On April 22, 2016 a
Motion,Ex Parte
was filed
involving a dispute between
Sheldon David,
Sheldon Sherry,
and
Apro Llc,
Cf United Llc,
Levier Anthony Co,
Logan Billy Co-Trustee Wilbur Trust,
Logan Patricia Co-Trustee Wilbur Trust,
United Oil #166,
W Logan David,
for civil
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 02/05/2020 03:28 PM Sherri R. Carter, Executive Officer/Clerk of Court, by S. Lopez,Deputy Clerk
1 FREEMAN MATHIS & GARY, LLP
PAUL A. BIGLEY / Bar No. 119462
2 TIM A. HODGE / Bar No. 119867
550 South Hope Street, 22nd Floor
3 Los Angeles,
Angeles, California
California 90071-2627
(213) 615-7000; FAX (213) 615-7100
4
Attorneys for Defendants
5 APRO, LLC; CF UNITED, LLC; BILLY LOGAN;
PATRICIA LOGAN
6
7
8 SUPERIOR COURT OF THE STATE OF CALIFORNIA
9 COUNTY OF LOS ANGELES
10
11 SHERRY SHELDON AND DAVID SHELDON, ) Case
CaseNo.
No. BC617876
BC617876
Dept: 4A
) Dept: 4A
12 Plaintiffs, )
vs. )
13 ) DEFENDANTS’MOTION
DEFENDANTS' MOTION IN IN LIMINE
LIMINE
APRO LLC DBA UNITED OIL #166; CF NO.44TO
) NO. TOPRECLUDE
PRECLUDE EVIDENCE
EVIDENCE NOT
14 UNITED LLC; LOGAN DAVID W. AND PREVIOUSLY DISCLOSED
) PREVIOUSLY DISCLOSED DURING
LEVIER ANTHONY CO.; AND DOES 1 DISCOVERY; MEMORANDUM
) DISCOVERY; MEMORANDUM OF
15 THROUGH 50, POINTSAND
) POINTS AND AUTHORITIES
AUTHORITIES
)
16 Defendant. FSC Date:
) FSC Date: February
February19,
19, 2020
2020
Trial Date:
) Trial Date: March
March4,
4, 2020
2020
17
18 TO THIS HONORABLE COURT, TO ALL PARTIES AND TO THEIR RESPECTIVE
19 ATTORNEYS OF RECORD:
20 PLEASE TAKE NOTICE that Defendants Apro LLC, DBA United Oil #166; CF United,
21 LLC; BILLIY LOGAN and LEVIER ANTHONY CO., will and hereby do move this court for
22 issuance of the following Order in Limine, Number 4:
23 Forananorder
1. For orderprecluding
precludingplaintiff
plaintifffrom
fromoffering
offering any
any testimony,
testimony, comment,
comment, argument or
document or
24 document or other
other thing
thing that
that plaintiff
plaintiff failed
failed to
to disclose
disclose or
or provide
provide in
in response
response to
to defendants’
defendants'
25 discovery requests.
26 Defendants further move the court for orders instructing the parties and their counsel to
27 require all witnesses and lawyers:
Freeman Mathis
& Gary, LLP
Attorneys at Law 28
DEFENDANTS’ MOTION
DEFENDANTS' MOTION IN
IN LIMINE
LIMINE NO.
NO. 44 TO
TO EXCLUDE
EXCLUDE FACTS
FACTS OR
OR DOCUMENTS
DOCUMENTS NOT
NOT
IDENTIFIED OR PRODUCED DURING DISCOVERY
16316896.1 11262-77395
16316896.1 11262-77395 PAB
Document Filed Date
February 05, 2020
Case Filing Date
April 22, 2016
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 09/29/2021
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