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  • Jason Neel vs United States Real Estate Corporation, et al(26) Unlimited Other Real Property document preview
  • Jason Neel vs United States Real Estate Corporation, et al(26) Unlimited Other Real Property document preview
  • Jason Neel vs United States Real Estate Corporation, et al(26) Unlimited Other Real Property document preview
  • Jason Neel vs United States Real Estate Corporation, et al(26) Unlimited Other Real Property document preview
						
                                

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Cody Molica 1029 North Road, ¹175 2 Westfield, MA 01085 (619) 693-7896 cmolical I gmail.corn 4 Cross-Defendant in Pro Per s SUPERIOR COURT OF CALIFORNIA COUNTY OF SANTA CRUZ 9 JASON NEEL Case No.: 22CV01758 10 Plaintiff, 11 vs. DECLARATION OF BEVERLY MOLICA IN SUPPORT OF REPLY MEMORANDUM IN SUPERIOR LOAN SERVICING; ASSET SUPPORT OF CROSS-DEFENDANT CODY MOLICA'S NOTICE OF MOTION AND 13 DEFAULT MANAGEMENT INC UNITED MOTION TO QUASH SERVICE OF STATES REAL ESTATE CORPORATION; SUMMONS [CODE CIV. PROC $ CNA EQUITIES GROUP, LLC; AND 41 8. I 0(A)(1 RUSHMYFILE, BUSINESS ENTITY FORM UNKNOWN, and VIGIL REAL ES'I'ATE, DEPT. 5 16 BUSINESS ENTITY FORM UNKNOWN and ACTION FILED 08/16/2022 '17 DOES I -50, inclusive, Defendants. HON. TIMOTHY VOLKMANN 18 HEARING: 5/25/23 TIME: 9AM 19 UNITED STATES REAL ESTATE CORPORATION, Cross-Complainant, UNLIMITED CIVIL ACTION 20 21 JASON NEEL, CNA EQUITY GROUP, INC, a 23 professional corporation, RUSHMYFILE, INC, a California corporation, CODY MOLICA, and ROES 1-50, inclusive, 25 Cross-Defendants. 26 27 DECLARATION OF RICHARD MOLICA IN SUPPORT OF REPLY MEMORANDUM I, Beverly Molica, declares as follows: 1. The following is my own testimony, which I could and would testify to if called upon to do so. It is of my own personal knowledge, except those matters allcgcd on information and belief, and of those mauers I believe them to be true. 2. I live with my husband Richard Molica at 4360 Stony Point Road, Santa Rosa, CA. 3. Late last year, a man was coming around with papers asking for my son and wanted to know where he's been. I asked my husband what to say and he said not to talk to 10 him. He came around a bunch of times between October and December of last year. 12 He may have come around in January also I do not remember. I don't remember 13 exactly what I said to him because I was scared. I told him my son wasn't here and shut the door. Other times I would recognize him and not answer the door. 15 4. He would bang on the door and yell for Cody. Sometimes he would leave big packets 16 of paper on the door and not say what they were. 17 18 5. My son moved to Massachusetts last year to attend school and then moved back this 19 year. 20 I declare under penalty of perjury under the laws of the State of California that the 21 foregoing is true and correct. 22 Dated: May 18, 2023 23 24 'U 25 Beverly Molica 26 27 28 DECLARATION OF RICHARD MOLICA IN SUPPORT OF REPLY MEMORANDUM