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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
  • 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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CIV-110 ATTORNEY OR PARTY WITHOUT ATTORNEY (ame, State Sar number, and address) Jan R. Brayton (State Bar # S.B. #73685) FOR COURT USE ONLY rayton <> Purcell 222 Rush Tanding Road Novato, CA 9494 TELEPHONE No ¥ 415) 898-1555 caxwo. (optaonay: (415) 898-1247 ELECTRONICALLY E-MAML ADDRESS (Optional: ATTorney For wwemey: Plaintiff, ROBERT B. ROSS, et al. F ILE D . SUPERIOR COURT OF CALIFORNIA, COUNTY OF San Francisco Superior Court of California srrccr anoress: 400 McAllister Street ounty of San Francisco MAILING ADDRESS: . OCT 04 2011 ery ann ze coe: San Francisca 94102 Clerk of the Court RANCH NAME: BY: ALISON AGBAY Deputy Clerk PLAINTIFF/PETITIONER: ROBERT B. ROSS, et al. [DEFENDANTRESPONDENT: C.C. MOORE & CO. ENGINEERS, et al. REQUEST FOR DISMISSAL [3c] Personal Injury, Property Damage, or Wrongful Death Motor Vehicle [XJ Other Family Law [| Eminent Domain CGC-10-275731 (ie) Other (specify) : Asbestos - A conformed copy will not be returned by the clerk unless a method of return is provided with the document. - CASE NUMBER: 1. TO THE CLERK: Please dismiss this action as follows: a. (1) __] With prejudice (2) [3X] Without prejudice b. (1) [QC] Complaint (2) [2] Petition (3) | Cross-complaint filed by ( (name): ‘on (date): (4) [_] Cross-compiaint filed by (name): ‘on (date): @) Entire action of all parties and ali causes of action (6) EX] Other (specify* Claims arising from the May 2009 diagnosis of asbestosis and asbestos-related pleural disease only, as to defendant ROUNTREE PLUMBING & HEATING INC. only. 2. (Complete in all cases except family law cases.) Court fees and costs were waived for a party in this case. (This infopmation may be obtained from the clerk. If this box is checked, the declaration on the back of this form must be completefi). Date: September 29, 2011 for Alan R.Brayton (TYPEOR PRINTNAME OF [_X_] aTTORNEY [ PARTY WITHOUT ATTORNEY) (SIGNATURE) “If dismissal requested is of specified parties only of specified causes of agtion Attorney’or party without attorney tor: ‘only, of of specified cross-complaints only, so slate and identify the parties, ‘causes of action, or arass-complaints to be dismissed. Plainiiff/Petitioner Defendant/Respondent Cross—Complainant 3. TO THE CLERK: Consent to the above dismissai is hereby given.” Date: > (TYPE OR PRINT NAME OF | X_| ATTORNEY PARTY WITHOUT ATTORNEY) (SIGNATURE) **1f @ cross-complaint = or Response (Family Law) seeking affirmative Attorney or party without attorney for: Sign his conser roqures by Code Sa eine ee Plaintiff/Petitioner (EC) Defendant/Respondent ort). Cross~Complainant {To be completed by clerk} 4. Dismissal entered as requested on (date): 5 Dismissal entered on (date): as to only (name): 6. Dismissal not entered as requested for the following reasons (specify): 7. a. L_] Attorney or party without attorney notified on (date): 8 b Attomey or party without attorney not notified. Filing party failed to provide a copy to be conformed means to return conformed copy Date: Clerk, by , Deputy Page 1 of 2 Fo NT Counel of Calton REQUEST FOR DISMISSAL, Gov, Gad, §e885H6h st Rubs of Ci le 388 GIV-110 (Rev. July 1, 2008) info.ca. gov favieNtaviuh Automated Palifvenin lndiotol Poemtt tonerCiv-410 PLAINTIFF/PETITIONER: ROBERT B. ROSS, et al. CASE NUMBER: DEFENDANT/RESPONDENT: C.C. MOORE & CO. ENGINEERS, et al. CGC-10-275731 Declaration Concerning Waived Court Fees The court has a statutory lien for waived fees and costs on any recovery of $10,000 or more in value by settlement, compromise, arbitration award, mediation settlement, or other recovery. The court's lien must ibe paid before the court will dismiss the case, 1. The court waived fees and costs in this action for (name): 2. The person in item 1 (check one}; a is not recovering anything of value by this action. b. is recovering less than $10,000 in value by this action. c. is recovering $10,000 or more in vaiue by this action. (if item 2c is checked, item 3 must be completed.) 3. All court fees and costs that were waived in this action have been paid to the court (check one). Yes No | declare under penalty of perjury under the laws of the State of California that the information above is true and correct. > CEYPE OF PRINT NAME OF ATTORNEY PARTY MAKING DECLARATION} (SIGNATURE) BNO FRos Hy 28 REQUEST FOR DISMISSAL LeisNexis® Automated Cabjorna cial Counc FormsBRAYTON®PURCELL LLP ATTORNEYS AT LAW 222 RUSH LANDING ROAD PO BOX 6169 NOVATO, CALIFORNIA 94949-6169 £415) 898-1555 Oo ce NY DK A Bm Ww Wm 10 PROOF OF SERVICE VIA U.S. MAIL & FACSIMILE Tam employed in the County of Marin, State of California. I am over the age of 18 years and am not a party to the within action. My business address is 222 Rush Landing Road, P.O. Box 6169, Novato, California 94948-6169. . On October 4, 2011, I served the following document(s) described as: REQUEST FOR DISMISSAL WITHOUT PREJUDICE OF CLAIMS ARISING FROM THE MAY 2609 DIAGNOSIS OF ASBESTOSIS AND ASBESTOS- RELATED PLEURAL DISEASE ONLY, AS TO DEFENDANT ROUNTREE PLUMBING & HEATING INC. ONLY on the interested party(ies) in this action as follows: Counsel for ROUNTREE PLUMBING & HEATING INC. Selman Breitman LLP 33 New Montgomery, 6" Floor San Francisco, CA 94105 x (BY OFFICE MAILING) I am readily familiar with the business practice at my place of business for collection and processing of correspondence for delivery by mail. Correspondence so collected and processed is deposited with the United States Postal Service on the same day in the ordinary course of business. On the above date the said envelope(s) was collected for the United States Postal Service following ordinary business practices, Xx gr TELECOPIER) Each of the above document(s) were telecopied this ate to the offices of the following: Counsel for ROUNTREE PLUMBING & HEATING INC. Selman Breitman LLP Fax: (415) 979-2099 The above document was transmitted by facsimile transmission and the transmission was reported as complete and without error. The transmission report confirming receipt was properly issued by the transmitting facsimile machine. Executed this 4" day of October, 2011, at Novato, California. I declare under penalty of perjury under the laws of the State of California that the “Se SLAC Diane ["Davidowski foregoing is true and correct. Robert Ross, et al. v. C.C, Moore & Co, Engineers, et al San Francisco Superior Court Case No. CGC-10-275731[025] 10/04/11 09:41:52 Diane Davidowski - Sentltems (1 item) Page 1 W Date/Time To (Company) Address Length Status Subject ® 10/04/11 09:32:00 Gilliam F. Stewart, +1 (415) 979-2099 3 OK (19349) Robert Ross Esq. (Selman Breitman LLP)