On April 12, 2018 a
Motion,Ex Parte
was filed
involving a dispute between
City Of Los Angeles Acting By Order Of A,
and
All Persons Unknown Claiming Any Title Or Interest In Or To The Property Described Herein,
Chicago Title Company,
Cosby Oil Co. C O Alan L. Brodkin & Associates Aka Doe 6,
Ebrahimi Mohammad,
Fidelity National Title Company,
Franchise Tax Board Of The State Of California Aka,
Insurance Company Of The West Aka Doe 4,
Internal Revenue Service Doe 2,
Khorasani Marco Naser Trustee Of The Kh,
Lax Food Mart And Convenience Store,
Los Angeles County Tax Collector,
L & R Group Of Companies Doe 3,
L.R.W. Investment Company Doe 1,
Pacific Enterprise Bank,
Productive Finance Llc,
Professional Fleet Service,
Starline Tours Of Hollywood Inc.,
Vip Tours Of California Inc.,
Wolf Jeremy Aka Doe 5,
for civil
in the District Court of Los Angeles County.
Preview
On
va
at FILED
LOS ANGELES SUPERIOR COURT
AUG 21 2018
SUPERIOR COURT OF THE STATE OF CALIFORNIA
HERRI R. CAR pct ERK
FOR THE COUNTY OF LOS ANGELES - CENTRAL DIS’ ;
ie
BY: BRENDA CHAVEZ, D PUTY
CITY OF LOS ANGELES, acting by order of CASE NO.: BC701900
and through its BOARD OF AIRPORT
COMISSIONERS OF THE DEPARTMENT ORDER RE:
OF AIRPORTS, PLAINTIFF’S MOTION FOR
PREJUDGMENT POSSESSION
Plaintiff,
8:30 a.m.
vs. August 21, 2018
Dept. 56
MARCO NASER KHORASANI, et al.,
Defendants.
10
I
On April 12, 2018, the City of Los Angles, acting by order of and through its Board of
12
Airport Commissioners of the Department of Airports, filed this eminent domain action as to
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property located at 9830 Bellanca Avenue, Los Angeles, cA.
14
15
Plaintiff moves for an order authorizing it to take prejudgment possession of the subject
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property pursuant to Code Civ. Proc. § 1255.410. Code Civ. Proc. § 1255.410(a) states in pertinent
17
part: “[A]t any time after filing the complaint and prior to entry of judgment, the plaintiff ma
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move the court for an order for possession under this article . . .”
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Plaintiff's Motion complies with Code Civ. Proc. § 1255.410(a) in describing the propert
21
of which it seeks possession (see Compl. 2), identifying December 31, 2018, as the date on which]
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Plaintiff seeks to take possession (Stipulation for Order Granting Motion for Prejudgment
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32 Possession {| 3), and providing a compliant notice concerning opposition. (Motion at p. 7.
34
Plaintiff's Motion also complies with Code Civ. Proc. § 1255.410(b) with respect to service.
too
2
ne
DP
Document Filed Date
August 21, 2018
Case Filing Date
April 12, 2018
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