On October 08, 2019 a
Party Discovery
was filed
involving a dispute between
Acosta, Sandy,
Jetcruzer International, Llc.,
and
Acosta, Sandy,
Does 3 Through 50,
Guzman, Marvin J.,
Zepeda, Ulises A.,
for Fraud
in the District Court of San Bernardino County.
Preview
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F E L E
SUPERIOR COURT 0F CALIFORNtA
D
COUNTY 0F SAN BERNARDINO
David M. Shaby II, Esq. (97871) SAN BERNARDANO DISTRICT
dshab @shabyandassociates.com
R. Chrlstopher Harshman, Esq. (248214) JAN 0 7 2021
charshman@shabyandassociates.com " ‘
I”
DAVID M. SHABY & ASSOCIATES, AP-C
RM 5%
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II ‘
By g]! z:
11949 Jefferson Boulevard Suite 104
Culver City, California 90§30
‘ OR'A M- PORT'LLO' DEW“ .
Telephone: 310) 827-7171
Facsimile: 310) 822—8529
Attomeysfor Defendant and Cross— Complainant Sandy Acosta
SUPERIOR COURT 0F CALIFORNIA
COUNTY 0F SAN BERNARDINO
1o Jetcruzer International, LLC, Case no. CIVDSl930132
11 Plaintiff,
Assigned to the Hon. Tom Garza, Dept. 827
SEPARATE STATEMENT IN SUPPORT OF
12 VS‘
MOTION To COMPEL FURTHER RESPONSES T0
13 Sandy Acosta, gt a1,
REQUESTS FOR PRODUCTION, SET ONE
Date: March 3, 2021
14 Defendants'
15 And Related Cross—Complaint
Time:
Department:
9:00 a.m.
827 m
~<
Complaint filed: October 8, 2019
16
Trial date: February 7, 2022 ”fl
17
18 Defendant and cross-complainant Sandy Acosta (“Acosta”) hereby submits the following X —
19 Separate Statement in support of her Motion to Compel Further Responses to Form Interrogatories
20 General, Set One, in compliance with California Rules of Court, rule 3.1345.
21 Definitions
22 1. As used herein, the terms “JETCRUZER,” “YOU,” or “YOUR” (as appropriate) refer
23 to the Plaintiff and Cross-Defendant Jetcruzer International, LLC, and includes YOUR agents,
24 employees, attorneys, accountants, investigators, insurance companies, their agents, their employees,
25 and anyone else acting on behalf of said responding party.
26 2. As used herein, the terms “ACOSTA” refers to Defendant and Cross—Complainant
27 Sandy Acosta a/k/a CHINO AIRCRAFT INTERIORS 8c PAINT a/k/a CHINO AIRCRAFT
28
1
ACOSTA’S SEPARATE STATEMENT 1N SUPPORT 0F MOTION To COMPEL FURTHER RESPONSES To FROGS GENERAL SET ONE
Document Filed Date
January 07, 2021
Case Filing Date
October 08, 2019
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