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1 JOHN P. HANNON II
Law Offices of John P. Hannon II
2 SB No: 111692
273 Knappton Road
3 Naselle, WA 98638
PH: (831) 239-4809
4 E-Mail: jph3003@yahoo.com
5 Attorney for Plaintiff:
JUANITA OLSON
6
7
8 IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA
9 COUNTY OF SANTA CRUZ
10
11 JUANITA OLSON, ) CASE NO.: 21CV00921
)
12 Plaintiff, ) PLAINTIFF'S SEPARATE
) STATEMENT OF UNDISPUTED
13 V. ) FACTS.
)
14 LIDIA RYAN, et al., )
)
15 Defendants. )
) Hearing Date: 7/10/2022
16 ) Time: 8:30 a.m.
AND RELATED CROSS-ACTION, ) Dept.: 5
17 ) Judge: T. Volkmann
18
PLAINTIFF'S SEPARATE STATEMENT OF UNDISPUTED FACTS
19
I. THERE IS NO TRIABLE ISSUE OF FACT AS TO THE FOURTH CAUSE OF
20 ACTION AND DAMAGES SHOULD BE ENTERED IN THE SUM OF $500,000.
2111,---------------- r--------------- -,
22 UNDISPUTED FACT RESPONSE OF DEFENDANT
23 1. On April 8, 2021, Plaintiff, Juanita Olson
24 (hereinafter "Olson") filed a verified complaint
seeking relief related to a mobile home a
25 leasehold interest for property located at 170
West Cliff Drive, #57, Santa Cruz, California
(hereinafter "subject property").
26
Request for Judicial Notice (hereinafter "RJN")
27 no. 1, p. 1, 5
28
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1 2. Olson suffers from Lupus which can be
exacerbated by stress.
2
Declaration ofJuanita Olson (hereinafter
3 "Olson Dec.") p. 3, lns. 6-7; p. 4 lns 1-6, p. 11,
lns. 9-12.
4 m------------------+---------------------l
3. Defendant, Lidia Ryan (hereinafter "Ryan"
5 is aware ofOlson's Lupus and that stress can
cause a life threatening flare up.
6
Olson Dec. p. 4, lns. 1-6; p. 17 lns. 22-24
7 m------------------+---------------- -----l
4. On May 26, 2021, Defendant, Lidia Ryan
8 (hereinafter "Ryan") filed a verified answer to
the complaint.
9
RJN no. 2.
10 111---------------------+---------------------l
5. On May 26, 2021, Ryan filed a crossÂ
11 complaint seeking damages for breach of
contract and fraud.
12
RJN. no. 3.
13 111----------------------+----------------------I
6. Olson is the primary resident ofthe subject
14 property while Ryan would visit from time to
time.
15
RJN no. 10, attachments 3(b); 3(c); and 4(c).
16 llt-"'���='-="-===�---------+---
R JN no. 12 attachments -------------------1
7. On May 17, 2022, Olson served Ryan with
17 written discovery, including a set ofrequests for
admission offacts.
18
RJN no. 5, p. 2, ln. 12-16, Ex. D to RJN no. 5.
19 111----------------------+----------------------1
8. Defendant, Lidia Ryan, failed to respond to
20 the discovery propounded on May 17, 2022,
including the requests for admission offacts.
21
RJN no. 4, p. 2, lns. 14-15.
22 RJN no. 5, p. 2, lns. 17-18,
23 9. Due to the failure ofDefendant to respond to
written discovery, Plaintiff filed a motion on
24 July 6, 2022, to compel responses to discovery
and to order that matters set forth in the
25 requests for admissions be deemed admitted.
26 RJN no. 4. p. 2, lns. 8-10.
RJN no. 5, p. 2, lns. 25-27.
27
28
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PROOF OF SERVICE BY OVERNIGHT DELIVERY AND E-MAIL
The undersigned hereby declares that he/she is over the age of 18 years and not a party
to the action. The undersigned's business address is 273 Knappton Road, Naselle, WA 98638.
On the date last written, the undersigned delivered the following document(s):
Plaintiff's Separate Statement of Undisputed Facts.
by personally sending by overnight mail through United Postal Service and by e-mailing the
above listed document(s) on the same date of signature hereto to the address(es) and e-mail(s)
set forth:
Lidia Ryan
3970 Harney Road
San Diego, CA 92110
Also via e-mail: rriver.ryan@gmail.com
I declare under penalty of perjury under the laws of the State of California that the
foregoing is true and correct.
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BY:
-=:::::::: JQHN-P:--f!ANNON II