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  • HOVANNES KIRAMITTCHIAN VS CITY OF LOS ANGELES, ET AL. Premise Liability (e.g., dangerous conditions of property, slip/trip and fall, dog attack, etc.) (General Jurisdiction) document preview
  • HOVANNES KIRAMITTCHIAN VS CITY OF LOS ANGELES, ET AL. Premise Liability (e.g., dangerous conditions of property, slip/trip and fall, dog attack, etc.) (General Jurisdiction) document preview
						
                                

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Electronically FILED by Superior Court of California, County of Los Angeles on 03/09/2023 07:14 PM David W. Slayton, Executive Officer/Clerk of Court, by S. Lopez,Deputy Clerk 1 Rona Eli (SBN 326093) Angelica A. Zabanal (SBN 303329) 2 DUANE MORRIS LLP 865 South Figueroa Street, Suite 3100 3 Los Angeles, CA 90017-5450 Telephone: +1 213 689 7443 4 Fax: +1 213 689 7401 E-mail: reli@duanemorris.com 5 aazabanal@duanemorris.com 6 Attorneys for Defendants CIT GROUP INC., CIT BANK, N.A., and 7 ONEWEST BANK, all of which are n/k/a First- Citizens Bank & Trust Company 8 SUPERIOR COURT OF THE STATE OF CALIFORNIA 9 FOR THE COUNTY OF LOS ANGELES 10 HOVANNES KIRAMITTCHIAN, an individual, Case No. 20STCV03111 11 Plaintiff, 12 Assigned for All Purposes to Honorable v. Daniel M. Crowley, Dept. 28 13 CITY OF LOS ANGELES, a public entity; MEMORANDUM OF POINTS AND 14 COUNTY OF LOS ANGELES, a public entity; AUTHORITIES IN SUPPORT OF ONE WEST BANK; CIT GROUP, INC., CIT MOTION TO CONTINUE TRIAL 15 BANK, N.A., and DOES 1 to 50, DATE 16 Defendants. DATE: APRIL 7, 2023 TIME: 1:30 P.M. 17 DEPT: 28 18 Action Filed: January 23, 2020 Trial Date: October 30, 2023 19 RESERVATION: 394086648236 20 21 I. INTRODUCTION 22 This personal injury action against Defendants CIT GROUP INC., CIT BANK, N.A., and 23 ONEWEST BANK, all of which are n/k/a First-Citizens Bank & Trust Company (“Defendants”), 24 arises from the alleged fall of Plaintiff HOVANNES KIRAMITTCHIAN (“Plaintiff”) on premises 25 that is not owned by Defendants and which Defendants are not liable for repairing or maintaining. 26 The trial in this matter is currently scheduled to begin on October 30, 2023, with the Final 27 Status Conference scheduled for October 16, 2023, by Order of the Court dated January 10, 2023. 28 Defendants respectfully request that the Court grant a short continuance of the trial date to January DM1\13824933.1 MEMORANDUM OF POINTS AND AUTHORITIES IN SUPPORT OF MOTION TO CONTINUE TRIAL DATE