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  • Las Posas Basin Water Rights Coalition vs Fox Canyon Groundwater Management AgencyUnlimited Other Petition (Not Spec) (43) document preview
  • Las Posas Basin Water Rights Coalition vs Fox Canyon Groundwater Management AgencyUnlimited Other Petition (Not Spec) (43) document preview
  • Las Posas Basin Water Rights Coalition vs Fox Canyon Groundwater Management AgencyUnlimited Other Petition (Not Spec) (43) document preview
  • Las Posas Basin Water Rights Coalition vs Fox Canyon Groundwater Management AgencyUnlimited Other Petition (Not Spec) (43) document preview
  • Las Posas Basin Water Rights Coalition vs Fox Canyon Groundwater Management AgencyUnlimited Other Petition (Not Spec) (43) document preview
  • Las Posas Basin Water Rights Coalition vs Fox Canyon Groundwater Management AgencyUnlimited Other Petition (Not Spec) (43) document preview
  • Las Posas Basin Water Rights Coalition vs Fox Canyon Groundwater Management AgencyUnlimited Other Petition (Not Spec) (43) document preview
  • Las Posas Basin Water Rights Coalition vs Fox Canyon Groundwater Management AgencyUnlimited Other Petition (Not Spec) (43) document preview
						
                                

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CIV-120 ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, State Bar number, and adrJTeSS): Brian E. Hamilton, SBN 295994 ELECTRONICALLY FILED Downey Brand, LLP 621 Capitol Mall, 181h Floor Superior Court of California Sacramento, CA 95814 County of Santa Barbara TELEPHONE NO.: 916.444.1000 FAX NO.: 916.444.2100 Darrel E. Parker, Executive Officer E-MAIL ADDRESS: bhamilton@downeybrand.com 6/6/2022 2:11 PM ATTORNEY FOR (Name):Plaintiffs Las Posas iBasin Water Rights Coalition By: Narzralli Baksh, Deputy SUPERIOR COURT OF CALIFORNIA, COUNTY OF STREET ADDRESS: 1100 Anacapa Street MAILING ADDRESS:1100 Anacapa Street CITY AND ZIP CODE: Santa Barbara, CA 93121 BRANCH NAME: Anacapa Division PLAINTIFF/PETITIONER: Las Posas Valley Water Rights Coalition DEFENDANT/RESPONDENT: Fox Canyon Groundwater Management Agency NOTICE OF ENTRY OF DISMISSAL AND PROOF OF SERVICE CASE NUMBER: D Personal Injury, Property Damage, or Wrongful Death 21CV03714 D Motor Vehicle D Other D Family law D Eminent Domain ~ other (specifvJ: Complaint For Declaratory Relief, Injunctive Relief, & Dama.oes TO ATTORNEYS AND PARTIES WITHOUT ATTORNEYS: A dismissal was entered in this action by the clerk as shown on the Request for Dismissal. (Attach a copy completed by the clerk.) Date: June 6, 2022 Brian E. Hamilton ~ (TYPE OR PRINT NAME OF ATTORNEY D PARTY WITHOUT ATTORNEY) (SIGNATURE) PROOF OF SERVICE 1. I am over the age of 18 and not a party to this cause. My residence or business address is: 621 Capitol Mall, 181h Floor, Sacramento, California 95814 2. ~ I am a resident of or employed in the county where the mailing occurred. I served a copy of the Notice of Entry of Dismissal and Request for Dismissal by mailing them, in a sealed envelope with postage fully prepaid, as follows: a. D I deposited the envelope with the United States Postal Service. b. ~ I placed the envelope for collection and processing for mailing following this business's ordinary practice with which I am readily familiar. On the same day correspondence is placed for collection and mailing, it is deposited in the ordinary course of business with the United States Postal Service. c. Date of deposit: June 6, 2022 d. Place of deposit (city and state): Sacramento, California e. Addressed as follows (name and address): See attached Service List. 3. D I served a copy of the Notice of Entry of Dismissal and Request for Dismissal by personally delivering copies as shown below: a. Name of person served: b. Address at which person served: c. On (date): d. At (time): 4.D I served a copy of the Notice of Entry of Dismissal and Request for Dismissal by electronically serving copies as shown below (complete if electronic service is used based on a court order or agreement of the parties): a. Name of person served: b. Electronic service address of person served: c. On (date): d. At (time): e. Electronic service address from which I served the documents: D Proof of electronic service is attached. 