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  • GLENDALE PLUMBING & FIRE SUPPLY INC VS RADIX FIRE PROTECTION Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction) document preview
  • GLENDALE PLUMBING & FIRE SUPPLY INC VS RADIX FIRE PROTECTION Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction) document preview
						
                                

Preview

e y® ORIGINAL Kirk S. MacDonald (Bar No. 106005) GILL AND BALDWIN, P.C a Superior Court of Calito ra ounty of Los Angeles 130 North Brand Blvd., Suite 405 Glendale, CA 91203-2617 FEB 15 2017 Telephone: (818) 500-7755 /(323) 245-3131 Sh erri R. C; tive Officer/Clerk Facsimile (818) 242-4305 By. Deputy Attorneys for Plaintiff GLENDALE PLUMBING & FIRE SUPPLY, INC. SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF LOS ANGELES 10 11 GLENDALE PLUMBING & FIRE SUPPLY ) caseno: 8C 650782 INC., a California corporation 12 ) COMPLAINT FOR: Plaintiff, 13 VS. BREACH OF CONTRACT; COMMON COUNTS. 14 RADIX FIRE PROTECTION, INC., a RECOVERY UNDER California corporation; AMERICAN CONTRACTORS LICENSE BOND 15 CONTRACTORS INDEMNITY COMPANY 34 Alen a surety; and DOES 1 through 10 16 Inclusive 17 Defendants 18 19 Plaintiff, GLENDALE PLUMBING & FIRE SUPPLY, INC., a California corporation 20 alleges: 21 COMMON ALLEGATIONS 22 1. This action is filed in this county and district because the defendant's principal place 23 of business was located here. AwoOA ca mot ma 9450 memm ae ar 24 2. At all times mentioned herein, GLENDALE PLUMBING &.FIRE SUPBLY, Inc Peo 25 (hereinafter referred to as "GPFS") is a corporation organized and existigguder ard by virtue oA 26 of the laws of the State of California. agg= 3 aon aa x 3 27 3. GPFS is informed and believes and based thereon alleges that at all tie hereif 28 defendant RADIX FIRE PROTECTION, INC. (hereinafter referred to as “RADE was a * a ee a 2 Coon 1 Soa as e566 St Complaint for Breach of Contract, etc