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From: Richard Seide
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Fax: 19494748030
V o: 9093205118@rcfax.com Fax: (909) 320-5118
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Page: 6 of 26 04(0612023 1:12
UD-101
ATTORNEY OR PARTY WITHOUT ATTORNEY STATE BAR NUMBER: FOR COURT USE ONLY
NAME: Richard L. Seide CSB: 94677
FIRM NAME; RICHARD L. SEI’DE, APC CIGB-OOI
STREETADDRESS: 901 DOVe Street, Suite 120 _ , , ,
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CITY: Newport Beach STATECA ZIP CODE: 92660 _, , , V
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TELEPHONE No; (949) 474-8000 No.1 (949) 474-8030 “32;! ,3”??? 89W
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EMAIL ADDRESS; rseide@seidelaw.com
AWORNEY FOR (name): PLAINTIFF, GIFFORD BUSINESS PARK, LLC n
SUPERIOR COURT 0F CALIFORNIA. COUNTY 0F SAN BERNARDINO APR O 0 202
STREET ADDRESS: 17780 AI‘I‘OW IBouleVaI‘d
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MAILING ADDRESS;
cn'YAND ZIP CODE; Fontana, CA 92335
BRANcH NAME; Fontana Courthouse C/fla 44W
PLAINTiFF: GIFFOR'D BUSINESS PARK, LLC, a Delaware limited liability company
DEFENDANT: SAMIR SALIM ISLASHKAR, an individual, dba SSS AUTO SERVICE; and DOES l 10 10, Inclusive
CASE NUMBER:
MANDATORY COVER SHEET AND
PLAINTIFF's «1
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SUPPLEMENTAL ALLEGATIONs—UNLAWFUL DETAINER LTVA 2 3 0 1 9 ti 3
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All plaintiffs in unlawful detainer proceedings must file and serve this form. Filing this form complies with the requirement in Code of
Civil Procedure section 1 1 79, 01 ,5(c).
. Serve form and any attachments to it with the summons.
this
. If a summons has already been served without this form, then serve it by mail or any other means of service authorized by
law.
o If defendant has answered prior to service of this form, there is no requirement for defendant to respond to the
supplemental
allegations before trial.
To obtain a judgment an unlawful detainer action for nonpayment of rent on a residential propen‘y, a plaintiff must verify that no
in
rental assistance or other financial compensation has been received for the amount demanded in the notice or accruing afterward, and
Verification by Landlord Regarding
that no application is pending for such assistance. To obtain a defaultjudgment, plaintiff must use
required by statute,
Rental Assistance—Unlawful Detainer (form UD-120) to make this verification and provide other information
1. PLAINTIFF (name each):
GIFFORD BUSINESS PARK, LLC, a Delaware limited liability company
alleges causes of action in the complaint filed in this action against DEFENDANT (name each):
SAMIR SALIM ELASHKAR, an individual, dba SSS AUTO SERVICE; and
DOES to 10, Inclusive
1
Statutory cover sheet allegations (Code Civ. Proc.. § 1179.01 .5(c))
2.
a. This action seeks possession of rea| property that is (check all that apply): D Residential
this action. If only
m Commercial
"commercial" is
(If "residential" is checked, complete items 3 and 4 and all remaining items that apply to
checked, no further items need to be completed except the signature and verification on page 5; a summons may be issued.)
b. This action is based, in whole or in part, on an aileged defau|t in payment of rent or other charges. m Yes D No
3. Item 3 has been removed as it only applied before July 1, 2022.
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Page 1 of 5
ForrlrlltAdoplw‘for Mefn‘datqty Use PLAINTIFF'S MANDATORY COVER SHEET AND Code of Civil Procedurengl
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ME} ?:33‘3'u?;?§,"§2§3'21 SUPPLEMENTAL ALLEGATIONs—UNLAWFUL DETAINER
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From: Richard Seide Fax: 19494748030 9093205118@rcfax.com Fax: (909) 320-5118 PM
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'o: Page: 7 of 26 04(06I2023 1:12
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UD-101
PLAINTIFF: GIFFORD BUSINESS PARK, LLC, a Delaware limited liability company CASE NUMBER:
DEFENDANT: SAMIR SA UM [ELASHKAK an individual. dba SSS AUTO SERVICE: and
THIS SPACE INTENTIONALLY LEFT BLANK
4. Tenants subject to COVID-19 Tenant Relief Act (Code Civ. Procv, § 1179,02(h))
a. (1) One or more defendants in this action is a natural person:
(2) Identify any defendant not a
Yes
natural person:
D D No
(If no is checked, then no furtheritems need to be completed except the signature and verification, and item 12 if the action is
based on nonpayment of rent.)
b. (1) All defendants named in this
any defendant who does not:
action maintain occupancy as described in Civil Code section 1940(b): a Yes D No
(2) Identify
(lfyes is checked, then no further items need to be completed except the signature and verification, and item 12 ifthe action is
based on nonpayment of rent.)
5. D Unlawful detainer notice expired before March 1, 2020
The unlawful detainer complaint in this action is based solely on a notice to quit, to pay or quit. or to perform covenants or
quit, in which the time period specified in the notice expired before March 1, 2020. (If this is the only basis for the action, no
further items need to be completed except the signature and verification on page 5. (Code Civ. Proc., § 11 79.03.5(a)(1).))
6. D Rent or other financial obligations due between March 1. 2020, and August 31, 2020 (protected time period)
The unlawful detainer complaint in this action is based. at least in part, on a demand for payment of rent or other financial
obligations due in the protected time period. (Check all that apply.)
a
a. Defendant (name each):
was provided all the required versions of the "Notice from the State of California" required by Code of Civil Procedure section
1179.04. (Provide information regarding service of the notice or notices in item 8 below.)
b. D Defendant (name each):
was served with at least 15 days' notice to pay rent or other financial obligations, quit, or deliver a declaration, and an unsigned
declaration of COVID-19—related financial distress, in the form and with the content required in Code of Civil Procedure section
1179.03(b) and (d).
(If the notice identified defendant as a high-income tenant and requested submission of documentation suppom'ng any
declaration the defendant submits, complete item 9 below. (Code Civ. Proc., § 1 1 79.02.5(c),)}
(If filing form UD-100 with this form and item 6b is checked, specify this 15-day notice in item 9a(7) on form UD-100, attach
a copy of the notice to that complaint form, and provide all requested information about service on that form.)
uo-1o1 (Rev. July ze. 2022] PLAINTIFF'S MANDATORY COVER SHEET AND Pagezoas
ICEB‘mssential SUPPLEMENTAL ALLEGATIONS—UNLAWFUL DETAINER
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