screen C 232" KONG,
1-PC AV Receiver Marantz SR 8015 11.2
Sound System Dolby Atmos 5.1
5-Klipsch Speakers
2-Novastar VX600 - Colossal TV Box Sending
1-AV Furniture
I affirm that the product has been delivered in perfectcondition, without any apparent
damage, and has been tested and verified,confirming its proper functioning.
I declare, under my responsibility,
that I have no claims, complaints, or dissatisfaction
regarding the condition, insta;lation,0(gperation
of the received product.
Customer's Signature:
1///02-
i=7Lr-
Date: 12 / 17 / 2023
By signing this document, I acknowledge that I have received the product in the
mentioned condition and have no observations or claims to make.
I appreciate the attention and service provided by Expimled FL
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Exhibit "B"
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