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  • BEACON RESIDENTIAL COMMUNITY ASSOCIATION VS. CATELLUS THIRD AND KING LLC et al CONSTRUCTION document preview
  • BEACON RESIDENTIAL COMMUNITY ASSOCIATION VS. CATELLUS THIRD AND KING LLC et al CONSTRUCTION document preview
  • BEACON RESIDENTIAL COMMUNITY ASSOCIATION VS. CATELLUS THIRD AND KING LLC et al CONSTRUCTION document preview
  • BEACON RESIDENTIAL COMMUNITY ASSOCIATION VS. CATELLUS THIRD AND KING LLC et al CONSTRUCTION document preview
  • BEACON RESIDENTIAL COMMUNITY ASSOCIATION VS. CATELLUS THIRD AND KING LLC et al CONSTRUCTION document preview
  • BEACON RESIDENTIAL COMMUNITY ASSOCIATION VS. CATELLUS THIRD AND KING LLC et al CONSTRUCTION document preview
  • BEACON RESIDENTIAL COMMUNITY ASSOCIATION VS. CATELLUS THIRD AND KING LLC et al CONSTRUCTION document preview
  • BEACON RESIDENTIAL COMMUNITY ASSOCIATION VS. CATELLUS THIRD AND KING LLC et al CONSTRUCTION document preview
						
                                

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AN SUPERIOR COURT OF CALIFORNIA COUNTY OF SAN FRANCISCO Document Scanning Lead Sheet Nov-14-2011 2:57 pm Case Number: CGC-08-478453 Filing Date: Nov-14-2011 2:56 Juke Box: 001 Image: 03384367 ANSWER ‘EACON RESIDENTIAL COMMUNITY ASSOCIATION VS. CATELLUS THIRD AND KING LL 001C03384367 Instructions: Please place this sheet on top of the document to be scanned.Christian P. Lucia, Esq. (SBN - 203567) Denae M. Olivieri, Esq. (SBN - 209130) SELLAR HAZARD MANNING FICENEC & LUCIA A Professional Law Corporation 1800 Sutter Street, Suite 460 By. Concord, CA 94520 Telephone: (925) 938-1430 Facsimile: (925) 256-7508 Email: clucia@sellarlaw.com; dolivieri@sellarlaw.com Attorneys for: Cupertino Electric, Inc.; Creative Masonry, Inc; Carefree Toland Pools, Inc.; J, W. McClenahan, Inc.; Van-Mulder Sheet Metal, Inc.; N.V. Heathorn, Inc.; Critchfield Mechanical, Inc.; Bluc's Roofing Company; West Coast Protective Coatings; Allied Fire Protection; F. Rodgers Corporation f.k.a F. Rodgers Insulation Interior; Western Roofing Service 10 1 SUPERIOR COURT OF THE STATE OF CALIFORNIA 12 COUNTY OF SAN FRANCISCO 13 |] BEACON RESIDENTIAL COMMUNITY Case No.: CGC08-478453 ASSOCIATION 14 CAREFREE TOLAND POOLS, INC.’S Plaintiff, ANSWER TO CROSS-COMPLAINT OF 15 WEBCOR CONSTRUCTION, INC.; v. WEBCOR BUILDERS, INC.; WEBCOR 16 CONSTRUCTION, INC. dba WEBCOR CATELLUS THIRD AND KING, LLC, et al. BUILDERS on its own behalf and 17 erroneously sued as WEBCOR Defendants, CONSTRUCTION LP dba WEBCOR 18 BUILDERS WEBCOR CONSTRUCTION, INC.; WEBCOR BUILDERS, INC.; WEBCOR CONSTRUCTION, BY FAX INC. dba WEBCOR BUILDERS on its own behalf and erroncously sued as WEBCOR CONSTRUCTION LP dba WEBCOR BUILDERS Cross-Complainant, vy. SHOOTER & BUTTS, INC.; CAREFREE TOLAND POOLS, INC.; CREATIVE MASONRY, INC.; POMA CORPORATION; VAN-MULDER SHEET METAL, INC.; BLUE’S ROOFING COMPANY: ROOFING CONSTRUCTORS. INC, -1- CAREFREE TOLAND POOLS, INC,’S ANSWER TO CROSS-COMPLAINT OF WEBCOR CONSTRUCTION, INC.; WEBCOR BUILDERS, INC.,; WEBCOR CONSTRUCTION, INC. dba WEBCOR BUILDERS on its own behalf and erroneously sued as WEBCOR CONSTRUCTION LP dba WEBCOR BUILDERS 91394.doc Case No, CGC08-478453dba WESTERN ROOFING SERVICE; WEST COAST PROTECTIVE COATINGS, INC; F. RODGERS INSULATION RESIDENTIAL, F. RODGERS CORPORATION; N.V. HEATHORN, INC.; ARCHITECTURAL GLASS & ALUMINUM CO., INC.; ANNING-JOHNSON COMPANY; ALLIED FIRE PROTECTION; J.W. MCCLENAHAN CO.; CRITCHFIELD MECHANICAL, INC; CUPERTINO ELECTRIC, INC.: and ROES | to 50 inclusive Cross-Defendant CAREFREE TOLAND POOLS, INC. (hereinafter referred to as "this answering Cross-Defendant"), answering for itself alone, hereby