arrow left
arrow right
  • James Irrigation District vs. Kings River Water Association06 Unlimited - Breach of Contract/Warranty document preview
  • James Irrigation District vs. Kings River Water Association06 Unlimited - Breach of Contract/Warranty document preview
  • James Irrigation District vs. Kings River Water Association06 Unlimited - Breach of Contract/Warranty document preview
  • James Irrigation District vs. Kings River Water Association06 Unlimited - Breach of Contract/Warranty document preview
  • James Irrigation District vs. Kings River Water Association06 Unlimited - Breach of Contract/Warranty document preview
  • James Irrigation District vs. Kings River Water Association06 Unlimited - Breach of Contract/Warranty document preview
						
                                

Preview

Aubre A. Mauritson (State Bar No. 272055) Josh .Fox (State Bar No. 282072) E-FILED RUDDELL, STANTON, BIXLER 7/12/2021 11:17 AM MAURITSON & EVANS, LLP 1102 North Chinowth Street Superior Court of California AWN Visalia, California 93291 County of Fresno Telephone: (559) 733-5770 By: C. York, Deputy FacSImile: (559) 733-4922 Email: amauritson@visalialaw.com; LII jfox@visalialaw.com Attorneys for Defendants TULARE LAKE BASIN WATER STORAGE DISTRICT, TULARE LAKE CANAL COMPANY, LOVELACE WATER CORPORATION, \OOOQON SOUTHEAST LAKE WATER COMPANY, CORCORAN IRRIGATION COMPANY, REED DITCH COMPANY, CRESCENT CANAL COMPANY and LEMOORE CANAL & IRRIGATION COMPANY 10 11 12 SUPERIOR COURT OF CALIFORNIA 13 COUNTY OF FRESNO ************************************* 14 JAMES IRRIGATION DISTRICT, Case No.: 19CECGOO769 15 Plaintiffs, PROOF 0F SERVICE BY MAIL AND l6 ELECTRONIC SERVICE vs. l7 KINGS RIVER WATER ASSOCIATION; 18 STEVE HAUGEN, solel in his official as Kin s River ater Master; 19BcaafiLL DI CH COMPANY, LOVELACE “L” WATER CORPORATION (fl(a CIRCLE 20 FARMS); CLARK’S FORK RECLAMATION DISTRICT NO. 2069; TULARE LAKE RECLAMATION DISTRICT NO. 761 (aka 21 COHN CENTRAL CONSOLIDATED DISTRICT NO. 761 ; CORCORAN 22 IRRIGATION CO PANY; CRESCENT CANAL COMPANY; EMPIRE WEST SIDE 23 IRRIGATION DISTRICT; JOHN HEINLEN MUTUAL WATER COMPANY; LAGUNA 24 IRRIGATION DISTRICT; LAST CHANCE WATER DITCH COMPANY; LEMOORE 25 CANAL & IRRIGATION COMPANY; LIBERTY CANAL COMPANY; LIBERTY 26 MILL RACE COMPANY; PEOPLES DITCH COMPANY; REED DITCH COMPANY; RIVERDALE IRRIGATION DISTRICT; 27 SOUTHEAST LAKE WATER COMPANY; STINSON CANAL & IRRIGATION 23 COMPANY; STRATFORD IRRIGATION l PROOF OF SERVICE DISTRICT; TRAN UILLITY IRRIGATION DISTRICT; TULA LAKE BASIN WATER STORAGE DISTRICT; TULARE LAKE CANAL COMPANY; UPPER SAN JOSE WATER COMPANY; and DOES 1 to 100, inclusive, Defendants. \OOOflQUl-leJN—n At the time of service, I was over 18 years of age and not a party to this action. I am employed in the County of Tulare, State of California. My business address is 1102 N. Chinowth Street, Visalia, California. On July 12, 2021, I served the Notice of Entry of Order Granting Attorney’s Motion to be Relieved as Counsel on the interested party in this action as follows: John Heinlen Mutual Water Company c/o Lemoore Canal & Irrigation Company P.O. Box 647 Lemoore, CA 93245 Attn: Ronnie Silva Email: lcic1902@vahoo.com 1. M: Ideposited such enveIOpe with the United States Postal Service, enclosed in a sealed envelope with postage thereon fully prepaid, in the United States Mail at Visalia, California. NNNNNNNHn—sr—Av—Av—to—tp—‘t—st—nn—I Iam readily familiar with the business practice at my place of business for collection and processing of correspondence for mailing with the United States Postal ggokl'lkaNI—‘OOOOQQM-hUJNF-‘O Service. Correspondence so collected and processed is deposited with the United States Postal Service that same day in the ordinary course of business. 2. By E-mail or Electronic Filing/Service: C.C.P Sec. 1010.6 and Ca.R.Ct. Rule 2.251. Based upon a court order, local Rules of Court, or an agreement of the parties to accept service by e-mail or electronic transmission, Icaused the document(s) to be sent to the person at the e-mail addresses listed above by electronically transmitting the document(s) listed above for service on the parties. I did not receive, within a reasonable time after the transmission, any electronic message or other indication that the transmission was unsuccessful. /// /// 2 PROOF OF SERVICE I declare under penalty of perjury under the laws of the State of California that the foregoing istrue and correct. ' Executed this 12‘" day ofJuly, 2021, at Vis ONNA DeSANTOS 10 11 13 14 15 16 17 18 19 20 21 22 23 25 26 27 3 PROOF OF SERVICE