On November 14, 2019 a
Party Discovery
was filed
involving a dispute between
Castillo-Palomo Yari,
Castillo Yarisol Hernandez A Minor By And Through Her Guardian Ad Litem Yari Castillo-Palomo,
Hernandez Nayeli A Minor By And Through Her Guardian Ad Litem Yari Castillo-Palomo,
Ruiz Emmanuel A Minor By And Through His Guardian Ad Litem Dina Ruiz,
and
Day Michael James,
for Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 09/09/2021 03:45 PM Sherri R. Carter, Executive Officer/Clerk of Court, by J. Briggs,Deputy Clerk
1 YAGOUBZADEH LAW FIRM LLP
JONATHAN M. YAGOUBZADEH, State Bar No. 248600
2 DANIEL A. YAGOUBZADEH, State Bar No. 278377
JOSHUA E. YAGOUBZADEH, State Bar No. 285861
3 SUNNY G. KHEHRA, State Bar No. 308967
SEAN O’DOHERTY, State Bar No. 87556
4 SEVAN I. MOVSESIAN, State Bar No. 311512
CARLO BROOKS, State Bar No. 316485
5 10866 Wilshire Boulevard, Suite 600
Los Angeles, California 90024
6 Telephone: (310) 400-5915t
Facsimile: (310) 935-4324
7 Email: litigation@yaglaw.com
8 Attorneys for Plaintiffs,
YARI CASTILLO-PALOMO, EMMANUEL RUIZ, NAYELI HERNANDEZ,
9 and YARISOL HERNANDEZ CASTILLO
Telephone: (310) 400-5915 Facsimile: (310) 935-4324
10
SUPERIOR COURT OF THE STATE OF CALIFORNIA
10866 Wilshire Boulevard, Suite 600
11
COUNTY OF LOS ANGELES – NORTH DISTRICT
Los Angeles, California 90024
12
YARI CASTILLO-PALOMO, an individual; Case No.: 19AVCV00851
13 EMMANUEL RUIZ, a minor, by and through
his Guardian Ad Litem, DINA RUIZ; SEPARATE STATEMENT IN SUPPORT
14 NAYELI HERNANDEZ, a minor, by and OF PLAINTIFF’S MOTION TO COMPEL
through her Guardian Ad Litem, YARI FURTHER DISCOVERY RESPONSES
15 CASTILLO-PALOMO; PLAINTIFF’S REQUESTS FOR
YARISOL HERNANDEZ CASTILLO, a ADMISSIONS TO DEFENDANT MICHAEL
16 minor, by and through her Guardian Ad Litem, JAMES DAY, SET ONE (1)
YARI CASTILLO-PALOMO;
17 Date: November 4, 2021
Time: 8:30 a.m.
18 Plaintiffs, Dept.: A15
19 vs. Reservation ID: 713009085698
20 MICHAEL JAMES DAY, an individual; [Filed Concurrently with Motion to Compel]
and DOES 1 THROUGH 50, Inclusive.
21
Defendants.
22
23
TO ALL PARTIES AND THEIR RESPECTIVE ATTORNEYS OF RECORD:
24
Pursuant to Rule 3.1345 of the California Rules of Court, Plaintiffs submit the following
25
Separate Statement in support of their Motion to Compel Further Responses to Request for
26
Admission, Set One.
27
28
-1-
SEPARATE STATEMENT IN SUPPORT OF MOTION TO COMPEL
RESPONSES TO REQUEST FOR ADMISSION, SET ONE
Document Filed Date
September 09, 2021
Case Filing Date
November 14, 2019
Category
Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction)
Status
Court-Ordered Dismissal - Other (Other) 07/17/2023
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