On December 11, 2014 a
Motion-Secondary
was filed
involving a dispute between
Carver Michael R.,
and
Americyan Loans,
Balboa Luxury Condominiums Inc,
Balboa Luxury Condominiums Inc.,
Best Loans,
Does 1 Through 50,
Loans Americyan,
Loans Best,
Meguerian Hovik,
Meguerian Lucine,
Nargizyan Lusine Doe 1,
Vanalden Inc,
Vanalden Inc.,
Yan Properties Realty Inc,
Yan Properties Realty Inc.,
for Premises Liability (e.g.slip & fall) (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
FILED
- 1 MICHAEL R. CARVER, Plaintiff
S"a:3.2:y°2u~°*
° L°S Anseles
if 2913 El Camino Real, # 131 0
- 2 Tustin, California 92782 9-‘min c am
-2018
3 Telephone: (714) 235-6633 w
4 W5‘i3'*3il/8' omero Dewy
5 SUPERIOR COURT OF THE STATE OF CALIFORNIA
6 COUNTY OF LOS ANGELES — NORTHWEST DISTRICT
7
8 ) Case No: BC 566645
MICHAEL R. CARVER, g
9 Pl . {ff DECLARATION OF MICHAEL R. CARVER
3"‘ 1 a ) IN SUPPORT OF MOTION FOR ORDER
10 g PERMITTING DISCOVERY OF FINANCIAL
V‘ INFORMATION [Civil Code §3295(c)]
“ HOVIK MEGUERIAN; LUCINE i
,2 MEGUERIAN; VANALDEN INC., et al., ) ;.;,rw—-—
g Ju ge: Hon. Virginia Keenyg 3 20
D t : <
Tiamee: 8:30 a.m. an. 1 H
13
14 Defendants.
_.______T__Tj__ g)
15 DECLARATION OF MICHAEL R. CARVER
16 1, MICHAEL R. CARVER, declare as follows:
17 1. This Declaration is prepared and submitted in lieu of personal testimony pursuant to
13 Code Civ. Proc. §§ 2009 and 2015.5. I have personal knowledge of the facts stated herein, and, if
19 called as a witness I could competently testify to the following: ‘
2° 2. I am the plaintiff in this action. I submit this Declaration of Michael R. Carver in
21 support of my Motionfor Order Permitting Discovery ofFinancial Information.
22 3. The nancial information sought by Plaintiff includes the nancial information of
23 Azviv Meguerian, from which Defendants Hovik and Lucine Meguerian will inherit as her only
24 beneciaries.
25 4. This is a premises liability case for personal injury arising from dangerous conditions
25 at the premises.
27 5. I formerly resided at the subject premises located at 4536 Vanalden Avenue, Tarzana,
28 California 91356 (the “premises”) until I was shot and severely injured at the premises, and was
iii’: Page]
W DECLARATION OF MICHAEL R. CARVER IN SUPPORT OF MOTION
FOR ORDER PERMITTING DISCOVERY OF FINANCIAL INFORMATION
Document Filed Date
December 07, 2018
Case Filing Date
December 11, 2014
Category
Premises Liability (e.g.slip & fall) (General Jurisdiction)
Status
Jury Verdict 10/04/2019
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