On January 03, 2022 a
No Value
was filed
involving a dispute between
Havarti Brie,
Jung James,
and
Carter Samson,
Cater Samson,
Cater Tiffany,
Gant Roshima,
Hankins Willie D,
Manchego Blue,
for Unlawful Detainer/Residential (not drugs or wrongful eviction) (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 04/14/2022 09:56 AM Sherri R. Carter, Executive Officer/Clerk of Court, by S. Reyna,Deputy Clerk
UD-120
ATTORNEY OR PARTY WITHOUT ATTORNEY STATE BAR NUMBER: 290139
NAME: JOSEPH L. CRUZ, ESQ.
FIRM NAME: JOSEPH L. CRUZ, APC
STREET ADDRESS: 527 W. 7
TH STREET, SUITE 903
CITY: LOS ANGELES CITY: CA ZIP: 90014
TELEPHONE NO.: (323) 692-0199 FAX NO: (323) 692-0197
EMAIL ADDRESS: JOE@CRUZAPC.COM
ATTOREY FOR (name): PLAINTIFF
SUPERIOR COURT OF CALIFORNIA, COUNTY OF LOS ANGELES
STREET ADDRESS: 9425 PENFIELD AVENUE
MAILING ADDRESS:9425 PENFIELD AVENUE
CITY AND ZIP CODE: CHATSWORTH CA 91311
BRANCH NAME: CHATSWORTH
PLAINTIFF: JAMES JUNG
DEFENDANT: WILLIE D. HANKINS FOR COURT USE ONLY
CASE NUMBER:
VERIFICATION BY LANDLORD REGARDING RENTAL ASSISTANCE 22CHCV00003
This form must be filed by the plaintiff with any request for default judgment in any unlawful detainer action seeking possession of
residential property based on nonpayment of rent or any other financial obligation under a lease. It may also be used at other times
as appropriate or when requested by a judicial officer.
1. The landlord of the property at issue in this case is (name): JAMES JUNG
2. All of the following statements are true:
a. Landlord has not received rental assistance or other financial compensation from any other source corresponding to the
amount demanded in the notice underlying the complaint in this action.
b. Landlord has not received rental assistance or other financial compensation from any other source for rent accruing after the
date of the notice underlying the complaint in this action.
c. Landlord does not have any pending application for rental assistance or other financial compensation from any other source
corresponding to the amount demanded in the notice underlying the complaint in this action.
d. Landlord does not have any pending application for rental assistance or other financial compensation from any other sources
for rent accruing after the date of the notice underlying the complaint in this action.
3. Application for Rental Assistance (Must be completed for all actions based on a notice of nonpayment of rent or financial
obligations under the tenancy due between March 1, 2020, and March 31, 2022. (See Code Civ. Proc.,§ 1179.11(c).))
a. ☐ The tenancy was initially established on or after October 1, 2021. (If this box is checked, state below when and how it
was established. There is no need to complete the other subparts of this item.)
b. ☒ Before filing the complaint, the landlord completed an application for rental assistance to cover the rental debt (rent or
financial obligations related to the tenancy) demanded in the complaint.
(1) The application was made to the government agency that provides such assistance in the locality of the property at
issue (name of agency): State of California Business, Consumer Services and Housing Agency.
Page 1 of 2
Form Adopted for Mandatory Use Health & Safety Code, § 50897.3(e)(2)
Judicial Council of California
VERIFICATION BY LANDLORD
UD-120 [Rev. October 1, 2021] REGARDING RENTAL ASSISTANCE
Document Filed Date
April 14, 2022
Case Filing Date
January 03, 2022
Category
Unlawful Detainer/Residential (not drugs or wrongful eviction) (General Jurisdiction)
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