On February 21, 2018 a
Request,Application
was filed
involving a dispute between
Los Angeles County Of By And Through,
and
Association For Los Angeles Deputy,
Los Angeles County Employee Relations,
Ramirez Esmeralda Assistant Director Los Angeles County Sheriff'S Department Personnel Administration Bureau,
for civil
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 03/09/2022 11:33 AM Sherri R. Carter, Executive Officer/Clerk of Court, by S. Bolden,Deputy Clerk
1 Adrianna E. Guzman, Bar No. 188812
aguzman@lcwlegal.com
2 Jolina Abrena, Bar No. 198683
jabrena@lcwlegal.com
3 LIEBERT CASSIDY WHITMORE
A Professional Law Corporation
4 6033 West Century Boulevard, 5th Floor
Los Angeles, California 90045
5 Telephone: 310.981.2000
Facsimile: 310.337.0837
6
Attorneys for Plaintiff/Petitioner and Cross-Defendant/Cross-
7 Respondent COUNTY OF LOS ANGELES, BY AND THROUGH
ITS SHERIFF’S DEPARTMENT
8
SUPERIOR COURT OF THE STATE OF CALIFORNIA
9
COUNTY OF LOS ANGELES - CENTRAL
10
COUNTY OF LOS ANGELES, BY AND Case No.: BC 712068
11 THROUGH ITS SHERIFF’S
DEPARTMENT, [ASSIGNED FOR ALL PURPOSES TO HON.
6033 West Century Boulevard, 5th Floor
12 MARY H. STROBEL, DEPT. 82]
A Professional Law Corporation
Los Angeles, California 90045
Plaintiff,
Liebert Cassidy Whitmore
13 Complaint/Petition Filed: July 2, 2018
v. Cross-Complaint/Cross-Petition Filed:
14 August 17, 2018
ASSOCIATION FOR LOS ANGELES
15 DEPUTY SHERIFFS; LOS ANGELES SUPPLEMENTAL REQUEST FOR
COUNTY EMPLOYEE RELATIONS JUDICIAL NOTICE IN SUPPORT OF
16 COMMISSION; and DOES 1 THROUGH COUNTY OF LOS ANGELES’
50, inclusive, OPPOSITION TO ALADS’ SECOND
17 MOTION TO ENFORCE WRIT OF
Defendant. MANDATE
18
19
ASSOCIATION FOR LOS ANGELES
20 DEPUTY SHERIFFS, Date: March 17, 2022
Time: 1:30 p.m.
21 Cross-Petitioner/Cross- Dept.: 82
Plaintiff,
22 (*Exempt from filing fees pursuant to Gov.
v. Code, § 6103.)
23
COUNTY OF LOS ANGELES, a political
24 subdivision of the State of California; LOS
ANGELES COUNTY SHERIFF'S
25 DEPARTMENT; and ROES 1 through 40,
inclusive,
26
Cross-Respondent/Cross-
27 Defendant.
28
1
30
Supplemental RJN in Support of County’s Opposition to Second Motion to Enforce Writ
9988242.3 LO140-473 1
31
Document Filed Date
March 09, 2022
Case Filing Date
February 21, 2018
Status
Court Finding - After Court Trial 07/14/2020
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