On August 10, 2016 a
Motion,Ex Parte
was filed
involving a dispute between
Bush, Lori,
Dignity Health, A Califonia Corporation,
and
Dignity Health, A Califonia Corporation,
St. Bernadine Medical Center A Business Entity Unknown,
Total Professional Network, Inc,
for Medical Malpractice Unlimited
in the District Court of San Bernardino County.
Preview
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(SPACE BELOW FOR FILING STAMP ONLY)
DIAMOND 81 DRAGOJEVIC, LLP
21860 BURBANK BOULEVARD, SUITE 37o
WOODLAND HILLS, CALIFORNIA 91367
TELEPHONE (818) 340.1009
SCOTT R. DIAMOND, STATE BAR NO. 93706
JULIA DRAGOJEVIC, STATE BAR NO. 93734
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OF CALIFORNIA
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FEB 1 0 2022
OOVQUl-FUJN
Attorneys for TOTAL
Defendant/Cross-Defendant,
PROFESSIONAL NETWORK, INC., sued /
and served herein as DOE 1
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Pada Hernandez Donny
SUPERIOR COURT OF THE STATE OF CALIFORNIA
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COUNTY OF SAN BERNARDINO SAN BERNARDINO DISTRICT -
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LORI BUSH, an individual;
CASE NO. CIVDSI613161
[Assigned to Hon. John M. Pacheco
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in Dept. S31 for all purposes]
Plaintiff,
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MOTION IN LIMINE RE IMPROPER
QUESTIONING DURING VOIR DIRE;
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DECLARATION OF SCOTT R. DIAMOND;
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MEMORANDUM OF POINTS AND
AUTHORITIES
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[Number 1]
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Trial Readiness Conference:
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Date: 2/10/22
ST. BERNARDINE MEDICAL
Time: 9:00 a.m.
20 CENTER, a business entity form
Dept: S31
unknown; DIGNITY HEALTH, a
21 California Corporation; and DOES 1
Trial:
through 200, inclusive,
Date: 2/14/22
22 Time: 10:00 a.m.
Defendants.
Dept: S31
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AND RELATED CROSS-ACTIONS. [Complaint Filed; 8/10/16]
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26 Defendant/Cross—Defendant, Total Professional Network, Inc., sued and served
27 herein as Doe 1 (hereinafter “defendant”), respectfully requests of this Court that an order
28 be issued excluding any reference by plaintiff’s counsel during voir dire to a specific dollar
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C:\Users\FR\My
ShareSync\W\RME\OB\001o MOTION IN LIMl'NE RE IMPROPER QUESTIONING DURING VOIR DIRE; DECLARATION OF SCOTT R. DIAMOND; MEMORANDUM OF POINTS
7\MILS\M|L-OO1.wpd AND AUTHORITIES [Number 1]
1 amount as potential damages in this action.
2 The purpose 0f this Motion will be t0 prevent plaintiff s counsel from attempting to
3 prej udice the jury against defendant during voir dire.
4 The Motion is based upon the Court file, Evidence Code Sections 350 and 352,
5 California Code of Civil Procedure Section 222.5, California Rules 0f Court, Rule 228, the
6 attached Memorandum of Points and Authorities, and the Declaration 0f Scott R. Diamond.
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8 DATED: January 5, 2022
9 Respectfully submitted,
10 DIAMOND & DRAGOJEVIC, LLP
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By M WW
SCOTT R. DIAMOND
Attorneys for Defendant/Cross-Defendant, TOTAL
14 PROFESSIONAL NETWORK, INC., sued and served herein
as DOE 1
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C:\Users\Robinson\My 2
Sharesyndwmmaomom 0 MOTION IN LIMINE RE IWROPER QUESTIONING DURING VOIR DIRE; DECLARATION OF SCOTT R‘ DIAMOND; MEMORANDUM OF POINTS
7\M|LS\M|L-001 .wpd AND AUTHORITIES [Number 1|
Document Filed Date
February 10, 2022
Case Filing Date
August 10, 2016
Category
Medical Malpractice Unlimited
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