On October 02, 2017 a
Complaint -
was filed
involving a dispute between
Sierra Salvador,
and
Contempo Pavers Inc.,
West Los Angeles Building Materials,
for Premise Liability (e.g., dangerous conditions of property, slip/trip and fall, dog attack, etc.) (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
DEPT 92 Hon. Yolanda Orozco A7250
PLD-PI-001
ATTORNEY OR PARTY WITHOUT ATTORNEY(Name, State Barnumtier. and address): FOR COURT USE ONLY
Shawn Azizzadeh, Esq. SBN 227558
Ariadne M. Giannis, Esq. SBN 292208
Bedford Law Group, A PC
1875 Century Park East, Suite 1790, Los Angeles, CA 90067
TELEPHONE NO: (31Q)507-7900 NO.(Optional): (31Q)507-7910
E-MAIL ADDRESS (Optional): ari@bedfordlg.eom
ATTORNEY FOR (Name): Plaintiff, Sulvudor SiciTa
SUPERIOR COURT OF CALIFORNIA,COUNTY OF LoS AngelCS
STREET ADDRESS: 111 NOTth Hill StrCCt 10/2/17
10/2/17
MAILING ADDRESS: 1 1 1 NOlth Hill StTCet
CITY AND ZIP CODE: Los Angclcs, CA 90012
CASE #:BC678681 RECEIPT #: 1171006D7115 DATE PAID : 10/6/17 10:44 AM TOTAL : 435.00 TYPE : EFT
BRANCH NAME: Staulcy MosR Courthousc
PLAINTIFF: Salvador Sierra
Melissa Yelverton
DEFENDANT: Contcmpo Pavcrs, Inc., individually and dba West Los
Angeles Building Materials; and
I / I DOES 1 TO 5O2 inclusive
COMPLAINT—Personal Injury, Property Damage, Wrongful Death
I I AMENDED (Number):
Type (check all that apply):
â–¡ MOTOR VEHICLE [ZH OTHER (specify): PREMISES LIABILITY
Property Damage LJ Wrongful Death
Personal Injury I I Other Damages (specify):
Jurisdiction (check all that apply): CASE NUMBER:
I I ACTiON iS A LiMiTED CiVIL CASE
Amount demanded I I does not exceed $10,000
I I exceeds $10,000, but does not exceed $25,000
r71 ACTION IS AN UNLIMITED CIVIL CASE (exceeds $25,000) BC678681
I I ACTION IS RECLASSIFIED by this amended complaint
I 1 from limited to unlimited
I I from unlimited to limited
1. Plaintiff (name or names!' Salvador Sierra
alleges causes of action against defendant (name or names):
Contempo Pavers, Inc., individually and dba West Los Angeles Building Materials; and DOES 1 to 50
FSC:03/18/19 TRIAL: 04/02/19 OSC : 10/02/20
2. This pleading, including attachments and exhibits, consists of the following number of pages: 5
3. Each plaintiff named above is a competent adult
a. I I except plaintiff (name!
(1) I I a corporation qualified to do business in California
(2) I I an unincorporated entity ((describe):
(3) â–¡â–¡ a public entity (describe):
(4) I I a minor I I an adult
(a) I I for whom a guardian or conservator of the estate or a guardian ad litem has been appointed
(b) I I other (specify):
(5) I I other (specify):
b. I I except plaintiff (name!'
(1) I I a corporation qualified to do business in California
(2) I I an unincorporated entity (describe):
(3) I I a public entity (describe):
(4) I I a minor I I an adult
(a) I I for whom a guardian or conservator of the estate or a guardian ad litem has been appointed
(b) I I other (specify):
(5) I I other (specify):
!=â–¡ Information about additional plaintiffs who are not competent adults is shown in Attachment 3. Page 1 of 3
Form Approved for Optional Use
COMPLAINT—Personal Injury, Property Code of Civil Procedure, § 425.12
E-SCANNED
Judicial Council of Califomia www.courtlnfo.ca.gov
PLD-PI-001 [Rev. January 1, 2007] Damage, Wrongful Death
Document Filed Date
October 02, 2017
Case Filing Date
October 02, 2017
Category
Premise Liability (e.g., dangerous conditions of property, slip/trip and fall, dog attack, etc.) (General Jurisdiction)
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 07/28/2021
For full print and download access, please subscribe at https://www.trellis.law/.