On December 23, 2020 a
Motion-Secondary
was filed
involving a dispute between
Horton Alec,
and
Haltom Riv,
Mw Bhcc Llc Dba Griffin Club Los Angeles,
Nasseri Bita,
for Wrongful Termination (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 10/12/2021 12:00 AM Sherri R. Carter, Executive Officer/Clerk of Court, by J. Lara,Deputy Clerk
1 Law Offices of Stephen Abraham
Stephen E. Abraham, Esq. (State Bar No. 172054)
2 stephen@abraham-lawoffices.com
1592 Pegasus Street
3 Newport Beach, California 92660
Telephone: (949) 878-8608
4 Facsimile: (714) 852-3366
5 Attorney for Defendant Bita Nasseri
6 LOS ANGELES SUPERIOR COURT
COUNTY OF LOS ANGELES
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Case No. 20STCV49196
9
ALEC HORTON, an individual, DEFENDANT DR. BITA NASSERI’S
10 SEPARATE STATEMENT IN SUPPORT
Plaintiff, OF HER OPPOSITION TO PLAINTIFF’S
11 MOTION TO COMPEL FURTHER RE-
v. SPONSES TO REQUESTS FOR PRO-
12
DUCTION AND PRODUCTION (SET 1)
MW BHCC, LLC, a Delaware Limited AND REQUEST FOR SANCTIONS
13 Liability Company dba GRIFFIN CLUB
LOS ANGELES; RIV HALTOM, an In- Honorable Jon Takasugi
14 dividual; BITA NASSERI, an Individual;
and DOES 1 through 20, inclusive, Date: October 22, 2021
15
Time: 9:30 a.m.
Defendants.
16 Dept. 17
17 Reservation ID 433818739082
18
19 Defendant Dr. Bita Nasseri (“Nasseri” or “Defendant”) herewith submits her separate
20 statement in support of her opposition to Plaintiff’s motion to compel further responses to re-
21 quests for production and for production of documents and her separate request for an award of
22 sanctions for Plaintiff’s discovery abuse as follows.
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Stephen E. Abraham
____ LAW OF F ICE S ____
1592 Pegasus Street
Newport Be ach, CA
92660
(949) 878-8608
1
1 - Horton v MW BHCC (Nasseri) - SS iso Opp to Mtn to Compel (RFP1)
SEPARATE STATEMENT ISO BITA NASSERI’S OPP TO MTN TO COMPEL (RFP1)
Document Filed Date
October 12, 2021
Case Filing Date
December 23, 2020
Category
Wrongful Termination (General Jurisdiction)
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 06/27/2022
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