5. ~ Proof of service on additional parties is attached. I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. Date: June 6, 2022 Holly Mills (TYPE OR PRINT NAME) 1811369v1 Pa e10f1 Form Adopted far Mandatory Use Code Of Cillil Procedure, § 581 et seq.; Judicial Council of California NOTICE OF ENTRY OF DISMISSAL Cal. Rues Of Coin, nJe 3.1390 CIV-120 [Rev. January 1, 2012] AND PROOF OF SERVICE www.coults.ca.gov SERVICE LIST Las Posas Basin Water Rights Coalition v. Fox Canyon Groundwater Management Agency Case No. 21CV03714 Elizabeth P. Ewens Tiffany N. North Timothy Taylor Jason T. Canger Janeele S.H. Krattiger COUNTY OF VENTURA Heraclio Pimentel 800 South Victoria Avenue, L/C #1830 STOEL RIVES LLP Ventura, CA 93009-1830 500 Capitol Mall, Suite 1600 tiffany.north@ventura.org Sacramento, CA 95814 jason.canger@ventura.org elizabeth.ewens@stoel.com tim.taylor@stoel.com Attorneys for Respondent/Defendant Fox janelle.krattiger@stoel.com Canyon Groundwater Management Agency heraclio.pimentel@stoel.com Attorneys for Respondent/Defendant Fox Canyon Groundwater Management Agency Peter A. Goldenring Mark R. Pachowicz PACHOWICZ GOLDENRING, PLC 6050 Seahawk St. Ventura, CA 93003-6622 805-642-6702 peter@gopro-law.com Attorneys for Petitioner and Plaintiff Las Posas Basin Water Rights Coalition 1811372v1 CIV-110 ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, State Bar number, and address): Kevin M. O'Brien 122713 FOR COURT USE ONLY Downey Brand LLP ELECTRONICALLY FILED 621 Capitol Mall, 18th Floor Superior Court of California Sacramento, CA 95814 County of Santa Barbara TELEPHONE NO.: 916.444.1000 FAX NO. (Optional): 916.444.2100 Darrel E. Parker, Executive Officer kobrien@downeybrand.com E-MAIL ADDRESS (Optional): 5/31/2022 5:57 PM ATTORNEY FOR (Name):Plaintiffs Las Posas Basin Water Rights Coalition By: Johnny Aviles, Deputy SUPERIOR COURT OF CALIFORNIA, COUNTY OF Santa Barbara STREET ADDRESS: 1100 Anacapa Street MAILING ADDRESS:1100 Anacapa Street Santa Barbara 93121 CITY AND ZIP CODE: BRANCH NAME: Anacapa Division PLAINTIFF/PETITIONER: Las Posas Valley Water Rights Coalition DEFENDANT/RESPONDENT: Fox Canyon Groundwater Management Agency REQUEST FOR DISMISSAL CASE NUMBER:21CV03714 A conformed copy will not be returned by the clerk unless a method of return is provided with the document. This form may not be used for dismissal of a derivative action or a class action or of any party or cause of action in a class action. (Cal. Rules of Court, rules 3.760 and 3.770.) 1. TO THE CLERK: Please dismiss this action as follows: a. (1) With prejudice (2) Without prejudice b. (1) Complaint (2) Petition (3) Cross-complaint filed by (name): on (date): (4) Cross-complaint filed by (name): on (date): (5) Entire action of all parties and all causes of action (6) Other (specify):* 2. (Complete in all cases except family law cases.) The court did did not waive court fees and costs for a party in this case. (This information may be obtained from the clerk. If court fees and costs were waived, the declaration on the back of this form must be completed). Date: May 31, 2022 Kevin M. O'Brien  (TYPE OR PRINT NAME OF ATTORNEY PARTY WITHOUT ATTORNEY) (SIGNATURE) Attorney or party without attorney for: *If dismissal requested is of specified parties only of specified causes of action only, or of specified cross-complaints only, so state and identify the parties, causes Plaintiff/Petitioner Defendant/Respondent of action, or cross-complaints to be dismissed. Cross–Complainant TO THE CLERK: Consent to the above dismissal is hereby given.** Date:  (TYPE OR PRINT NAME OF ATTORNEY PARTY WITHOUT ATTORNEY) (SIGNATURE) Attorney or party without attorney for: ** If a cross-complaint – or Response (Family Law) seeking affirmative relief – is on file, the attorney for cross-complainant (respondent) must Plaintiff/Petitioner sign this consent if required by Code of Civil Procedure section 581 (i) or Defendant/Respondent (j). Cross–Complainant (To be completed by clerk) 4. X Dismissal entered as requested on (date): 5/31/2022 5 Dismissal entered on (date): as to only (name): 6. Dismissal not entered as requested for the following reasons (specify): X 5/31/2022 7. a. Attorney or party without attorney notified on (date): b. Attorney or party without attorney not notified. Filing party failed to provide a copy to be conformed means to return conformed copy /s/Johnny Aviles Date: Clerk, by , Deputy 