arrow left
arrow right
  • JEFF CHAVEZ, AN INDIVIDUAL VS LOS ANGELES COUNTY METROPOLITAN TRANSPORTATION AUTHORITY, A PUBLIC ENTITY, ET AL. Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • JEFF CHAVEZ, AN INDIVIDUAL VS LOS ANGELES COUNTY METROPOLITAN TRANSPORTATION AUTHORITY, A PUBLIC ENTITY, ET AL. Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
						
                                

Preview

Electronically FILED by Superior Court of California, County of Los Angeles on 02/14/2023 10:52 AM David W. Slayton, Executive Officer/Clerk of Court, by S. Lopez,Deputy Clerk MC-051 ATTORNEY OR PARTYWITHOUT ATTORNEY (Name, slate bar number, and address): FOR COURT USE ONLY Nina Sargsyan, Esq.; SBN 298786 .~ Downtown L.A. Law Group 601 N. Vermont Ave Los Angeles, California 90004 TELEPHONE NO: 213-389-3765 raxno. 877-389-2775 ATTORNEY FOR (Namo): Plaintiff, Jeff Chavez name or court: Superior Court of California, County of Los Angeles streeTaopress: 312 N. Spring Street mawincappress: 312 N. Spring Street cry anpzipcove: Los Angeles, California 90012 BRANCHNAME: Spring Street Courthouse 2eeruatinn ED: 514103483068 } CASE NAME: CASE NUMBER: 1 Chavez v. LA County Metropolitan Transportation Authority., et al. 21STCV25250 Hearinc pate: March 10, 2023 4 NOTICE OF MOTION AND MOTION pepr.: 32 _ Te: 1:30 PM TO BE RELIEVED AS BEFOREHON: Whitaker, Michael E. COUNSEL—CIVIL oateactionrieo: July 7, 2021 triat pate: NONE TO (name and address of clien y; Jeff Chavez 412 E. 53rd Street, Long Beach, California 90805 1. PLEASE TAKE NOTICE that (name of withdrawing attorney): Nina Sargsyan, Esq. & Daniel Azizi, Esq. moves under California Code of Civil Procedure section 284(2) and California Rules of Court, rule 3.1362, for an order permitting the attorney to be relieved as attorney of record in this action or proceeding. Plea, 2. Ahearing on this motion to be relieved as counsel will be held as follows: a. Date: March 10, 2023 Time: 1:30 PM Dept.: 32 Room: b. The address of the court: same as noted above [__] other (specify): 3. This motion is supported by the accompanying declaration, the papers and records filed in this action or proceeding, and viet or evidence (specify): the following additional documents The specific facts which give rise to this motion are confidential and required to be kept confidential pursuant to Business and Professions Code §6068(e), rule 3-100(A), California Rules of Professional Conduct, andby the attorney-client privilege (Evid. C., @950 et seq.). In the event that this court desires further information to ascertain the good faith basis for this motion and for withdrawal, it is respectfully requested that the court have an in camera hearing outside of the presence of all other parties so that the specific facts demonstrating good cause for this withdrawal may be demonstrated to the court. (Manfredi & Levine v. Superior Court (1 998) 66 Cal.App.4th 1 128, 1 136-1 137; 3-700(B) or (C)) (This motion does not need to be accompanied by a memorandum of points and authorities. Cal. Rules of Court, rule 3.1362.) 4, The client presently represented by the attorney is ; a. an individual. g. [__] a trustee. 5 b. [-_] acorporation. h. [___] a personal representative. c. [__] apartnership. i. [__] a probate fiduciary. d. [__] an unincorporated association. j. [] a guardian ad litem. : e. [___] a guardian. k. [__] other (specify): : f. [~_] aconservator. (Continued on reverse) Page 1 ofZ Form Adopted for Mandatory Use NOTICE OF MOTION AND MOTION Cade of Civil Procedure , § 284; Mo-OSt January (Rov, 1 2007) TO BE RELIEVED AS COUNSEL—CIVIL Ca Rees courtnto.ca.goy ; y i i