On July 09, 2018 a
Proof of Service
was filed
involving a dispute between
Singh, Akash,
and
Central High School,
Central Unified School District,
Gutierrez, Ezequiel,
for 13 Unlimited - Defamation
in the District Court of Fresno County.
Preview
I Micah K. Nilsson#250919
DOWLING AARON INCORPORATED
2 5080 California Avenue, Suite 340 E-FILED
Bakersfield, California 93 3 09
10/25/2018 11:38 AM
J Tel: (661) 716-3000
Fax: (661) 716-3005 FRESNO COUNTY SUPERIOR COURT
By: A. Ramos, Deputy
4 mnil sson@dowlin gaaron. com
5 Attorney for Plaintiff AKASH SINGH
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8 SUPERIOR COURT OF CALIFORNIA OF THE STATE OF CALIIFORNIA
9 IN THE COUNTY OF FRESNO, B.F. SISK COURTHOUSE
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1l AKASH SINGH, Case No. 18C8CG02478
T2 Plaintiff, AMENDED PROOF OF SERVICE
REGARDING PLAINTIFF'S OPPOSITION
13 v TO DEFENDANTS' ANTI-SLAPP SPECIAL
MOTION TO STRIKE AND SUPPORTING
t4 CENTRAL UNIFIED SCHOOL DISTRICT, DOCUMENTS
CENTRAL HIGH SCHOOL, EZEQUIEL
15 GUTIERREZ, and DOES 1 to 100, inclusive,
l6 Defendants
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DOWLINGIAARON
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Page 1
AMENDED PROOF OF SERVICE REGARDING P'AINTIFF'S OPPOSITIONTO DEFENDANTS'ANTI-
SLAPP SPECIAL MOTION TO STRIKE AND SUPPORTING DOCLIMENTS
PROOF OF SERVICE
1
STATE OF CALIFORNIA )
2 SS
)
a
COUNTY OF KERN )
J
I am a citizen of the United States and aresident of the County aforesaid; I am over the
4 age ofeighteen (18) years and not a to the within-entitl ed action. My business address is
Dowling Aaron Incorporated, 5080 Avenue, Suite 340, Bakersfield, CA 93309. On
,5 October 25,2018,I served the within document(s):
6 AMENDED PROOF OF SERVICE REGARDING PLAINTIFFOS OPPOSITION
TO DEFENDANTS'ANTI.SLAPP SPECIAL MOTION TO STRIKE AND
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SUPPORTING DOCUMENTS;
8 PLAINTIFF'S OPPOSITION TO DEFENDANTSI ANTI-SLAPP SPECIAL
MOTION TO STRIKE;
9 PLAINTIFF'S EVIDENTIARY OBJECTIONS TO EVIDENCE SUBMITTED IN
SUPPORT OF ANTI.SLAPP SPECIAL MOTION TO STRIKE;
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REQUEST FOR JUDICIAL NOTICE IN SUPPORT OF PLAINTIFF'S
1l OPPOSITION TO DEFENDANTSO ANTI.SLAP SPECIAL MOTION TO
STRII(E;
l2 DECLARATION OF AKASH SINGH;
DECLARATION OF NELAM NAGRA;
13 DECLARATION OF PREETINDER DHALI\ryAL; ANI)
DECLARATION OF ALI ALNAJAR
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X BY HAND: By personally delivering the document(s) listed above to the person(s) at
the address(es) set forth below.
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t7 Kristi D. Marshall, Esq. Attorneys þr Defendants
WHITNEY, THOMPSON & JEFFCOACH, LLP
18 8050 N. Palm Avenue, Suite 110
Fresno, CA 93711
I9 Telephone: (559) 7 53-2550
Facsimile: (559) 795-2560
20 Email : kmarshall@wtjlaw.com
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I am readily familiar with the firm's practices of collection and processing of
correspondence for mailing. Under that practice, itwould be deposited with the United States
Postal Service on that same day with postage thereon fully prepaid in the ordinary course of
23 business. I am aware that on motion of the party served, service is presumed invaiid if postal
cancellation date or postage meter date is more than one day after date of deposit for mailing in
24 affidavit.
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X (State) I declare under penalty of perjury under the laws of the State of
Califomia that the foregoing is true and correct.
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oo*.-,*.lo.o*o?i8 2
AMENDED PROOF OF SERVICE REGARDING PLAINTIFF'S OPPOSITIONTO DEFENDANTS'ANTI-
SLAPP SPECIAL MOTION TO STRIKE AND SUPPORTING DOCUMENTS
I Executed on October 25,2018, at Bakersfield, California.
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AMENDED PROOF OF SERVICE REGARDING PLAINTIFF'S OPPOSITION TO DEFENDANTS'ANTI.
SLAPP SPECIAL MOTION TO STRIKE AND SUPPORTING DOCUMENTS
Document Filed Date
October 25, 2018
Case Filing Date
July 09, 2018
Category
13 Unlimited - Defamation
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