5/31/2022 Page 1 of 2 Form Adopted for Mandatory Use Code of Civil Procedure, § 581 et seq.; Judicial Council of California REQUEST FOR DISMISSAL Gov. Code, § 68637(c); Cal. Rules of Court, rule 3.1390 CIV-110 [Rev. Jan. 1, 2013] www.courts.ca.gov CIV-110 PLAINTIFF/PETITIONER: Las Posas Valley Water Rights Coalition CASE NUMBER: DEFENDANT/RESPONDENT: Fox Canyon Groundwater Management Agency 21CV03714 COURT'S RECOVERY OF WAIVED COURT FEES AND COSTS If a party whose court fees and costs were initially waived has recovered or will recover $10,000 or more in value by way of settlement, compromise, arbitration award, mediation settlement, or other means, the court has a statutory lien on that recovery. The court may refuse to dismiss the case until the lien is satisfied. (Gov. Code, § 68637.) Declaration Concerning Waived Court Fees 1. The court waived court fees and costs in this action for (name): 2. The person named in item 1 is (check one below): a. not recovering anything of value by this action. b. recovering less than $10,000 in value by this action. c. recovering $10,000 or more in value by this action. (If item 2c is checked, item 3 must be completed.) 3. All court fees and court costs that were waived in this action have been paid to the court (check one): Yes No I declare under penalty of perjury under the laws of the State of California that the information above is true and correct. Date:  (TYPE OR PRINT NAME OF ATTORNEY PARTY MAKING DECLARATION) (SIGNATURE) CIV-110 [Rev. January 1, 2013] REQUEST FOR DISMISSAL Page 2 of 2 1 PROOF OF SERVICE 2 Las Posas Basin Water Rights Coalition v. Fox Canyon Groundwater Management Agency Case No. 21CV03714 3 STATE OF CALIFORNIA, COUNTY OF SACRAMENTO 4 At the time of service, I was over 18 years of age and not a party to this action. I am 5 employed in the County of Sacramento, State of California. My business address is 621 Capitol Mall, 18th Floor, Sacramento, CA 95814. 6 On May 31, 2022, I served true copies of the following document(s) described as 7 REQUEST FOR DISMISSAL on the interested parties in this action as follows: 8 SEE ATTACHED SERVICE LIST 9 BY MAIL: I enclosed the document(s) in a sealed envelope or package addressed to the persons at the addresses listed in the Service List and placed the envelope for collection and 10 mailing, following our ordinary business practices. I am readily familiar with the practice of Downey Brand LLP for collecting and processing correspondence for mailing. On the same day 11 that correspondence is placed for collection and mailing, it is deposited in the ordinary course of business with the United States Postal Service, in a sealed envelope with postage fully prepaid. I 12 am a resident or employed in the county where the mailing occurred. The envelope was placed in DOWNEY BRAND LLP the mail at Sacramento, California. 13 BY E-MAIL OR ELECTRONIC TRANSMISSION: I caused a copy of the 14 document(s) to be sent from e-mail address hmills@downeybrand.com to the persons at the e-mail addresses listed in the Service List. I did not receive, within a reasonable time after the 15 transmission, any electronic message or other indication that the transmission was unsuccessful. 16 I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. 17 Executed on May 31, 2022, at Sacramento, California. 18 19 20 Holly Mills 21 22 23 24 25 26 27 28 1 SERVICE LIST Las Posas Basin Water Rights Coalition v. Fox Canyon Groundwater Management Agency 2 Case No. 21CV03714 3 Elizabeth P. Ewens Tiffany N. North Timothy Taylor Jason T. Canger 4 Janeele S.H. Krattiger COUNTY OF VENTURA Heraclio Pimentel 800 South Victoria Avenue, L/C #1830 5 STOEL RIVES LLP Ventura, CA 93009-1830 500 Capitol Mall, Suite 1600 tiffany.north@ventura.org 6 Sacramento, CA 95814 jason.canger@ventura.org elizabeth.ewens@stoel.com 7 tim.taylor@stoel.com Attorneys for Respondent/Defendant Fox janelle.krattiger@stoel.com Canyon Groundwater Management Agency 8 heraclio.pimentel@stoel.com 9 Attorneys for Respondent/Defendant Fox Canyon Groundwater Management Agency 10 11 Peter A. Goldenring Mark R. Pachowicz 12 PACHOWICZ GOLDENRING, PLC DOWNEY BRAND LLP 6050 Seahawk St. 13 Ventura, CA 93003-6622 14 805-642-6702 peter@gopro-law.com 15 Attorneys for Petitioner and Plaintiff 16 Las Posas Basin Water Rights Coalition 17 18 19 20 21 22 23 24 25 26 27 28 2