On March 22, 2016 a
Clerk Notice
was filed
involving a dispute between
San Bernardino County Transportation Commision, A Public Agency,
and
All Persons Unknown Claiming An Interest In The Property,
Anelle, Catherine C,
Anelle, Renald J,
Bank Of America, National Association,
Bank Of New York Trust Company, As Trustee For Mogal Stanley Capital I, Inc.,
Behrens, Anne C.,
Behrens, Edward J.,
City Of Riverside,
Keeney, Candice L,
Keeney, Robert E,
Lasalle Banknational Association,
Morgan Stanley Capital I, Inc.,
Pacific Bell Telephone Company, A California Corporation,
Riverside Highland Water Co., A California Corporation,
Riverside Public Utilities,
Riverside Water Company,
Southern California Edison Company, A California Corporation,
Terrace Village Rv Park, Llc A California Limited Liability Company,
The Bank Of New York Mellon Trust Company National Association,
for Eminent Domain
in the District Court of San Bernardino County.
Preview
SUPERIOR COURT OF CALIFORNIA COUNTY OF SAN BERNARDINO
San Bernardino County Trans Commission CASE f CI DS 16043 I
vs CERTIFICATE OF ASSIGNMENT
Terrace Village RV Park LLC et al
A civil action or proceeding presented for filing must be accompanied by this Certificate If the ground is the
residence of a party name and residence shall be stated
The undersigned declares that the above entitled matter is filed for proceedings in the
Central District of the Superior Court under Rule 404 of this court for the
checked reason
General Collection
Nature of Action Ground
1 Adoption Petitioner resides within the district
2 Conservator Petitioner or conservatee resides w ithin the district
3 Contract Performance in the district is expressly provided for
4 Equity The cause of action arose within the district
0 5 Eminent Domain The property islocated within the district
6 Family Law Plaintiff defendant petitioner or respondent resides within the district
7 Guardianshi p Petitioner or ward resides within the district or has property within the district
8 Harassment Plaintiff defendant petitioner or respondent resides within the district
9 Mandate The defendant functions wholly within the district
10 Name Change The petitioner resides within the district
11 Personal Injury The injury occurred within the district
12 Personal Property The property islocated within the district
13 Probate Decedent resided or resides w ithin the district or had property within the
district
14 Prohibition The defendant functions wholly within the district
15 Review The defendant functions wholly within the district
16 Title to Real Property The property islocated within the district
17 Transferred Action The lower court is located within the district
18 Unlawful Detainer The property islocated within the district
19 Domestic Violence The petitioner defendant plaintiff or respondent resides within the district
20 Other
21 THIS FILING WOULD NORMALLY FALL WITHIN JURISDICTION OF SUPERIOR COURT
The address of the accident performance party detention place of business or other factor which qualifies
this case for filingin the above designed districtis
The subject property is located at 21900 Barton Road
NAME INDICATETITLE OROTHER QUALIFYING FACTOR ADDRESS
Grand Terrace CA 92313
CITY STATE ZIP CODE
I declare under penalty of perjury that the foregoing is true and correct a is declaration was executed
on
March fQ zo s at Costa Mesa Cali fornia
Signature ofAttomey Party
CERTIFICATE OF ASSIG ENT
13 16503 360 Rev 06 2014
Document Filed Date
March 22, 2016
Case Filing Date
March 22, 2016
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