On June 30, 2015 a
Motion,Ex Parte
was filed
involving a dispute between
Hawes Ray-Von R.,
and
Adams Topanga,
Mitchell Mary,
Sellers Steve,
for Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction)
in the District Court of Los Angeles County.
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Electronically
Mark J. Leonardo, Of Counsel (SBN 125061)
KUZYK LAW, LLP FILED
by Superior Court of Califomia
1700 West Avenue K, Suite 101 County of Los Angeles on
Lancaster, California 93534
Telephone: (661) 945-6969
06/29/17
Facsimile: (661) 723-0814 Shen R. Carter, Ex ecutive Offic eriClerk
Attorneys for Plaintiff B Deputy
RAY-VON R. HAWES Patricia Aranda
SUPERIOR COURT OF THE STATE OF CALIFORNIA
FOR THE COUNTY OF LOS ANGELES - NORTH DISTRICT
10
il RAY-VON R. HAWES, CASE NO.: MC025575
12 Plaintiff, Assigned for all purposes to:
Hon. Randolph A. Rogers - Dept. AIS
13 vs.
PLAINTIFF'S NOTICE OF MOTION
14 STEVE SELLERS, MARY MITCHELL, AND MOTION TO COMPEL
TOPANGA ADAMS and DOES 1 through 40, RESPONSES TO FORM
1S inclusive, INTERROGATORIES AND FOR A
MONETARY SANCTION IN THE
16 Defendants. AMOUNT OF $1,590 AGAINST
DEFENDANT MARY MITCHELL;
17 MEMORANDUM OF POINTS AND
AUTHORITIES; DECLARATION OF
18 MARK J. LEONARDO; SUPPORTING
EXHIBITS
19
Date: July 27, 2017 Res. #170628230584
20 Time: 8:30 a.m.
Dept: A-15
21
Case Filed: 06/30/15
22 Trial Date: 09/22/17
23 [C.C.P. §§ 2023.010 & 2030.290(a) & (b)]
24
PLEASE TAKE NOTICE THAT at 8:30 AM on July 27, 2017 or as soon thereafter as the matter]
25
can be heard, in Department A-15 of this Court, located at 42011 4" Street West, Lancaster, California,
Plaintiff RAY-VON R. HAWES ("Plaintiff") will move this Court for an Order that Defendant MARY
MITCHELL furnish responses without objection to the Form Interrogatories, Set One, serve upon her,
28
-1-
NOTICE OF MOTION AND MOTION TO COMPEL RESPONSES TO FORM INTERROGATORIES
Document Filed Date
June 29, 2017
Case Filing Date
June 30, 2015
Category
Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction)
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 08/22/2019
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