Case #26STCV18281 · L.A. Super. Ct.
John YH Roe v. Sean Combs et al.
Filed June 08, 2026
Open
SEAN COMBS
LANG TALENT
DIEDRE LANG
AMSEL EISENSTADT & FRAZIER A TALENT & LITERARY AGENCY, INC.
DOES 1 through 100
Contains
Childhood Sexual Assault · Sexual Battery · Oral Copulation · Fondling of Genitalia · Alcohol Provided to Minor · False Imprisonment · Emotional Distress
Parties
SEAN COMBS An individual who at all relevant times was a resident of the County of Los Angeles in the State of California. He is a hip-hop music mogul, Grammy-awarded musician, rapper, producer, and record executive who founded Bad Boy Records in 1992.
LANG TALENT An unknown business entity who at all relevant times was conducting business in the County of Los Angeles in the State of California.
DIEDRE LANG An individual and the owner of LANG TALENT, who at all relevant times lives in Los Angeles County and conducted business in the County of Los Angeles in the State of California.
AMSEL EISENSTADT & FRAZIER A TALENT & LITERARY AGENCY, INC. A California corporation (hereinafter “Amsel”) who at all relevant times was conducting business in the County of Los Angeles with its principal place of business in the city of Los Angeles in the State of California.
DOES 1 through 100 Fictitiously named defendants whose true names, identities, or capacities are unknown; includes Entity Does (1-33) who controlled, employed, or acted in concert with Combs; Industry Does (34-67) who were industry representatives, event promoters, chaperones, and/or affiliated entities; and DOES 68-100 responsible in some manner for the occurrences alleged.
Dismissed defendants: DIEDRE LANG
Factual Allegations
Disclaimer: allegations as pled by the plaintiff, summarized by Grok.
In or around 2004, Plaintiff launched his career as a child actor and later hired talent managers/agents Lang Talent, Diedre Lang, and Amsel (the “Agents”) to advance his career. The Agents undertook to represent the minor Plaintiff, controlled or influenced the industry events he attended, and stood in a special relationship of trust. In or around May 2007, while Plaintiff was a minor under age 18, the Agents sent him an invitation to a networking event in the Hollywood Hills, California (the “Event”). Neither of the Agents attended or arranged a chaperone. At the Event, Defendant Sean Combs approached Plaintiff, made small talk about acting opportunities, guided him to a back room, shut the door, offered him alcohol (which Plaintiff sipped and felt the effects of), then began touching Plaintiff’s arm and body despite Plaintiff stating he was uncomfortable. Combs pulled down Plaintiff’s pants and underwear, fondled Plaintiff’s genitalia while touching himself, and performed oral copulation on the minor Plaintiff while continuing to touch himself. Combs then left the room. Plaintiff exited in shock and left the Event. The Agents allegedly knew or should have known of Combs’ sexually predatory propensities and prior misconduct, failed to vet the Event, warn Plaintiff or his guardian, supervise, or protect him, and allegedly conspired with Combs to create the Event as an opportunity for contact with minors. Entity Does and Industry Does failed to supervise, warn, control, chaperone, or protect Plaintiff. As a result, Plaintiff suffered extreme psychological harm, economic loss, professional ruin, and irreparable emotional trauma.
Prayer for Relief
Plaintiff prays for judgment against all Defendants for special and general damages in excess of the jurisdictional minimum according to proof; exemplary/punitive damages against all Defendants according to proof; prejudgment interest according to proof; costs of suit according to proof; attorney’s fees pursuant to Code of Civil Procedure § 1021.5; and any other and further relief as the Court deems just and proper. Plaintiff also demands a jury trial on all causes of action.
Causes of Action
FIRST CAUSE OF ACTION NEGLIGENCE
Against Defendants Diedre Lang, Amsel, Lang Talent, and DOES 1 through 100
FIRST CAUSE OF ACTION Negligence
(Against Defendants Diedre Lang, Amsel, Lang Talent, and DOES 1 through 100)
SECOND CAUSE OF ACTION CHILDHOOD SEXUAL ASSAULT
Civ. Code § 340.1 (Against ALL Defendants, and DOES 1 through 100)
SECOND CAUSE OF ACTION CHILDHOOD SEXUAL ASSAULT
(Civ. Code § 340.1) (Against ALL Defendants, and DOES 1 through 100)
THIRD CAUSE OF ACTION SEXUAL BATTERY
Against ALL Defendants, and DOES 1 through 100
THIRD CAUSE OF ACTION SEXUAL BATTERY
(Against ALL Defendants, and DOES 1 through 100)
FOURTH CAUSE OF ACTION INTENTIONAL INFLICTION OF EMOTIONAL DISTRESS
Against ALL Defendants, and DOES 1 through 100
FOURTH CAUSE OF ACTION INTENTIONAL INFLICTION OF EMOTIONAL DISTRESS
(Against ALL Defendants, and DOES 1 through 100)
FIFTH CAUSE OF ACTION FALSE IMPRISONMENT
Against All Defendants and DOES 1 through 100
FIFTH CAUSE OF ACTION FALSE IMPRISONMENT
(Against All Defendants and DOES 1 through 100)
SIXTH CAUSE OF ACTION VIOLATION OF THE RALPH CIVIL RIGHTS ACT
Cal. Civ. Code § 51.7 (Against ALL Defendants, and DOES 1 through 100)
SIXTH CAUSE OF ACTION VIOLATION OF THE RALPH CIVIL RIGHTS ACT
Cal. Civ. Code § 51.7 (Against ALL Defendants, and DOES 1 through 100)
SEVENTH CAUSE OF ACTION NEGLIGENT SUPERVISION OF A MINOR
Against all Defendants Amsel and Lang Talent and DOES 1 through 100
SEVENTH CAUSE OF ACTION NEGLIGENT SUPERVISION OF A MINOR
(Against all Defendants Amsel and Lang Talent and DOES 1 through 100)
EIGHTH CAUSE OF ACTION SEXUAL HARASSMENT UNDER CIVIL CODE § 51.9 et seq.
Against All Defendants and DOES 1 through 100
EIGHTH CAUSE OF ACTION SEXUAL HARASSMENT
CIVIL CODE § 51.9 et seq. (Against All Defendants and DOES 1 through 100)
Attorneys