Following Galarsa v. Dolgen California, LLC (2023) 88 Cal.App.5th 639 and Piplack v. In-N-Out Burgers (2023) 2023 Cal. App. LEXIS 166, this decision holds that plaintiff’s individual PAGA claims (i.e., those which are based on Lab. Code violations affecting the plaintiff) must be arbitrated. However, representative PAGA claims based on Lab. Code violations affecting only employees other than the plaintiff are not subject to arbitration, and the plaintiff does not lose standing to bring those claims even though his own have been referred to arbitration.