On September 11, 2018 a
Party Statement
was filed
involving a dispute between
Bradbury D.D.S., Michael G,
Bradbury, Rhonda,
Odeh, Ali,
and
Cohan, Kat,
Odeh, Ali,
Fernandez D.D.S, Lyngladen,
Fernandez Dds, Lyngladen,
Kingsley Dentistry,
Kingsly Dentistry,
Lyngadlen Fernandez Dds,
Lyngladen Fernandez D.D.S.,
Ringo Bangalan Dds,
Silagan-Fernandez D.D.S., Lyngadlen,
Suarez-Fernandez Dentistry,
Suarez Fernandez Dentistry And Ringo Bangalan, Dds,
for Medical Malpractice Unlimited
in the District Court of San Bernardino County.
Preview
1 Thomas R Bradford Esq Bar No 110230
Sherry Gregorio Esq Bar No 263856
2 Alexa L Hailoran Esq Bar No 315470
PETERSON BRADFORD BURKWITZ
3 100 North First Street Suite 300
Burbank California 91502 u d
4 818 562 5800
5 Attorneys for Defendant
RINGO BANGALAN D D S
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g SUPERIOR COURT OF THE STATE OF CALIFORNIA
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g COUNTY OF SAN BERNARDINO
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Ali Otleh Case No CIVDS1823772
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Assigned to the Honorable Wilfred J Schneider Jr
Plaintiff Dept S32
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vs DECLARATION OF TRIAL ATTORNEY
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PURSUANT TO SECTION 9 OF THE CALIFORNIA
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14 Lyngadlen Fernandez DDS Suarez Fernandez RULES OF COURT JUDICIAL ADMINISTRATION
o Dentistry and Ringo Bangalan DDS STANDARDS
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U Defendants
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17 First Amended Complaint December 21 2018
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1g TO THE COURT AS WELL AS ALL PARTIES AND THEIR ATTORNEYS OF RECORD
20 I Thomas R Bradford Esq hereby declare as follows
21 1 I am an attorney duly licensed to practice before all the courts of the State of California I
22 am a Partner with the law firm of Peterson Bradford Burkwitz attorneys of record for Defendant Ringo
23 Bangalan D D S I have personal knowledge of the matters set forth herein and if called upon as a witness
24 I could and would competently testify to the following
25 2 I became the attorney of recortl for said defentlant on March 12 2019 Defendant answered
26 the complaint on May 13 2019
27 3 When this matter was assigned to this law firm it was specifically assigned to me for all
28 purposes including trial This declarant and no other attorney in this firm will be available and prepared to try
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DECLARATION OF TRIAL ATTORNEY PURSUANT TO SECTION 9 OF THE CALIFORNIA RULES OF COURT
n lfies12214 odeh idic lpleadings p dec trial atty docx
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1 this case Defendant Ringo Bangalan D D S specifically requested that this declarant be his triai attorney
2 and his will consent to no other
3 4 I am respectfuliy requesting the court to make a finding or enter an order that would ailow for
4 the continuance or trailing of Odeh v Fernantlez et al should I be engaged in another matter when Odeh v
5 Fernandez et al is set to begin
6 5 I am making this tleclaration pursuant to California Rules of Court Judiciai Administration
7 Standards Section 9 subsection 3 i entitled The Unavailability of the Trial Attomey when he is engaged
8 in trial of another case
9 I declare under penalty of perjury under the laws of the State of Galifornia that the foregoing is true
10 and correct
11 Executed on this 12th day of June 2019 at B ank Californi
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o g Declarant
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DECLARATION OF TRIAL ATTORNEY PURSUAN7 TO SECTION 9 OF THE CALIFORNIA RULES OF COURT
fles12214 tdic dec trial docx
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lpleadingslp atty
Document Filed Date
June 12, 2019
Case Filing Date
September 11, 2018
Category
Medical Malpractice Unlimited
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