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  • PEDRO GUEVARA VS LA CASA BUILDING CONTRACTORS INC. Wrongful Termination (General Jurisdiction) document preview
  • PEDRO GUEVARA VS LA CASA BUILDING CONTRACTORS INC. Wrongful Termination (General Jurisdiction) document preview
						
                                

Preview

Electronically FILED by Superior Court of California, County of Los Angeles on 06/13/2022 08:52 PM Sherri R. Carter, Executive Officer/Clerk of Court, by M. Gonzalez,Deputy Clerk 1 John Levine, Esq. (SBN 82295) Law Offices of John Levine 2 9025 Wilshire Blvd. Suite 304 3 Beverly Hills, CA 90211 Phone: (310) 295-2277 4 Fax: (310) 388-0144 5 Attorney for Specially Appearing Defendant LA CASA BUILDING CONTRACTORS, INC. 6 SUPERIOR COURT OF CALIFORNIA COUNTY OF LOS ANGELES 7 8 STANLEY MOSK COURTHOUSE 9 PEDRO GUEVARA, ) Case No.: 20 STCV 46360 ) 10 ) Plaintiff, ) REPLY TO 11 vs. ) OPPOSITION TO 12 ) MOTION TO QUASH ) 13 LA CASA BUILDING CONTRACTORS, ) EVIDENTIARY OBJECTION INC.., et. al. ) TO DECLARATION OF 14 ) THOMAS H. SCHELLY, ESQ. Defendant ) FILED CONCURRENTLY 15 ) 16 ) Date: June 17, 2022 ) Dept. 16 17 ) Time: 9:00 a.m. ) 18 ) Trial Date: Not Set 19 To the Court, Plaintiff PEDRO GUEVARA and his attorney of record: 20 Specially Appearing Defendant LA CASA BUILDING CONTRACTORS, INC. (“LA 21 CASA”) hereby submits its Reply to Opposition to Motion to Quash Summons and Complaint. 22 23 While Plaintiff in his Opposition claims LA CASA was served, Plaintiff’s supplemental 24 declaration of his counsel includes a ‘Non Service Report” of his registered process server. At 25 the same time, Plaintiff without any lawful basis, seeks in his Opposition permission of the Court 26 to allow service by publication. Plaintiff’s Opposition demonstrates no service on LA CASA. 27 28 Pedro Guevara v. La Casa Building Contactors, Inc., et. al.., 20 STCV 046360 REPLY TO OPPOSITION TO MOTION TO QUASH -1-