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  • Rivera -v- Metro RF Services, Inc. Print Complex Civil Unlimited  document preview
  • Rivera -v- Metro RF Services, Inc. Print Complex Civil Unlimited  document preview
  • Rivera -v- Metro RF Services, Inc. Print Complex Civil Unlimited  document preview
  • Rivera -v- Metro RF Services, Inc. Print Complex Civil Unlimited  document preview
						
                                

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Edwin Aiwazian (SBN 232943) Charles T. Sweeney (SBN 325167) Hagit Goltzer (SBN 324276) LAWYERSfor JUSTICE, PC 410 West Arden Avenue, Suite 203 Glendale, California 91203 UIAwN Tel: (818) 265-1020 / Fax: (818) 265-1021 Attorneys for Plaintiff Brandon R. McKelvey (SBN 217002) Timothy B. Nelson (SBN 235279) QWQO MEDINA McKELVEY LLP 925 Highland Pointe Drive, Suite 300 Roseville, California95678 Tel: (916) 960—2211 /Fax: (916) 742—5488 10 Attorneys for Defendants 11 12 13 SUPERIOR COURT OF THE STATE OF CALIFORNIA 14 FOR THE COUNTY OF SAN BERNARDINO 15 FABIAN RIVERA, and on individually, Case No.2 CIVSB2123539 16 behalf of other aggrieved employees pursuant to the California Private Attorneys General Honorable Winston Keh 17 Act; Department S33 - SBJC 18 Plaintiff, JOINT STATUS REPORT AND NOTICE OF SETTLEMENT 19 VS. 20 METRO RF SERVICES, INC, a California Hearing Date: November 21, 2022 corporation; and DOES 1 through 100, Hearing Time: 8:30 am. 21 inclusive, Department: S33 - SBJC 22 Defendant. Complaint Filed: August 10, 2021 23 Jury Trial Date: None Set 24 25 26 27 28 JOINT STATUS REPORT AND NOTICE OF SETTLEMENT TO THE HONORABLE COURT, ALL PARTIES, AND THEIR ATTORNEYS OF RECORD: Plaintiff Fabian Rivera (“P1aintiff’), and Defendant Metro RF Services, Inc. (“Defendant”) (collectively, the “Parties”) hereby submit the following Joint Status Repofi and Notice of Settlement in advance of the Trial Setting Conference that is currently scheduled for November 21, 2022, at 8:30 am. in Department S33: Following a mediation with Mediator Hon. Patrick Walsh (Ret), the Parties have reached a settlement in principle in the above referenced action, which, once approved, Will resolve this action in its entirety. The Parties are currently drafting the settlement papers, and Plaintiff 10 anticipates filing a motion for approval, along With supporting documentation, within 11 approximately one hundred and twenty (120) days. 12 Accordingly, the Parties respectfully request that the Court vacate the Trial Setting 13 Conference currently scheduled for November 21, 2022, and set a Case Management Conference 14 after at least sixty (60) calendar days later on January 20, 2023, 0r as soon thereafter as may be 15 heard by this Court. 16 Dated: August fl, 2022 LAWYERSfor JUSTICE, PC 17 18 19 Edwin Aiwazian Charles T. Sweeney 20 Hagit Goltzer Attorneysfor Plaintiff 21 22 Dated: August L, 2022 MEDINA McKELVEY LLP 23 24 J_/ By: 25 randon R. McKelvey / Timothy B. Nelson 26 Attorneysfor Defendant 27 28 2 JOINT STATUS REPORT AND NOTICE OF SETTLEMENT