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  • CAVALRY SPV I LLC AS ASSIGNEE OF DEPARTMENT STORES NATIONAL BANK VS LARRY MOORE, AN INDIVIDUAL Collections Case - Purchased Debt (Charged Off Consumer Debt Purchased on or after January 1,2014) (Limited Jurisdiction) document preview
  • CAVALRY SPV I LLC AS ASSIGNEE OF DEPARTMENT STORES NATIONAL BANK VS LARRY MOORE, AN INDIVIDUAL Collections Case - Purchased Debt (Charged Off Consumer Debt Purchased on or after January 1,2014) (Limited Jurisdiction) document preview
						
                                

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Electronically FILED by Superior Court of California, County of Los Angeles on 01/02/2020 03:47 PM Sherri R. Carter, Executive Officer/Clerk of Court, by K. Van,Deputy Clerk 1 Christopher D. Mandarich SB 220693 Gissela Arrincon-Tepeli SB309803 2 Amber Swearingen-Ojuri SB324653 Christine S. Siduguen SB240380 3 MANDARICH LAW GROUP, LLP 4 P.O. Box 109032Chicago, IL 60610 Phone: 877.285.4918 5 Facsimile: 818-888-1260 6 Attorneys for Plaintiff: CAVALRY SPV I, LLC, AS ASSIGNEE OF DEPARTMENT STORES NATIONAL BANK 7 SUPERIOR COURT OF CALIFORNIA 8 IN AND FOR THE COUNTY OF LOS ANGELES 9 CAVALRY SPV I, LLC, AS ASSIGNEE OF ) Case No.: 10 DEPARTMENT STORES NATIONAL BANK, ) 11 Plaintiff, ) vs. ) 12 FILE BY FAX ) DECLARATION OF VENUE LARRY MOORE, an individual; ) 13 and DOES 1 through 10 inclusive. ) 14 Defendant ) ________________________________________ 15 I, the undersigned attorney of record, hereby declare as follows: 16 1. I am an attorney licensed to practice before all courts of the State of California, 17 and I am one of the attorneys of record for the Plaintiff. The declaration is made of my own 18 knowledge and if sworn as a witness, I would and could testify thereto. 19 2. This is the proper venue, superior court and court location for this action because 20 a defendant herein resides in this court’s jurisdiction. 21 I declare under penalty of perjury under the laws of the State of California that the 22 foregoing is true and correct. Executed on December 25, 2019 in Los Angeles, California. 23 MANDARICH LAW GROUP, LLP 24 25 26 [X] Gissela Arrincon-Tepeli, Esq. Attorneys for Plaintiff 27 28 DECLARATION OF VENUE