On June 22, 2017 a
Motion,Ex Parte
was filed
involving a dispute between
Hernandez Julio,
and
Bmw Of North America Llc,
Nick Alexander Imports Dba Nick Alexander Bmw,
for Contract/Warranty Breach - Seller Plaintiff (no fraud/negligence) (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
e
- @ ORIGINAL
BOWMAN AND BROOKE LLP
Brian Takahashi (SBN: 146505)
Richard L. Stuhlbarg (SBN: 180631
Theodore Dorenkamp III (SBN: 277004) BELED
Jimmy Y. Park (SBN: 228290) Superior Court of California
970 lest 190th Street, Suite 700 Counts: af Une Angeles
Torrance, California 90502
Tel No: 310/ 768-3068 JUL 13 2618
Fax No: 310/719-1019 Sherri R. Lar wes eacctive Ulticer!Clerk of Court
By XS FB Spuly
Attorneys for Defendants ~ Raul Sanchez
BMW OF NORTH AMERICA, LLC and
NICK ALEXANDER IMPORTS d/b/a NICK ALEXANDER BMW
SUPERIOR COURT OF THE STATE OF CALIFORNIA
10 FOR THE COUNTY OF LOS ANGELES - STANLEY MOSK
11
12 JULIO HERNANDEZ, CASE NO.: BC666145
13 Plaintiff, Assigned to: Hon. Michelle Williams Court
Department: 74
14 vs.
DEFENDANTS’ MOTION IN LIMINE NO. 4
15 BMW OF NORTH AMERICA, LLC, a TO EXCLUDE NON-RECOVERABLE
Delaware Limited Liability Company, INCIDENTAL AND CONSEQUENTIAL
16 NICK ALEXANDER IMPORTS, a DAMAGES; MEMORANDUM OF POINTS
California Corporation, d/b/a NICK AND AUTHORITIES, DECLARATION OF
17 ALEXANDER BMW, and DOES 1 JIMMY Y. PARK; EXHIBITS “A” - “C”;
through 10, inclusive, [PROPOSED] ORDER
18
Defendants. Motion in Limine No. 4
19
Action Filed: June 22, 2017
20 tial: July 30, 2018
21
22 TO PLAINTIFF AND TO HIS ATTORNEYS OF RECORD:
23 PLEASE TAKE NOTICE that defendants BMW OF NORTH AMERICA, LLC
24 ("BMW NA") and NICK ALEXANDER IMPORTS dba NICK ALEXANDER BMW move
25 the court for an order preventing plaintiff, his attorneys, and witnesses from introducing
od
testimony or evidence of incidental or consequential damages plaintiff is not entitled to
Lt
om td
recover under the Song-Beverly Consumer Warranty Act. Evidence of non-recoverable
o8 incidental or consequential damages is irrelevant, unfairly prejudicial, will mislead the
62
mo
fe Ca 4
be 19669409v2
DEFENDANTS’ MOTION IN LIMINE NO. 4 TO EXCLUDE NON-RECOVERABLE INCIDENTAL AND
CONSEQUENTIAL DAMAGES; MEMORANDUM OF POINTS AND AUTHORITIES, DECLARATION OF
JIMMY Y. PARK; [PROPOSED] ORDER
Document Filed Date
July 13, 2018
Case Filing Date
June 22, 2017
Category
Contract/Warranty Breach - Seller Plaintiff (no fraud/negligence) (General Jurisdiction)
Status
Jury Verdict 08/09/2019
For full print and download access, please subscribe at https://www.trellis.law/.