Mr. Raigoza stated that he is not a witness to the incident involving Ms. Eva Carrillo’s alleged slip and fall at the La Puente Hills Mall.
About the dates in question about the claimant’s date of injuries of August 5, 2017, as well as July 26, 2017. Mr. Raigoza claimed he was working on both of those times as the only information that he is aware of involving slip and fall of a customer was reported to him on Sunday, August 6, 2017, at approximately 5:00 PM. He claimed that he did not have the schedule for who was working on both of those dates in question and did not have the authority to ascertain that information to provide for this investigation. He said any information that is required to find out who was working on as well as obtaining any security video footage within the mall is to be done through writing to the Director of Security, Mr. Daniel Luna. He did not have Mr. Luna’s contact information to provide for this investigation. …show more content…
Raigoza claimed that he did not hear or was informed about any hazards in the area near the lower level mall area which leads out into the Macy’s department store. He stated that the area outside of Macy’s department store has a seating area with other fashion stores surrounded the seated area that is carpeted but has tile leading out from the Macy’s department store. He said there are a restaurant and other fashionable outlets outside of the Macy’s department store which surrounds the customer seating