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  • JUSTIN PHAM VS. ZEN COMPOUND, LLC ET AL PERSONAL INJURY/PROPERTY DAMAGE - NON-VEHICLE RELATED document preview
  • JUSTIN PHAM VS. ZEN COMPOUND, LLC ET AL PERSONAL INJURY/PROPERTY DAMAGE - NON-VEHICLE RELATED document preview
  • JUSTIN PHAM VS. ZEN COMPOUND, LLC ET AL PERSONAL INJURY/PROPERTY DAMAGE - NON-VEHICLE RELATED document preview
  • JUSTIN PHAM VS. ZEN COMPOUND, LLC ET AL PERSONAL INJURY/PROPERTY DAMAGE - NON-VEHICLE RELATED document preview
  • JUSTIN PHAM VS. ZEN COMPOUND, LLC ET AL PERSONAL INJURY/PROPERTY DAMAGE - NON-VEHICLE RELATED document preview
  • JUSTIN PHAM VS. ZEN COMPOUND, LLC ET AL PERSONAL INJURY/PROPERTY DAMAGE - NON-VEHICLE RELATED document preview
						
                                

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24 25 JOHN P. STROUSS, HI (SBN 221723) Law Offices of John P. Strouss, III 819 Eddy Street San Francisco, CA 94109 Telephone: (415) 771-6174 Facsimile: (415) 236-6102 Attorneys for Plaintiff JUSTIN PHAM ELECTRONICALLY FILED Superior Court of Catifornia, County of San Francisco 04/23/2019 Clerk of the Court BY:ERNALYN BURA Deputy Clerk SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF SAN FRANCISCO — UNLIMITED CIVIL JURISDICTION JUSTIN PHAM, Plaintiff, VS. ZEN COMPOUND, LLC DBA TEMPLE SF NIGHT CLUB, SECURITY INTELLIGENCE SPECIALIST CORPORATION, DOES 1| to 50, Defendants. CASE NO. CGC-18-564727 PLAINTIFF’S OBJECTION TO TRIAL DATE Hearing Date: April 24, 2019 Time: 10:30 a.m. Place: Dept. 610 Date Action Filed: 3/2/2018 Trial Date: 11/4/2019 TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD: Please be advised that plaintiff Justin Pham will appear in Department 610 of the San Francisco Superior Court on April 24, 2019 at 10:30 a.m. to contest the currently set trial date in the instant matter of November 4, 2019. Counsel for plaintiff Justin Pham objects to the initial trial setting on the grounds that the court has set the matter for a court trial. Plaintiff objects and requests a jury trial. Jury fees for plaintiff Justin Pham are being paid concurrently with this notice of objection. Plaintiff’s Objection to Trial Date24 25 Accordingly, plaintiff Justin Pham requests that the trial in the matter be set for a jury trial on November 4, 2019. DATED: April 23, 2019 Law Offices of John P. Strouss, IIT JOHN P. STROUSS, III Attorney for Plaintiff JUSTIN PHAM Plaintiff’s Objection to Trial Date24 25 PROOF OF SERVICE RE: Pham y. Zen Compound, LLC dba Temple SF Night Club, et al. Case No. SCV0041989 lam over the age of eighteen (18) years and not a party to the within action. I am the owner of the Law Offices of John P. Strouss, III, 819 Eddy St., San Francisco, CA. On the date indicated below, I served the document(s) listed below in the manner indicated: DOCUMENT: Plaintiff’s Objection to Trial Date ADDRESS: Darren M. Ebner, Esq. Jamie Lee, Esq. Springel & Fink 18100 Von Karman Ave., Ste. 750 Irvine, CA 92612 Attorneys for Defendant Security Intelligence Specialist Corporation Email: jlee@springelfink.com Mark Edmun Rennie, Esq. Law Offices of Mark Rennie 870 Market St., Ste. 1260 San Francisco, CA 94102 Email: rennie23@gmail.com (0 (BY FACSIMILE) I caused the said document(s) to be transmitted by facsimile transmission to the number indicated after the address noted above or on the attachment herein. ( (BY OVERNIGHT COURIER) I caused each such envelope addressed as indicated above to be deposited in a box or other facility regularly maintained by the overnight courier or driver authorized by the overnight courier to receive documents. ( (BY MAIL) I placed a true copy enclosed ina sealed envelope, and am readily familiar with the firm’s practice of collection and processing correspondence for mailing. Under that practice it would be deposited with the U.S. Postal Service on that same day with postage thereon fully prepaid at San Francisco, California, in the ordinary course of business. () (BY PERSONAL SERVICE) I caused each such envelope to be delivered by hand to the addressee(s) noted above or on the attachment herein. (X) (BY ELECTRONIC SERVICE) I emailed the documents described above to the electronic mail address set forth above on this date before 5:00 p.m. I declare under penalty of perjury that the foregoing js tryesand correct. Executed at San Francisco, CA on April 23, 2019, 2019. ~~) Plaintiff’s Objection to Trial Date