On July 02, 2020 a
Party Statement
was filed
involving a dispute between
Studio 35K Productions Inc.,
and
Hudson Bill,
The Truman Van Dyke Company,
for Contractual Fraud (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 02/09/2021 05:02 PM Sherri R. Carter, Executive Officer/Clerk of Court, by M. Soto,Deputy Clerk
1 Marilyn R. Victor (State Bar No. 156230)
mvictor@wshblaw.com
2 Lisa Herme (State Bar No. 283111)
lherme@wshblaw.com
3 Ashton L. McKinnon (State Bar No. 310226)
amckinnon@wshblaw.com
4 WOOD, SMITH, HENNING & BERMAN LLP
2815 Townsgate Road, Suite 215
5 Thousand Oaks, California 91361-582
Phone: (820) 333-4250 ♦ Fax: (820) 333-4249
6
Attorneys for Defendants BILL HUDSON and
7 THE TRUMAN VAN DYKE COMPANY
8
9 SUPERIOR COURT OF THE STATE OF CALIFORNIA
10 COUNTY OF LOS ANGELES
THOUSAND OAKS, CALIFORNIA 91361-5827, UNITED STATES
11
WOOD, SMITH, HENNING & BERMAN LLP
TELEPHONE (820) 333-4250 ♦ FAX (820) 333-4249
12 STUDIO 35K PRODUCTIONS, INC., a Case No. 20STCV25244
2815 TOWNSGATE ROAD, SUITE 215
California Corporation, [Assigned for All Purposes to Judge Mark V. Mooney,
13 Dept. 68]
Attorneys at Law
Plaintiff,
14 DEFENDANT BILL HUDSON'S
v. SEPARATE STATEMENT IN SUPPORT
15 OF MOTION TO COMPEL FURTHER
BILL HUDSON, an individual, THE RESPONSES, WITHOUT OBJECTIONS,
16 TRUMAN VAN DYKE COMPANY, a form TO REQUESTS FOR PRODUCTION, SET
of business entity unknown, ONE, FOR PRODUCTION OF
17 DOCUMENTS, AND REQUEST FOR
Defendant. ORDER AWARDING MONETARY
18 SANCTIONS AGAINST PLAINTIFF AND
PLAINTIFF'S COUNSEL
19
[Filed Concurrently herewith Notice of Motion;
20 Memorandum of Points and Authorities; Declaration of
Lisa Herme, Esq., and Exhibits thereto; Declaration of
21 Ashton L. McKinnon, Esq., and Exhibits thereto;
[Proposed] Order]
22
23 Date: March 9, 2021
Time: 9:00 a.m.
24 Dept.: 68
25 Reservation ID: 598601969973672737134083
26
27 TO THE COURT, PLAINTIFF AND ITS RESPECTIVE COUNSEL OF RECORD:
28 ///
20147629.1:11438-0049
DEFENDANT BILL HUDSON'S SEPARATE STATEMENT IN SUPPORT OF MOTION TO COMPEL
FURTHER RESPONSES TO REQUESTS FOR PRODUCTION OF DOCUMENTS SET ONE, AND REQUESTS
FOR MONETARY SANCTIONS AGAINST PLAINTIFF
Document Filed Date
February 09, 2021
Case Filing Date
July 02, 2020
Category
Contractual Fraud (General Jurisdiction)
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 08/16/2021
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