On June 30, 2020 a
Request,Application
was filed
involving a dispute between
Dykema Llp A California Limited Liability Partnership Aka "Dykema Gossett Llp",
and
Markolf Beau,
Markolf Max,
for Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 05/12/2021 11:38 AM Sherri R. Carter, Executive Officer/Clerk of Court, by E. Brown, Deputy Cler
CIV-100
ATTORNEY OR PARTY WITHOUT ATTORNEY: STATE BAR NO FOR COURT USE ONLY
NAME Collin Seals
FIRM NAME, The Law Offices of Collin Seals
STREET ADDRESS 790 E. Colorado Blvd. Suite 900
cry: Pasadena state: CA zp cove: 91101
TELEPHONENO.: 626.240.0632 FAX NO.
E-MAIL ADDRESS collin.seals@seals- law. com
ATTORNEY FOR (name): Dykema _ LLP
SUPERIOR COURT OF CALIFORNIA, COUNTY OF Los Angeles
STREET ADDRESS: 111 N. Hill St
MAILING ADDRESS:
city ano zip cove: LoS Angeles 90012
srancuname: Stanley Mosk Courthouse
P laintiff/P etitioner: Dykema LLP
Defendant/R espondent: Beau Markolf, Max Markolf et al
REQUEST FOR Entry of Default q Clerk's J udgment CASE NUMBER
(Application) Q_ Court) udgment 20STCV24744
Not for use in actions under the Fair Debt Buying Practices Act (Civ. Code, § 1788.50 et seq.\'see CIV-105)
1. TO THE CLERK: On the complaint or cross-complaint filed
a. on (date) June 30, 2020
b. by (name): Dykema LLP
c. og Enter default of defendant (names): Beau Markolf
d. q | request a court judgment under Code of Civil Procedure sections 585(b), 585(c), 989, etc., against defendant
(names)
(Testimony required. Apply to the clerk for a hearing date, unless the court will enter a judgment on an affidavit under
Code Civ. Proc., § 585(d).)
eq Enter clerk's judgment
(1) q for restitution of the premises only and issue a writ of execution on the judgment. Code of Civil Procedure section
1174(c) does not apply. (Code Civ. Proc., § 1169.)
Include in the judgment all tenants, subtenants, named claimants, and other occupants of the premises. The
Prejudgment Claim of Right to Possession was served in compliance with Code of Civil Procedure section
415.46,
(2) q under Code of Civil Procedure section 585(a). (Complete the declaration under Code Civ. Proc., § 585.5 on the
reverse (item 5).)
(3) for default previously entered on (date):
2. J udgment to be entered Amount Credits acknowledged Balance
a Demand of complaint.
b. Statement of damages*
(1) Special
(2) General
Interest
Costs (see reverse)
Attorney fees
TOTALS
Daily damages were demanded in complaint at the rate of: $ per day beginning (date)
(* Personal injury or wrongful death actions; Code Civ. Proc., § 425.11.)
3. q (Check if filed in an unlawful detainer case.) Legal document assistant
or unlawful detainer assistant information is on the
reverse (complete item 4)
Collin
May
Seals
12, 2021
» (sf Colin Sealy
(TYPE OR PRINT NAME) (SIGNATURE OF PLAINTIFF OR ATTORNEY FOR PLAINTIFF)
FOR COURT (1) Default entered as requested on (date) 05/12/21
USE ONLY (2) q Default NOT entered as requested (state reason)
Shetti R. Carter Executive Officer Clerk of Court Clerk, by E. Brown Deputy Page 1of2
Form Adopted for Mandator 1 Use Code of Civil Procedure, §§ 585-587, 1169
REQUEST FOR ENTRY OF DEFAULT jww.courts.ca.gov
\ [Rev. J anuary 1, 2020] (Application to Enter Default)
Document Filed Date
May 12, 2021
Case Filing Date
June 30, 2020
Category
Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction)
Status
Default Judgment By Court - Before Trial 08/02/2021
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