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  • Surjit Bagga vs. City National Bank26 Unlimited - Other Real Property document preview
  • Surjit Bagga vs. City National Bank26 Unlimited - Other Real Property document preview
  • Surjit Bagga vs. City National Bank26 Unlimited - Other Real Property document preview
  • Surjit Bagga vs. City National Bank26 Unlimited - Other Real Property document preview
  • Surjit Bagga vs. City National Bank26 Unlimited - Other Real Property document preview
  • Surjit Bagga vs. City National Bank26 Unlimited - Other Real Property document preview
						
                                

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1 G. Andrew Slater #238126 DOWLING AARON INCORPORATED E-FILED 2 8080 North Palm Avenue, Third Floor 6/11/2018 8:34 AM P.O. Box 28902 a J Fresno, California 937 29 -8902 FRESNO COUNTY SUPERIOR COURT Tel: (559) 432-4500 By: R. Faccinto, Deputy 4 Fax: (559) 432-4590 aslater@dowlingaaron. com 5 Attorneys for D efendant 6 CITY NATIONAL BANK 7 8 SUPERIOR COURT OF THE STATE OF CALIFORNIA 9 COI-]NTY OF FRESNO 10 11 SURIIT BAGGA, Case No. 16C8CG03336 T2 Plaintiff, PROOF OF SERVICE BY MAIL OF' DEF'ENDANT'S MOTION F'OR ORDER 13 v IMPOSING MONETARY SANCTIONS AND SUPPORTING DOCUMENTS I4 CITY NATIONAL BANK, FRESNO MANAGEMENT COMPANY, a California Date: July 19,2018 15 Corporation; Ray Hutchins, an individual,; Time: 3:30 p.m. James Krause, an individual; and DOES 1- Dept: 402 I6 100, inclusive, Judge: Hon. Jeffrey Hamilton 17 Defendants. 18 t9 20 2l 22 23 24 25 26 27 28 DOWLINGIAARON PROOF'OF'SERVICE BY MAIL OF DEFENDANT'S MOTION FOR ORDER IMPOSING MONETARY SANCTIONS AND SUPPORTING DOCUMENTS I PROOF OF SERVICE 2 STATE OF CALIFORNIA ) )SS J couNTY oF FRESNO ) 4 I am a citizen of the United States and a resident of the County aforesaid; I am over the age of eighteen (18) years and not aparty to the within-entitled action. My business address is 5 DowlingÂaron Incorporated, S0S0 N. Palm Avenue, Third Floor, Fresno, California, 93711. On June 11, 2018, I served the within document(s): 6 1. NOTICE OF MOTION AND MOTION FOR ORDER IMPOSING 7 MONETARY SANCTIONS AND. ISSUE, EVIDENCE, AND/OR TERMINATING SANCTIONS AGAINST PLAINTIFF SURJIT BAGGA 8 AND HER ATTORNEY OF RECORD; SUPPORTING DECLARATION OF G. ANDREW SLATER; AND SUPPORTING MEMORANDUM; 9 2. DECLARATION OF MARK A. \ilALLER IN SUPPORT OF MOTION 10 FOR ORDER IMPOSING MONETARY SANCTIONS AND ISSUE, EVIDENCE, AND/OR TERMINATING SANCTIONS AGAINST 11 PLAINTIFF SURJIT BAGGA AND HER ATTORNEY OF RECORD; aNd t2 3 IPROPOSEDI ORDER IMPOSING MONETARY, ISSUE, EVIDENCEf AND/OR TERMINATING SANCTIONS AGAINST PLAINTIF'F SURJIT 13 BAGGA AND HER ATTORNEY OF RECORD. t4 BY FAX: By transmitting via facsimile transmission the document(s) listed above to the fax number(s) set forth below on this date before 5:00 p.m. 15 n BY HAND: By personally delivering the document(s) listed above to the person(s) at the T6 address(es) set forth below. I7 X BY MAIL: By placing the document(s) listed above in a sealed envelope with postage thereon fully prepaid, ìn the United States mail at Fresno, California, addressed as set 18 forth below. t9 n BY E-MAIL: I caused to be transmitted by electronic mail the documen(s) listed above to the name(s) and e-mail address(es) set forth below on this date. The electronic 20 transmission was reported as complete and without error. 2t BY OVERNIGHT COURIER: By causing the document( s) listed above to be picked up by an overnight courier service company for delivery to the address(es) listed below 22 on the next business day. 23 Margarita Salazar, Esq. Law Offices Of MargaritaSalazar, APLC 24 333 H Street, Suite 5000 Chula Vista, California 91910 25 Telephone: (619) 551-7023-9578 Facsimile: (877)264-4695 26 Email: margarita@msalazarlaw.com 27 Attorneyþr Plaintiff SURJIT BAGGA 28 I am readily familiar with the firm's practices of collection and processing of coffespondence for mailing. Under that practice, it would be deposited with the United States 1 Postaf Service on that same day with postage thereon fully prepaid in the ordinary course of business. I am aware that on motion of the party served, service is presumed invalid if postal 2 cancellation date or postage meter date is moie than one day after date of deposit for mailing in affidavit. J I declare under penalty of perjury under the laws of the State' of California that the 4 foregoing is true and correct. 5 Executed on June 1 1, 2018, at Freqno , California. ! 6 7 8 0 14939-000004\0207 1205.DOCX. 9 10 11 t2 13 t4 15 16 t7 18 T9 20 2l 22 23 24 25 26 27 28 2 lV:V.IETDRIVE\wdocs\maindocs\O 14939\000004\0207 I 205.DOCX