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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
  • 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) ARCHER NORRIS ELECTRONICALLY A Professional Law Corporation 2033 North Main Street, Suite 800 sopekr IL ED | Walnut Creek, California 94596-3759 County of San Francisco Telephone: 925.930.6600 - NOV 16 2011 Facsimile: 925.930.6620 Clerk of the Court Attorneys for Defendant BY: WILLIAM v Napa Clerk CAHILL CONSTRUCTION SERVICES, INC. SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF SAN FRANCISCO ROBERT ROSS and JEAN ROSS, Case No. CGC-10-275731 Plaintiff, DEFENDANT CAHILL CONSTRUCTION SERVICES, INC.’S WITHDRAWAL OF v. : ITS JOINDER IN DEFENDANT A. TEICHERT & SON, INC, AND C.C. MOORE & CO. ENGINEERS, et al., SWINERTON BUILDERS’ NOTICE OF MOTION AND MOTION TO DISMISS Defendants. ’ PLAINTIFFS’ CLAIMS ARISING FROM THE ALLEGED ASBESTOSIS, ASBESTOS-RELATED PLEURAL DISEASE, AND OTHER LUNG INJURIES Date: November 23, 2011 Time: 9:30 am, Dept.: 503 Judge: Hon. Teri L. Jackson Action Filed: December 17, 2010 TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD: PLEASE BE ADVISED that Defendant CAHILL CONSTRUCTION SERVICES, INC. hereby withdraws its joinder in Defendants A. Teichert & Son, Inc. and Swinerton Builders’ Notice of Motion and Motion t Dismiss Plaintiffs' Claims Arising From the Alleged Asbestosis, Asbestos-Related Pleural Disease, and Other Lung Injuries. Said Motion was set for hearing on November 23, 2011 in Department 503 of the above-entitled Court. dit Mb rarerzszes0-1 DEFENDANT CAHILL CONSTRUCTION SERVICES, INC.’S WITHDRAWAL OF IT'S JOINDER IN DEFENDANT A. TEICHERT & SON, INC. AND SWINERTON BUILDERS’ NOTICE OF MOTION AND MOTION TO DISMISS PLAINTIFFS’ CLAIMS ARISING FROM THE ALLEGED ASBESTOSIS, ASBESTOS-RELATED PLEURAL DISEASE, AND OTHER LUNG INJURIESDated: November [5 » 2011" ARCHER NORRIS g M. Soriano Attorneys for Defendant | CAHILL CONSTRUCTION SERVICES, INC. ! i AEI416/1252850-1 2 DEFENDANT CAHILL CONSTRUCTION SERVICES, INC.'S WITHDRAWAL OF ITS JOINDER IN DEFENDANT A. TEICHERT & SON, INC, AND SWINERTON BUILDERS’ NOTICE OF MOTION AND MOTION TO DISMISS PLAINTIFFS’ CLAIMS ARISING FROM THE ALLEGED ASBESTOSIS, ASBESTOS-RELATED PLEURAL DISEASE, AND OTHER LUNG INJURIESPROOF OF SERVICE Name of Action: Robert B. Ross v. Asbestos Defendants (BP) Court and Action No: San Francisco Superior Court Action No. CGC-10-275731 I, the undersigned, declare that I am over the age of eighteen years and not a party to this action or proceeding. My business address is 2033 North Main Street, Suite 800, Walnut Creek, || California 94596-3759. On this date, | caused the following document(s) to be served: DEFENDANT CAHILL CONSTRUCTION SERVICES, INC.’S WITHDRAWAL OF ITS JOINDER IN DEFENDANT A. TEICHERT & SON, INC. AND SWINERTON BUILDERS’ NOTICE OF MOTION AND MOTION TO DISMISS PLAINTIFFS’ CLAIMS ARISING | FROM THE ALLEGED ASBESTOSIS, ASBESTOS-RELATED PLEURAL DISEASE, AND OTHER LUNG INJURIES oO by placing a true copy of the document(s) listed above, enclosed in a sealed envelope, addressed as set forth below, for collection and mailing on the date and at the business address shown above following our ordinary business practices. I am readily familiar with this business’ practice for collection and processing of correspondence for mailing with the United States Postal Service. On the same day that a sealed envelope is placed for collection and mailing, it is deposited in the ordinary course of business with the United States Postal Service with postage fully prepaid. O by having a true copy of the document(s) listed above transmitted by facsimile to the person(s) at the facsimile number(s) set forth below before 5:00 p.m. The transmission ‘was reported as complete without error by a report issued by the transmitting facsimile machine. oO by having personally delivered a true copy of the document(s) listed above, enclosed in a sealed envelope, to the person(s) and at the address(es) set forth below, by having personal delivery by of a true copy of the document(s) listed above, enclosed in a sealed envelope, to the person(s) and at the address(es) set forth below. oO oO by placing a true copy of the document(s) listed above, in a box or other facility tegularly maintained by’ an express service carrier, or delivered to a courier or driver authorized by the express service carrier to receive documents, in an envelope designated by the express service carrier, with delivery fees paid or provided j for, addressed as set forth below. kk] J electronically served the above referenced document(s) through LEXIS NEXIS. E- service in this action was completed on all parties listed on the service list with LEXIS NEXIS. This service complies with the court’s order in this case. I declare under penalty of perjury that the foregoing is true and correct. Executed on November 5 » 2011, at Walnut Creek, California. Amy Harkness AE1416/1252850-1 3 DEFENDANT CAHILL CONSTRUCTION SERVICES, INC.’S WITHDRAWAL OF ITS JOINDER IN DEFENDANT A. TEICHERT & SON, INC, AND SWINERTON BUILDERS” NOTICE OF MOTION AND MOTION TO DISMISS PLAINTIFFS’ CLAIMS ARISING FROM THE ALLEGED ASBESTOSIS, ASBESTOS-RELATED PLEURAL DISEASE, AND OTHER LUNG INJURIES