On May 24, 2022 a
2023_07_25_Second_Petiti_tration_Lockhart_Dec
was filed
involving a dispute between
8880 Elder Creek Holdings, A California Limited Liability Corporation,
Global Investment Trust- 2017Y,
Golden Global Enterprises Inc., A California Corporation,
and
Does 1-10, Inclusive,
Onderko, Tim,
for (42) Unlimited Other Complaint (Not Spec)
in the District Court of San Mateo County.
Preview
1 DOMINIC V. SIGNOROTTI, SBN 267712
dominic@mckennabrink.com
2 TANNER D. BRINK, SBN 244791
tanner@mckennabrink.com
3 MCKENNA | BRINK | SIGNOROTTI LLP
1350 Treat Blvd, Suite 105
4 Walnut Creek, CA 94597
Telephone: 925 433-5448
5 Facsimile: 844 230-2856
6 Attorneys for Defendant TIM ONDERKO
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8 SUPERIOR COURT OF THE STATE OF CALIFORNIA
9 COUNTY OF SAN MATEO
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M C K ENNA |B RINK |S IGNOROTTI LLP
11 GOLDEN GLOBAL ENTERPRISES Case No. 22-CIV-02099
INC., a California Corporation; GOLDEN
12 GLOBAL INVESTMENT TRUST – 2017, DECLARATION OF RYAN LOCKHART
W A L NUT C RE E K , CA
A T T ORNE YS A T L A W
by and through its Trustee, Donald A. IN SUPPORT OF PETITION TO COMPEL
13 Wilson; and 8880 ELDER CREEK ARBITRATION
HOLDINGS, a California limited liability
14 corporation, Date: August 2, 2023
Time: 2:00 p.m.
15 Plaintiffs, Dept.: 2
16 vs. Action Filed: May 24, 2022
Trial Date: August 9, 2023
17 TIM ONDERKO, an individual, and as
owner of a 49% interest in 8880 Elder
18 Creek Holdings, LLC, a California limited
liability corporation; and DOES 1-10,
19 inclusive,
20 Defendants.
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I, Ryan Lockhart, declare on my own personal knowledge as follows.
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1. I am an attorney with the law office of McKenna Brink Signorotti, LLP, attorneys
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of record for Defendant Tim Onderko (“Tim”). I am duly licensed to practice before all of the
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courts of the State of California.
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2. I have personal knowledge of the matters set forth in this declaration, and if called
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to testify, I could competently testify thereto.
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3. I appeared at the April 18th hearing in this matter. This was my first involvement
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LOCKHART DECLARATION
1 in this case. Based on my instructions from Dominic Signorotti, I was under the impression that
2 because the Declaratory Relief Action was stayed, the case management conference would be for
3 it only and the trial setting would address the Fiduciary Duty Action only. I therefore agreed to the
4 proposed trial date from this Court, believing that it was for the Fiduciary Duty Action only.
5 I declare under penalty of perjury under the laws of the State of California that the foregoing
6 is true and correct.
7 Executed on July 25, 2023, at Walnut Creek, California.
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9 By: Ryan Lockhart
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M C K ENNA |B RINK |S IGNOROTTI LLP
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W A L NUT C RE E K , CA
A T T ORNE YS A T L A W
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LOCKHART DECLARATION
Document Filed Date
July 25, 2023
Case Filing Date
May 24, 2022
Category
(42) Unlimited Other Complaint (Not Spec)
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