Preview
CM-015
ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, State Bar number, and address): FOR COURT USE ONLY
Brian E. Hamilton SNB: 295994
>-- ELECTRONICALLY FILED
Downey Brand LLP Superior Court of California
621 Capitol Mall, 18th Floor
County of Santa Barbara
Sacramento, CA 95814
TELEPHONE NO.: 916.444.1000 FAX NO. (Optional): 916.444.4100
Darrel E. Parker, Executive Officer
bhamilton@downeybrand.com
E-MAIL ADDRESS (Optional):
4/8/2022 3:57 PM
Petitioner Las Posas Basin Water Rights Coalition
ATTORNEY FOR (Name):
By: Narzralli Baksh, Deputy
SUPERIOR COURT OF CALIFORNIA, COUNTY OF Santa Barbara
STREET ADDRESS:1100 Anacapa Street
MAILING ADDRESS:
Santa Barbara, CA 93101
CITY AND ZIP CODE:
BRANCH NAME:
CASE NUMBER:
PLAINTIFF/PETITIONER: Las Posas Basin Water Rights Coalition 21CV03714
DEFENDANT/RESPONDENT: Fox Canyon Groundwater Management Agency JUDICIAL OFFICER:
Thomas P. Anderle
DEPT.:
NOTICE OF RELATED CASE 3
Identify, in chronological order according to date of filing, all cases related to the case referenced above.
1. a. Title: Las Posas Valley Water Rights Coalition, et al. v. Fox Canyon Groundwater Management Agency, et al.
b. Case number: VENCI0050970
c. Court: ~ same as above
â–¡ other state or federal court (name and address):
d. Department: 3
e. Case type:
â–¡ limited civil unlimited civil
â–¡ probate
â–¡ family law
â–¡ other (specify):
f. Filing date: March 27, 2018
g. Has this case been designated or determined as "complex?"
â–¡ Yes
â–¡ No
h. Relationship of this case to the case referenced above (check all that apply):
~ involves the same parties and is based on the same or similar claims.
~ arises from the same or substantially identical transactions, incidents, or events requiring the determination of
the same or substantially identical questions of law or fact.
~ involves claims against, title to, possession of, or damages to the same property.
~ is likely for other reasons to require substantial duplication of judicial resources if heard by different judges.
â–¡ Additional explanation is attached in attachment 1h
i. Status of case:
~ pending
â–¡ dismissed
â–¡ with
â–¡ without prejudice
â–¡ disposed of by judgment
2. a. Title: Las Posas Basin Water Rights Coalition v. Fox Canyon Groundwater Management Agency
b. Case number: 20CV02036
c. Court: same as above
other state or federal court (name and address):
d. Department: 3
Page 1 of 3
Form Approved for Optional Use Cal. Rules of Court, rule 3.300
Judicial Council of California NOTICE OF RELATED CASE www.courtinfo.ca.gov
CM-015 [Rev. July 1, 2007]
CM-015
PLAINTIFF/PETITIONER: Las Posas Basin Water Rights Coalition CASE NUMBER:
21CV03714
DEFENDANT/RESPONDENT: Fox Canyon Groundwater Management Agency
2. (continued)
e. Case type:
â–¡ limited civil unlimited civil
â–¡ probate
â–¡ family law
â–¡ other (specify):
f. Filing date: June 10, 2020
g. Has this case been designated or determined as "complex?" ~ Yes â–¡ No
h. Relationship of this case to the case referenced above (check all that apply):
involves the same parties and is based on the same or similar claims.
arises from the same or substantially identical transactions, incidents, or events requiring the determination of
the same or substantially identical questions of law or fact.
involves claims against, title to, possession of, or damages to the same property.
is likely for other reasons to require substantial duplication of judicial resources if heard by different judges.
â–¡ Additional explanation is attached in attachment 2h
i. Status of case:
pending
dismissed
â–¡ with
â–¡ without prejudice
disposed of by judgment
3. a. Title:
b. Case number:
c. Court:
â–¡ same as above
â–¡ other state or federal court (name and address):
d. Department:
e. Case type:
â–¡ limited civil
â–¡ unlimited civil
â–¡ probate
â–¡ family law
â–¡ other (specify):
f. Filing date:
g. Has this case been designated or determined as "complex?"
â–¡ Yes
â–¡ No
h. Relationship of this case to the case referenced above (check all that apply):
â–¡ involves the same parties and is based on the same or similar claims.
â–¡ arises from the same or substantially identical transactions, incidents, or events requiring the determination of
the same or substantially identical questions of law or fact.
â–¡ involves claims against, title to, possession of, or damages to the same property.
