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  • ODEH -V- FERNANDEZ Print Medical Malpractice Unlimited  document preview
  • ODEH -V- FERNANDEZ Print Medical Malpractice Unlimited  document preview
  • ODEH -V- FERNANDEZ Print Medical Malpractice Unlimited  document preview
  • ODEH -V- FERNANDEZ Print Medical Malpractice Unlimited  document preview
						
                                

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J 1 Thomas R Bradford Esq Bar No 110230 Sherry Gregario Esq Bar Na 263856 2 Alexa L Halforan Esq Bar Na 315470 PETERSQN BRADFQRD BURKWlTZ 3 100 Norttt Firsf Street Suite 300 Burbank California 91502 4 98 562 5 00 5 Attorneys for Defendant RINGO BANGALAN D D S 6 a g SUPERiOR COURT OF THE STATE OF CALiF RNIA g C IiNTY t F SAN BERNARDINO 10 Ali ddeh Case No ClVDS1 23772 Assigned to the Hanarable Wilfred J Schneider Jr Piaintiff Dept S32 N 13 vs DEMAND FOR JURY TRIAL 0 m 14 Lyngadlen Fernandez DDS Suarez Fernandez o v Dentistry and Ringo Bangalan DDS pi a u d I Defendants First Amended Complaint December 21 2018 Y 16 Complaint Filed September 11 2018 z o Z 0 17 u r 98 TO ALL PARTlES HEREIN AND THElR ATTORNEYS OF RECORD 19 PLEASE TAKE NOTICE that defendant RINGO BANGALAN D D S hereby demands a jury trial in 2Q the above captianed case 21 22 C ATED June 12 2019 PETERSC N B Bl1 WI Z 23 24 gy Thomas R Bradf r Esq 25 Sherry Gregoriasq 2 Alexa L Nal oran Esq Attorney for Defendant 27 R NGO BANGALAN D D S 28 1 DEMANC7 FOR JURY TRIAL n lfilas1221d odeh tdic triai docx pfeadingslp demand jury 1 PROOF OF SERVICE 2 STATE OF CALIFORNIA COUNTY OF LOS ANGELES 3 I am employed in the County of Los Angeles State of California I am over the age of 18 and not a 4 party to the within action my business atldress is 100 North First Street Suite 300 Burbank California 5 91502 6 On June 12 2019 I servetl the foregoing document described as 7 DEMAND FOR JURY TRIAL 8 on interested parties in this action by placing a true and correct copy thereof enc osed in a sealed envelope 9 adtlressed as follows 10 SEE ATTACHED MAILING LIST 11 p BY MAIL I deposited such envelope in the maii at Burbank California The envelope was mailed 2 with postage thereon fully prepaid As follows i am readily familiar with the firm s practice of collection and processing correspondence for mailing Under that practice it would be deposited with 13 U S postal service on that same day with postage thereon fuily prepaid at Burbank California in the N ordinary course of business I am aware that on motion of the party served service is presumed 14 invalitl if postal cancellation date or postage meter date is more than one day after tlate of deposit for o 0 mailing in affitlavit o N 15 BY FACSIMILE I served by facsimile a true copy of the above described document I am readily 16 familiar with this firm s practice of processing correspondence by fax Untler that practice documents are placetl in our fax machine and are processed and received simultaneously at their Zm 17 destination The above referenced document s was placed in the fax machine with all costs of faxing prepaid directed to each party usin g their fax number listed on the attached Servi c e Li st a Once the document has been transmitted the fax machine provides a report indicating time of completion 9 BY OVERNIGHT EXPRESS MAIL As follows 1 am readily familiar with the firm s practice of 20 collection and processing correspondence by Overnight Express mailing Under that practice it was deposited with the Overnight Express service on that same day with proper postage thereon fuily prepaid at Burbank California in the ordinary course of business 21 22 BY PERSOWAL SERVICE I delivered such envelope by hantl to the atldressee STATE I declare under penalty of perjury under the laws of the State of California that the above is 23 true and correct 24 Executed on June 12 2019 at Burbank California 25 26 27 A ic a De la Cruz 28 2 DEMAND FOR JURY TRIAL n ffiles12214 odeh Idic trial pleadingslp demandjury docx