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  • SHANNON GRIFFITH VS JESSICA WAGSTAFF Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • SHANNON GRIFFITH VS JESSICA WAGSTAFF Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
						
                                

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ORIGINAL FILED Superior Court Of California County Of Los Angeles ROBERT J. ROMERO (SBN 136539) BRADLEY M. ZAMCZYK (SBN 151753) CASEY A. HATTON (SBN 246081) FEB 1 5 2018 HINSHAW & CULBERTSON LLP One California Street, 18th Floor Sherri R. Carter, Briny_ e Officor/Crk le San Francisco, CA 94111 By 0.4.4 . _ _ _ _ _ , Deputy Telephone: 415-362-6000 Cha rlie L. a ie tr Facsimile: 415-834-9070 Attorneys for Defendant JESSICA WAGSTAFF SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF LOS ANGELES SHANNON GRIFFITH, Case No. BC 609667 Plaintiff; MOTION IN LIMINE NO. 3 VS. DECLARATION OF CASEY A. HATTON IN SUPPORT OF DEFENDANT JESSICA JESSICA WAGSTAFF, DOES 1 TO 10, WAGSTAFF'S MOTION IN LIMINE NO. 3 TO EXCLUDE ANY AND ALL Defendants. EVIDENCE, TESTIMONY AND ARGUMENT THAT PLAINTIFF IS AN "EGGSHELL PLAINTIFF" Date: March 26, 2018 Time: 8:30 a.m. Dept.: 97 Complaint Filed: February 9, 2016 Trial Date: March 26, 2018 I, CASEY A. HATTON, declare: 1. I am an attorney at law licensed to practice before the Courts of the State of California and am an associate with the law firm of Hinshaw 8c Culbertson LLP, counsel for Defendant JESSICA WAGSTAFF ("Wagstaff'), in the above -captioned action. I am familiar with the facts and circumstances in the above -entitled matter as they relate to this declaration, and if called upon, I could and would competently testify thereto. DECLARATION OF CASEY A. HATT'ON IN SUPPORT OF DEFENDANT JESSICA WAGSTAFF'S NOTICE OF MOTION AND MOTION IN LIMINE NO. 3 TO EXCLUDE ANY AND ALL EVIDENCE, TESTIMONY AND ARGUMENT THAT PLAINTIFF IS AN "EGGSHELL PLAINTIFF" 301214121V1 0984201