â–¡ is likely for other reasons to require substantial duplication of judicial resources if heard by different judges.
â–¡ Additional explanation is attached in attachment 3h
i. Status of case:
â–¡ pending
â–¡ dismissed
â–¡ with
â–¡ without prejudice
â–¡ disposed of by judgment
4.
â–¡ Additional related cases are described in Attachment 4. Number of pages attached:
Date: April 8, 2022
Brian E. Hamilton 
(TYPE OR PRINT NAME OF PARTY OR ATTORNEY) (SIGNATURE OF PARTY OR ATTORNEY)
CM-015 [Rev. July 1, 2007] NOTICE OF RELATED CASE Page 2 of 3
CM-015
CASE NUMBER:
PLAINTIFF/PETITIONER: Las Posas Basin Water Rights Coalition
- 21CV03714
DEFENDANT/RESPONDENT: Fox Canyon Groundwater Management Agency
PROOF OF SERVICE BY FIRST-CLASS MAIL
NOTICE OF RELATED CASE
(NOTE: You cannot serve the Notice of Related Case if you are a party in the action. The person who served the notice must
complete this proof of service. The notice must be served on all known parties in each related action or proceeding.)
1. I am at least 18 years old and not a party to this action. I am a resident of or employed In the county where the mailing took
place, and my residence or business address is (specify):
2. | served a copy of the Notice of Related Case by enclosing it in a sealed envelope with first-class postage fully
prepaid and (check one):
a.
â–¡ deposited the sealed envelope with the United States Postal Service.
b.
â–¡ placed the sealed envelope for collection and processing for mailing, following this business's usual practices,
with which I am readily familiar. On the same day correspondence is placed for collection and mailing, it is
deposited in the ordinary course of business with the United States Postal Service.
3. The Notice of Related Case was mailed:
a. on (date):
b. from (city and state):
4. The envelope was addressed and mailed as follows:
a. Name of person served: c. Name of person served:
Street address: Street address:
City: City:
State and zip code: State and zip code:
b. Name of person served: d. Name of person served:
Street address: Street address:
City: City:
State and zip code: State and zip code:
â–¡ Names and addresses of additional persons served are attached. (You may use form POS-030(P).)
I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct.
Date:

(TYPE OR PRINT NAME OF DECLARANT) (SIGNATURE OF DECLARANT)
CM-015 [Rev. July 1, 2007] NOTICE OF RELATED CASE Page 3 of 3
1 PROOF OF SERVICE
2 Las Posas Basin Water Rights Coalition v. Fox Canyon Groundwater Management Agency
Case No. 21CV03714
3
STATE OF CALIFORNIA, COUNTY OF SACRAMENTO
4
At the time of service, I was over 18 years of age and not a party to this action. I am
5 employed in the County of Sacramento, State of California. My business address is 621 Capitol
Mall, 18th Floor, Sacramento, CA 95814.
6
On April 8, 2022, I served true copies of the following document(s) described as NOTICE
7 OF RELATED CASES on the interested parties in this action as follows:
8 SEE ATTACHED SERVICE LIST
9 BY E-MAIL OR ELECTRONIC TRANSMISSION: I caused a copy of the
document(s) to be sent from e-mail address cgermain@downeybrand.com to the persons at the e-
10 mail addresses listed in the Service List. I did not receive, within a reasonable time after the
transmission, any electronic message or other indication that the transmission was unsuccessful.
11
I declare under penalty of perjury under the laws of the State of California that the
12 foregoing is true and correct.
DOWNEY BRAND LLP
13 Executed on April 8, 2022, at Sacramento, California.
14
15
Catharine F. Germain
16
17
18
19
20
21
22
23
24
25
26
27
28
1 SERVICE LIST
Las Posas Basin Water Rights Coalition v. Fox Canyon Groundwater Management Agency
2 Case No. 21CV03714
3 Elizabeth P. Ewens Tiffany N. North
Timothy Taylor Jason T. Canger
4 Janeele S.H. Krattiger COUNTY OF VENTURA
Heraclio Pimentel 800 South Victoria Avenue, L/C #1830
5 STOEL RIVES LLP Ventura, CA 93009-1830
500 Capitol Mall, Suite 1600 tiffany.north@ventura.org
6 Sacramento, CA 95814 jason.canger@ventura.org
elizabeth.ewens@stoel.com
7 tim.taylor@stoel.com
janelle.krattiger@stoel.com
8 heraclio.pimentel@stoel.com
9
Attorneys for Respondent/Defendant Fox Canyon Groundwater Management Agency
10
11
12
DOWNEY BRAND LLP
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
2