On March 04, 2015 a
Proof of Service
was filed
involving a dispute between
Diana P. Blum,
and
Palo Alto Foundation Medical Group, Inc.,
Palo Alto Medical Foundation,
Sutter Health,
for Wrongful Termination Unlimited(36)
in the District Court of Santa Clara County.
Preview
[___—, W,
MARCIE ISOM FITZSIMMONS (SBN: 226906)
2 0111
HIEU T. WILLIAMS (SBN: 280585) JAN -2 Pg,
' ‘
..
GORDON REES SCULLY MANSUKHANI, LLP
275 Battery Street, Suite 2000
San Francisco, CA 94111
FAX Telephone: (415) 986-5900
Facsimile: (415) 986-8054
Misom(w‘,gord0nrees.com
Hwilliams ordonrees.com
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Attorneys for Defendant
PALO ALTO FOUNDATION MEDICAL GROUP, INC.
QOQVO
SUPERIOR COURT OF CALIFORNIA
COUNTY OF SANTA CLARA Wm
10
11 DIANA P. BLUM, M.D., CASE NO. 115CV277582
2000
12 Plaintiff, PROOF OF SERVICE
94111
LLP
Suite 13 VS.
CA
Rees
Street,
14 SUTTER HEALTH, a California corporation;
& PALO ALTO FOUNDATION MEDICAL VVVVVVVVVVVVVV
GROUP, INC., a California corporation;
Francisco,
15
Gordon
Battery PALO ALTO MEDICAL FOUNDATION, a
16 California corporation; and DOES 1 through Trial Date: January 8, 2018
San
275
20, Department: TBD
17
Defendants.
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PROOF OF SERVICE
Diana P. Blum, MD. v. Sulter Health, et a1.
Santa Clara Superior Court Case No. 15CV277582
1
PROOF OF SERVICE
I am a resident of the State of California, over the age of 18 years, and not a party to the
within action. My business address is: Gordon Rees Seully Mansukhani, LLP, 275 Battery St.,
Suite 2000, San Francisco, California 941 1. On the date below, I served the within documents:
1
DEFENDANT PALO ALTO FOUNDATION MEDICAL GROUP’S OPPOSITION
TO PLAINTIFF ’5 MOTION TO QUASH DOCUMENTS TRIAL SUBPOENA
SERVED ON STEPHANIE RECOB
0°\]O\'Jl-l>
DECLARATION OF MARCIE FITZSIMMONS IN SUPPORT THEREOF
[PROPOSED] ORDER DENYING PLAINTIFF’S MOTION TO QUASI—I
DOCUMENTS TRIAL SUBPOENA SERVED 0N STEPHANIE RECOB
By Electronic Transmission: By transmitting via electronic mail the document(s)
\D listed above to the c-mail address(es) set forth below.
10 E] By Fed Ex: By placing a true copy thereof enclosed in a sealed envelope, at a station
designated for collection and processing of envelopes and packages for overnight
11
delivery by FedEx as part of the ordinary business practices of Gordon Rees Scully
Mansukhani, LLP described below, addressed as follows:
2000 12 By U.S. Mail: By placing the document(s) listed above in a sealed envelope with
941” postage thereon fully prepaid, in United States mail in the State of California at San
LLP
Suite
l3 Francisco, addressed as set forth below.
CA
Rees
Street, 14 Attorneys for Plaintiff Attorneys for Defendants Sutter Health
& Francisco,
Theresa J. Barta and Palo Alto Medical Foundation
Gordon
Battery
Law Offices of Theresa Barta Maiko Nakarai-Kanivas
16 5160 Campus Drive Littler Mendelson, I’.C.
San
275
Newport Beach, CA 92660 1255 'l‘rcat Blvd, Suite 600
17 Telephone: 949-833-3383 Walnut Creek, CA 94597
Facsimile: 949-209-2530 Telephone: 925-932-2468
18
Theresa@barta-law.com Facsimile: 925-946-9809
MNakarai@littler.com
19 MAMartinez@1ittler.com
Stephanie Recob
20 27 Woodland Avenue
Daly City, CA 94015
21 By Mail Only
22 I am readily familiar with the firm’s practice of collection and processing correspondence
for mailing. Under that practice it would be deposited with the U.S. Postal Service on that same
23 day with postage thereon fully prepaid in the ordinary course of business. I am aware that on
motion of the party served, service is presumed invalid if postal cancellation date or postage
24 meter date is more than one day after the date ofdeposit for mailing in affidavit.
I declare under penalty of perjury under the laws of the State of California that the above
25 is true and correct.
26 Executed on January 2, 2018, at San Francisco, California.
‘
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28 Mu Maw/A Meg Naizghi V
0
PROOF OF SERVICE
Document Filed Date
January 02, 2018
Case Filing Date
March 04, 2015
Category
Wrongful Termination Unlimited(36)
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