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  • PHILLIP GARCIA VS. CARRIE WILSON, IN HER CAPACITCY AS TRUSTEE OF THE et al WRONGFUL EVICTION document preview
  • PHILLIP GARCIA VS. CARRIE WILSON, IN HER CAPACITCY AS TRUSTEE OF THE et al WRONGFUL EVICTION document preview
  • PHILLIP GARCIA VS. CARRIE WILSON, IN HER CAPACITCY AS TRUSTEE OF THE et al WRONGFUL EVICTION document preview
  • PHILLIP GARCIA VS. CARRIE WILSON, IN HER CAPACITCY AS TRUSTEE OF THE et al WRONGFUL EVICTION document preview
						
                                

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o ON Oo oOo kk WO ND = 10 Matthew K. Wisinski (SBN 195535) Dana L. Tom (SBN 263313) Katelyn M. Knight (SBN 264573) ELECTRONICALLY MURCHISON & CUMMING, LLP 275 Battery Street, Suite 850 FILED San Francisco, California 94111 Supertor Court of California, Telephone: (415) 524-4486 County of San Francisco poe 92/20/2037 (415) 524-0477 7 Facsimile: (415) 391-2058 PEELE eepuge tea E-Mail: = mwisinski@murchisonlaw.com dtom@murchisonlaw.com kknight@murchisonlaw.com Attorneys for Defendants ANGELO WILSON, CARRIE WILSON in her capacity as Trustee of the WILSON FAMILY TRUST, and SHAWN MARKHAM SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF SAN FRANCISCO PHILLIP GARCIA, CASE NO. CGC-14-538560 Plaintiff, DEFENDANTS' NOTICE OF MOTION TO CONTINUE TRIAL vs. Date: March 14, 2017 CARRIE WILSON, in her capacity as Time: 9:30 a.m. trustee of THE WILSON FAMILY TRUST, Dept.: 206 SHAUN MARKHAM, ERIKA MARKHAM, and ANGELO WILSON, and DOES 1-20, Action Filed: April 10, 2014 Trial Date: March 27, 2017 Defendants. TO ALL PARTIES AND THEIR COUNSEL OF RECORD HEREIN: PLEASE TAKE NOTICE that on March 14, 2017 at 9:30 a.m. or as soon thereafter as} may be heard in department 16 of the above-entitled court, Defendants SHAWN MARKHAM| and CARRIE WILSON as Trustee of the WILSON FAMILY TRUST will and hereby do move for a 180-day continuance of trial. This motion is made on the grounds that the complaint was} amended on February 10, 2017 to name CARRIE WILSON in her personal capacity as al 1 DEFENDANTS! NOTICE OF MOTION TO CONTINUE TRIALo ON Oo oOo kk WO ND = 10 defendant and additional time is needed to assess the amended complaint and file and appropriate motions related thereto, conduct discovery and prepare a defense. This motion will be based on the notice of motion and accompanying memorandum of points and authorities, the pleadings, papers, and records on file in this action, and such further oral and/or documentary evidence as may properly be before the Court at the time of| the hearing on the motion. DATED: February 10, 2017 MURCHISON & CUMMING, LLP Matthew K. Wisinski Dana L. Tom Katelyn M. Knight Attorneys for Defendants ANGELO WILSON, CARRIE WILSON in her capacity as Trustee of the WILSON FAMILY TRUST, and SHAWN MARKHAM 2 DEFENDANTS! NOTICE OF MOTION TO CONTINUE TRIAL