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  • NEIL B. GOODHUE VS. LAWRENCE METGER ET AL CONTRACT/WARRANTY document preview
  • NEIL B. GOODHUE VS. LAWRENCE METGER ET AL CONTRACT/WARRANTY document preview
  • NEIL B. GOODHUE VS. LAWRENCE METGER ET AL CONTRACT/WARRANTY document preview
  • NEIL B. GOODHUE VS. LAWRENCE METGER ET AL CONTRACT/WARRANTY document preview
						
                                

Preview

LIPTON & PIPER, LLP ARTHUR C. LIPTON, C.S.B. # 74710 JONATHAN L. PIPER, C.S.B. #225701 Flood Building-Suite 945 870 Market Street ELECTRONICALLY San Francisco, CA 94102 FILED Phone: (415) 362-6286 ‘Superior Court of Caltfornia, Fax: (415) 362-6819 County of San Francisco 03/29/2016 Attorneys for Defendants, Clerk of the Court LAWRENCE METZGER, LINDA HOLL Be leh ek and DENNIS HOLL ee SUPERIOR COURT OF THE STATE OF CALIFORNIA IN AND FOR THE COUNTY OF SAN FRANCISCO UNLIMITED JURISDICTION Case No.: CGC-15-546258 Reservation Number: 03290503-10 NEIL B. GOODHUE, as Trustee of the Sandringham Trust, dated August 14, 1999, Plaintiffs, NOTICE OF MOTION TO SET ASIDE RIGHT TO ATTACH ORDER vs. LAWRENCE METZGER, an individual, JAMES R. KLEYSTUBER, an individual, LINDA HOLL, an individual, DENNIS HOLL, an individual, and DOES 1-100 inclusive, Date: May 3, 2016 Time 9:30am Dept: 302 Defendants. meee TO ALL PARTIES AND TO THEIR RESPECTIVE ATTORNEYS OF RECORD: PLEASE TAKE NOTICE that on May 3, 2016, at 9:30 a.m. or as soon thereafter as the matter may be heard in Department 302 of the above-entitled court, Defendants, Lawrence Metzger and Linda Holl, (hereafter “Defendants”) will move the court for an order vacating the Right to Attach Orders issued on December 29, 2015. This motion will be made on the grounds that: (1) the moving papers for the Right to Attach Orders did not contain adequate evidence; and (2) the alleged debt owed by Defendants Holl and Metzger has been paid to Plaintiff, since the issuance of the Orders.yan ws This motion is further based upon this notice, the attached Memorandum of Points and Authorities, the Declaration of Arthur C. Lipton; and upon such further evidence and argument as may be presented prior to or at the time of hearing on the motion. Dated: March 29, 2016 Signed, LA Lipton, Cieeaaste Attorney for Defendants