On September 22, 2017 a
DEFENDANT BASSI EDLIN HUIE & BLUM, LLP'S NOTICE OF DEMURRER TO PLAINTIFF'S FIRST AMENDED COMPLAINT
was filed
involving a dispute between
Core Fitness Llc,
Core Health & Fitness Llc,
Core Industries Llc,
and
Bassi Edlin Huie & Blum Llp,
Nat'L Union Fire Ins. Comp. Of Pitts Pa,
for civil
in the District Court of Los Angeles County.
Preview
roe
oe
GC.
FILED
superior Court of California
Robert F. Tyson, Jr. Esq. (Bar No. 147177)
Conner of Foe santos
Susan L. Oliver, Esq. (Bar No. 160902)
Dana H. Furman, Esq. (Bar No. 220668)
TYSON & MENDES AUG 16 2018
5661 La Jolla Boulevard hertin, Ate waccuneve UinicerLierk of
La Jolla, CA 92037 > Court
Telephone: (858) 459-4400 t
Y. e
RETF e, » Deputy
Robinson
Attomeys for Defendant BASSI EDLIN HUIE & BLUM, LLP
SUPERIOR COURT OF THE STATE OF CALIFORNIA
COUNTY OF LOS ANGELES BY FAX
10 CORE HEALTH & FITNESS, LLC, a Case No. BC676824
Nevada limited liability company; CORE (Complaint Filed: September 22, 2017]
11 FITNESS, LLC, a Nevada limited liability
company; and CORE INDUSTRIES, LLC, a DEFENDANT BASSI EDLIN HUIE &
12 California limited liability company BLUM, LLP’S NOTICE OF
DEMURRER TO PLAINTIFF’S FIRST
13 Plaintiff, AMENDED COMPLAINT
14 vs.
Reservation ID#: 180727335137
15 NATIONAL UNION FIRE INSURANCE Date: October 2, 2018
COMPANY OF PITTSBURGH, PA, a Time: 8:30 a.m.
16 Pennsylvania corporation; BASSI EDLIN Dept: 78
HUIE & BLUM, LLP, a California limited Judge: Hon. Robert S. Draper
17 liability partnership; and DOES 1 through 10,
inclusive Trial: Not set
18
Defendants.
19
20
21 TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD:
22 PLEASE TAKE NOTICE that on October 2, 2018 at 8:30 a.m., or as soon thereafter as the
23 matter may be heard in Department 78 of the above-entitled Court, located at 111 North Hill Street,
24 Los Angeles, California 90012, Defendant BASSI EDLIN HUIE & BLUM, LLP (“Defendant” or
25 “BEHB”) will and hereby does demur to Plaintiff's First Amended Complaint, pursuant to Code of
26 Civil Procedure section 430.30 subsection (a), because the Seventh Cause of Action for Tort of
no 27 Another fails to state facts sufficient to constitute a cause of action against BEHB, pursuant to Code
28 of Civil Procedure section 430.10 subsection (e), because Tort of Another is an equitable doctrine
1
DEFENDANT BASS! EDLIN HUIE & BLUM, LLP’S NOTICE OF DEMURRER TO PLAINTIFF'S FIRST
AMENDED COMPLAINT
Document Filed Date
August 16, 2018
Case Filing Date
September 22, 2017
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 05/06/2020
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