Preview
1 RECORDING REQUESTED BY AND
WHEN RECORDED MAIL TO:
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DAVID R. BECK, SBN 124372
3 BECK & MATHIESEN, APC
700 Frederick St., Ste. 306
4 Santa Cruz, CA 95062
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_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ __.__ _RECORDER'S USE ONLY_ _ _ _ _ _ _ __
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David R. Beck, SBN 124372
8 Beck & Mathiesen, APC
700 Frederick St., Ste. 306
9 Santa Cruz, CA 95062
Tel: (831) 429-0181
10 Fax: (831) 429-5617
Dave@BeckMathiesen.com
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12 Attorney for Plaintiffs
Ron Munger and Julie Mott
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SUPERIOR COURT OF CALIFORNIA
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COUNTY OF SANTA CRUZ
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RON MUNGER, JULIE MOTT, No. 22CV00157
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Plaintiffs, NOTICE OF WITHDRAWAL OF NOTICE OF
18 PENDENCY OF ACTION
v.
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MARY LOEB, and DOES 1-10,
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Defendants.
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PLEASE TAKE NOTICE THAT Plaintiffs' RON MUNGER and JULIE MOTT
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withdraw the notice of pendency of action recorded in this action on
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January 27, 2022, as Instrument No. 2022-0002747, in the office of the
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Recorder, Santa Cruz County, California, so tha,t it does not (1)
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constitute constructive or actual notice of any of the matters
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Notice of Pendency of Action
28 Case No. 22CV00157
1 contained, claimed, alleged, or contended in it or of any matters
2 relating to this lawsuit or (2) create any duty of inquiry in any
3 person dealing wit the affected property described in the notice after
4 the date of recordation of this notice of withdrawal.
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6 This notice of pendency of action that is withdrawn concerned
7 real property located in the County of Santa Cruz, California, APN:
8 004-241-043, commonly known as: 515 Laguna Street, Santa Cruz, CA
9 95060, and described in Exhibit A, attached hereto.
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13 Dated: June / ~ 2022
DAVID R. BECK Attorney for
14 Plaintiffs Ron Munger and Julie
Mott
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Notice of Pendency of Action
28 Case No. 22CV00157
1 Proof of Service
2 I certify and declare:
I am a citizen of the United States and employed in the County of
3 Santa Cruz, State of California; I am over the age of 18 years and not
a party to the within cause; My business address is 700 Frederick St.,
4 Ste. 306, Santa Cruz, CA 95062;
5 On June 13, 2023, I served the within:
6 NOTICE OF WITHDRAW OF NOTICE OF PENDENCY OF ACTION
7 X (BY E-MAIL) By causing the document to sent to the person(s) at
the e-mail address(es) listed below, each of whom previously
8 authorized electronic service of documents in this action. I did
not receive, within a reasonable time after the transmission, any
9 electronic message or other indication that the transmission was
unsuccessful.
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Attorney for: Anna DiBenedetto
11 Defendant MARY LOEB Rae Spencer
DiBENEDETTO LAW GROUP, PC
12 1101 Pacific Avenue, Suite 200
Santa Cruz, CA 95060
13 anna@dibenedetto.law
rspencer@dibenedetto.law
Attorney for: Mathew P. Cavitch
15 Defendant MARY LOEB THE CAVICH LAW FIRM
11150 Glen Birnham Road
16 Eads, TN, 38028
mcavitch@bellsouth.net
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Attorney for: Shannon B. Jones
18 Cross-Defendants DAVID LYNG & ROSSI DOMINGUE LLP
ASSOCIATES, INC., and DANIEL 208 w. El Pintado Road
19 ALFONSO ALVAREZ Danville, CA 94526
sbj@sbj-law.com
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I declare under penalty of perjury under the laws of the State of
22 California that the foregoing is true and correct, and that this
declaration was executed on June 13, 2 22, at Santa Cruz
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Notice of Pendency of Action
28 Case No. 22CV00157
EXHIBIT A
The land referred to is situated in the County of Santa Cruz, Qty of Santa Cruz, State of
CBlifomia, and Is described as follows:
Being Lot_ 10, In Block 31, as the same is shown upon that certain map entitled "Map of David
Gharkey's Southwestem addition to Santa Cruz," filed for record in the office of the County
Recorder of Santa Cruz County on November 1, 1876 in Map Book 9 at Page 8, Santa Cruz
County Records.
Apn: 004-241-03