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  • LAURA GONZALEZ VS BARONHR HOSPITALITY, LLC, A DELAWARE LIMITED LIABILITY COMPANY, ET AL. Wrongful Termination (General Jurisdiction) document preview
  • LAURA GONZALEZ VS BARONHR HOSPITALITY, LLC, A DELAWARE LIMITED LIABILITY COMPANY, ET AL. Wrongful Termination (General Jurisdiction) document preview
						
                                

Preview

1 Ramin R. Younessi, Esq. (SBN 175020) 2 Samantha L. Ortiz, Esq. (SBN 312503) LAW OFFICES OF RAMIN R. YOUNESSI 3 A PROFESSIONAL LAW CORPORATION 3435 Wilshire Boulevard, Suite 2200 4 Los Angeles, California 90010 Telephone: (323) 777-7777 5 Facsimile: (213) 480-6201 6 Attorneys for Plaintiff, LAURA GONZALEZ 7 8 SUPERIOR COURT OF THE STATE OF CALIFORNIA, 9 FOR THE COUNTY OF LOS ANGELES, CENTRAL DISTRICT 10 11 LAURA GONZALEZ, an individual, Case No.: 20STCV37612 12 Assigned to the Honorable Wendy Chang, Dept. 36 Plaintiff, 13 PLAINTIFF LAURA GONZALEZ’S NOTICE OF v. NON-RECEIPT OF ANY OPPOSITION TO 14 PLAINTIFF’S MOTION TO ENFORCE THE TERMS OF THE SETTLEMENT AGREEMENT 15 PURSUANT TO CCP § 664.6 AND REQUEST BARONHR HOSPITALITY, LLC, a Delaware FOR ATTORNEY’S FEES AGAINST 16 limited liability; BARONHR WEST, INC., a DEFENDANTS BARONHR HOSPITALITY, LLC Delaware corporation; DIVINE HOTELS AND BARONHR WEST, INC. 17 GROUP, a California corporation; INTERCONTINENTAL HOTELS GROUP RESERVATION ID: 371973373010 18 RESOURCES, LLC, a Delaware limited liability company; and DOES 1 through 20, Date: April 25, 2023 19 inclusive, Time: 8:30 a.m. 20 Dept: 36 Defendants 21 Complaint Filed: October 1, 2020 22 23 TO DEFENDANTS AND THEIR COUNSEL OF RECORD: 24 PLEASE TAKE NOTICE that as of April 18, 2023, Plaintiff Laura Gonzalez has not been 25 served with any opposition by Defendants BARONHR HOSPITALITY, LLC and BARONHR WEST, 26 INC. to Plaintiff’s Motion to Enforce Settlement the terms of the Settlement Agreement pursuant to CCP 27 section 664.6 and request for attorney’s fees nor does the Court’s online docket reflect that any 28 opposition has been filed. -1- PLAINTIFF’S NOTICE OF NON-RECEIPT OF DEFENDANTS’ OPPOSITIONS TO PLAINTIFF’S MOTION TO ENFORCE SETTLEMENT