arrow left
arrow right
  • GARCIA'S QUALITY FRUIT & PRODUCE, LLC VS. CHRIS DAMON, INDIVIDUALLY AND D/B/A PRODUCE CONNECTION, INC., JOHN MEENA, INDIVIDUALLY AND D/B/A PRODUCE CONNECTION, INC., JOSE GARCIA, INDIVIDUALLY AND D/B/A PRODUCE CONNECTION, INC.Contract - Consumer/Commercial/Debt (OCA) document preview
  • GARCIA'S QUALITY FRUIT & PRODUCE, LLC VS. CHRIS DAMON, INDIVIDUALLY AND D/B/A PRODUCE CONNECTION, INC., JOHN MEENA, INDIVIDUALLY AND D/B/A PRODUCE CONNECTION, INC., JOSE GARCIA, INDIVIDUALLY AND D/B/A PRODUCE CONNECTION, INC.Contract - Consumer/Commercial/Debt (OCA) document preview
						
                                

Preview

Electronically Filed 1/28/2021 8:51 AM Hidalgo County District Clerks No' C'lzgl'zo'fl Reviewed By: IrisRamirez GARCIA‘S QUALITY FRUIT & PRODUCE, LLC : IN THE DISTRICT COURT OF vs. : HIDALGO COUNTY, TEXAS JOHN L. MEENA AND CHRISTOPHER W. DAMON, INDIVIDUALLY AND DIBIA THE AVACADO : 389TH JUDICIAL DISTRICT CONNECTION, [NC NOTICE OF DELIVERY RE: Citrus Capital Corporation, Inc. (Business Records) 85 - ?QCMJ STD Rules of Civil Procedure, .Notary Public in and for the Stale of Texas, herebycertify pursuant to theRule 203, Texas l. That this Deposition by Written Questions ofJorge Afreno Rores, the Custodian of Records for the above named is a true and exact duplicate of therecords perlnining lo GARCIA'S QUALITY FRUIT & PRODUCE, LLC given by [he witness named was duly sworn by herein. nflcr said witness flh Q i Q [Q 03 e I ; 2. That thc transcriptisa true record of the testimony given by the witness; 3. That $ 116.00 isthe charge for the preparation of lhe completed Deposition by Written Questions and any copies of exhibits, charged lo Attorney for Plaintiff. Rolando Cantu, TBA # 00789201; 4. That the deposition transcript was submitted on 12/21/2020 9:00AM 10 the witness for examination, signatureand rclurn lo theofficer by a specified date; 5. That changes, ifany made by the witness, and otherwise arc allachcd thereto or incorporated therein; in the transcript 6. That the witness returned thetranscript; 7. That the original depositionby Written Questions and a copy thereof, together with copiesof all exhibits was delivered lo the attorney or partywho Noticed the first questions for safekeeping and use m trial; 8. That pursuant lo information made a pan of lhe records al thetime said testimony was lnkcn, lhc following includes allpanics of record: Bart M. Betta, Esq. (Rynn 8: Jnnowsky, LLP) Nicondrn Chargois-Allen (Davidson Troilo Ream & Garza, P.C.) Rolando Cantu (The Law Office of Rolando Cantu) and 9. A copy of lhis Notice of Delivery was served on all parties shown herein. GIVEN UNDER MY HAND AND SEAL 0F OFFICE 0N THIS THE Proactive Legal Solutions 440 Benmar Drive, Suite 3000 S day ar, 6 AZ y 202—0. Houston, TX 77060 Notary Public in 1nd for the Staleof Texas 832-209-7760 Fax 832-209-7767 r-h-h r‘ ' ¢~gg””gr, B J FRAUSTO " %0:Notary Pubhc Slate ofTexas r +'- Comm. .-,- Expires 03- 11 -2024 Ext’7xs 191’s m“ W’IIII Notary ID 10971763 \Q’H"