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  • CEDAR TOWERS CONDOMINIUM ASSOCIATION VS GARY IACOBUCCI, ET AL. Other Real Property (not eminent domain, landlord/tenant, foreclosure) (General Jurisdiction) document preview
  • CEDAR TOWERS CONDOMINIUM ASSOCIATION VS GARY IACOBUCCI, ET AL. Other Real Property (not eminent domain, landlord/tenant, foreclosure) (General Jurisdiction) document preview
						
                                

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Superior ( nia Cou 5 jeles [ Evelyn Iacobucci - ik e 335 Cedar Ave #116 DEC 30 Zeer WLong Beach, CA 90802 Sherri R Carter, Executive Officer/Clerk Telephone: (818) 619-9902 B Email: evelyniacobucci@gmail.com — 7 W Defendant, EVELYN IACOBUCCI (etoneavsly, named a5 BRTINEY SLATER -SHE W) A W O N SUPERIOR COURT OF THE STATE OF CALIFORNIA &0 FOR THE COUNTY OF LOS ANGELES O et o CEDAR TOWERS CONDOMINIUM ) Case No.: 21LBCV00608 ASSOCIATION, a California non-profit mutual ) ek = benefit corporation, ) Unlimited Jurisdiction ) et Plaintiff, ) Hon. Michael P. Vicencia WY ) e VS. g Dept. S26 et R | GARY IACOBUCCI, an individual; BRITTNEY ) ROSE SLATER-SHEW, an individual; and ) ANSWER N e DOES 1 through 25, inclusive, ) g N o Defendants. ) e ) 0NN ) e e COMES NOW the Defendant Evelyn Iacobucci (formerly Brittney Rose Slater-Shew) in O N answering the allegations of Plaintiff's Complaint denies and alleges as follows: 1. Defendant does not dispute the facts set forth in Paragraphs 1 - 11 of Plaintiff's = N Complaint. N N 2. Defendant denies the allegations in Paragraph 12. LW N Additional Statement from the Defendant to the Court Your Honor, A NN | I ask the Court to consider reasonable accommodation for a diagnosed medical condition (bipolar 26 disorder), and to recognize that I have no prior history of abusive, defematory, threatening or otherwise anti-social behavior as alleged in the Plaintiff's complaint. [ am seeking treatment for this 27 condition and assert that I have committed no violations of the CC&Rs since this complaint was filed, and that there is no ongoing nuisance. 28 -1- ANSWER