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  • Robert Mosqueda vs. Gabriela Gonzalez Blas, et al.Auto Unlimited (22) document preview
  • Robert Mosqueda vs. Gabriela Gonzalez Blas, et al.Auto Unlimited (22) document preview
  • Robert Mosqueda vs. Gabriela Gonzalez Blas, et al.Auto Unlimited (22) document preview
  • Robert Mosqueda vs. Gabriela Gonzalez Blas, et al.Auto Unlimited (22) document preview
						
                                

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1 Bradford G. Hughes, Esq., SBN 247141 Erin Chance, Esq., SBN 331431 2 CLARK HILL LLP 555 South Flower Street, 24th Floor 3 Los Angeles, CA 90071 Telephone: (213) 891-9100 4 Facsimile: (213) 488-1178 BHughes@ClarkHill.com 5 EChance@ClarkHill.com 6 Attorneys for Defendant FREEDOM MEDICAL TRANSPORTATION, LLC and GABRIELA 7 GONZALEZ BLAS 8 SUPERIOR COURT OF THE STATE OF CALIFORNIA 9 COUNTY OF MONTEREY 10 11 ROBERT MOSQUEDA, an individual, Case No. 22CV002878 12 Plaintiff, DEFENDANTS FREEDOM MEDICAL TRANSPORTATION, LLC AND GABRIELA 13 v. GONZALEZ BLAS’S NOTICE OF POSTING JURY FEES 14 GABRIELA GONZALEZ BLAS; FREEDOM MEDICAL TRANSPORTATION, LLC; and Assigned to: Hon. Carrie M. Panetta 15 DOES 1- through 50, inclusive, Dept.: 14 16 Defendants. Complaint Filed: September 27, 2022 Trial Date: Not Set 17 18 19 TO PLAINTIFF AND TO HIS ATTORNEYS OF RECORD: 20 PLEASE TAKE NOTICE that Defendants Freedom Medical Transportation, LLC and 21 Gabriela Gonzalez Blas hereby post jury fees in the amount of $150.00 in the above-entitled matter. 22 Dated: January 17, 2023 CLARK HILL LLP 23 24 25 By: 81(2- Bradford G. Hughes Erin Chance 26 Attorneys for Defendant FREEDOM MEDICAL TRANSPORTATION, LLC 27 and GABRIELA GONZALEZ BLAS 28 1 NOTICE OF POSTING JURY FEES 1 PROOF OF SERVICE Robert Mosqueda v. Gabriela Gonzalez Blas, et al. 2 Monterey Superior Court No. 22CV002878 3 I am employed in Los Angeles County. I am over the age of 18 and not a party to this action. My business address is 555 South Flower Street, 24th Floor, Los Angeles, California 90071. 4 On January 17, 2023, I served the foregoing document, described as DEFENDANTS 5 FREEDOM MEDICAL TRANSPORTATION, LLC AND GABRIELA GONZALEZ BLAS’ NOTICE OF POSTING JURY FEES in this action by placing 6 El the original of the document 7 IZ1 true copies of the document 8 in separate sealed envelopes to the following addresses: 9 Cathy Pantelic, Esq. Omega Law Group, PC 10 8350 Wilshire Boulevard, Third Floor Beverly Hills, CA 90211 11 (310) 526-8383 /Fax (310) 526-8263 Emails: cp@omegalaw.com 12 eservice@omegalaw.com jf@omegalaw.com 13 Attorneys for Plaintiff Robert Mosqueda 14 IZ1 BY U.S. MAIL I deposited such envelope in the mail at Los Angeles, California. The envelopes 15 were mailed with postage thereon fully prepaid. I am readily familiar with Clark Hill’s practice of collection and processing correspondence for 16 mailing. Under that practice, documents are deposited with the U.S. Postal Service on the same day which is stated in the proof of service, with postage fully prepaid at Los Angeles, California in the 17 ordinary course of business. I am aware that on motion of party served, service is presumed invalid if the postal cancellation date or postage meter date is more than one day after the date stated in this 18 proof of service. 19 El BY FEDERAL EXPRESS I am familiar with the firm's practice of collecting and processing correspondence for delivery via Federal Express. Under that practice, it would be picked up by 20 Federal Express on that same day at Los Angeles, California and delivered to the parties as listed on this Proof of Service the following business morning. 21 Z BY E-MAIL TO COUNSEL: I caused the above-referenced document to be transmitted via e mail from cnakauchi@clarkhill.com to the parties as listed on this Proof of Service. 22 23 El BY FACSIMILE I caused the above-referenced document to be transmitted via facsimile to the parties as listed on this Proof of Service. 24 IZ STATE I declare under penalty of perjury under the laws of the state of California, that the above is true and correct. 25 Executed on January 17, 2023 at Los Angeles, California. 26 /s/ Carol Ann T. Nakauchi 27 Carol Ann T. Nakauchi 28