On April 10, 2015 a
DECLARATION OF PATRICK CARREON IN SUPPORT OF PLAINTIFF TODD LANMAN, M.D.'S EX PARTE APPLICATION TO CONTINUE THE HEARING DATE OF THE DEMURRER AND MOTION TO STRIKE OF INNOVATIVE CARE MANAGEMENT
was filed
involving a dispute between
90210 Surgery Medical Center Llc,
Lanman Todd M.D.,
and
Cigna Inc.,
Innovative Care Management Inc.,
Pacific Maritime Association,
Tc3 Health Inc.,
Zenith American Solutions Inc.,
for Other Commercial/Business Tort (not fraud/ breach of contract) (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
rn
, @ @
THE CARREON FIRM
Patrick Carreon, Esq. State Bar No. 119576
FILED
Sup erior Court of California
444 W. Ocean Blvd., Suite 505 ounty of Los Angeles’
LY
Telephone: (562) 432-9999
Fax: (562) 432-9990 JUL 25 2016
carreon@mocalaw.com Sherri R. Carter, Executive Offi le
jeputy
Maria Frances Lopt
Attorneys for Plaintiff
TODD LANMAN M.D.
SUPERIOR CouRT OF THE STATE OF CALIFORNIA
COUNTY OF LOS ANGELES
10
11 TODD LANMAN M.D., an Individual Case No. BC578420
Unlimited Civil Action
12 Plaintiff,
ASSIGNED FOR ALL PURPOSES TO
13 Vs. HON. SUSAN BRYANT-DEASON,
DEPT. 52
14 PACIFIC MARITIME ASSOCIATION, in
its capacity as Trustee of the Coastwise DECLARATION OF PATRICK
15 Indemnity Plan; ZENITH AMERICAN CARREON IN SUPPORT OF
SOLUTIONS, INC., a corporation; TC3 PLAINTIFF TODD LANMAN, M.D.'S
16 HEALTH, INC. a corporation, INNOVATIVE EX PARTE APPLICATION TO
CARE MANAGEMENT, INC., a corporation; CONTINUE THE HEARING DATE OF
17 CIGNA INC., a corporation and DOES 1 THE DEMURRER AND MOTION TO
through 100, inclusive STRIKE OF INNOVATIVE CARE
18 MANAGEMENT
Defendants,
19
Date: July 25, 2016
20 Time: 8:30 a.m.
Dept.: 52
21
22
23
24
va 25
~
26 1) I, Patrick A. Carreon, am an attomey at law duly licensed to practice in all of the
a
27 courts of the state of California. I am the founding partner of The Carreon Firm and represent
28
DECLARATION OF PATRICK CARREON IN SUPPORT OF PLAINTIFF TODD
LANMAN, M.D.'S EX PARTE MOTION TO CONTINUE THE HEARING DATES OF
ICM MOTIONS
Category
Other Commercial/Business Tort (not fraud/ breach of contract) (General Jurisdiction)
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 06/14/2019
For full print and download access, please subscribe at https://www.trellis.law/.