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  • De Olmos et al -v - General Motors, LLC et al Print Breach of Contract/Warranty Unlimited  document preview
  • De Olmos et al -v - General Motors, LLC et al Print Breach of Contract/Warranty Unlimited  document preview
  • De Olmos et al -v - General Motors, LLC et al Print Breach of Contract/Warranty Unlimited  document preview
  • De Olmos et al -v - General Motors, LLC et al Print Breach of Contract/Warranty Unlimited  document preview
						
                                

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‘ \I ORIGINAL ~ ‘32} STATE BAR NUMBER Reserved for Clerk’s FileStamp NAME AND ADDRESS OF ATTORNEY OR PARTY WITHOUT ATTORNEY: Mary Lynn Arens McBride, Esq. ERSKINE LAW GROUP, 282459 1576 N. Batavia Street, SuiteA P.C. F I LE D Orange, CA 93367 ‘UPERIOR COURT 0F CALIFORNIA TELEPHONE N04 (949’ 7776032 COUNTY 0F SAN BERNARDINO E-MAIL ADDRESSnarensmcbride@erskinelaw.conRIAL SETTING CONFERENCE DATE: 10/07/2021 SAN BERNARDINO DISTRICT ATTORNEY FOR(Name); General Motors LLC UNLIMlTED CASE; X FAX NO. (Optional): (714) 844-9035 LIMITED CASE: SEP 1 7 2021 SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN BERNARDINO COURTHOUSE ADDRESS: CA 92415 247 W. Third Street. San Bernardino, l PLAINTIFF Ofelia Frausto De Olmos, and Hilda Olmos BV ANGEL E ARClA, Deputy DEFENDANT- ' General Motors LLC INITIAL TRIAL SETTING CONFERENCE STATEMENT CASE NUMBER: UVSBMGW ~ é INSTRUCTIONS: All applicable boxes must be checked, and the specified information must be provided. This document must be filed and u-served at least 15 days grior to the trial setting conference date. 1. Party or parties (answer one): >— a. This statement is submitted by party (name): LLC m b. I This statement is submitted jointly by parties (names): Defendant) General Motors Service of Complaint on all parties has D has not D been completed. Service of Cross-Complaint on all parties has D has not D been completed. This is "lemon law" action involving a 2020 Chevrolet Silverado with various alleged defects. Plaintiff a Description of case in Complaint: alleges that these defects substantiallyimpair the use, value, and safety of the vehicle. Plaintiff seeks restitution, rescission, incidental damages, consequential damages, civil penalties, attorney fees, and costs. Description of case in Cross-Complaint: De osition of Plaintiff - March 2022 Has all discovery been completed: Yes D No E Date discovery anticipated to be completed: Ve ide InSPeCti‘m ' MarCh 2°22 Do you agree to mediation? Yes Q No D Please check type agreed to: Private: X Court—sponsored: Related cases, consolidation, and coordination: Please attach a Notice of Related Case. Ll Amotionto L] consolidate U Tria'dates requested:YesU No L_l Available dates: Time estimate: Other issues: D The following additional matters are requested to be considered by the Court: 10. Meet and Confer: a The parties represent that they have met and conferred on all subjects required by California Rules 0f Court, Rule 3.724. Ll The panies have entered into the following stipulation(s): 11. Total number of pages attached (if any): 0 | am completely familiar with this case and will be fully prepared to discuss the status of discovery and alternative dispute resolution, as well as other issues raised by this statement, and will possess the authority to enter into stipulations on these issues at the time ofthe Initial Trial Setting Where reqUi’ed- x’ camence, including the written authority of the Pa y ‘ ' 4 11’, 09/16/2021 .. awsfifi K xv; {N Mary Lynn Arens McBride, Esq‘ (SIGNfir’fURE OF PARTY OR ATTORNEY (TYPE OR PRINT NAME) (SIGNATURE OF PARTY OR ATTORNEY (TYPE OR PRINT NAME) Form # [3-09001-360 Remozo Mandatory INITIAL TRIAL SETTINGCONFERENCE STATEMENT A955 ,«é» 1.5599 4‘ m‘ .‘ ‘ ‘ “39.» " r.” gr) n, A. I‘ A 7”.“ / H?“ \“' :\ " 8% 4.x“ \)\v . ‘1‘“, w " ox I 1’ s fl' <3” My J/ 3’ w#4.“: