On November 12, 2019 a
Party Statement
was filed
involving a dispute between
Alan Labossiere Individually And As A Successor I Interest To Thelma Lobossiere,
Annette Leitzke Individually And As A Successor In Interest To Thelma Labossiere,
Estate Of Labossiere By And Through Its Successors In Interest Alan Labossiere And Annette Leizke,
Braille Institute Of America Inc. A Corporation,
and
Braille Institute Of America Inc. A Corporation,
for civil
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 04/28/2021 02:48 PM Sherri R. Carter, Executive Officer/Clerk of Court, by S. Lopez,Deputy Clerk
1 Marc A. Trachtman, Esq. [SBN 167820]
Timothy M. Smith, Esq. [SBN 125534]
2 TRACHTMAN & TRACHTMAN, LLP
19732 MacArthur Boulevard, Suite 100
3 Irvine, CA 92612
Telephone: (949) 282-0100
4 Facsimile: (949) 282-0111
tsmith@trachtmanlaw.com
5
Attorneys for Defendant BRAILLE INSTITUTE
6 OF AMERICA, INC. (erroneously sued as BRAILE
INSTITUTE OF AMERICA, INC.)
7
8
SUPERIOR COURT OF THE STATE OF CALIFORNIA
9
COUNTY OF LOS ANGELES
10
11 ALAN LABOSSIERE, individual and as CASE NO.: 19STCV40743
a successor in interest to Thelma
12 Labossiere, et al. [Assigned for All Purposes to
Hon. Serena R. Murillo, Department 29]
13
Plaintiffs,
DEFENDANT’S SEPARATE
14
STATEMENT OF UNDISPUTED
vs.
15 MATERIAL FACTS IN SUPPORT OF
AMENDED MOTION FOR SUMMARY
16 BRAILE INSTITUTE OF AMERICA,
JUDGMENT, OR IN THE ALTERNATIVE,
INC., a corporation; DOES 1 to 50,
17 MOTION FOR SUMMARY
Inclusive,
ADJUDICATION OF EACH OF THE
18 CAUSES OF ACTION: (1) WRONGFUL
Defendants.
DEATH, AND (2) SURVIVAL ACTION
19
20 [Filed concurrently with Notice of
BRAILLE INSTITUTE OF AMERICA,
INC., a corporation Amended Motion, Memorandum of
21 Points and Authorities, Declaration of
Cross-complainant, Timothy M. Smith, Index of Exhibits;
22 and Proposed Order]
23 vs.
DATE: July 12, 2021
24 ROES 1-25, inclusive, TIME: 1:30 p.m.
Cross-Defendants. DEPT.: 29
25
26 RESERVATION NO.
831121807657298925748582
27
COMPLAINT FILED: 11/12/19
28 TRIAL DATE: 12/6/21
-1-
___________________________________________________________
DEFENDANT’S SEPARATE STATEMENT OF UNDISPUTED MATERIAL FACTS IN SUPPORT OF
AMENDED MSJ, OR IN THE ALTERNATIVE, MOTION FOR SUMMARY ADJUDICATION OF EACH OF
THE CAUSES OF ACTION: (1) WRONGFUL DEATH, AND (2) SURVIVAL ACTION
Document Filed Date
April 28, 2021
Case Filing Date
November 12, 2019
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 12/06/2021
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