On January 22, 2019 a
Stipulation,Agreement
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 G. David Rubin (SBN181293)
Hayk Ghalumyan (SBN314686)
2 LITCHFIELD CAVO LLP
251 South Lake Avenue, Suite 750
3 Pasadena, CA 91101
Tel: (626) 683-1100
4 Fax: (626) 683-1113
Email: rubin@litchfieldcavo.com
5 ghalumyan@litchfieldcavo.com
6 Attorneys for Defendant,
Quality Control Restoration, Inc.
7
8 SUPERIOR COURT OF THE STATE OF CALIFORNIA
9 FOR THE COUNTY OF LOS ANGELES
10
11 MARJORIE DEHEY, an individual and as Case No.: 19STCV02006
guardian ad litem for RYKER (a minor); PAUL [Assigned to Hon. Georgina T. Risk, SSC- Dept. 2]
12 OVERACKER, an individual,
STIPULATION TO DISMISS THE SECOND,
13 Plaintiff, THIRD, FOURTH, FIFTH, SIXTH, NINTH,
AND TENTH CAUSES OF ACTION AND
14 v. STRIKE PRAYER FOR ATTORNEY'S FEES
Electronically Received 07/29/2019 03:31 PM
AND PUNITIVE DAMAGES FROM
I5 THE POINT AT BEVERLY HILLS INC., a PLAINTIFFS' FIRST AMENDED COMPLAINT
California corporation; QUALITY CONTROL AS AGAINST DEFENDANT QUALITY
16 RESTORATION INC., a California CONTROL RESTORATION, INC, ONLY
corporation; LB PROPERTY MANAGEMENT
INC., a California Corporation, Defendant and Order
17
VICTOR MICHAEL BARBER, an individual,
18 and DOES 1 through 25, inclusive,
Complaint Filed: Januaâ–ºy22, 2019
19 Defendants. First Amended Complaint Filed: June 11, 2019
Trial: July 7. 2020
20
21 IT IS HEREBY STIPULATED by and between plaintiffs MarjOrie Dehey's, an individual and as
22 guardian ad litem for minor Ryker; and Paul Overacker's, an individual (collectively, "Plaintiffs") and
23 defendant Quality Control Restoration, Inc. ("Defendant") through their respective attorneys of record
24 that:
25 Plaintiffs and Defendant, by and through their respective counsel of record, have reached an
26 agreement and hereby stipulate that the Second, the Third, the Fourth, the Fifth, the Sixth, the Ninth, and
27 the Tenth Causes of Action will be dismissed without prejudice and the prayers for attorney's fees and
28 punitive damages will be stricken from the First Amended Complaint as to Defendant.
I
STIPULATION TO DISMISS THE SECOND, THIRD, FOURTH, FIFTH, SIXTH, NINTH, AND TENTH CAUSES OF ACTION
AND STRIKE PRAYER FOR ATTORNEY'S FEES AND PUNITIVE DAMAGES FROM PLAINTIFFS' FIRST AMENDED
COMPLAINT AS AGAINST DEFENDANT QUALITY CONTROL RESTORATION; INC. ONLY