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  • Hulad Ahmed Saleh vs. Hliam Ahmed Saleh, et al.Other Collections Unlimited (09) document preview
  • Hulad Ahmed Saleh vs. Hliam Ahmed Saleh, et al.Other Collections Unlimited (09) document preview
  • Hulad Ahmed Saleh vs. Hliam Ahmed Saleh, et al.Other Collections Unlimited (09) document preview
  • Hulad Ahmed Saleh vs. Hliam Ahmed Saleh, et al.Other Collections Unlimited (09) document preview
						
                                

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MC-052 ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, state bar number, and address): FOR COURT USE ONLY Vincent T. Martinez, Twitchell and Rice, LLP SBN: 174157 TWITCHELL & RICE LLP 215 N. Lincoln Street, P. O. Box 520 Santa Maria, CA 93458 TELEPHONE NO: (805) 925-2611 FaxNo: (805) 925-1635 ATTORNEY FOR (Name): Saleh Ahmed Saleh. Name of court: Superior Court of California streeTaporess: 1200 Aguajito Rd. maine aooress: 1200 Aguajito Rd. erry ano ziP CoE: Monterey, 93940 BRANCH NAME: Monterey Courthouse . i CASE NUMBER: CASE NAME: Hulad Abmed Saleh v. Hiliam Ahmed Saleh, Saleh Ahmed Saleh and Star 1 21CV001545 HEARING DATE: October 28, 2022 DEPT: 15, TIME: 8:30 a.m. BeFoRE HON: Thomas W. Wills DATE ACTION Fiteo: August 25, 2022 ‘TRIAL DATE: 1. Attorney and Represented Party. Attorney (name): Vincent T. Martinez, Twitchell and Rice, LLP is presently counsel of record for (name of party): Saleh Ahmed Saleh in the above-captioned action or proceeding. DECLARATION IN SUPPORT OF ATTORNEY'S MOTION TO BE RELIEVED AS COUNSEL—CIVIL 2. Reasons for Motion. Attomey makes this motion to be relieved as counsel under Code of Civil Procedure section 284(2) instead of filing a consent under section 284(1) for the following reasons (describe): Defendant Saleh Ahmed Saleh has communicated to Vincent T. Martinez, he does not want Vincent T. Martinez from Twitchell and Rice, LLP to represent him. Defendant Saleh Ahmed Saleh was provided with a Substitution of Attomey form for his signature, but as of the date of filing this Petition, he has not signed nor returned the Substitution of Attorney. If the Court requires additional information regarding the Substitution of Attorney, it is requested that this Court speak with counsel in private. (J) Continued on Attachment 2. 3. Service a. Attorney has (1) personally served the client with copies of the motion papers filed with this declaration. A copy of the proof of service will be filed with the court at least 5 days before the hearing. (2) [EX] served the client by mail at the client's last known address with copies of the motion papers served with this declaration. b. If the client has been served by mail at the client's last known address, attomey has (1) [5X] confirmed within the past 30 days that the address is current (a)] by mail, retum receipt requested. (b) by telephone. (c) by conversation. (d) EX] by other means (specify): electronic mail (Continued on reverse) Page 1 of 2 Form Adopted for Mandatory Use DECLARATION IN SUPPORT OF ATTORNEY'S Ca Coen le S308 MG‘052 Rev. deruary 1, 2007] MOTION TO BE RELIEVED AS COUNSEL—CIVIL vir courinfo.ca gov ‘Westlaw Doc & Form BulldemMG-052 CASE NAME: Hulad Ahmed Saleh v. Hiliam Ahmed Saleh, Salch Ahmed Saleh and CASE NUMBER: Star 1 Petroleum, Inc., a California Corporation and Does 1 through 100 21CV001545 3. b. (2)[_] been unable to confirm that the address is current or to locate a more current address for the client after making the following efforts: (a) [_] mailing the motion papers to the client's last known address, return receipt requested. (b) calling the client's last known telephone number or numbers. (c) contacting persons familiar with the client (specify): (d) [_] conducting a search (describe): (e)[] other (specify): c. Even if attomey has been unable to serve the client with the moving papers, the court should grant attorney's motion to be relieved as counsel of record (explain): 4. The next hearing scheduled in this action or proceeding a. |X] is not yet set. b. is set as follows (specify the date, time, and place): c. [__] concerns (describe the subject matter of the hearing): Continued on Attachment 4. 5. The following additional hearings and other proceedings (including discovery matters) are presently scheduled in this case (for each, describe the date, time, place, and subject matter): [J Continued on Attachment 5. 6. this action or proceeding is not yet set. is set as follows (specify the date, time, and place): Ti a. b. 7. Other. Other matters that the court should consider in determining whether to grant this motion are the following (explain): Trial was originally scheduled and the matter was to be resolved in a settlement agreement. | declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. Date: August 25, 2022 Vincent T. Martinez Lea TIVE OR PRINT NAME} Coomrunsorntnam 8. Number of pages attached: 0 MC-082 (Rev. January 1, 2007 DECLARATION IN SUPPORT OF ATTORNEY'S Page 2 of 2 MOTION TO BE RELIEVED AS COUNSEL—CIVIL