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1 MARCO QUAZZO (SBN 142182)
mquazzo@bzbm.com
2 P. CASEY MATHEWS (SBN 311838) ELECTRONICALLY
cmathews@bzbm.com
3 BARTKO ZANKEL BUNZEL & MILLER F I L E D
A Professional Law Corporation Superior Court of California,
County of San Francisco
4 One Embarcadero Center, Suite 800
San Francisco, California 94111 08/13/2021
Clerk of the Court
5 Telephone: (415) 956-1900 BY: EDNALEEN ALEGRE
Facsimile: (415) 956-1152 Deputy Clerk
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Attorneys for Plaintiff and Cross-Defendant
7 281 ELLIS STREET, LLC
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9 SUPERIOR COURT OF THE STATE OF CALIFORNIA
10 COUNTY OF SAN FRANCISCO
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12 281 ELLIS STREET, LLC, a California Case No. CGC-20-586340
Limited Liability Company,
13 DECLARATION OF MARCO QUAZZO
Plaintiff, RE: COMPLIANCE WITH JUDICIAL
14 MEDIATION SCHEDULING
v.
15 Date: August 5, 2021
WATCHFUL, INC., a Delaware corporation; Time: 9:30 a.m.
16 and DOES 1 to 10, Dept.: 501
17 Defendants.
18 WATCHFUL, INC., a Delaware corporation,
Action Filed: September 1, 2020
19 Cross-Complainant, Trial Date: October 4, 2021
20 v.
21 281 ELLIS STREET, LLC, a California
Limited Liability Company; and ROES 1
22 to 20,
23 Cross-Defendants.
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2828.000/1651094.1 1 Case No. CGC-20-586340
DECLARATION OF MARCO QUAZZO RE: COMPLIANCE WITH JUDICIAL MEDIATION SCHEDULING
1 I, Marco Quazzo, declare:
2 1. I am an attorney in the law firm Bartko, Zankel, Bunzel & Miller, counsel of record
3 for Plaintiff and Cross-Defendant 281 Ellis Street, LLC (“281 Ellis”) in this action, and a member
4 in good standing of the California State Bar. I have personal knowledge of the following matters
5 and, if called as a witness herein, I could and would competently testify to the following.
6 2. I have complied with the Court’s ruling posted on August 4, 2021 by responding to
7 the e-mails sent by the Court’s case management department, which has now been provided with
8 multiple dates that both parties and their counsel are available for judicial mediation of this matter.
9 I declare under penalty of perjury under the laws of the State of California that the
10 foregoing is true and correct based upon my own personal knowledge and that this declaration was
11 executed this 13th day of August 2021, at San Francisco, California.
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13 ____________________________________
MARCO QUAZZO
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2828.000/1651094.1 2 Case No. CGC-20-586340
DECLARATION OF MARCO QUAZZO RE: COMPLIANCE WITH JUDICIAL MEDIATION SCHEDULING
1 PROOF OF SERVICE
2 281 Ellis Street, LLC v. Watchful, Inc. and Related Cross-Action
Case No. CGC-20-586340
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At the time of service, I was over 18 years of age and not a party to this action. My
4 business address is One Embarcadero Center, Suite 800, San Francisco, CA 94111.
5 On August 13, 2021, I served a true copy of the following document(s) described as
DECLARATION OF MARCO QUAZZO RE: COMPLIANCE WITH JUDICIAL
6 MEDIATION SCHEDULING on the interested parties in this action as follows:
7 Matthew J. Gluck, Esq.
litigation@gluckdaniel.com
8 GLUCK DANIEL LLP
201 Mission Street, Suite 1330
9 San Francisco, CA 94105
Tel: (415) 510-2114
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Attorneys for Defendant and
11 Cross-Complainant WATCHFUL, INC.
12 BY ELECTRONIC SERVICE: I electronically served the document(s) described above
via File & ServeXpress, on the recipients designated on the Transaction Receipt located on the
13 File & ServeXpress website (https://secure.fileandservexpress.com) pursuant to the Court Order
establishing the case website and authorizing service of documents.
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I declare under penalty of perjury under the laws of the State of California that the
15 foregoing is true and correct.
16 Executed on August 13, 2021, at Martinez, California.
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2828.000/1651094.1 3 Case No. CGC-20-586340
DECLARATION OF MARCO QUAZZO RE: COMPLIANCE WITH JUDICIAL MEDIATION SCHEDULING