In this case, an ambulance EMT challenged the constitutionality of Prop. 11 (Lab. Code 880 et seq.) which made ambulance employees remain reachable by a communication device during meal breaks and made that rule retroactive. Plaintiff sought a ruling from a second Court of Appeal after the Fourth District upheld the measure in Calleros v. Rural Metro of San Diego, Inc. (2020) 58 Cal.App.5th 660. This decision reaches the same conclusion as Calleros and affirms the trial court’s imposition of $2,000 in sanctions against plaintiff’s attorneys. finding no reasonable attorney would think Calleros was wrongly decided.