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  • Alcaraz, Marie vs Alcaraz, Anthony J. et al document preview
  • Alcaraz, Marie vs Alcaraz, Anthony J. et al document preview
  • Alcaraz, Marie vs Alcaraz, Anthony J. et al document preview
  • Alcaraz, Marie vs Alcaraz, Anthony J. et al document preview
  • Alcaraz, Marie vs Alcaraz, Anthony J. et al document preview
  • Alcaraz, Marie vs Alcaraz, Anthony J. et al document preview
						
                                

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CIV-100 [ATTORNEY OR PARTY WITHOUT ATTORNEY. STATEBARNO: 160895 FOR COURT USE ONL' RECET ED Name: Michael Fluetsch 0022-10-04 08:39:28 Firm NAME: Fluetsch & Fluetsch STREET ADDRESS: 115 W. Walnut Street city: Lodi state: CA 2IP CODE: 95240 TELEPHONE NO.: 209-367-8888 FAXNO.: 209-367-8884 E-MAIL ADDRESS: Fluetsch@mac.com ATTORNEY FOR (name): Marie Alcaraz SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN JOAQUIN STREET ADDRESS: MAILING ADDRESS: 180 E. Weber Ave. ICITY AND ZIP CODE: Stockton, CA 95202 BRANCH NAME: Plaintiff/Petitioner: Marie Alcaraz Defendant/Respondent: Michael Alcaraz, et al. (CASE NUMBER: REQUEST FOR [s<] Entry of Default (J Clerk's Judgment STK-CV-URP-2022-0007513 (Application) [__] Court Judgment Not for use in actions under the Fair Debt Buying Practices Act (Civ. Code, § 1788.50 et seq.) (see CIV-105) 1 TO THE CLERK: On the complaint or cross-complaint filed a. on (date): August 25, 2022 b. by (name): Marie Alcaraz c. [3€] Enter default of defendant (names): ALEX F. ROBLES d. [[] | request a court judgment under Code of Civil Procedure sections 585(b), 585(c), 989, etc., against defendant (names): (Testimony required. Apply to the clerk for a hearing date, unless the court will enter a judgment on an affidavit under Code Civ. Proc., § 585(d).) e. [__] Enter clerk's judgment (1) [1 for restitution of the premises only and issue a writ of execution on the judgment. Code of Civil Procedure section 1174(c) does not apply. (Code Civ. Proc., § 1169.) [J Include in the judgment all tenants, subtenants, named claimants, and other occupants of the premises. The Prejudgment Claim of Right to Possession was served in compliance with Code of Civil Procedure section 415.46. (2) [_] under Code of Civil Procedure section 585(a). (Complete the declaration under Code Civ. Proc., § 585.5 on the reverse (item 5).) (3) [7] for default previously entered on (date): 2. Judgment to be entered. Amount Credits acknowledged Balance a Demand of complaint b. Statement of damages* (1) Special (2) General . Interest Costs (see reverse) . Attorney fees . TOTALS Daily damages were demanded in complaint at the rate of: $ per day beginning (date): (* Personal injury or wrongful death actions; Code Civ. Proc., § 425.11.) [] (Check if filed in an unlawful detainer case.) Legal document assistant or unlawful detainer assistant information is on the reverse (complete item 4). Date: 10-04-22 Michael Fluetsch (TYPE OR PRINT NAME) IGNATURE©} INTIFF OR ATTORNEY FOR PLAINTIF FOR COURT (1) [__] Default entered as requested on (date): USE ONLY (2) [_] Default NOT entered as requested (state reason): Clerk, by _ Deputy Page 1 of Form Adopted for Mandatory Use REQUEST FOR ENTRY OF DEFAULT Code of Civil Procedure, §§ 585-587, 1169 Judicial Council of California CIV-100 courts ca.gov [Rev January 1, 2020] (Application to Enter Default) CIV-100 Plaintiff/Petitioner: Marie Alcaraz ‘CASE NUMBER: STK-CV-URP-2022-0007513 Defendant/Respondent: Michael Alcaraz, et al. Legal document assistant or unlawful detainer assistant (Bus. & Prof. Code, § 6400 et seq.). A legal document assistant or unlawful detainer assistant [~~] did [5] did not or compensation give advice or assistance with this form. If declarant has received any help or advice for pay from a legal document assistant or unlawful detainer assistant, state: a. Assistant's name: 6 Telephone no.: b. Street address, city, and zip code: d. . County of registration: e. . Registration no.: Expires on (date): 5. [3] Declaration under Code Civ. Proc., § 585.5 (for entry of default under Code Civ. Proc., § 585(a)). This action a Cis ([) is not on a contract or installment sale for goods or services subject to Civ. Code, § 1801 et seq. (Unruh Act). b. [lis [x] isnot on a conditional sales contract subject to Civ. Code, § 2981 et seq. (Rees-Levering Motor Vehicle Sales and Finance Act). c. CJis [2] isnot on an obligation for goods, services, loans, or extensions of credit subject to Code Civ. Proc., § 395(b) Declaration of mailing (Code Civ. Proc., § 587). A copy of this Request for Entry of Defaultwas a. [-_] not mailed to the following defendants, whose addresses are unknown to plaintiff or plaintiffs attorney (names): b. [5€] mailed first-class, postage prepaid, in a sealed envelope addressed to each defendant's attorney of record or, if none, to each defendant's last known address as follows: (1) Mailed on (date): 10-04-22 (2) To (specify names and addresses shown on the envelopes): SEE ATTACHED | declare under penalty of perjury under the laws of the State of California that the foregoing items 4, 5, and 6 are true and correct. Date: 10-04-22 Michael Fluetsch (TYPE OR PRINT NAME) (SIGNATURE OF DECLARANT) 7. Memorandum of costs (required if money judgment requested). Costs and disbursements are as follows (Code Civ. Proc., § 1033.5): Clerk's filing fees Process server's fees Other (specify): TOTAL (J Costs and disbursements are waived. lam the attorney, agent, or party who claims these costs. To the best of my knowledge and belief this memorandum of costs is correct and these costs were necessarily incurred in this case. | declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. Date: (TYPE OR PRINT NAME) > (SIGNATURE OF DECLARANT) 8. Declaration of nonmilitary status (required for a judgment). No defendant named in item 1c of the application is in the military service as that term is defined by either the Servicemembers Civil Relief Act, 50 U.S.C. App. § 3911(2), or California Military and Veterans Code sections 400 and 402(f). I dectare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. Date: 10-04-22 Michael Fluetsch (TYPE OR PRINT NAME) > e) (SIGNATURE OF DECLARANT) ~ \ Page 2 of 2 CIV-100 [Rev. January 1, 2020} REQUEST FOR ENTRY OF DEFAULT (Application to Enter Default) ATTACHMENT Paragraph 6 — Declaration of mailing (Code Civ. Proc. §587). A copy of this Request for Entry of Default was mailed first-class, postage prepaid, in a sealed envelope addressed to each defendant’s attorney of record, of it none, to each defendant's last known address as follows: Mailed on (date): 10/04/22 To (specify names and addresses shown on the envelopes): MICHAEL ALCARAZ III, individually and dba “TDG Interiors, Inc.” 11800 Mayers Road Acampo, California 95220 TDG INTERIORS, INC., a California corporation 11800 Mayers Road Acampo, California 95220 ANTHONY J. ALCARAZ 124 Marian Lane San Jose, California 95127 ALEX F. ROBLES 11800 Mayers Road Acampo, California 95220 THERESA K. ALCARAZ 11800 Mayers Road Acampo, California 95220