Plaintiff
- Name: Dilenia Paguada
- Filing date: September 25, 2020
- State of filing: New York
Defendant
- Name: Dallas Cowboys Pro Shops L.P.
- Website: www.shop.dallascowboys.com
- Industry: Consumer Goods
- Summary: The Dallas Cowboys are a professional American football team based in the Dallas–Fort Worth metroplex.
Case Summary
On September 25, 2020, Dilenia Paguada filed a Complaint in New York Federal court against Dallas Cowboys Pro Shops L.P. . Plaintiff Dilenia Paguada alleges that www.shop.dallascowboys.com is not accessible per the WCAG 2.1 accessibility standard(s).
Case Details
Plaintiff alleges issues in its Complaint including the following:
- Many features on the Website lacks alt. text
- Many features on the Website also fail to contain a proper label element or title attribute for each field.
- Many pages on the Website also contain the same title elements.
- The Website also contains a host of broken links
- The Website does not provide a text equivalent for every non-text element
- The purpose of each link cannot be determined from the link text alone or from the link text and its programmatically determined link context
- Web pages lack titles that describe their topic or purpose
- Headings and labels do not describe topic or purpose
- Keyboard user interfaces lack a mode of operation where the keyboard focus indicator is visible
- The default human language of each web page cannot be programmatically determined
- The human language of each passage or phrase in the content cannot be programmatically determined
- Labels or instructions are not always provided when content requires user input
- Text cannot be resized up to 200 percent without assistive technology so that it may still be viewed without loss of content or functionality
- A mechanism is not always available to bypass blocks of content that are repeated on multiple web pages
- A correct reading sequence is not provided on pages where the sequence in which content is presented affects its meaning
Plaintiff asserts the following cause(s) of action in its Complaint:
- VIOLATIONS OF THE ADA, 42 U.S.C. § 12181 et seq
- VIOLATIONS OF THE NYCHRL
- DECLARATORY RELIEF
Plaintiff seeks the following relief by way of its Complaint:
- A preliminary and permanent injunction to prohibit Defendant from violating the Americans with Disabilities Act, 42 U.S.C. §§ 12182, et seq., N.Y.C. Administrative Code § 8-107, et seq., and the laws of New York
- A preliminary and permanent injunction requiring Defendant to take all the steps necessary to make its Website into full compliance with the requirements set forth in the ADA, and its implementing regulations, so that the Website is readily accessible to and usable by blind individuals
- A declaration that Defendant owns, maintains and/or operates its Website in a manner that discriminates against the blind and which fails to provide access for persons with disabilities as required by Americans with Disabilities Act, 42 U.S.C. §§ 12182, et seq., N.Y.C. Administrative Code § 8-107, et seq., and the laws of New York
- An order certifying the Class and Sub-Classes under Fed. R. Civ. P. 23(a) & (b)(2) and/or (b)(3), appointing Plaintiff as Class Representative, and his attorneys as Class Counsel
- Compensatory damages in an amount to be determined by proof, including all applicable statutory and punitive damages and fines, to Plaintiff and the proposed class and subclasses for violations of their civil rights under New York City Human Rights Law and City Law
- Pre- and post-judgment interest
- An award of costs and expenses of this action together with reasonable attorneys’ and expert fees
- Such other and further relief as this Court deems just and proper.
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