On December 27, 2021 a
Request,Application
was filed
involving a dispute between
Celis, Ingridh Amparo,
and
Does 1 Through 50, Inclusive,
Muratoglu, Burak,
Muratoglu, Stephanie,
for (22) Unlimited Auto
in the District Court of San Mateo County.
Preview
1 CLAUDIA LOZANO, ESQ. – State Bar No. 188742
STRATMAN & WILLIAMS-ABREGO 2/7/2022
2 P.O. Box 258829
Oklahoma City, OK 73125-8829
3 Phone: (510) 457-3440
Email: norcal.legal@farmersinsurance.com
4
Attorney for Defendants,
5 BURAK MURATOGLU; STEPHANIE MURATOGLU
6
7 SUPERIOR COURT OF THE STATE OF CALIFORNIA
8 COUNTY OF SAN MATEO
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10 INGRIDH AMPARO CELIS, an individual; , Case No.: 21-CIV-06767
UNLIMITED JURISDICTION
11 Plaintiff,
ASSIGNED TO FOR ALL PURPOSES:
12 vs. HON. V. RAYMOND SWOPE
DEPT: 23
13 BURAK MURATOGLU, an individual;
STEPHANIE MURATOGLU, an individual; and DEMAND FOR JURY AND NOTICE OF
14 DOES 1 THROUGH 50, Inclusive, POSTING JURY FEES PURSUANT TO
C.C.P. § 631
15 Defendants.
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17 TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD:
18 PLEASE TAKE NOTICE that Defendants, BURAK MURATOGLU; STEPHANIE
19 MURATOGLU, hereby demand a trial by jury and hereby post jury fees in the amount of $150.00.
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DATED: February 7, 2022 STRATMAN & WILLIAMS-ABREGO
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BY:
23
CLAUDIA LOZANO, ESQ.
24 Attorney for Defendants,
BURAK MURATOGLU; STEPHANIE
25 MURATOGLU
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DEMAND FOR JURY AND NOTICE OF POSTING JURY FEES PURSUANT TO C.C.P. § 631 - 1
1 Re: Celis v. Muratoglu, et al.,
Case Number: 21-CIV-06767
2
3 PROOF OF SERVICE
Code of Civil Procedure §§ 1013a, 2015.5
4
I am a resident of the State of California and over the age of eighteen years, and not a party to the
5 within action. My business address is P.O. Box 258829, Oklahoma City, OK 73125-8829. On
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February _____, 2022, I served the following document(s):
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7 DEMAND FOR JURY AND NOTICE OF POSTING JURY FEES PURSUANT
TO C.C.P. § 631
8
By placing the document(s) listed above in a sealed envelope, addressed as set forth
9 below, with postage fully prepaid, and placing the envelope for collection and mailing
by the U.S. Postal Service on the same day following the firm’s ordinary business
10 practices of which I am readily familiar. I am aware that on motion of the party served,
service is presumed invalid if postal cancellation date or postage meter date is more
11 than one day after date of deposit for mailing in affidavit.
12
By causing a true copy thereof to be personally delivered to the person(s) at the
13 address(es) set forth below.
14 By electronically serving the document(s) described above via a Court approved File
& Serve vendor on those recipients designated on the Transaction Receipt located on
15 the vendor’s Website.
16
By electronically serving the document(s) to the electronic mail address set forth
17 below on this date before 11:59:59 p.m. pursuant to and consistent with Code of Civil
xx Procedure §§1010.6(a)(2), (4), (5) and 1010.6(e) from email address
18 stacy.m.mcgregor@farmersinsurance.com.
19
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I declare under penalty of perjury under the laws of the State of California that the above is true
and correct.
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Executed on February ______, 2022, at San Oakland California.
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STACY M. MCGREGOR
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DEMAND FOR JURY AND NOTICE OF POSTING JURY FEES PURSUANT TO C.C.P. § 631 - 2
1 Re: Celis v. Muratoglu, et al.,
Case Number: 21-CIV-06767
2
SERVICE LIST
3
Joshua E. Yagoubzadeh, Esq.
4
Yagoubzadeh Law Firm LLP
10866 Wilshire Blvd., Suite 600
5
Los Angeles, CA 90024
Attorney for Plaintiff, Ingridh Amparo Celis
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Phone: (310) 400-5915
Fax: (310) 935-4324
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litigation@yaglaw.com
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DEMAND FOR JURY AND NOTICE OF POSTING JURY FEES PURSUANT TO C.C.P. § 631 - 3
Document Filed Date
February 07, 2022
Case Filing Date
December 27, 2021
Category
(22) Unlimited Auto
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