On July 17, 2017 a
Party Discovery
was filed
involving a dispute between
Challad Mark,
Florida Beauty Express,
Florida Flora Inc.,
Lugo Emiliano,
Optimized Leasing Inc,
Southern California Regional Rail,
Tempest Transportation Inc,
Hankins Av,
Hankins A V,
and
Challad Mark,
Challad Mark Engineer,
Does 1 To 100,
Florida Beauty Express,
Lugo Emiliano,
Metrolink,
Optimized Leasing Inc,
Optimized Leasing Inc.,
Southern California Regional Rail,
Tempest Transportation Inc,
Tempest Transportation Inc.,
for civil
in the District Court of Los Angeles County.
Preview
1 Joshua A. Quinones, Esq., SBN 186003 - 0
Tiffany B. Hunter, Esq., SBN 306382 '
2 CLARK HILL LLP .
1055 West Seventh Street, 24th Floor ‘I "
3 Los Angeles, California 90017 F1
Telephone: (213) 891-9100
4 Facsimile: (213) 488-1178 ° W Ans-=18
JQuinones@clarkhill.com
5 THunter@clarkhill.com 09 zm
Shem’ .. ,-,_ _ ‘
6 Attorneys for Defendants and Cross-Defendants, BY . Umcge/Elm
EMILIANO LUGO; FLORIDA BEAUTY EXPRESS, 1‘ " ' "' SC ’ ' my
7 INC.; TEMPEST TRANSPORTATION, INC.; Defendant,
OPTIMIZED LEASING, INC.; and Cross—Defendant,
8 FLORIDA BEAUTY FLORA, INC.
9 SUPERIOR COURT OF THE STATE OF CALIFORNIA
10 COUNTY OF LOS ANGELES
11
12 A V HANKINS, Case No. BC668546
Related to Case Nos. BC65 8392 (Lead Case),
13 Plaintiff, BC660893, BC668544, BC668547, BC668548,
14 BC668549, BC669451, BC669235
v.
[Assigned for All Pre-Trial Purposes to the Hon.
15 ENGINEER MARK CHALLAD; SOUTHERN William Stewart — Dept. A]
CALIFORNIA REGIONAL RAIL
16 AUTHORITY dba METROLINK; EMILIANO EMILIANO LUGO’S NOTICE OF MOTION
LUGO; FLORIDA BEAUTY EXPRESS; AND MOTION TO COMPEL PLAINTIFF’S
17 TEMPEST TRANSPORTATION, INC.; INITIAL RESPONSES TO FORM
OPTIMIZED LEASING, INC.; and DOES 1 INTERROGATORIES (SET ONE);
18 through 100, Inclusive, REQUEST FOR SANCTIONS IN THE
AMOUNT OF $1,050; DECLARATION OF
19 Defendants. TIFFANY B. HUNTER, ESQ.
20 [Served Concurrently with (Proposed) Order;
Motion to Compel Initial Responses to Request for
21 Production; and Motion to Compel Further
22 Responses to Special Interrogatories]
Hearing Date: November 30, 2018
23 Time: 8:30 a.m.
Reservation ID: 180920350658
24 Complaint Filed: July 17, 2017
25 AND ALL RELATED CROSS-ACTIONS. Trial Date: Not Set
26 TO THE COURT, ALL PARTIES, AND THEIR ATTORNEYS OF RECORD:
27 PLEASE TAKE NOTICE that on November 30, 2018, at 8:30 a.m., or as soon thereafter as
23 the matter may be heard in Department A of the above-entitled Court, located at 300 East Olive
1"»?
T____
MOTION TO COMPEL PLAlNTIFF’S INITIAL RESPONSES TO FORM INTERROGATORIES (SET ONE)
220267443.vl
Document Filed Date
October 09, 2018
Case Filing Date
July 17, 2017
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