On April 26, 2019 a
Motion,Ex Parte
was filed
involving a dispute between
Ching Fen Huang,
Hsi Keng Huang,
Hsi Keng Huang,
Sz Hua Huang,
Sz Hua Huang,
Wei Lun Huang,
Trinity Huang,
Tristan Huang,
and
Tesla Inc.,
Tesla, Inc.,
The State Of California, Department Of Transportation,
for Other PI/PD/WD Unlimited (23)
in the District Court of Santa Clara County.
Preview
19CV346663
Santa Clara — Civil
B. Roman-Antune:
ERIN E. HOLBROOK, Chief Counsel
G. MICHAEL HARRINGTON, Deputy Chief Counsel Electronically Filed
LANDA LOW, Assistant Chief Attorney (SBN 125121) by Superior Court of CA,
ROSEMARY LOVE, Deputy Attorney (SBN 257907 County of Santa Clara,
ANDREW GOKOFFSKI, Deputy Attorney (SBN 321272) on 8/1/2023 3:56 PM
III Grand Avenue, Suite 11-100, Oakland, CA 94612 Reviewed By: B. Roman-Antunez
Mail: P.O. Box 24325, Oakland, California 94623
Telephone: (510) 433-9100, Fax: (510) 433-9167 Case #19CV346663
Attorneys for Defendant STATE OF CALIFORNIA, Envelope: 12636176
acting by and through the Department of Transportation (“Caltrans”)
Exempt from filing fees
under Government Code $ 6103
SUPERIOR COURT OF THE STATE OF CALIFORNIA
COUNTY OF SANTA CLARA
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SZ HUA HUANG, Individually and as Case No. 19CV346663
Sn
gs successor in interest to WEI LUN HUANG,
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deceased; TRINITY HUANG, a minor;
TRISTAN HUANG, a minor; HSI KENG NOTICE OF CALTRANS’ MOTION TO
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HUANG; and CHING FEN HUANG, AUGMENT EXPERT WITNESS
=e INFORMATION
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£8 Plaintiffs, (Code Civ. Proc. §§ 2034.610, 2034.620)
Zs
ss
=¢ 15
eh
aes VS. Date: 11/07/2023
Sy Time: 9:00A.M.
83 16
Sys TESLA INC. dba TESLA MOTORS, INC., Location: Dept. 6 Judge Pennypacker
Es THE STATE OF CALIFORNIA, and Does
R28 17
oye I through 100,
=&
SES
Eos 18
gs Defendants. Complaint Filed: April 26, 2019
Trial Date: March 18, 2024
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TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD:
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YOU ARE HEREBY NOTIFIED THAT on ; 2023 at a.m. in Department
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6 of the Santa Clara Superior Court, located at 191 North First Street, San Jose, California 95113,
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Defendant State of California acting by and through the Department of Transportation (“Caltrans”)
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will move the Court for an order permitting Caltrans to augment its expert witness information
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pursuant to Code of Civil Procedure sections 2034.610 and 2034.620, to include a biomechanical
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engineering expert. This motion will be based upon this notice, the attached points and authorities,
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I
NOTICE OF CALTRANS’ MOTION TO AUGMENT EXPERT WITNESS INFORMATION
(Code Civ. Proc. §§ 2034.610, 2034.620)
1 the declaration of Rosemary Love, the files and records inthis ac tion and any further evidence and
argument that the Court may receive at or before the hearing.
ATED: August 1, 2023 ERIN E. HOLBROOK
G. MICHAEL HARRINGTON
LANDA LOW
ROSEMARY LOVE
ANDREW GOKOFFSKI
we GOS ~ bo
Attorndys for Defendant
STATE OF CALIFORNIA, acting by and
through the DEPART ENT OF
TRANSPORTATION
2
NOTICE OF CALTRANS’ MOTION TO AUGMENT EXPERT WITNESS INFORMATION
(Code Civ. Proc. §§ 2034.610, 2034.620)
Document Filed Date
August 01, 2023
Case Filing Date
April 26, 2019
Category
Other PI/PD/WD Unlimited (23)
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