On July 14, 2020 a
Motion-Secondary
was filed
involving a dispute between
Parzivand Daniel M.,
Zelener Ilana,
Zelener Jacqueline,
and
All Persons Unknown Claiming Any Legal Or Equitable Right Title Estate Lien Or Interest...,
All Persons Unknown Claiming Any Legal Or Equitable Right Title Estate Lien Or Interest In The Property Described In The Complaint,
Parzivand Daniel M.,
Parzivand Jacqueline,
for Other Real Property (not eminent domain, landlord/tenant, foreclosure) (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 09/08/2022 06:36 AM Sherri R. Carter, Executive Officer/Clerk of Court, by K. Hung,Deputy Clerk
1 TERRY J. KENT (BAR NO. 248098)
tkent@levatolaw.com
2 LevatoLaw, LLP
2029 Century Park East, Suite 400
3 Los Angeles, California 90067
Telephone: (310) 734-2027
4
Attorneys for Defendant/Cross-Complainant
5 DANIEL M. PARZIVAND
6
7 SUPERIOR COURT OF CALIFORNIA
8 COUNTY OF LOS ANGELES, CENTRAL DISTRICT
9
10 ILANA ZELENER, an individual, Case No. 20STCV26377
11 Plaintiff, [Assigned for all purposes to the
Hon. Gail Killifer, Dept. 37]
2029 Century Park East, Suite 400
LOS ANGELES, CALIFORNIA 90067
12 vs.
DECLARATION OF TERRY J. KENT
13 DANIEL M. PARZIVAND, an individual, IN SUPPORT OF DEMURRER TO
LevatoLaw, LLP
(310) 734-2027
ALL PERSONS UNKNOWN, AND MOTION TO STRIKE
14 CLAIMING ANY LEGAL OR PORTIONS OF SECOND AMENDED
EQUITABLE RIGHT, TITLE, ESTATE, COMPLAINT
15 LIEN, OR INTEREST IN THE
PROPERTY DESCRIBED IN THE Date: October 20, 2022
16 COMPLAINT; DOES 1 through 10, Time: 8:30 a.m.
inclusive, Dept.: 37
17
Defendants. Complaint Filed: July 14, 2020
18 Trial Date: November 29, 2022
19
And cross action
20
21
I, Terry J. Kent, declare as follows:
22
1. I am an attorney at law duly licensed to practice before all of the courts
23
in the State of California. I am a partner of the law firm of LevatoLaw, LLP. I am
24
counsel of record for Defendant/Cross-Complainant Daniel M. Parzivand (“Daniel”)
25
in this action.
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2. I have personal knowledge of the facts set forth in this Declaration and,
27
if called as a witness, could and would testify competently to such facts under oath.
28
DECLARATION OF TERRY J. KENT IN SUPPORT OF DEMURRER TO AND MOTION TO STRIKE
PORTIONS OF SECOND AMENDED COMPLAINT
Document Filed Date
September 08, 2022
Case Filing Date
July 14, 2020
Category
Other Real Property (not eminent domain, landlord/tenant, foreclosure) (General Jurisdiction)
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