On May 26, 2016 a
Motion-Secondary
was filed
involving a dispute between
Hc Automotive Inc.,
H K Automotive Inc.,
Hnl Automotive Inc.,
Htl Automotive Inc.,
and
Gpsi Llc Dba Guidepoint System,
for Contractual Fraud (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
FILED
Bouts rt of Caltfomia
af Hae Annalas
SULLIVAN HILL LEWIN REZ & ENGEL
A Professional Law Corporation APR 09-2018
Se
Donald G. Rez, SBN 82615
550 West “C” Street, Suite 1500 ive OfficeriClerk
San Diego, California 92101 Deputy
Telephone: (619) 233-4100
Fax. Number: (619) 231-4372
Attorneys for GPSI, ELC dba GuidePoint Systems
SUPERIOR COURT OF THE STATE OF CALIFORNIA
FOR THE COUNTY OF LOS ANGELES, CENTRAL DISTRICT
10 HTL AUTOMOTIVE, INC., Case No. BC 621813:
a California Corporation;
11 HNL AUTOMOTIVE, INC., DECLARATION OF DONALD G.
a California Corporation; REZ IN SUPPORT OF MOTION
12 HC AUTOMOTIVE, INC., FOR AWARD OF EXPENSES BY
a California Corporation, and DEFENDANT GPSI, LLC DBA
13 HK AUTOMOTIVE, INC., GUIDEPOINT SYSTEMS
a California Corporation, PURSUANT TO CCP §128.5 AND
14 RULE OF COURT 2.30(b)
Plaintiffs,
15 Date: August 14, 2018
v Time: 8:30 a.m.
16 Dept.: 42
GPSI, LLC, a Michigan Corporation, dba
17 GuidePoint Systems; and DOES | through Judge: Hon, Holly D. Kendig
99, inclusive, Dept.:
18 Trial Date: Not Set
Defendants. Complaint Filed: May 26, 2016
19
{Reservation ID: 180406304017 |
20
AND ALL RELATED CROSS-ACTIONS
21
22 I, Donald G. Rez, declare:
23 1 Iam an attorney licensed to practice under the laws of the state of California and am a
24 shareholder of Sullivan Hill Lewin Rez & Engel, counsel of record for Defendant GPSI, LLC, dba
z
ma
2
25 GuidePoint Systems (“GPSI”) in the present action. I make this declaration in support of GPSI’s
26 motion for expenses (and sanctions), based upon matters within my personal knowledge, save for LL
>
27
a
28 395350-v1 1
DECLARATION OF DONALD G. REZ IN SUPPORT OF MOTION FOR AWARD OF EXPENSES BY GPS! DBA
GUIDEPOINT SYSTEMS PURSUANT TO CCP §128.5 AND RULE OF COURT 2.30(b)
Document Filed Date
April 09, 2018
Case Filing Date
May 26, 2016
Category
Contractual Fraud (General Jurisdiction)
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 06/21/2019
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