On June 22, 2020 a
Answer
was filed
involving a dispute between
Hector, Elizabeth,
and
25847 E 9Th Street, Llc,
Anza Management Company, A Corporation,
Carmona, Schochill C,
Chavez, Schochill C,
Does 2 Through 50,
J.K. Residential Services, Inc.,
Sterling Estates, A Business Entity Form Unknown,
for Personal Injury Non-Motor Vehicle Unlimited
in the District Court of San Bernardino County.
Preview
CASE ATTACHMENT COVER PAGE (ENDORSED)
ELECTRONICALLY
SUPERIOR COURT 0F CALIFORNIA, COUNTY OF SAN BERNARDINO FILED
STREETADDRE53247 West Third Street
MAILING ADDRESS: BY SUPERIOR COURT
cnYANDmPCODE;San Bernardino, CA 92415 OF CALIFORNIA, COUNTY OF
BRANCH NAME:San Bernardino Justice Center San Bernardino
WEBS|TE:http //www.
: sb-court org.
on Jun 4, 2021
CLERK OF THE SUPERIOR COURT
ATTACHMENTNAME: Answer: Answer of Defendants 25847 E. 9th Street, LLC
and Schochill Cardona Deputy Clerk: Angeline Garcia
CASE NAME: Elizabeth Hector vs. 25847 E. 9th Street, LLC dba Sterling CASE NUMBER:
Estates Apartmen
CIVD32012799
Please log on to www.TurboCourt.com regularly for updates
Please staple this to your original attachment
/wooynoaoq1n)//:duq
Howard P. Brody (SBN 65307)
hbrod (D'krsicom
Clayton Lee (SBN 238427)
cleegwjkrsicom
2016 Riverside Drive
Los Angeles, CA 90039
Telephone: (323) 669-9090
Facsimile (323) 669-0440
‘.
Attorneys for Defendants, 25847 E.
9th
STREET, LLC dba STERLING ESTATES
APARTMENTS; and SCHOCHILL CHAVEZ CARDONA (erroneously sued and served as
“Schochill C. Chavez”)
SUPERIOR COURT OF THE STATE OF CALIFORNIA
COUNTY OF SAN BERNARDINO
ELIZABETH HECTOR, an 1nd1v1dua1;
CASE NO. CIVD82012799
Plaintiff, _ .
ASSIgned to: Hon. John M. Tomberhn
vs. Dept. S33
STERLING ESTATES, a business entity form DEFENDANTS’ 25847 E. 9T“ STREET,
unknown; ANZA MANAGEMENT vvvvvvvvvvvvvvvv
LLc’s AND SCHOCHILL CARDONA’S
COMPANY, a corporation; SCHOCHILL C. ANSWER To PLAINTIFF’S FIRST
16
CHAVEZ, an individual; and Does 1 through AMENDED COMPLAINT
17 50, Inclusive,
Complaint Filed: June 22, 2020
18 Defendants.
I
19
COME NOW Defendants, 25847 E.
9th
STREET, LLC and SCHOCHILL CHAVEZ
20 z ,A
CARD‘QIjAfiUeferred to hereinafter individually and collectively in the singular (“Defendant”),
21
and hereby answer Plaintiff s unverified First Amended Complaint (referred to hereinafter only
22
as the “Complaint”) as follows:
23
1. Pursuant to Cal. Civ. Proc. Code § 431.30 et seq., Defendant denies generally
24
and specifically each and every allegation contained in the unverified Complaint (“Complaint”)
25
and each and every purported cause of action set forth therein, and further generally and
26
specifically denies that Plaintiff has sustained any damage 0r injury or is entitled to any relief or
27
recovery whatsoever from this answering Defendant.
28
//
1
DEFENDANTS’ CHAVEZ AND STERLING ESTATES’ ANSWER TO FIRST AMENDED COMPLAINT
Document Filed Date
June 04, 2021
Case Filing Date
June 22, 2020
Category
Personal Injury Non-Motor Vehicle Unlimited
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