On April 16, 2018 a
Motion-Secondary
was filed
involving a dispute between
Black Barry,
Black Brenda,
Black Rodney,
Fishman Douglas S.,
Fishman Jessica H.,
Sivak Stephen,
Spinavaria Joanne,
Spinavaria Vincent,
and
First Financial Tax Group Inc.,
Kornfeld Barry,
Kornfeld Ferne,
Shapiro Robert,
for Securities Litigation Case (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 12/06/2019 12:32 PM Sherri R. Carter, Executive Officer/Clerk of Court, by K. Vargas,Deputy Clerk
MC-052
ATTORNEYORPARTYWITHOUTATTORNEYLN,*I I 3 I, dadd i FOR COURT USE ONLY
Ho El Park (SBN: 235473)
Law Office of Ho-El Park, P.C.
333 City Boulevard West, Suite 1700
Orange, CA 92868
TELErnoNENo (714) 523-2466 PAYNO (714) 503-0788
ATTDRNEY FUR i
LN First Financial Tax Group, Inc.
NAMEDPcoURT Superior Court of California, Los Angeles County
BTREETADDREss 1 1 1 N. Hill Street
MAILING ADDRESS Same
DITYANDzipcoDE Los Angeles 90012
BRANGH NAME Stanley Mosk Courthouse
GAsE NAME Black, Et. Al. v. Kornfeld, Et. Al. CASE NUMBER
BC 702279
HEARiNODATE February 11, 2020
DEPT 36 TIME 8:30 AM
DECLARATION IN SUPPORT OF ATTORNEY'S
MOTION TO BE RELIEVED AS COUNSEL— CIVIL
BEBDRE HDN. Gregory W. Alarcon
DATEACTION PILED 4/16/2018
TRUE. DATE 4/22/2020
1. Attorney and Represented Party. Attorney (namei: Ho-El Park
is presently counsel of record for (name of party): )First Financial Tax Group, Inc.
in the above-captioned action or proceeding.
2. Reasons for Motion. Attorney makes this motion to be relieved as counsel under Code of Civil Procedure section 284(2) instead
of fikng a consent under section 284(1) for the following reasons (descri be):
Defendant First Financial Tax Group, Inc. is a Florida corporation. It is unable to fund this pending
litigation.
M Continued on Attachment 2.
3. Service
(1)~
a. Attorney has
personally seived the client with copies of the motion papers filed with this declaration. A copy of the proof of service
wcl be filed with the court at least 5 days before the hearing.
(2)M served the client by mail at the client's last known address with copies of the motion papers served with this declaration.
b. If the client has been served by mail at the client's last known address, attorney has
(a) ~
(1) ~X confirmed within the past 30 days that the address is current
~ by mail, return receipt requested.
(b)
(c) ~ by telephone
by conversation.
(d) ~d by other means (specify):
Electronic Mail
(Co hah Uad oh hlvaiaa)
Page 1 of 2
DECLARATION IN SUPPORT OF ATTORNEY'S CI R I* IC A. 31332
MOTION TO BE RELIEVED AS COUNSEL—CIVIL
I
Document Filed Date
December 06, 2019
Case Filing Date
April 16, 2018
Category
Securities Litigation Case (General Jurisdiction)
Status
Deemed Complete (No Remand from Federal Court) 10/19/2021
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