answers the Cross-Complaint of Defendant and Cross-Complainant WEBCOR CONSTRUCTION, INC.; WEBCOR BUILDERS, JNC.; WEBCOR CONSTRUCTION, INC. dba WEBCOR BUILDERS on its own behalf and erroneously sued as WEBCOR CONSTRUCTION LP dba WEBCOR BUILDERS , (hereinafter referred to as “Defendant and Cross-Complainant”), as follows: GENERAL DENIAL Pursuant to the provisions of Code of Civil Procedure section 431.30, this answering Cross- Defendant denies generally and specifically each and every allegation contained in each cause of action of the Cross-Complaint and further denies that Defendant and Cross-Complainant has been damaged in any sums whaisoever, or at all. FIRST AFFIRMATIVE DEFENSE L The Cross-Complaint in its entirety and each and every cause of action therein, fails to state facts sufficient to constitute a cause of action against this answering Cross-Defendant. SECOND AFFIRMATIVE DEFENSE 2. As a further and separate affirmative defense to the Cross-Complaint, this answering Cross-Defendant alleges that any damage or injury allegedly suffered by Defendant and Cross- Complainant was proximately caused or contributed to by the negligence or fault of Defendant and Cross-Complainant’s agents, representatives and/or employees and this answering Cross-Defendant is informed and believes and thereon alleges that said party was careless and negligent. Thus, if -2- CAREFREE TOLAND POOLS, INC.’S ANSWER TO CROSS-COMPLAINT OF WEBCOR CON: STRUCTION, INC.; WEBCOR BUILDERS, INC.; WEBCOR CONSTRUCTION, INC. dba WEBCOR BUILDERS on its own behalf and erroneously sued as WEBCOR CONSTRUCTION LP dba WEBCOR BUN DERS 91394.doc. Case No, CGC08-478453Defendant and Cross-Complainant is entitled to recover at all for any damages alleged, such recovery must be diminished to the extent that said damages are attributable to the negligence of Defendant and Cross-Complainant’s agents, representatives and/or employees. THIRD AFFIRMATIVE DEFENSE 3. As a further and separate affirmative defense to the Cross-Complaint, this answering Cross-Defendant alleges that any injuries and damages suffered by Defendant and Cross-Complainant, other parties, or any of them, was caused or contributed to by the negligence or fault of persons or entities other than this answering Cross-Defendant, thereby entitling this answering Cross-Defendant to an appropriate pro-tation of damages in accordance with the provisions of the law applicable thereto. FOURTH AFFIRMATIVE DEFENSE 4, As a further and separate affirmative defense to the Cross-Complaint, this answering Cross-Defendant alleges that the injuries and damages alleged and for which Defendant and Cross- Complainant seeks recovery were the result of causes independent of any purported acts or omissions on the part of this answering Cross-Defendant, thereby eliminating or reducing the alleged liability of this answering Cross-Defendant. FIFTYLAFFIRMATIVE DEFENSE 5. As a further and separate affirmative defense to the Cross-Complaint, this answering Cross-Defendant alleges that any and all of the injuries and damages asserted by Defendant and Cross- Complainant were caused or contributed to, in whole or in part, by the negligence or fault of Defendant and Cross-Complainant or others, and said acts and omissions cntitle this answering Cross-Defendant to contribution from said individuals and entities, and each of them. SIXTH AFFIRMATIVE DEFENSE 6. As a further and separate affirmative defense to the Cross-Complaint, this answering Cross-Defendant alleges that if this answering Cross-Defendant is found to have been negligent or liable in any manner, such conduct was passive and secondary, while the negligence of Defendant