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  • TANAZ ZAMANI VS CITY OF REDONDO BEACH ET AL Premises Liability (e.g.slip & fall) (General Jurisdiction) document preview
  • TANAZ ZAMANI VS CITY OF REDONDO BEACH ET AL Premises Liability (e.g.slip & fall) (General Jurisdiction) document preview
						
                                

Preview

ue Paul R. Markley, Esq.Bar No. 102784 FILED LAW OFFICES OF PAUL R. MARKLEY Superior Court of California County of Los Angeles 2790 Skypark Drive, Suite 106 Torrance, CA 90505 310-325-4004 310-325-9301 (fax) MAR 29 2018 -| Sherri R. Ca < Executive Officer/Clerk of Court Attorney for Plaintiff, Tanaz Zamani 6 By.Q Deputy Raul Sanchez 'Y FAX SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY LOS ANGELES - CENTRAL DISTRICT 10 11 TANAZ ZAMANI, an individual, CASE NO. 80637727 Assigned to Hon. Holly J. Fujie 12 Plaintiff, Dept. 98. 13 vs. MOTION IN LIMINE TO EXCLUDE ANY TESTIMONY FROM PERSON 14 CITY OF REDONDO BEACH: GILBERT IDENTIFIED AS "TERRY" 15 COTA; ROSA COTA and DOES 1-20, Inclusive, NUMBER EIGHT 16 Defendants. Complaint filed: 10/19/16 17 Trial Date: 4/19/18 18 TO ALL PARTIES, THEIR RESPECTIVE ATTORNEYS OF RECORD AND TO 19 THE COURT: 20 On the date this matter proceeds to trial, Plaintiff Tanaz Zamani, moves that the Court | 21 hear the within Motion in Limine. The issue upon which the Court is requested to rule is as 22 follows: 23 24 4 EXCLUDE ANY TESTIMONY FROM PERSON IDENTIFIED AS "TERRY" IN 25 THE DEPOSITION OF WITNESS.JOHN MARSH... 26 Plaintiffs Motion to Exclude the above-referenced item will be based upon the Code ce 27 28 MOTION IN LIMINE TO EXCLUDE ANY TESTIMONY FROM PERSON IDENTIFIED AS “TERRY", NUMBER EIGHT