On October 16, 2020 a
Party Discovery
was filed
involving a dispute between
Sadigov, Elchin,
and
General Motors, Llc, A Delaware Limited Liability Company,
for Breach of Contract/Warranty Unlimited
in the District Court of San Bernardino County.
Preview
DAVID N. BARRY, ESQ. (SBN 219230)
THE BARRY LAW FIRM SUPERIORFCAUIETE RLIFORNIA
845 W. Olympic B1Vd., Suite 1270W COUNTY OF SAN BERNARDINO
SAN aERNARDwo DISWCT
1 1
Los Angeles, CA 90064
Telephone: 310.684.5859 MAY 1'
4 2021
Facsimile: 3 10.862.4539
Lh-bWN
ELCHIN SADIGOV BY 90gb: cm
Attorneys for Plaintiff,
ANGEUW GARCiA, DEPUTY
\OOONON
SUPERIOR COURT 0F THE STATE OF CALIFORNIA
FOR THE COUNTY OF SAN BERNARDINO — SAN BERNARDINO JUSTICE CENTER
10 ELCHIN SADIGOV, an individual, Case NO_ CIVD52023395
11 PLAINTIFF’S REPLY BRIEF IN
Plaintiff, SUPPORT 0F PLAINTIFF’S MOTION
12 TO COMPEL THE DEPOSITION OF
V_
DEFENDANT GENERAL MOTORS,
13
LLC’S PERSON(S) MOST
KNOWLEDGEABLE, WITH
14
PRODUCTION OF DOCUMENTS
GENERAL MOTORS, LLC, A Delaware
15 ..
Date: May 20,2021
.
lelted
. .
L1ab111ty Company; and DOES 1
Time: 9:00 a.m_
16 .
Dept.: S33
_
through 20, Incluswe,
17 Action Filed: October 16, 2020
Defendants. Trial Date: None
18
Assignedfor all purposes t0
19 THE HON. JOHN TOMBERLIN
in Dept. S33
20
ELCHIN SADIGOV (“Plaintiff”) hereby submit this Reply in support 0f his
Plaintiff
21
Motion to Compel the Deposition of Defendant GM US, LLC’s Person(s) Most Knowledgeable
22
Plaintiff s Motion, Separate
with Production of Documents. For the reasons set forth more fully in
23
Statement, and below, Plaintiff’ s Motion should be granted in its entirety.
24
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28
_1 _
PLAINTIFF’S REPLY BRIEF IN SUPPORT OF PLAINTIFF’S MOTION TO COMPEL THE
DEPOSITION
OF DEFENDANT GENERAL MOTORS, LLC’S PERSON(S) MOST KNOWLEDGEABLE, WITH
PRODUCTION OF DOCUMENTS
RECEIVED
Document Filed Date
May 14, 2021
Case Filing Date
October 16, 2020
Category
Breach of Contract/Warranty Unlimited
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