On October 11, 2017 a
Party Statement
was filed
involving a dispute between
Garcia Marlene,
and
Owiecki Robert J.,
Whittier City School District,
for civil
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 08/17/2021 04:04 PM Sherri R. Carter, Executive Officer/Clerk of Court, by C. Cappadona,Deputy Clerk
1 ATKINSON, ANDELSON, LOYA, RUUD & ROMO
A Professional Law Corporation
2 Marlon C Wadlington State Bar No. 192138
MWadlington@aalrr.com
3 Scott D. Danforth State Bar No. 258382
SDanforth@aalrr.com
4 12800 Center Court Drive South, Suite 300
Cerritos, California 90703-9364
5 Telephone: (562) 653-3200
Fax: (562) 653-3333
6
[Fee exempt Pursuant to
7 Attorneys for Defendant WHITTIER CITY SCHOOL DISTRICT Govt. Code § 6103]
8
SUPERIOR COURT OF THE STATE OF CALIFORNIA
9
ATKINSON, ANDELSON, LOYA, RUUD & ROMO
COUNTY OF LOS ANGELES
10
11
MARLENE GARCIA, and J.J., a minor, by Case No. BC679114
12800 CENTER COURT DRIVE SOUTH, SUITE 300
12 and through his guardian ad litem,
CERRI TOS, C ALIFOR NIA 90703-9364
MARLENE GARCIA, AMENDED SEPARATE STATEMENT OF
A PROFESSIONAL CORPORATION
TE LEPHO NE: (5 62 ) 653 -32 00
13 MATTERS IN DISPUTE IN SUPPORT OF
FAX: (562) 653-3333
ATTORNEYS AT LAW
Plaintiffs, MOTION TO COMPEL PLAINTIFF’S
14 SECOND SESSION OF MENTAL
v. EXAMINATION
15
ROBERT J. OWIECKI, WHITTIER CITY DATE: September 14, 2021
16 SCHOOL DISTRICT, and DOES 1-20, TIME: 9:30 a.m.
DEPT: C
17 Defendants. Reservation No.: 097939046987
18 Complaint Filed: October 11, 2017
Trial Date: October 22, 2021
19
20 Pursuant to California Rules of Court, Rule 3.1345(a), Defendant Whittier City School
21 District respectfully submits this Amended Separate Statement of Matters in Dispute in support of
22 its Motion to Compel Plaintiff’s Mental Examination.
23 STATEMENT OF MATTERS IN DISPUTE
24 THE DISCOVERY REQUEST:
25 PLEASE TAKE NOTICE that, pursuant to California Code of Civil Procedure § 2032.310
26 and by stipulation of the parties, an independent mental examination of Plaintiff J.J. shall take
27
28
006148.00037 AMENDED SEPARATE STATEMENT OF MATTERS IN DISPUTE IN SUPPORT OF
34144020.1 MOTION TO COMPEL PLAINTIFF’S SECOND SESSION OF MENTAL
EXAMINATION
Document Filed Date
August 17, 2021
Case Filing Date
October 11, 2017
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