On October 04, 2021 a
Complaint,Petition
was filed
involving a dispute between
Medina, Ernesto,
Rodriguez, Porfirio,
and
Does 1 To 10,
General Motors, Llc,
for Breach of Contract/Warranty Unlimited
in the District Court of San Bernardino County.
Preview
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NAME AND ADDRESS OF ATTORNEY OR PARTY WITHOUTATTORNEY: STATE BAR NUMBER Reserved for Clerk's Flle Stamp
Kevin Y. Jacobson, Esq. (SBN 320532) 320532
Quill & Arrow, LLP
10900 Wilshire Blvd., Suite 300, Los Angeles CA 90024
TELEPHONE No.: (310) 933-4271
E-MAIL ADDRESS:kJacobson@qullarrowlaw.com TRIAL SETTING CONFERENCE DATE; Se tember 7 2022
F l LE D
ATTORNEY FOR(Name): P°rfm° R°dnguezhjlng UNLIMITED CASE: x
—‘ mwpéggngsgczm
MM
c
FAx No. (Optional): (310) 889-06f5mm ° ‘“aL.M.TED CASE: AN BERN ‘
DJNO DISTRICT
SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN BERNARDINO AUG
COURTHOUSE ADDRESS: n
l 92022
247 West Third Street, San Bernardino, CA 92415
PLA'NT'FF‘ Porfirio Rodriguez and Ernesto Medina
DEFENDANT: General Motors LLC Amadw‘ Yanckfk
CASE ”UMBER
INITIAL TRIAL SETTING CONFERENCE STATEMENT CIV532128483
INSTRUCTIONS: All applicable boxes must be checked, and the specified informatlon must be provided. Thls document must be filed and
sgrved atleast 15 dgyg grlor to the trlgl settlng conferenfi date.
1. Party or parties (answer one):
a. This statement is submitted by party (name): Porfirio Rodriguez and Ernesto Medina
b. This statement is submitted jointly by parties (names):
2. Service of Complaint on all parties has has not D been completed.
3. Service of Cross-Complaint on all parties has D has not D been completed.
4. Description of case in Complaint:
purchased a 2019 Chevrolet Silverado from and manufactured by Defendant. Plaintiffs delivered the vehicle to Defendant's authorized repair facilities multiple times
Plaintiffs
and Defendant failed to repair the vehicle after a reasonable number of opportunities. Defendant violated the Song«Beverly Consumer Warranty Act
by not replacing the
vehicle or repurchasing the vehicle after a reasonable number ofopportunities.
5. Descriptlon of case in Cross-Complaint:
6. Has all discovery been completed: Yes L_J No LXJ Date discovery anticipated to be completed: Per COde
7. Do you agree to mediation? Yes E No D Please checktype agreed to: Private: x Court-sponsored:
8. Related cases, consolidation, and coordination: Please attach a Notice of Related Case.
D Amotionto D consolidate D Trialdates requested:YesD No D Available dates: Time
estimate:
9. Other issues:
D The following additional matters are requested to be considered by the Court:
10. Meet and Confer:
The parties represent that they have met and conferred on all subjects required by California Rules of Court. Rule 3.724‘
D The parties have entered into the following stipulation(s):
11. Total number of pages attamed (if any):
| am completely familiar with this case and will be fully prepared to discuss the status of discovery and alternative dispute resolution, as well as
other issues raised by this statement, and will possess the authority to enter into stipulations on these issues at the time of the Initial Tn'al Setting
Conference, including the written authority of the party where required,
Date; August 18, 2022
Kevin Y. Jacobson, Esq.
(TYPE OR PRINT NAME)
{"661me
fl 0R
(SIGNATLV PARTY ATTORNEY
(TYPE OR PRINT NAME) (SIGNATURE OF PARTY OR ATTORNEY
Form # 13-09001 —360
Rev.6-2020 Mandatory INITIAL TRIAL SETTINGCONFERENCE STATEMENT
PROOF OF SERVICE EY MAIL
I am employed in the County of Los Angeles, State of California. I am over the age of 18
and not a party to the within action. My business address is 10900 Wilshire B1vd., Suite 300, Los
Angeles, CA 90024.
On Augyst 18, 2022, I served the following document(s) described as:
\DOOVQUIhUJNH
INITIAL TRIAL SETTING CONFERENCE STATEMENT
That document was served on parties herein in this proceeding by placing true copies ofthe original
in enclosed, sealed envelope(s) addressed as follows:
SEE ATTACHED SERVICE LIST
[](BY familiar” with the practices of QUILL & ARROW, LLP, in
MAIL) I am “readily
collecting and processing correspondence and documents for mailing. Under that practice,
documents for mailing would be deposited with the US Postal Service on that same day this
affidavit is signed with postage fully prepaid at Los Angeles, California in the ordinary course of
business. I am aware that on motion of the party served, service is presumed invalid if the postal
cancellation date is more than l-day after the day of deposit for mailing the affidavit. [CCP §
1013]
(BY OVERNIGHT MAIL) I am “readily familiar” with the practices of the QUILL &
[]
ARROW, LLP, for collection and processing of documents for mailing Via overnight delivery. I
caused such document(s) to be placed in a sealed envelope designated by the overnight service
carrier, addressed to the person(s) on whom it is to be served pursuant to the attached service list,
and deposited said envelope in a box or other facility regularly maintained by the overnight
NNNNNNNNN—Ar—Ap—Hr—db—dv—dr—Ar—Ah—I
service carrier with delivery fees paid or provided for. [CCP § 1013(c)]
[X] (BY ELECTRONIC MAIL) I caused the document(s) to be transmitted by electronic mail
to the e-mail addresses for each party indicated on the attached service list.
[] (BY PERSONAL DELIVERY) I caused to be delivered such envelope by hand to the
addressee at the address indicated on the attached service list.
OONONLlI-bUJNfi-‘OKOWQONMAUJNHO
I declare under penalty of perjury under the laws of the State of California that the foregoing is
true and correct.
Executed on August 18, 2022.
/s/Diana Shirshova
Diana Shirshova
PROOF OF SERVICE
Document Filed Date
August 19, 2022
Case Filing Date
October 04, 2021
Category
Breach of Contract/Warranty Unlimited
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