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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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Joxes KeRowsK] LLP COOLEY MAN John T. Hugo, Esq. (State Bar No. 269555) Stephen L, Jenkins (State Bar No. 235601) Daniel B. Merrick (State Bar No. 267276) COOLEY MANION JONES KUROWSKI LLP ELECTRONICALLY 201 Spear Street, 18" Floor FILED San Francisco, CA 94105 Superior Court of California, Tel: (415) 512-4381 County of San Francisco Fax: (415).$12-6791 OCT 19 2011 . Clerk of the Court Attorneys for Defendant BY: JUDITH NUNEZ BRAGG INVESTMENT COMPANY, INC. Deputy Clerk IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA IN AND FOR THE COUNTY OF SAN FRANCISCO ROBERT ROSS AND JEAN ROSS, Case No.: CGC-10-27573 1 Plaintiffs, DEFENDANT BRAGG INVESTMENT COMPANY, INC.’S JOINDER IN ve DEFENDANT DOMCO PRODUCTS TEXAS INC.’S NOTICE. OF MOTION ASBESTOS DEFENDANTS (BéP), AND MOTION TO DISMISS PLAINTIFFS’ CLAIMS ARISING Defendants. FROM THE ALLEGED ASBESTOSIS, ASBESTOS-RELATED PLEURAL DISEASE, AND OTHER LUNG INJURIES Trial Date: November 15, 2011 Time: 9:30 am. Dept.: 503 Judge: Hon. Teri L. Jackson TO PLAINTIFFS AND TO THEIR ATTORNEYS OF RECORD HEREIN: PLEASE TAKE NOTICE, Defendant Bragg Investment Company, Inc. (“Bragg”) hereby joins and adopts as if its own Defendant Domco Products Texas Inc.'s (“Domeo’*) Motion and Motion to Dismiss Plaintiffs’ Claims Arising From the Alleged Asbestosis, Asbestos-Related Pleural Disease, and Other Lug Injuries, the related memorandum and points.and authorities, declarations, attachments, and other supporting evidence thereto, and to all other evidence as may be presented in reply to Plaintiffs’ opposition and at the hearing on this matter, as if set forth fully herein. This Joinder is. made-on the grounds that Bragg is a similarly situated defendant and as such the arguments set forth in Defendant Domco’s motion apply equally to Bragg, Should Defendant ie I CLAIMS FOR ASBESTOSIS, ASBESTOS-RELA’ INJURY PSEFENDANT BRAGG MOTION TO DISMISS PLAIN’a KuROWSKI LLP COOLEY MANION Jc Oo eB NW DB wy & & 1G: Domco withdraw its motion or be dismissed prior to the hearing, Bragg reserves the right to argue-th motion on its own behalf in its entirety. Respectfully Submitted, Dated: October 19, 2011 COOLEY MANION JONES KUROWSKEI LLP "tht, “ By: v : Merck. Daniel B. Merrick Attorneys for Defendant Bragg Investment Company, Inc. 2 DEFENDANT BRAGG INVESTMENT COMPANY, ING-S JOINDER IN DOMCO PRO! MOTION TO DISMISS PLAINTIFFS’ CLAIMS FOR ASBESTOSIS, ASBESTOS-REL: INJURY NOTICE OF MOTION AND ASE, AND OTHER LUNGKRUROWSEL LLP. COOLEY MANION JO! PROOF OF SERVICE I, Lea Jones, am_a citizen of the United States and employed in San Francisco County, California. 1am over the age of eighteen years and nota party to the within-entitled action. My business address. is 201 Spear Street, Suite 1800, San Francisco, CA 94105. On October 19, 2011, I electronically filed and served the following document(s) via LexisNexis File and Serve on all parties listed on the transmission report: DEFENDANT BRAGG INVESTMENT COMPANY, INC.’S JOINDER IN DEFENDANT DOMCO PRODUCTS TEXAS INC.’S NOTICE OF MOTION AND MOTION TO DISMISS PLAINTIFES’ CLAIMS ARISING FROM THE ALLEGED ASBESTOSIS, ASBESTOS- RELATED PLEURAL DISEASE, AND OTHER LUNG INJURIES I declare under penalty of perjury under the laws of the State-of California that the above is true and correct. Executed on October 19, 2011, at San Francisco, California. INVESTMENT COMPANY, IN MOTION TO DISMISS PLAINTIFFS’ CLAIMS FOR ASE INDER TN DOMCO PRODUCTS TEXAS INC'S NOTICE Oi STOSIS, ASBESTOS-RELATED PLEURAL DISEASE, AND OTHER LUNG INJURY,