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  • ATIZ INNOVATION COMPANY LIMITED, A FOREIGN COMPANY VS NICHOLAS WARNOCK, ET AL. Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction) document preview
  • ATIZ INNOVATION COMPANY LIMITED, A FOREIGN COMPANY VS NICHOLAS WARNOCK, ET AL. Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction) document preview
						
                                

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Electronically FILED by Superior Court of California, County of Los Angeles on 02/26/2020 04:18 PM Sherri R. Carter, Executive Officer/Clerk of Court, by K. Thomas,Deputy Clerk 1 Sean M. Foldenauer, Esq., SBN 187541 Danwill D. Schwender, Esq., SBN 253419 2 FOLDENAUER LAW GROUP, APLC 2550 Fifth Avenue, Suite 630 3 San Diego, California 92103 Tel.: (619) 564-8877 4 Fax.: (619) 564-8879 5 Attorneys for ATIZ INNOVATION COMPANY LIMITED, a foreign company 6 7 8 SUPERIOR COURT OF CALIFORNIA COUNTY OF LOS ANGELES 9 10 ATIZ INNOVATION COMPANY Case No. 19LBCV00104 11 LIMITED, a foreign company, DECLARATION OF DANWILL D. Plaintiff, SCHWENDER IN SUPPORT OF 2550 Fifth Avenue, Suite 630, San Diego, California 92103 12 PLAINTIFF’S OPPOSITION TO FOLDENAUER L AW G ROUP, APLC v. DEFENDANTS’ MOTION TO Tel: (619) 564-8877 Fax: (619) 564-8879 13 QUASH AND/OR MODIFY 14 NICHOLAS WARNOCK, an individual; DEPOSITION SUBPOENA FOR ATIZ INNOVATION, INC., a California PRODUCTION OF BUSINESS 15 corporation; and RECORDS ON FEBRUARY 20, DOES 1-20; 2020 TO MARGO LINDEN KATZ, 16 CPA AND FOR AWARD OF Defendants. EXPENSES PURSUANT TO C.C.P. 17 SECTION 1987.2 18 [Unlimited Civil Case] 19 Time: 8:30 am Date: March 10, 2020 20 Department: S27 Judge: Mark C. Kim 21 Complaint Filed: Feb. 14, 2019 22 Trial Date: March 27, 2020 23 I, Danwill D. Schwender, declare: 24 1. I am an attorney at law licenced to practice in the state of California, and am attorney 25 of record for Plaintiff Atiz Innovation Company Limited in this action. I am over the 26 age of eighteen, and have personal knowledge of the facts stated in this declaration. 27 If called as a witness in this matter, I could and would testify competently to the facts 28 1 Atiz Innovation Co. Ltd. v. Warnock, et al. Case No. 19LBCV00104 Declaration of Danwill D. Schwender in Support of Opposition to Motion to Quash Subpoena to Margo Linden Katz, CPA for Production of Documents on February 20, 2020