On April 17, 2018 a
Declaration - DECLARATION OF STEVE PABROS IN SUPPORT OF DEFENDANTS MOTION IN LIMINE NO. 1 TO EXCLUDE POLICE REPORT IN ITS ENTIRETY AND BOTH HEARSAY AND OPINIONS CONTAINED WITHIN
was filed
involving a dispute between
Gillon Britney,
Mcdougal Raenelle Annette,
and
Estate Of Eric D. Vasquez Deceased,
Vasquez Eric Daniel,
for civil
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 03/01/2022 04:18 PM Sherri R. Carter, Executive Officer/Clerk of Court, by S. Lopez,Deputy Clerk
1 PATRICK K. O’BRIEN, ESQ. (SBN 167957)
STEVE PABROS, ESQ. (SBN 120952)
2 O’BRIEN LAW, P.C.
755 Baywood Drive, Suite 185
3 Petaluma, California 94954
Telephone: (707) 789-6500
4 Facsimile: (707) 789-6520
Email: patrick@pobrienlaw.com
5 steve@pobrienlaw.com
suzie@pobrienlaw.com
6
Attorneys for Defendants
7 ERIC DANIEL VASQUEZ, Estate of ERIC
D. VASQUEZ, Deceased
8
9
SUPERIOR COURT OF THE STATE OF CALIFORNIA
10
FOR THE COUNTY OF LOS ANGELES
11
RAENELLE ANNETTE MCDOUGAL AND Case No. BC702424
12 BRITTNEY GILLON;
O’Brien Law, P.C.
DECLARATION OF STEVE PABROS IN
755 Baywood Dr., Ste. 185
13 Plaintiff, SUPPORT OF DEFENDANTS’ MOTION IN
Petaluma, CA 94954
Tel: (707) 789-6500
LIMINE NO. 1 TO EXCLUDE POLICE
14 v. REPORT IN ITS ENTIRETY AND BOTH
HEARSAY AND OPINIONS CONTAINED
15 ERIC DANIEL VASQUEZ, et al. WITHIN
16 Defendants. Final Status Conference: March 8, 2022
Time: 10:00 am
17 Dept: 28
18 Trial Date: March 22, 2022
Time: 8:30 am
19 Dept. 28
20 DECLARATION OF STEVE PABROS
21 I, Steve Pabros, declare as follows:
22 1. I am an attorney licensed to practice law in the courts of the State of California. I am
23 an attorney at O’Brien Law, P.C., the attorneys of record for Defendants ERIC DANIEL
24 VASQUEZ and Estate of ERIC D. VASQUEZ, Deceased in this action. I have personal
25 knowledge of all facts disclosed herein except as to those facts to which I attest on information and
26 belief, which facts I believe to be true, and, if called upon to testify to these matters, I could
27 competently testify thereto.
28 //
DECLARATION OF STEVE PABROS IN SUPPORT OF DEFENDANTS’ MOTION IN LIMINE NO. 1 TO
EXCLUDE POLICE REPORT IN ITS ENTIRETY AND BOTH HEARSAY AND OPINIONS CONTAINED
WITHIN
Document Filed Date
March 01, 2022
Case Filing Date
April 17, 2018
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