On March 02, 2018 a
NOTICE OF MOTION AND MOTION TO STRIKE CROSS-COMPLAINT [SLAPP]; MEMORANDUM OF POINTS AND AUTHORITIES; AND DECLARATIONS OF BRIAN D. HEFELFINGER, DANIEL J. PALAY, CHRISTINE ESPERANCILLA, AND AB1GAEL KACE
was filed
involving a dispute between
Esperancilla Christine,
Kacer Abigael,
O Skin Care Llc,
and
Quido Olivia,
for Other Employment Complaint Case (General Jurisdiction)
in the District Court of Los Angeles County.
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FILED
Superior Court of California
Daniel J. Palay, SBN 159348 ‘ounty of Los Angeles
Brian D. Hefelfinger, SBN 253054
PALAY HEFELFINGER, APC JUL 27 2018
1484 E. Main Street, Suite 105B Shertl R,
Ventura, CA 93001 yp Otficer(Clerk of Cour
By,
Telephone: (805) 628-8220 Kristina Var Deputy
Facsimile: (805) 765-8600
Attorneys for Plaintiffs CHRISTINE
ESPERANCILLA and ABIGAEL KACER
SUPERIOR COURT OF THE STATE OF CALIFORNIA
FOR THE COUNTY OF LOS ANGELES
10 CHRISTINE ESPERANCILLA, an individual, CASE NO: BC 696392
ABIGAEL KACER, an individual,
ll Assigned to: Hon. Rita Miller,
Plaintiffs, Dept. 16
12
NOTICE OF MOTION AND MOTION
13 TO STRIKE CROSS-COMPLAINT
[SLAPP];
14
MEMORANDUM OF POINTS AND
15 O SKIN CARE, LLC, a California limited AUTHORITIES; and
16 liability company; OLIVIA QUIDO, an
individual; and DOES 1 through 100, DECLARATIONS OF BRIAN D.
HEFELFINGER, DANIEL J. PALAY,
17 inclusive,
CHRISTINE ESPERANCILLA, AND
ABIGAEL KACER IN SUPPORT
18 Defendants.
19 Hearing:
Date: August 28, 2018
20 Time: 9:00 a.m.
Dept.: 16
21 Res. ID: 180725334474
—AND RELATED CROSS-ACTION—
22
23
24
25 TO THE COURT, ALL PARTIES HEREIN AND THEIR ATTORNYS OF RECORD:
26 PLEASE TAKE NOTICE that on August 28, 2018 at 9:00 a.m., or as soon thereafter as
27 counsel may be heard in Department 16 of the above-entitled Court, located at 111 N. Hill Street, Los
28 Angeles, California 90012, Plaintiffs and Cross-Defendants CHRISTINE ESPERANCILLA and
1
Document Filed Date
July 27, 2018
Case Filing Date
March 02, 2018
Category
Other Employment Complaint Case (General Jurisdiction)
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 11/13/2018
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