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  • ROBERT ROSS et al VS. C.C. MOORE & CO. ENGINEERS ASBESTOS document preview
  • ROBERT ROSS et al VS. C.C. MOORE & CO. ENGINEERS ASBESTOS document preview
  • ROBERT ROSS et al VS. C.C. MOORE & CO. ENGINEERS ASBESTOS document preview
  • ROBERT ROSS et al VS. C.C. MOORE & CO. ENGINEERS ASBESTOS document preview
						
                                

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Eugene C. Blackard Jr. (Bar No. 142090) Jocelyn M. Soriano (Bar No. 201169) Jasun C. Molinelli (Bar No. 204456) jmolinelli@archernorris.com ELECTRONICALLY ARCHER NORRIS FILED A Professional Law Corporation Superior Court of California, 2033 North Main Street, Suite 800 County of San Francisco Walnut Creek, California 94596-3759 FEB 22 2013 Telephone: 925.930.6600 Facsimile: 925.930.6620 ov oixonthe cout Deputy Clerk Attorneys for Defendant CUPERTINO ELECTRIC, INC. SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF SAN FRANCISCO ROBERT ROSS and JEAN ROSS, Case No. CGC-10-275731 Plaintiff, DECLARATION OF JASUN C, MOLINELLI IN SUPPORT OF MOTION v. FOR SUMMARY JUDGMENT C.C. MOORE & CO. ENGINEERS, et al., Date: May 9, 2013 Time: 9:30 a.m. Defendants. Dept: 503 Judge: Hon. Teri L. Jackson Action Filed: December 17, 2010 Trial Date: June 10, 2013 DECLARATION I, Jasun Molinelli, declare as follows: 1. lam an attorney duly licensed to practice before all the courts in the State of California, and am an associate with the law firm of Archer Norris, attorneys of record herein for Defendant ALBAY CONSTRUCTION COMPANY (“Albay”). I am personally familiar with the facts set forth to competently testify to them if required to do so. 1. Attached to the Index of Exhibits as Exhibit “A” is a true and correct copy of the relevant portions of the transcript from the Deposition of Plaintiff. 2. Attached to the Index of Exhibits as Exhibit “B” are true and correct copies of Albay’s Special Interrogatories, Request for Production of Documents, Request for Admissions FFE270/1532158-1 DECLARATION OF JASUN C. MOLINELLI IN SUPPORT OF MSJand Form Interrogatories to plaintiff. 3. To date, plaintiff has not responded to Cupertino’s specially prepared discovery requests. 4. Lhave reviewed all other plaintiff's discovery responses (oral and written) and all other factual documentation filed by plaintiff in this matter and have identified all potential witnesses named by plaintiff against Albay. 5. All available witnesses identified by plaintiff, if applicable, have been deposed and have no information or knowledge related to plaintiff's claims against Albay which creates a triable issue of material fact that plaintiff was exposed to asbestos at the hands of Albay. 6. After conducting a reasonable inquiry and diligent search, all other potential witnesses against Albay are unavailable pursuant to Evidence Code § 240. I declare under penalty of perjury that the foregoing is true and correct. Executed on February 21, 2013, at Walnut Creek, California. JASUN MOLINELLI FFE270/1532158-1 2 DECLARATION OF JASUN C. MOLINELLI IN SUPPORT OF MSJ