On February 11, 2014 a
Court Notice
was filed
involving a dispute between
J. L.,
J. L. Individual,
and
Blancas, David,
Monson-Sultana Joint Union Elementary School District,
Tulare County Board Of Education,
for 23 Unlimited - Other PI/PD/WD
in the District Court of Fresno County.
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1 Boris Treyzon, Esq. (SBN 188893)
btreyzon@actslaw.com
2 Douglas A. Rochen, Esq. (SBN 217231)
drochen@actslaw.com
3 Allyson Ostrowski, Esq. (SBN 229153)
aostrowski@actslaw.com
4 ABIR COHEN TREYZON SALO, LLP RECEIVED
16001 Ventura Blvd, Suite 200 6/23/2022 11:56 AM
5 Encino, California 91436 FRESNO COUNTY SUPERIOR COURT
Telephone: (424) 288-4367 I Fax: (424) 288-4368 By: A. Ramos, Deputy
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Attorneys for Plaintiff, J.L.
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SUPERIOR COURT OF THE STATE OF CALIFORNIA
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FOR THE COUNTY OF FRESNO
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10 J.L., an individual; CASE NO. 14CECG00396
11 Plaintiff,
12 vs. STIPULATION & ORDER THEREON
RE: USE OF PRIOR DEPOSITIONS
13 DAVID BLANCAS; an individual;
MONSON-SUL TANA JOINT UNION
14 ELEMENTARY SCHOOL DISTRICT, a
California governmental entity; TULARE
15 COUNTY BOARD OF EDUCATION, a
California governmental entity; and DOES
16 1 to 50, inclusive,
17 Defendants.
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Plaintiff J.L. and Defendant Monson-Sultana Joint Union Elementary School District
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through their undersigned counsel hereby stipulate and agree that:
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To save the parties and other witnesses time and expense, the prior deposition testimony
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22 of any and all parties and/or witnesses from any state court action relating to the alleged sexual
23 misconduct by David Blancas of a minor, can be admitted into evidence, be referred to, relied on
24 and used in, submitted to and disclosed to the Court or jury in connection with any motion,
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proceeding or trial in this action, as long as such deposition testimony is otherwise admissible
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under the rules of evidence that would apply if the deponent
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28 ///
-1-
STIPULATION & ORDER THEREON RE: USE OF PRIOR DEPOSITIONS
were testifying live in comt.
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3 DATED: June_, 22 2022 ABIR COHEN TREYZON SALO, LLP
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By:____________
6 Boris Treyzon, Esq.
Douglas A. Rochen,Esq.
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Allyson Ostrowski,Esq.
8 Attorneys for Plaintiff J.L.
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10 DATED: June'21- ,2022 WEAKLEY & ARENDT LLP
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�-,
12 �A�
By:--,v� --------------1'------
13 James D. Weakley,Esq.
Matthew Bunting,Esq.
14 Attorneys for Defendant Monson-Sultana Joint
Union Elementary School District
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ORDER
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Pursuant to the foregoing stipulation and good cause appearing, IT IS SO ORDERED.
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21 DATED: _______,2022
Judge of the Superior Court
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-2-
STIPULATION & ORDER THEREON RE: USE OF PRIOR DEPOSITIONS
Document Filed Date
June 23, 2022
Case Filing Date
February 11, 2014
Category
23 Unlimited - Other PI/PD/WD
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