On December 30, 2019 a
Motion-Secondary
was filed
involving a dispute between
Maya Jose,
and
Adams M.D. Fred Aka Fraidon Babanejadyanghedjen,
Chlb Llc Dba College Medical Center,
Clinica Sierra Vista Exact Business Form Unknown,
College Medical Center Exact Business Form Unknown,
St. Mary'S Hospital Of Long Beach Exact Business Form Unknown,
Taylor D.O. Bruce B.,
Cruz M.A.Doe 151 Jasmine,
for civil
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 12/01/2020 11:40 AM Sherri R. Carter, Executive Officer/Clerk of Court, by J. Ballesteros,Deputy Clerk
1 DEBORAH S. TAGGART, ESQ. (SBN 96954)
dtaggart@schmidvoiles.com
2 JENNIFER K. VILLEBRO, ESQ. (SBN 231970)
jvillebro@schmidvoiles.com
3
REBECCA J. HOGUE, ESQ. (113419)
4 SCHMID & VOILES
333 South Hope Street, 8th Floor
5 Los Angeles, CA 90071
Tel: (213) 473-8700 / Fax: (213) 473-8777
6
Attorneys for Defendants, FRED ADAMS, M.D. aka FRAIDON BABANEJADYANGHEDJEN
7 and JAZMIN CRUZ, M.A. erroneously named and served JASMINE CRUZ, M.A., fictitious
defendant Doe 151
8
9 SUPERIOR COURT OF THE STATE OF CALIFORNIA
10 FOR THE COUNTY OF LOS ANGELES – SOUTH DISTRICT
11
GISELLE MAYA, a minor, by JOSE MAYA, CASE NO. 19STCV46725 [TRANSFERRED]
12 her guardian ad litem, (Dept. S27; The Honorable Mark C. Kim,
Judge, Presiding)
13 Plaintiff,
DEFENDANT JAZMIN CRUZ, M.A.’S
14
v. REPLY TO PLAINTIFF'S OPPOSITION
15 TO DEMURRER
ST. MARY'S HOSPITAL OF LONG
16 BEACH, exact business form unknown, (Filed concurrently with reply to motion to strike)
CLINICA SIERRA VISTA, exact business
17 form unknown; COLLEGE MEDICAL DATE: December 3, 2020
TIME: 8:30 a.m.
18 CENTER, exact business form unknown;
FRED ADAMS, M.D., aka FRAIDON DEPT: S27
19 BABANAJADYANGHEDJAN, an Reservation No. 761725768212
individual; BRUCE B. TAYLOR, D.O., an
20 individual; and DOES 1-500, Complaint Filed: December 30, 2019
Trial Date: None
21 Defendants.
22
REBUTTAL ARGUMENTS
23
I. INTRODUCTION
24
While plaintiff's substantive opposition arguments in her combined oppositions to the
25
demurrers of M.A. Cruz and Dr. Adams are similar, she filed her opposition to the Cruz
26
demurrer ("motion to dismiss") in federal court addressing federal standard of review. The
27
references to the opposition herein are to the federal court pleading. In addition, she attached
28
improper extraneous matter, Exhibit A, to the Cruz opposition only. (Opp.1, fn. 1. ) For the
1
REPLY OF DEF. JAZMIN CRUZ, M.A. TO PLAINTIFF'S OPPOSITION TO DEMURRER TO COMPLAINT
Document Filed Date
December 01, 2020
Case Filing Date
December 30, 2019
Status
Summary Judgment 05/10/2021
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