On October 17, 2022 a
Conference
was filed
involving a dispute between
Rincon, Cristian,
Rincon, Gladys E,
and
Does 1 Through 10,
General Motors Llc,
for Breach of Contract/Warranty Unlimited
in the District Court of San Bernardino County.
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Mary Arens McBride, Esq. SBN: 282459
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SBN: 338579
Jesse Valencia, Esq.
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Orange, California 92867
Tel: (949) 777-6032
Fax: (714) 844-9035
marensmcbride@erskinelaw.com
jvalencia@erskine1aw.com
Attorneys for Defendant,
GENERAL MOTORS LLC
QUILL & ARROW, LLP
,
Kevin Y. Jacobson, Esq. (SBN 320532)
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Siyun Yang, Esq. (SBN 343864)
10 1gacobson@quillarrowlaw.com
syang@quillarrowlaw.com
11 e-service@quillarrowlaw.com
10900 Wilshire Boulevard, Suite 300
12 Los Angeles, 'CA 90024
13 A8
Attorneys for Plaintiff,
14 GLADYS E. RINCON AND CRISTIAN RINCON
XV:I
15
16 SUPERIOR COURT OF CALIFORNIA
17 COUNTY OF SAN BERNARDINO
18
GLADYS E RINCON, an individual and Case N0.: CIVSB2224248
19
CRISTIAN RINCON, an individual;
20 JOINT DECLARATION RE MEET AND
Plaintiffs, CONFER EFFORTS
21
V.
22
Hon. Janet M Frangie
23
GENERAL MOTORS, LLC, and DOES 1
Department: $29
through 20, inclusive,
24
Defendants.
25
26
27
28
JOINT DECLARATION RE MEET AND CONFER EFFORTS
l
1. On April 28, 2023, Defense filed and served to Plaintiffs’ counsel a Demurrer and Motion
to Strike t0 the Complaint. In particular t0 the fraud cause 0f action and punitive damages.
2. On May 30, 2023, the court ordered the parties to meet and confer in person or
telephonically t0 discuss our legal support and basis for our positions and t0 file a joint declaration.
3. On July 7, 2023, Defense counsel called Plaintiff s counsel Siyun Yang to meet and confer
regarding Plaintiffs’ fraud allegations per court order.
4. Defense counsel met and conferred telephonically with Plaintiffs’ counsel on July 7, 2023.
\OOOQON
Counsels discussed the pleadings, specifically Plaintiffs’ inclusion of a fraud cause of action and
punitive damages. After discussion, the panics remained at an impasse.
10 5. Based on the foregoing, I respectfully request the Court t0 proceed with ruling on the
11 demurrer and motion to strike as filed since the parties remain at an impasse and have not reached
12 an agreement.
13 I declare under penalty of perjury under the laws of the State of California that the
14 foregoing is true and correct. Executed this 10th day of July 2023 at Orange, California.
15
16
ERSKINE LAW GROUP, P.C.
17
18 By:
(“A What k/Jfiw;
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19 Jesse alen ia
Attome ~
rDefendant
20 GENERAL MOTORS LLC
21
QUILL & ARROW, LLP
22
23
By:
24
25
Kevin Y. Jacobson, Esq.
26 Siyun Yang, Esq.
Attorneys for Plaintiffs,
27
GLADYS E. RINCON
28
CRISTIAN RINCON
JOINT DECLARATION RE MEET AND CONFER EFFORTS
2
Document Filed Date
July 11, 2023
Case Filing Date
October 17, 2022
Category
Breach of Contract/Warranty Unlimited
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