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  • ANTHONY E. HELD VS. TRACTOR SUPPLY COMPANY INJUNCTIVE RELIEF document preview
  • ANTHONY E. HELD VS. TRACTOR SUPPLY COMPANY INJUNCTIVE RELIEF document preview
  • ANTHONY E. HELD VS. TRACTOR SUPPLY COMPANY INJUNCTIVE RELIEF document preview
  • ANTHONY E. HELD VS. TRACTOR SUPPLY COMPANY INJUNCTIVE RELIEF document preview
						
                                

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Clifford A. Chanler, State Bar No. 135534 Laralei S. Paras, State Bar No. 203319 THE CHANLER GROUP 2560 Ninth Street ELECTRONICALLY Parker Plaza, Suite 214 FILED Berkeley, CA 94710 Superior Court of California, Telephone: (510) 848-8880 County of San Francisco Facsimile: (510) 848-8118 08/31/2018 clifford@chanler.com Clerk of the Court laralei@chanler.com epee Clerk Attorneys for Plaintiff ANTHONY E. HELD, PH.D., P.E. SUPERIOR COURT OF THE STATE OF CALIFORNIA CITY AND COUNTY OF SAN FRANCISCO UNLIMITED CIVIL JURISDICTION ANTHONY E. HELD, PH.D., P.E., | Case No. CGC-18-566691 Plaintiff, DECLARATION OF COUNSEL RE: COMPLIANCE WITH CAL. CODE v. REGS., TIT. 11 § 3000 ET SEQ. TRACTOR SUPPLY COMPANY; et al., Date: October 22, 2018 Time: 9:30 a.m. Dept. 302 Judge: Hon. Harold E. Kahn Defendants. Reservation No.: 08311022-02 DECLARATION RE: COMPLIANCE WITH CAL. CODE REGS. TIT. 11, § 3000 ET SEQ.I, Laralei S. Paras, declare that: 1, I represent Anthony E. Held, Ph.D., P.E., and am one of the attorneys of record in this action. I have personal knowledge of the facts set forth in this declaration and will competently testify to them if called upon to do so. 2. Ihave caused the Office of the Attorney General to be served with all documents required by of California Code of Regulations title 11, section 3000 et seq., in the manner prescribed by regulation or other guidance from that office. Pursuant to California Code of Regulations title 11, section 3003, the failure of the Attorney General to comment on a settlement shall not be construed as endorsement of, or concurrence in, the settlement. 3. More than forty-five (45) days will pass between the hearing date and service on the Attorney General with copies of the [Proposed] Consent Judgment and all moving and supporting papers filed in connection with this motion for judicial approval of the settlement. I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. Executed this 31" day of August 2018, at Berkeley, California.