On December 27, 2019 a
Motion-Secondary
was filed
involving a dispute between
Jung Thomas,
and
Bmw Of North America Llc,
Finchey Corporation Of California Dba Pacific Bmw,
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 12/07/2020 03:44 PM Sherri R. Carter, Executive Officer/Clerk of Court, by S. Bolden,Deputy Clerk
Adam M. Zolonz, S.B.N. 250591
1 Jeffrey A. Zolonz, S.B.N. 73285
Stephen Parnell, S.B.N. 314517
2 LAW OFFICES OF ADAM ZOLONZ, A.P.C.
1680 N. Vine Street, Suite 912
3 Los Angeles, California, 90028
Telephone: 310.247.8230
4 Facsimile: 310.888.1129
5 Attorneys for Plaintiff
THOMAS JUNG
6
7
SUPERIOR COURT OF THE STATE OF CALIFORNIA
8
9 FOR THE COUNTY OF LOS ANGELES
10
11
Law Offices of Adam Zolonz, A.P.C.
THOMAS JUNG, an individual, Case No. 19STCV46665
1680 N. Vine Street, Suite 912
12
Los Angeles, CA 90028
[Assigned for all Purposes to:
Plaintiff, Hon. Robert S. Draper, Dept. 78]
13
v. DECLARATION OF STEPHEN
14 PARNELL IN SUPPORT OF
BMW OF NORTH AMERICA, LLC, a Delaware PLAINTIFF’S REPLY RE: NOTICE OF
15 Limited Liability Company; FINCHEY MOTION AND MOTION FOR
CORPORATION OF CALIFORNIA, a California ATTORNEYS’ FEES AND COSTS
16 Corporation d/b/a PACIFIC BMW; and DOES 1
through 20, inclusive, [Reply, Exhibits eFiled concurrently
17 herewith]
18 Defendants.
Reservation ID: 878368482681
19 Date: December 14, 2020
20 Action Filed: December 27, 2019
Trial Date: None
21
22 DECLARATION OF STEPHEN PARNELL
23 I, Stephen Parnell, declare as follows:
24 1. I am an attorney at law duly licensed to practice before this Court, and if called upon as a
25 witness, I could testify based on my personal knowledge to the facts set forth below, except where
26 another basis for the assertion is specifically stated.
27 ///
28 ///
Printed On
Recycled Paper
-1-
DECLARATION OF STEPHEN PARNELL IN SUPPORT OF PLAINTIFF’S MOTION FOR ATTORNEYS’
FEES AND COSTS
Document Filed Date
December 07, 2020
Case Filing Date
December 27, 2019
Category
Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction)
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 05/27/2020
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