and -3- CAREFREE TOLAND POOLS, INC.’S ANSWER TO CROSS-COMPLAINT OF WEBCOR CONSTRUCTION, INC; WEBCOR BUILDERS, INC; WEBCOR CONSTRUCTION, INC. dba WEBCOR BUILDERS on its own behalf and erroneously sued as WERCOR CONSTRUCTION LP dba WEBCOR BUILDERS 91394.doc Case No, CGC08-478453Crogs-Complainant or others were active and primary, and such conduct bars, in whole or in part, the recovery requested or any recovery at all, against this answering Cross-Defendant. SEVENTII AFFIRMATIVE DEFENSE 7. As a further and separate affirmative defense to the Cross-Complaint, this answering Cross-Defendant alleges that the negligence of Defendant and Cross-Complainant or other parties or entitics constitutes an intervening and superseding cause of injuries and damages, if any, thereby barring or reducing Defendant and Cross-Complainant’s recovery herein. EIGHTH AFFIRMATIVE DEFENSE 8. As a further and separate affirmative defense to the Cross-Complaint, this answering Cross-Defendant alleges that the Cross-Complaint on file herein is barred in whole or in part by reason of Defendant and Cross-Complainant’s inequitable conduct and/or unclean hands, and the court should not give Defendant and Cross-Complainant relief based upon the facts alleged. NINTH AFFIRMATIVE DEFENSE 9. Asa further and separate affirmative defense to the Cross-Complaint, this answering Cross-Defendant alleges that the Cross-Complaint and each purported cause of action stated therein is barred under the doctrine of waiver. TENTH AFFIRMATIVE DEFENSE 10, As a further and separate affirmative defense to the Cross-Complaint, this answering Cross-Defendant alleges that Defendant and Cross-Complainant, and each purported cause of action stated therein, are barred by the doctrine of laches. ELEVENTH AFFIRMATIVE DEFENSE 11. Asa further and separate affirmative defense to the Cross-Complaint, this answering Cross-Defendant alleges that the Cross-Complaint and each purported cause of action stated therein is barred under the doctrine of estoppel. Wt “4 CAREFREE TOLAND POOLS, INC.’S ANSWER TO CROSS-COMPLAINT OF WEBCOR CONSTRUCTION, INC.; WEBCOR BUILDERS, INC.; WEBCOR CONSTRUCTION, INC. dba WEBCOR BUILDERS on its own behalf and erroneously sued as. WEBCOR CONSTRUCTION LP dba WEBCOR BUILDERS 91394.doc Case No, CGC08-478453TWELFTH AFFIRMATIVE DEFENSE 12. Asa further and separate affirmative defense to the Cross-Complaint, this answering Cross-Defendant alleges that the Cross-Complaint , and each purported cause of action stated therein, are barred as a result of the Defendant and Cross-Complainant’s and Defendant and Cross- Complainant’s failure to mitigate their damages, if any were suffered, and by their gratuitously incurring expenses that were not justified. THIRTEENTH AFFIRMATIVE DEFENSE 13. Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant alleges by way of a plea of comparative negligence that the Defendant and Cross- Complainant was negligent in and about the matiers and activities alleged in said Cross-Complaint , that said negligence contributed to and was a proximate cause of Defendant and Cross-Complainant’s alleged injurics and damages, if any, and that if the Defendant and Cross-Complainant is entitled to recover damages against this answering Cross-Defendant, this answering Cross-Defendant prays that said recovery be diminished by reason of the Defendant and Cross-Complainant’s actions in proportion to the degree of fault attributable to Defendant and Cross-Complainant. FOURTEENTH AFFIRMATIVE DEFENSE 14. Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant is informed and belicves, and therefore alleges, that this answering Cross-Defendant is entitled to the right of indemnification by apportionment against all other parties and persons whose negligence contributed to the alleged damages. FIFTEENTH AFFIRMATIVE DEFENSE 15. Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant is informed and believes, and therefore alleges, that any and all mandatory duties imposed on this answering Cross-Defendant, and/or its agents or employees, the failure of which allegedly created the condition at the time and place which is the subject of this Cross-Complaint, were _§- CAREFREE TOLAND POOLS, INC.’S ANSWER TO CROSS-COMPLAINT OF WEBCOR CONSTRUCTION, INC;; WEBCOR BUILDERS, INC, WEBCOR CONSTRUCTION, INC. dba WEBCOR BUILDERS on its own behalf and erroneously sued as WEBCOR CONSTRUCTION LP dba WEBCOR BUILDERS 91394.doc Case No. CGC08-478453exercised with reasonable diligence and therefore, this answering Cross-Defendant is not liable for the alleged damages. SIXTEENTH AFFIRMATIVE DEFENSE eye 16. Asa further and separate affirmative defense to said Cross-Complaint, this answering vA kk YW N Cross-Defendant is informed and believes, and therefore alleges, that this answering Cross-Defendant is not vicariously liable for the damages, if any, alleged in Defendant and Cross-Complainant’s Cross- Complaint, caused by the acts or omissions of the other Defendants. SEVENTEENTH AFFIRMATIVE DEFENSE ky eee 17. Asa further and separate affirmative defense to said Cross-Complaint, this answering oo wm NA Cross-Defendant is informed and believes, and therefore alleges, that the injuries and damages complained of by the Defendant and Cross-Complainant, if there were any, are properly attributable to 5 ‘a modification, alteration or other change in some manner to the installed work of improvement for w which the Defendant and Cross-Complainant herein seeks to hold this answering Cross-Defendant = » legally responsible, which modification, alteration or change was not performed by or participated in a or consented to or approved by this answering Cross-Defendant, or any agent, servant or employee of a this answering Cross-Defendant. Accordingly, any recovery against this answering Cross-Defendant Q should be barred or otherwise diminished. oo EIGHTEENTH AFFIRMATIVE DEFENSE 462 — rE —E—E——————— = Oo 18. Asa further and separate affirmative defense to said Cross-Complaint, this answering ty So Cross-Defendant is informed and believes, and therefore alleges, that the Cross-Complaint is barred by & the applicable statute of limitations contained in Code of Civil Procedures sections 337(1), 337(3), 337.1, 337.15, 338(a), 338(b), 338(c), 338(d), 339, 340 and 343, among others. NON oN NINETEENTH AFFIRMATIVE DEFENSE nN S 19. Asa further and separate affirmative defense to said Cross-Complaint, this answering Nv a Cross-Defendant is informed and believes, and therefore alleges, that Defendant and Cross- y a Complainant or others failed to perform to the degree of maintenance on the work of improvement N a -6- CAREFREE TOLAND POOLS, INC.’S ANSWER TO CROSS-COMPLAINT OF WEBCOR CONSTRUCTION, INC.; WEBCOR BUILDERS, INC., WEBCOR CONSTRUCTION, INC, dba WEBCOR BUILDERS on its own behalf and erroneously sued as WEBCOR CONSTRUCTION LP dba WEBCOR BUILDERS 91394.doc Case No. CGC08-478453 y o©) performed on the property that is the subject matter of this action, necessary to protect such work of improvement from deterioration from the elements. Such failure to maintain the said work of improvement bars or otherwise diminishes the claim or recovery of Defendant and Cross-Complainant. TWENTIETH AFFIRMATIVE DEFENSE 20, Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant is informed and believes, and therefore alleges that this answering Cross-Defendant has appropriately, completely and fully performed and discharged any and all obligations and legal duties arising out of the matters alleged in the Cross-Complaint . TWENTY-FIRST AFFIRMATIVE DEFENSE 23. Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant is informed and belicves, and therefore alleges that at the times and places mentioned in the Cross-Complaint, the Defendant and Cross-Complainant or others failed to exercise the quality and quantity of care and caution which a reasonable person in the same or similar circumstances would have exercised for the protection of themselves and their property; said failure and negligence by the Defendant and Cross-Complainant or others proximately caused and contributed to the damages, if any, sustained by the Defendant and Cross-Complainant. Defendant and Cross-Complainant’s recovery, therefore, if any, should be reduced by an amount proportionate to the amount by which Defendant and Cross-Complainant’s or other’s negligence contributed to the happening of the alleged accident, injury, damage and/or loss. TWENTY-SECOND AFFIRMATIVE DEFENSE 22. Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant is informed and believes, and therefore alleges, that the Defendant and Cross- Complainant was already in breach of their alleged contractual relationships, if any, at or before the time of the matters alleged to have arisen from acts or omissions by this answering Cross-Defendant and, therefore, no act or omission of this answering Cross-Defendant was a direct or proximate cause of any of the matters alleged in the Cross-Complaint. -7- CAREFREE TOLAND POOLS, INC.’S ANSWER TO CROSS-COMPLAINT OF WEBCOR CONSTRUCTION, INC.; WEBCOR BUILDERS, INC.; WEBCOR CONSTRUCTION, INC, dba WEBCOR BUILDERS on its own behalf and erroneously sued as WEBCOR CONSTRUCTION LP dba WEBCOR BUILDERS 91394.doce Case No. CGC08-478453TWENTY-THIRD AFFIRMATIVE DEFENSE 23. Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant is informed and believes, and therefore alleges, that it performed each of its obligations pursuant to any and all contracts and agreements described in the Cross-Complaint , if any there were, except those obligations this answering Cross-Defendant was prevented and/or excused from performing by the acts and/or omissions of Defendant and Cross-Complainant, and/or other individuals or entities not named as Defendants in the Cross-Complaint herein. TWENTY-FOURTH AFFIRMATIVE DEFENSE TWENTY-FOUR; ay y_——————E—EeEeEeet Cw rn AH FF BW ON 24, As a further and separate affirmative defense to the Cross-Complaint, this answering = ° Cross-Defendant alleges that if it is determined that this answering Cross-Defendant did not perform one or more obligations under any contract or agreement, this answering Cross-Defendant contends N that Defendant and Cross-Complainant did not perform its obligations under cach contract or o agreement as aforesaid, and that those obligations were a condition precedent to any performance by B this answering Cross-Defendant in each instance. wa TWENTY-FIFTH AFFIRMATIVE DEFENSE TWENTY PIR ee a 25, As a further and separate affirmative defense to the Cross-Complaint, this answering a Cross-Defendant alleges that the acts or omissions alleged to have been committed by this answering oO Cross-Defendant was justified as part of the regular course of business and the fulfillment of its own S contractual obligations. y co TWENTY-SIXTH AFFIRMATIVE DEFENSE TWEEN] Y-Sl AIH AR Nn 26. Asa further and separate affirmative defense to the Cross-Complaint, this answering N dS Cross-Defendant alleges that a valid contractual relationship, of the nature