arrow left
arrow right
  • RUBEN SANTOS MARTINEZ VS JAVIER AVIEL VALENZUELA Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • RUBEN SANTOS MARTINEZ VS JAVIER AVIEL VALENZUELA Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
						
                                

Preview

Electronically FILED by Superior Court of California, County of Los Angeles on 12/10/2021 04:24 PM Sherri R. Carter, Executive Officer/Clerk of Court, by S. Lopez,Deputy Clerk MICHAEL F. MOON, ESQ. (SBN 213975) 1 RYAN N. GILBERT, ESQ. (SBN 225687) MACDONALD & CODY, LLP 2 3400 Central Ave., Suite 300 Riverside, California 92506 3 Telephone: (951) 877-3299 Facsimile: (951) 877-3317 4 E-mail: mmoon@macdonaldcody.com rgilbert@macdonaldcody.com 5 6 Attorneys for Defendant JAVIER AVIEL VALENZUELA 7 8 SUPERIOR COURT OF THE STATE OF CALIFORNIA 9 COUNTY OF LOS ANGELES 10 RUBEN SANTOS MARTINEZ, an individual, Case No.: 19STCV39214 11 Plaintiff, [Unlimited Jurisdiction – Exceeds $25,000] v. 12 Assigned For All Purposes To: Judge Stephen I. Goorvitch 13 JAVIER AVIEL VALENZUELA, an Department 32 individual, and DOES 1- 10, inclusive, 14 DECLARATION OF RYAN N. GILBERT, Defendants. ESQ. 15 16 Complaint Filed: 10/28/2019 Trial Date: 02/10/2022 17 18 DECLARATION OF RYAN N. GILBERT, ESQ. 19 I, Ryan Gilbert, declare as follows: 20 1. I am an attorney licensed to practice before this and all other courts in the State of 21 California, and I am an associate with the law firm of Macdonald & Cody, LLP, attorneys of record 22 for Defendant JAVIER AVIEL VALENZUELA in this action. As such, I am fully familiar with the 23 facts and circumstances of this action and, if called as a witness, would and could testify competently 24 to the facts set forth below. 25 2. I appeared telephonically in department 32 of the Los Angeles Superior Court on 26 Spring Street for a Trial Setting Conference. To my recollection, the hearing was handled by the 27 clerk as the court was dark. 28 /// 1 DECLARATION OF RYAN N. GILBERT, ESQ.