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  • Jason Neel vs United States Real Estate Corporation, et al(26) Unlimited Other Real Property document preview
  • Jason Neel vs United States Real Estate Corporation, et al(26) Unlimited Other Real Property document preview
  • Jason Neel vs United States Real Estate Corporation, et al(26) Unlimited Other Real Property document preview
  • Jason Neel vs United States Real Estate Corporation, et al(26) Unlimited Other Real Property document preview
  • Jason Neel vs United States Real Estate Corporation, et al(26) Unlimited Other Real Property document preview
  • Jason Neel vs United States Real Estate Corporation, et al(26) Unlimited Other Real Property document preview
  • Jason Neel vs United States Real Estate Corporation, et al(26) Unlimited Other Real Property document preview
  • Jason Neel vs United States Real Estate Corporation, et al(26) Unlimited Other Real Property document preview
						
                                

Preview

1 Jeffrey H. Lowenthal (State Bar No. 111763) Edward Egan Smith (State Bar No. 169792) 2 Matthew W. Delbridge (State Bar No. 343636) STEYER LOWENTHAL BOODROOKAS 3 ALVAREZ & SMITH LLP 235 Pine Street, 15th Floor 4 San Francisco, California 94104 Telephone: (415) 421-3400 5 Facsimile: (415) 421-2234 E-mail: jlowenthal@steyerlaw.com 6 esmith@steyerlaw.com mdelbridge@steyerlaw.com 7 Attorneys for Defendant 8 United States Real Estate Corporation 9 Julian Karl Bach (State Bar No. 162421) 10 LAW OFFICE OF JULIAN BACH 7911 Warner Avenue 11 Huntington Beach, CA 92647 Telephone: (714) 848-5085 12 E-mail: julianbach@sbcglobal.net; julian@jbachlaw.com 13 Co-counsel for Defendant United States Real Estate Corporation 14 15 SUPERIOR COURT OF THE STATE OF CALIFORNIA 16 FOR THE COUNTY OF SANTA CRUZ 17 18 JASON NEEL, Case No. 22CV01758 19 Plaintiff, NOTICE OF JURY FEE DEPOSIT FOR 20 DEFENDANT UNITED STATES REAL v. ESTATE CORPORATION 21 SUPERIOR LOAN SERVICING, ASSET 22 DEFAULT MANAGEMENT, INC., Action Filed: August 10, 2021 [Alameda Superior] UNITED STATES REAL ESTATE Trial Date: Not Assigned 23 CORPORATION and DOES 1 through 100, inclusive, 24 Defendants. 25 26 27 28 NOTICE OF JURY FEE DEPOSIT FOR DEFENDANT UNITED STATES REAL ESTATE CORPORATION 1991903.1 - NATC.JNEEL 1 TO THE COURT, TO ALL PARTIES AND TO THEIR ATTORNEYS OF RECORD: 2 PLEASE TAKE NOTICE that Defendant United States Real Estate Corporation, hereby 3 deposits with the Clerk of the Superior Court of the County of Santa Cruz jury fees in the amount 4 of $150.00 as prescribed by California Code of Civil Procedure § 631. 5 Dated: December 13, 2022 STEYER LOWENTHAL BOODROOKAS 6 ALVAREZ & SMITH LLP 7 By:______________________________ 8 Jeffrey H. Lowenthal Edward Egan Smith 9 Matthew W. Delbridge Attorneys for Defendant 10 United States Real Estate Corporation 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 2 NOTICE OF JURY FEE DEPOSIT FOR DEFENDANT UNITED STATES REAL ESTATE CORPORATION 1991903.1 - NATC.JNEEL 1 PROOF OF SERVICE Jason Neel v. Superior Loan Servicing, et al. 2 Santa Cruz Superior Court Case No. 22CV01758 3 I declare that I am over the age of eighteen years and that I am not a party to this action. I am an employee of Steyer Lowenthal Boodrookas Alvarez & Smith LLP, and my business 4 address is 235 Pine Street, 15th Floor, San Francisco, CA 94104. 5 On the date set forth below, I served the following document(s): 6 NOTICE OF JURY FEE DEPOSIT FOR DEFENDANT UNITED STATES REAL ESTATE CORPORATION 7 on the interested parties in this action as follows: 8 Thornton Davidson Michael T. Beuselinck 9 Pamela Simmons Michael Beuselinck P.C. Thornton Davidson, P.C. 490 43rd Street, #37 10 1195 W. Shaw Lane, Suite A Oakland, CA 94609 Fresno, CA 93711 Email: mike@lawmtb.com 11 Ph: 559-476-5064 Ph: (925) 800-3032 Fax: 559-421-0368 [Attorneys for CNA Equity Group, 12 Email: thornton@thorntondavidsonlaw.com Inc. [erroneously sued as CNA pamela@pamelaw.com Equities Group, LLC] 13 [Attorneys for Plaintiff Jason Neel] 14 Julian Karl Bach 15 Law Office of Julian Bach 7911 Warner Avenue 16 Huntington Beach, CA 92647 Telephone: (714) 848-5085 17 E-mail: julianbach@sbcglobal.net; julian@jbachlaw.com 18 [Co-counsel for Defendant United States Real 19 Estate Corporation] 20 21  BY ELECTRONIC TRANSMISSION. I caused a true and correct copy of the aforementioned document to be transmitted to each of the parties at the electronic 22 notification address last given by said party on any document which he or she has filed in this action and served upon this office. 23  BY ELECTRONIC TRANSMISSION. Per the Court’s “Electronic Filing and 24 Service Standing Order”, I caused the documents to be sent to the persons at the email addresses listed with the Court in this matter. 25  BY FILE & SERVEXPRESS. I caused such document\(s\) to be electronically 26 served via File & ServeXpress on all interested parties at the email addresses listed with the Court in this matter. 27  BY CERTIFIED MAIL; RETURN RECEIPT REQUESTED. I am readily familiar 28 with the practice for collection and processing of correspondence for mailing with the 1 PROOF OF SERVICE 1908391.1 - NATC.JNEEL 1 U.S. Postal Service, to wit, that correspondence will be deposited with the U.S. Postal Service this same day in the ordinary course of business. I sealed said envelope and 2 placed it for collection and mailing following ordinary business practices. 3  BY MAIL. I am readily familiar with my firm's practice for collection and processing of correspondence for mailing with the U.S. Postal Service, to wit, that correspondence 4 will be deposited with the U.S. Postal Service this same day in the ordinary course of business. I sealed said envelope and placed it for collection and mailing following 5 ordinary business practices. 6  BY HAND DELIVERY. I caused such envelope to be delivered by hand to the offices of the addressee following ordinary business practices. 7  BY FACSIMILE. I caused such document to be delivered by facsimile transmission, 8 pursuant to Rule 2008, to the number indicated after the address(es) noted on the facsimile cover sheet. The telephone number of the sending facsimile machine is 9 415/421-2234. 10  BY FED EX. I caused such document to be delivered by overnight mail to the offices of the addressees by placing it for collection by Federal Express following ordinary 11 business practices by my firm, to wit, that packages will either be picked up from my firm by Federal Express and/or delivered by my firm to the Federal Express Office. 12 I declare under penalty of perjury under the laws of the State of California that the 13 foregoing is true and correct. 14 Executed on December 13, 2022, at San Francisco, California. 15 16 Alma Caliz 17 18 19 20 21 22 23 24 25 26 27 28 2 PROOF OF SERVICE 1908391.1 - NATC.JNEEL