On January 22, 2019 a
Complaint,Petition
was filed
involving a dispute between
Dehey Marjorie,
Overacker Paul,
Quality Control Restoration Inc.,
The Point At Beverly Hills Inc.,
and
Barber Victor Michael,
Lb Property Management Inc,
Quality Control Restoration Inc.,
The Point At Beverly Hills Inc.,
for Other Personal Injury/Property Damage/Wrongful Death (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
1 Kere K. Tickner, State Bar No. 174777
ktickner@ticknermccliman.com
2 Michelle M. McCliman, State Bar No. 191241
mmccliman@ticknermccliman.com
3 TICKNER McCLIMAN, APC
30211 Avenida de las Banderas, Suite 200
4 Rancho Santa Margarita, California 92688
Telephone: (949) 888-6652
5
Attorneys for Defendant and Cross-Complainant
6 The Point at Beverly Hills, Inc.
7
SUPERIOR COURT OF THE STATE OF CALIFORNIA
8
COUNTY OF LOS ANGELES
9
10
MARJORIE DEHEY, AN INDIVIDUAL AND Case No. 19STCV02006
11 AS GUARDIAN AD LITEM FOR RYKER (A
MINOR); PAUL OVERACKER, AN Assigned to for All Purposes:
12 INDIVIDUAL, Hon. Mark A. Young
Dept. M
13
Plaintiffs, ROE AMENDMENT TO THE CROSS-
14 COMPLAINT
Electronically Received 12/05/2019 02:12 PM
v.
15 Complaint Filed: January 22, 2019
THE POINT AT BERVERLY HILLS INC., A
16 CALIFORNIA CORPORATION; QUALITY
CONTROL RESTORATION INC., A
17 CALIFORNIA CORPORATION; LB
PROPERTY MANAGEMENT INC., A
18 CALIFORNIA CORPORATION,
DEFENDANT VICTOR MICHAEL BARBER,
19 AN INDIVIDUAL, AND DOES 1 THROUGH
25 INCLUSIVE,
20
Defendants.
21
22 AND RELATED CROSS-ACTIONS.
23
24 Upon filing the Cross-Complaint herein, Cross-Complainant THE POINT AT BEVERLY
25 HILLS, INC., being ignorant of the true names of certain cross-defendants, and having designated
26 such cross-defendants in the Cross-Complaint by fictitious names, to wit: ROE and having
27 discovered the true names of said cross-defendants to be as follows:
28 ///
1
ROE AMENDMENT TO THE CROSS-COMPLAINT
Document Filed Date
December 05, 2019
Case Filing Date
January 22, 2019
Category
Other Personal Injury/Property Damage/Wrongful Death (General Jurisdiction)
Status
Request for Dismissal - Before Trial Within 60 days of Settlement Conference 10/13/2022
For full print and download access, please subscribe at https://www.trellis.law/.