On April 15, 2020 a
Motion,Ex Parte
was filed
involving a dispute between
Schmid, Astrid,
Schmid, Frear Stephen,
and
County Of Sonoma,
Two Rock Fire Dept,
for 26: Unlimited Other Real Property
in the District Court of Sonoma County.
Preview
1 William L. Adams, Esq. (SBN 166027
JOHNSTON | THOMAS, Attorneys at Law, P.C.
2 1400 N. Dutton Avenue, Suite 21
Santa Rosa, California 95401
3 Phone (707) 545-6542
Facsimile (707) 545-1522
4 E-mail: wadams@johnstonthomas.com
5 Counsel for Defendant
TWO ROCK VOLUNTEER FIRE DEPARTMENT
6
Counsel for Defendant
7 THOMPSONGAS, LLC in Case No. SCV-270322
8
9 SUPERIOR COURT OF THE STATE OF CALIFORNIA
10 IN AND FOR THE COUNTY OF SONOMA
11 FREAR STEPHEN SCHMID AND Case No. SCV-266225 and
ASTRID SCHMID, consolidated action SCV-266731
12
Plaintiffs,
13 PROOF OF SERVICE
vs.
14
15 TWO ROCK VOLUNTEER FIRE Hearing Date:
DEPARTMENT, A California Nonprofit Public Time: 3:00 p.m.
16 Benefit Corporation, Dept: 19
Judge: Hon. Gary Nadler
17 Defendant.
Trial Date: November 4, 2022
18
19 AND CONSOLIDATED ACTION.
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DECLARATION OF WILLIAM L. ADAMS IN SUPPORT OF JOINDER IN COUNTY OF SONOMA’S
MOTION TO VACATE TRIAL DATE; RE-OPEN DISCOVERY; AND CONSOLIDATE ACTIONS
1 PROOF OF SERVICE
Schmid v. Two Rock Volunteer Fire Department.
2 Sonoma County Superior Court Case No. SCV266225 consolidated action SCV266731
3 I, the undersigned, declare:
4 I am over the age of 18 and not a party to this action. I am employed in the county where the
mailing occurred and my business address is: Johnston | Thomas Attorneys at Law, PC, 1400 N.
5 Dutton Ave, Suite 21, Santa Rosa, Ca 95401.
6 On, May 6, 2022, I served the parties indicated below the foregoing documents(s) described
as:
7
TWO ROCK VOLUNTEER FIRE DEPARTMENT AND THOMPSONGAS
8 JOINDER TO DEFENDANT COUNTY OF SONOMA’S MOTION TO
VACATE TRIAL DATE; TO ESTABLISH CUT-OFF DATES AND RE-
9 OPEN DISCOVERY; AND TO CONSOLIDATE ACTIONS
10 DECLARATION OF WILLIAM L. ADAMS IN SUPPORT OF TWO ROCK
VOLUNTEER FIRE DEPARTMENT AND THOMPSONGAS JOINDER TO
11 DEFENDANT COUNTY OF SONOMA’S MOTION TO VACATE TRIAL DATE;
TO ESTABLISH CUT-OFF DATES AND RE-OPEN DISCOVERY; AND TO
12 CONSOLIDATE ACTIONS
13 On the parties involved addressed as follows:
14 Frear Stephen Schmid Plaintiff in Pro Per
7585 Valley Ford Road
15 Petaluma, CA 94952
frearschmid@aol.com
16
17 Michael A. King Counsel for Defendant County of Sonoma
Deputy County Counsel
18 County of Sonoma
575 Administration Drive, Room 105-A
19 Santa Rosa, CA 95403
Michael.King@sonoma-county.org
20
21 [X] BY ELECTRONIC SERVICE – Pursuant to Code of Civil Procedure section 1010.6 and
California Rules of Court section 2.251, I affected electronic service of the documents
22 indicated above to the email address(es) listed above by submitting an electronic PDF version
of the document(s) to Microsoft Outlook, through the user interface at johnstonthomas.com.
23 My eService address is: jschaap@johnstonthomas.com
24 I declare under penalty of perjury under the laws of the State of California that the above is
true and correct. Executed on May 6, 2022, at Santa Rosa, California.
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26
Jacqueline Schaap, Paralegal
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DECLARATION OF WILLIAM L. ADAMS IN SUPPORT OF JOINDER IN COUNTY OF SONOMA’S
MOTION TO VACATE TRIAL DATE; RE-OPEN DISCOVERY; AND CONSOLIDATE ACTIONS
Document Filed Date
May 06, 2022
Case Filing Date
April 15, 2020
Category
26: Unlimited Other Real Property
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