and scope alleged by the nN Q Defendant and Cross-Complainant, did not exist between this answering Cross-Defendant and the nN S Defendant and Cross-Complainant and that the absence of such a contractual relationship acts to bar N a any recovery by the Defendant and Cross-Complainant against this answering Cross-Defendant. ut rR NV a -8- CAREFREE TOLAND POOLS, INC.’S ANSWER TO CROSS-COMPLAINT OF WEBCOR CONSTR UCTION, INC., WEBCOR BUILDERS, INC., WEBCOR CONSTRUCTION, INC. dba WEBCOR BUILDERS on its own behalf and erroneously sued as WEBCOR CONSTRUCTION LP dba WEBCOR BUILDERS 91394.doc Case No, CGC08-478453 nv ooTWENTY-SEVENTH AFFIRMATIVE DEFENSE 27, Asa further and separate affirmative defense to the Cross-Complaint, this answering Cross-Defendant alleges that any damages or injuries sustained by the Defendant and Cross- Complainant, was a part of the business risk assumed by the Defendant and Cross-Complainant upon entering into its alleged contractual relationships. TWENTY-EIGHTH AFFIRMATIVE DEFENSE 28. As a further and separate affirmative defense to said Cross-Complaint, these Defendants are informed and belicve and thercon allege that Defendant and Cross-Complainant lacks standing to the claims alleged in the Cross-Complaint. ’ TWENTY-NINTH AFFIRMATIVE DEFENSE 29, Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant alleges that the Cross-Complaint, and each alleged cause of action therein, is absolutely barred by the provisions of Civil Code Sections 1474, 1475, 1476, 1477, and each of them. THIRTIETH AFFIRMATIVE DEFENSE 30. Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant alleges that the Defendant and Cross-Complainant is barred by the following provisions of the Uniform Commercial Code: Sections 1201(25)(c}, 2601, 2602(1), 2513(1)3), 2510(1), 2605(1 (a) and (b), 2606(1)(a) and (b), 2607, 2715(2\a), and 2719(3). THIRTY-FIRST AFFIRMATIVE DEFENSE 31. Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant alleges that the Defendant and Cross-Complainant is barred by the provisions of California Civil Code Sections 2782-2784. THIRTY-SECOND AFFIRMATIVE DEFENSE 32, Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant alleges that the Defendant and Cross-Complainant, and each alleged cause of action -o- CAREFREE TOLAND POOLS, INC.'S ANSWER TO CROSS-COMPLAIN OF WEBCOR CONSTRUCTION, INC.; WEBCOR BUILDERS, INC.; WEBCOR CONSTRUCTION, INC. dba WEBCOR BUILDERS on its own behalf and erroneously sued as WERCOR CONSTRUCTION LP dba WEBCOR BUILDERS 91394.doc Case No. CGC08-478453therein, fails to state facts sufficient to constitute a cause of action for indemnity or contribution when based on strict liability, breach of contract, rescission, fraud, or negligent misrepresentation. THIRTY-THIRD AFFIRMATIVE DEFENSE 33. Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant alleges that the Defendant and Cross-Complainant’s recovery, if any, is forbidden or otherwise limited by the application of the anti-deficiency statutes. THIRTY-FOURTH AFFIRMATIVE DEFENSE 34. Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant alleges that by the terms of its contract, this answering Cross-Defendant is not responsible for defects and/or errors in the plans, specifications, or other contract documents. THIRTY-FIFTH AFFIRMATIVE DEFENSE. 35. Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant alleges that the Defendant and Cross-Complainant and/or others may have altered the product involved, proximately causing the events and damages, if any there were, and recovery is therefore barred or proportionately reduced accordingly. THIRTY-SIXTH AFFIRMATIVE DEFENSE 36. Asa further and separate affirmative defense to said Cross-Complaint, this answering Cross-Defendant alleges that the Defendant and Cross-Complainant either intentionally or negligently failed to preserve the primary evidence relevant to this litigation, thus failing to give this answering Cross-Defendant an opportunity to inspect said evidence and thereby damaging and prejudicing a defense, Defendant and Cross-Complainant, therefore, should be barred from introducing secondary or lesser evidence, and any recovery should be diminished accordingly. i it it it -10- CAREFREE TOLAND POOLS, INC.’S ANSWER TO CROSS-COMPLAINT OF WEBCOR CONSTRUCTION, INC.; WEBCOR BUILDERS, INC.; WEBCOR CONSTRUCTION, INC. dha WEBCOR BUILDERS on its own behalf and erroneously sued 2s WEBCOR CONSTRUCTION LP dba WEBCOR BUILDERS 91394.doc Case No. CGC08-478453WHEREFORE, this answering Cross-Defendant prays as follows: 2 Ll. That Defendant and Cross-Complainant takes nothing by reason of its Cross-Complaint; 3 2. For costs of suit incurred herein; and 4 3. For such other and further relief as the Court may deem just and proper. 5 6 |] DATED: November 14, 201) SELLAR HAZARD MANNING FICENEC & LUCIA ~ 8 : ~ 9 SyvaQ_7 DENAE M. OLAVIERI, ESQ. Attorney For Cupertino Electric, Inc.; Creative Masonry, Inc.; Carefree Toland Pools, Inc.; J.W. McClenahan, Inc.; Van-Mulder Sheet Metal, Inc.; N.V. Heathorn, Inc.; Critchfield Mechanical, Inc.; Blue's Roofing Company, 12 West Coast Protective Coatings; Allied Fire Protection; F. Rodgers Corporation, Western Roofing Service CAREFREE TOLAND POGLS, INC.’S ANSWER TO CROSS-COMPLAINT OF WEBCOR CONSTRUCTION, INC.; WEBCOR BUILDERS, INC.; WEBCOR CONSTRUCTION, INC. dba WEBCOR BUILDERS on its own behalf and erroneously sued as WEBCOR CONSTRUCTION LP dba WEBCOR BUILDERS 91394.doc Case No. CGC08-478453PROOF OF SERVICE I, Amanda Pikman, declare: am employed in the County of Contra Costa, California in the offices of a member of the Bar of this Court, at whose direction this service was made. My business address is 1800 Sutter Street, Suite 460, Concord, California. I am over the age of eighteen years and not a parly to this action. On the date given, I served the following document(s): CAREFREE TOLAND POOLS, INC. ANSWER TO CROSS-COMPLAINT OF WEBCOR CONSTRUCTION, INC.; WEBCOR BUILDERS, INC; WEBCOR CONSTRUCTION, INC. dba WEBCOR BUILDERS on its awn behalf and erroneously sued as WEBCOR CONSTRUCTION LP dba WEBCOR BUILDERS In the case entitled: Beacon Residential v. Catellus Third and King, et al., San Francisco Superior Court, Case No, CGC08-478453, on ali interested parties through their attorneys of record by placing a true and correct copy thereof addressed as shown on the attached service list, as designated below (SEE ATTACHED SERVICE LIST) ____ BY FIRST CLASS MAIL (C.C.P. §§1013A. et sea.): L caused said document(s) to be deposited in the United States Mail in a sealed envelope with postage fully prepaid at Concord, California, following the ordinary practice at my place of business of collection and processing of mail on the same day as shown on this declaration. XX_ BY FACSIMILE (C.C.P. §81012.5, et sea.) 1 served such document(s) by fax to the fax number(s) provided by each of the parties in this litigation at Concord, California. I received a confirmation sheet indicating said fax was transmitted completely. _ OVERNIGHT DELIVERY T caused such envelope to be delivered to the addresses identified on the attached service list by means of an overnight delivery service pursuant to California Code of Civil Procedure Section 1013 BY PERSONAL SERVICE T delivered such envelope by hand to the offices of the addressee. Messenger Service: ONE HOUR DELIVERY BY ELECTRONIC SERVICE (C.C_P. §187): I