Board Meeting Agenda (Mar. 19, 2025 @ 10:30 a.m.)

LSBPSE • March 19, 2025

Meeting Agenda

1. Call to Order

2. Roll Call

3. Pledge of Allegiance

4. Public Introductions/Comments/Questions

5. Review and Approve Minutes for Board Meeting on 2/19/25

6. Executive Secretary Report

7. Committee Updates

Finance Committee – Dynette Burke

Ethics Committee – Ritchie Rivers

Legislative Committee – Forrest Hise

8. Consideration of New Applications (Julie Fisher)

a. Qualifying Agent Applications

i. Candace Eikner – Andy Frain Services Inc.

b. Company Applications

i. Cerberus Security LLC – Brett Bishop, Stephen Parent, Anthony Lazkowicz

ii. S&S Investigations & Security, Inc. - Sherman Moore

iii. Kennedy International Logistics & Services, LLC – Laurence Kennedy

iv. Crimson Consulting LLC – John Hindy

v. Braven Management LLC – Haden Byrd

vi. Peoples Protection LLC  – Edward Peoples

c. Instructor Applications

i. Michael McDougall – Classroom In-House – Allied Universal Event Services

9. Executive Session (The Board may go into executive session to deliberate, pursuant to La. R.S. 42:17(A)(1), which allows the Board to go into executive session to discuss the character, professional competence, or physical or mental health of a person.)

a. New Consent Agreements

i. Consent Agreement presented for approval regarding Steven Reffit, individually and/or doing business as

Allied Universal Security Services (538).

ii. Consent Agreement presented for approval regarding Christina Mendel, individually and/or doing business as

Brinks, Inc. (225 & 225-B).

iii. Consent Agreement presented for approval regarding Joe Saba, individually and/or doing business as C13 LC

(PSE-23-CO-005).

iv. Consent Agreement presented for approval regarding David Burtwell, individually and/or doing business as

Contingency Consulting LLC (PSE-23-CO-015).

v. Consent Agreement presented for approval regarding Lameika Washington, individually and/or doing business

as Diamond Security Services Inc. (PSE-19-CO-002).

vi. Consent Agreement presented for approval regarding Jamie Ridenhour, individually and/or doing business as

DSI Security Services (455).

vii. Consent Agreement presented for approval regarding Gail Arrington, individually and/or doing business as

Dynamic Security, Inc. (373).

viii. Consent Agreement presented for approval regarding Russel Wodjac, individually and/or doing business as

Elite Sentry, Inc. D/B/A Sentry Security (375).

ix. Consent Agreement presented for approval regarding Bill McClure, individually and/or doing business as

Global Security Corporation (875).

x. Consent Agreement presented for approval regarding Abeer Yacoub, individually and/or doing business as

Jaguar Security and Investigations Corp (PSE-21-CO-008).

xi. Consent Agreement presented for approval regarding Samuel Rumpf, individually and/or doing business as

Job1USA, Inc. (1003).

xii. Consent Agreement presented for approval regarding Jessica Haygood, individually and/or doing business as

Lofton Security Service Inc. (565).

xiii. Consent Agreement presented for approval regarding Deborah Young, individually and/or doing business as

National Alliance Security Agency Inc (784).

xiv. Consent Agreement presented for approval regarding Helen Smith, individually and/or doing business as

Professional Security Agency (507).

xv. Consent Agreement presented for approval regarding William “Bill” Murphy Jr, individually and/or doing

business as Security Alliance, LLC (675).

xvi. Consent Agreement presented for approval regarding Andy Saul, individually and/or doing business as St.

Moritz Security Services Inc (800).

xvii. Consent Agreement presented for approval regarding Nicholas Teague, individually and/or doing business as

Texas Public Safety and Investigations (PSE-22-CO-021).

xviii. Consent Agreement presented for approval regarding Marcus Hayes, individually and/or doing business as

Trek Security Service LLC (1009).

b. Noncompliant Companies

i. Consideration of Ciera Murphy (PSE-20-07308), doing business as Bulldawg Security and Investigative Services

LLC (PSE-21-CO-010)

ii. Consideration of Peter Edwards (PSE-18-4301), individually and/or doing business as The Maccabees LLC

(PSE-20-CO-008).

10. Adjournment

June 4, 2026
To All Private Security Industry Stakeholders, We hope this letter finds you well. We are writing to inform company owners on specific requirements for security officers in their employment. Specifically, a company cannot hire a security officer as a 1099 worker. The security officer must be a W-2 employee. Louisiana R.S. 37:3272(A) (18) defines a security officer as “an individual who is employed by a contract security company whether armed or unarmed, to protect a person or persons or property or both…” The U.S. Department of Labor addresses the difference between 1099 and W-2 workers. According to the final rule on Employee and Independent Contractor Classification Under the Fair Labor Standards Act, RIN 1235-AA43, independent contractors are workers “who, as a matter of economic reality, are not economically dependent on an employer for work and are in business for themselves”. This is in contrast to the Fair Labor Standards Act (FLSA)’s definition of employers, employees, and employ. RIN 1235-AA43 defines “Employer” as “any person acting directly or indirectly in the interest of an employer in relation to an employee,” “employee” as “any individual employed by an employer,” and “employ” as “to include to suffer or permit to work.”  The IRS considers 1099 individuals as independent contractors who are self-employed. More specifically, under IRS definition, a person is not an independent contractor if they perform services that can be controlled by an employer (e.g., what will be done and how it will be done). This applies even if the person is given freedom of action. What matters is that the employer has the legal right to control the details of how the services are performed. If an employer-employee relationship exists (regardless of what the relationship is called), then the individual is not an independent contractor but rather an employee whose earnings, benefits, and other deductions must be reported on a W-2 form. Furthermore, the only subcontractor relationship allowed by the Louisiana Private Contract Security Licensing and Regulatory Law is when one licensed company acts as a subcontractor to another. This is because individuals classified as independent contractors would not be covered under a company’s general liability insurance coverage and thus be liable should they be involved in an incident. Therefore, all security officers in the state of Louisiana must be employees of private contract security companies pursuant to state and federal laws and rules. Companies who currently have 1099 independent contractors performing private security services must immediately transition their personnel to W-2 employees or provide us in writing a detailed timeline for accomplishing this transition. Failure to inform the board of this timeline or comply with the provisions of this letter may cause a company to be in violation of Louisiana R.S. 37:3282 and Title 46, Chapter 9, §903 of the Louisiana Administrative Code, which may result in fines being issued for a company or LSBPSE taking action to suspend or revoke a company license. Our primary goal in outlining this policy is to ensure accountability among private contract security companies and the public and, most importantly, protect individuals, companies, and the public should an incident occur. We are committed to working closely with you to ensure these standards are met and maintained. Thank you for your continued cooperation and dedication to upholding the standards of our industry. Please feel to reach out to us should you have any questions. Sincerely, Carl Saizan (Ret. LSP Major) Executive Director Louisiana State Board of Private Security Examiners