arrow left
arrow right
  • The Red Brennan Group -v- Jimenez et al Print Writ of Mandate Unlimited  document preview
  • The Red Brennan Group -v- Jimenez et al Print Writ of Mandate Unlimited  document preview
  • The Red Brennan Group -v- Jimenez et al Print Writ of Mandate Unlimited  document preview
  • The Red Brennan Group -v- Jimenez et al Print Writ of Mandate Unlimited  document preview
						
                                

Preview

JOLENA E. GRIDER, Bar No. 195289 SUPEMOéE'ZAUIETEFBXUFORNm ARDINO ?g%t£8§?gN(foBuafis§o. 193560 CQAJfiTBESSAzAgNBEET‘STR‘CT County Counsel 6 202? ORIGINAL AWN 0V 1 Office of County Counsel 385 North Arrowhead Avenue, Fourth Floor San Bernardino, California 9241 5 @Lflflw Telephone: (909)3 87-5455 fl, mynbmb Facsimile: (909)3 87-4069 E-Mail: jolena.grider@cc.sbcounty. gov \OOONO‘xU} Attorneys for Respondent/Defendant, Michael Jimenez SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN BERNARDINO 10 SAN BERNARDINO DISTRICT — CIVIL 11 12 THE RED BRENNAN GROUP, Case No.2 CIVSB 221 8598 13 Petitioner/Plaintiff, ANSWER OF RESPONDENT 14 MICHAEL JIMENEZ, IN HIS OFFICIAL 15 vs. CAPACITY AS SAN BERNARDINO COUNTY INTERIM REGISTRAR OF 16 MICHAEL JIMENEZ, in his official capacity as San VOTERS, TO PETITIONER THE RED Bernardino County Registrar of Voters; and Does 1 BRENNAN GROUP’S VERIFIED FIRST 17 THROUGH 10, inclusive, AMENDED PETITION FOR WRIT OF 18 MANDATE AND COMPLAINT FOR Respondents/Defendants, INJUNCTIVE RELIEF 19 20 21 SAN BERNARDINO COUNTY BOARD OF SUPERVISORS, 22 Real Party in Interest. 23 24 25 PRELIMINARY STATEMENT 26 Respondent is willing t0 provide information t0 the Court with respect t0 his duties in this 27 l 28 ANSWER OF RESPONDENT JIMENEZ TO VERIFIED FIRST AMENDED PETITION FOR WRIT OF MANDATE AND COMPLAINT FOR DECLARATORY RELIEF matter. N (D Respondent, MICHAEL JIMENEZ (JIMENEZ), in his capacity as San Bernardino County Interim Registrar 0f Voters, hereby answers Petitioner THE RED BRENNAN GROUP’s First Amended Petition for Writ 0f Mandate and Complaint for Injunctive and Declaratory Relief as follows: \DOOQOLII-bw 1. Answering paragraph 1, JIMENEZ states he has no information 0r belief on the subjects thereof sufficient to enable him to answer, and basing his denial on that ground, denies the allegations thereof. 10 2. Answering paragraph 2, JIMENEZ admits that Measure K was passed by 66.84 percent 11 of the voters and except as admitted, has no information or belief 0n the subjects thereof 12 13 sufficient to enable him to answer, and basing his denial on that ground, denies the allegations ~ 14 thereof. 15 3. Answering paragraph 3, JIMENEZ states he has no information 0r belief 0n the subjects 16 thereof sufficient to enable him t0 answer, and basing his denial on that ground, denies the 17 allegations thereof. 18 19 4. Answering paragraph 4, JIMENEZ states he has no information or belief on the subjects 20 thereof sufficient to enable him to answer, and basing his denial on that ground, denies the 21 allegations thereof. 22 5. Answering paragraph 5, JIMENEZ states he has no information or belief on the subjects 23 thereof sufficient t0 enable him to answer, and basing his denial on that ground, denies the 24 25 allegations thereof. 26 27 2 28 ANSWER OF RESPONDENT JIMENEZ TO VERIFIED FIRST AMENDED PETITION FOR WRIT OF MANDATE AND COMPLAINT FOR DECLARATORY RELIEF