caused said document to be served using LexisNexis File & Serve/One Legal File & Serve. -1- PROOF OF SERVICE 91479.doc Case No. CGC08-478453Co oN A HW FF YN I declare under the penalty of perjury, under the laws of the State of California, that the above is true and correct. DATED: November 14, 2011 Citable foro __ Amanda Pikman -2- PROOF OF SERVICE 91479.doe Case No. CGC08-478453Case Name: Case No.: ~ Beacon Residential v. Catellus Third and King, et al. San Francisco Superior Court Case No. CGC08-478453 Ann Rankin Law Offices of Ann Rankin 3911 Harrison Street Oakland, CA 94611 Mark J. D'Argenio Wood Smith Henning & Berman LLP 1001 Galaxy Way, Suite 308 Concord, CA 94520 James Castle Robles, Castle & Meredith The Arlington Building 492 Ninth Street, Suite 200 Oakland, CA 94607 Steven M. Cvitanovic Haight, Brown & Bonestee!, LLP 71 Stevenson Street, 20th Floor San Francisco, CA 94105-2981 Peter J. Laufenberg Wendel, Rosen, Black & Dean 1111 Broadway, 24th Floor Oakland, CA 94607 Sandy Kaplan Gordon & Rees 275 Battery St., Ste. 2000 San Francisco, CA 94111 John A. Koeppel Ropers, Majeski, Kohn & Bentley 201 Spear Street, Suite 1000 San Francisco, CA 94105 Kevin P. McCarthy McCarthy & McCarthy, LLP The Arlington Building 492 Ninth Street, Suite 220 Oakland. CA 94607 Attorney For: Plaintiff Telephone: (510) 653-8886 Facsimile: (510) 653-8889 Attorney For: Catellus Commercial Development Telephone: (925) 356-8221 Facsimile: (925) 356-8250 Attorney For: Skidmore Owings & Merrill, LLP Telephone: (415) 743-9300 Facsimile: (415) 743-9305 Attorney For: Centurion Partners, LLC; Mission Place, LLC Telephone: (415) 546-7500 Facsimile: (415) 546-7505 Attorney For: Mission Place Holdings, LLC, Mission Place Mezzanine, LIC; and Mission Place Partners, LLC Mission Place, LLC; Centurion Real Fstate Partners, LLC; Mission Place Mezz Holdings, LLC; Telephone: (510) 834-6600 Facsimile: (510) 808-4660 Attorney For: Webcor Builders, Inc. Telephone: (415) 986-5900 Facsimile: (415) 986-8054 Attorney For: Catellus Commercial Development Corporation Telephone: (415) 543-4800 Facsimile: (415) 972-6301 Attorney For: Window Solutions, Inc. Telephone: (510) 839-8100 Facsimile: (510) 839-8108 -3- 91479.doc PROOF OF SERVICE Case No. CGC08-478453Steven H. Schwartz Schwartz & Janzen, LLP 2100 Wilshire Bivd., Suite 1125 Los Angeles. CA 90025 N David S. Webster Wood, Smith, Henning & Berman, LLP 401 Willow Pass Road, Suite 700 Concord, CA 94520-7982 an nw Fw Randel J. Campbell Lynch, Gilardi & Grummer 70 Columbus Ave., 5th Floor San Francisco, CA 94133 Adam Brezine Holme Roberts & Owen LLP 560 Mission Street, 25th Floor San Francisco. CA 94105 - - ow Oo ON William H. Staples Archer Norris P.O. Box 8035 Walnut Creek, CA 94596 BGS Hon. Ronald M. Sabraw JAMS 15 |}. Two Embarcadero Center Suite 1500 16 || San Francisco, CA 94111 3 Sung Shim, Esq. Katzoff & Riggs 1500 Park Ave #300 Emeryville, CA 94608 mom Ny NY NR N YY TS ZS S & &A BF & Ss = oS So Bw Attorney For: HKS, Inc. and dba HKS Architects, Inc, Telephone: (310) 979-4090 Facsimile: (310) 207-3344 Attorney For: Catellus Residential Construction, Cross- Complainant, Webcor Telephone: (925) 356-8200 Facsimile: (925) 356-8250 Attorney For: Architectural Glass & Aluminium Co, Inc. Telephone: (415) 397-2800 Facsimile: (415) 397-0937 Attorney For: Solutia, Inc. Telephone: (415) 268-2000 Facsimile: (415) 268-1999 Attorney For: Anning Johnson Telephone: (925) 930-6600 Facsimile: (925) 930-6620 Attorney For: Special Master Telephone: (415) 774-2609 Facsimile: (415) 982-5287 Attorney For: Plaintiff, Telephone: (510) 653-8886 Facsimile: (510) 597-0295 nN oe -4- PROOF OF SERVICE 91479.doc Case No. CGC08-478453