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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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~ ow DH .° 20 21 22 23 24 25 26 27 28 Stephen J. Foley © SBN 220752 Dennis M. Young SBN 121178 Roger D. Yuen SBN 221243 FOLEY & MANSFIELD, PLLP ELECTRONICALLY 300 Lakeside Drive, Suite 1900 FILED Oakland, CA 94612 Superior Court of Califosnia, Telephone: (510) 590-9500 County of San Francisto Facsimile: (510) 590-9595 FEB 21 201 E-mail: ryuen@foleymansfield.com Clerk of the Cou BY: CAROL BALISTRERE Attorneys for Defendant Deputy |Clerk LONE STAR INDUSTRIES, INC. SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF SAN FRANCISCO ROBERT ROSS and JEAN ROSS, Case No: CGC-10-275731 Plaintiffs, *Asbestos-Related Case” vs. DECLARATION OF ROGER D. YUEN IN SUPPORT OF DEFENDANT LONE STAR C.C. MOORE & CO. ENGINEERS, et al., INDUSTRIES, INC.°S MOTION FOR SUMMARY JUDGMENT, OR IN THE Defendants. ALTERNATIVE, SUMMARY ADJUDICATION Date: May 9, 2013 Time: 9:30 a.m. Dept.: 303 Judge: Hon. Teri L. Jackson Complaint Filed: December 17, 2016 Trial Date: June 10, 2013 I, Roger D. Yuen, declare as follow: 1. Tam an attorney at law, duly licensed to practice before all the courts of the State of California, and am an associate at the firm of Foley & Mansfield, the attomeys of record for Defendant LONE STAR INDUSTRIES, INC. (hereinafter “LSI”’) in this action. I have personal knowledge of the matters stated herein, and if called upon would and could competently testify thereto. 2. Attached hereto as Exhibit A is a true and correct copy of the Third Amended Complaint for Personal Injury - Asbestos filed by Plaintiffs ROBERT ROSS and JEAN ROSS (hereinafter referred to as “Plaintiffs”). 1 DECLARATION OF ROGER D. YUEN IN SUPPORT OF DEFENDANT LONE STAR INDUSTRIES, INC.’S MOTION FOR SUMMARY JUDGMENT, OR IN THE ALTERNATIVE, SUMMARY ADJUDICATION~ ow DH .° 20 21 22 23 24 25 26 27 28 3. Attached hereto as Exhibit B is a true and correct copy of Plaintiffs’ Supplemental/Amended Responses to General Order Standard Asbestos Interrogatories. 4, Attached hereto as Exhibit C are true and correct copies of LSI’s Form Interrogatories, Special Interrogatories, Request for Production of Documents and Request for Admissions to Plaintiff Robert Ross; and Special Interrogatories and Request for Production of Documents to Plaintiff Jean Ross 5. Attached hereto as Exhibit D are true and correct copies of Plaintiff Robert Ross’ Responses to LSI’s Form Interrogatories, Special Interrogatories, Request for Production of Documents and Request for Admissions; and Plaintiff Jean Ross’ Responses to LSI’s Special interrogatories and Request for Production of Documents, 6. Plaintiff Robert Ross was deposed in this current action from July 12, 2011 to August 11, 2011 for eight days total. 7. Attached hereto as Exhibit E are true and correct copies of relevant portions of the Deposition of Robert Ross dated July 13, 2011, Vol. 2, pages 343:14-344:10; 344:12-21; 345:5-12. 8 Attached hereto as Exhibit F is a true and correct copy of the Declaration of William Robinson. I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. Executed on February 21, 2013 at Oakland, California. hogs f2- Roger D, Yuen 2 DECLARATION OF ROGER D. YUEN IN SUPPORT OF DEFENDANT LONE STAR INDUSTRIES, INC.’S MOTION FOR SUMMARY JUDGMENT, OR IN THE ALTERNATIVE, SUMMARY ADJUDICATION