On August 09, 2014 a
PLAINTIFF'S SEPARATE STATEMENT IN SUPPORT OF PLAINTIFF'S MOTION TO QUASH SUBPOENA ISSUED TO KAISER PERMANENTE
was filed
involving a dispute between
Schmittle Juanita Denise,
and
Baldwin Park Unified School District,
Cazorla Sergio,
for civil
in the District Court of Los Angeles County.
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*
Original
FILED
rior Court of Califomia
“Eo untv of Los Anaeles
Martin I. Aarons (SBN 233879) DEC 26 2017
Shannon H. Pagel (SBN 308280) Sherri R. yi itive Officer/Clerk
THE AARONS LAW FIRM By. Deputy
A Professional Corporation st len
16000 Ventura Boulevard, Suite 850
Encino, California 91436
Telephone: (818) 794-9250
Email: maarons@aaronslawfirm.com
Attomeys for Plaintiff Juanita Denise Schmittle
SUPERIOR COURT IN THE STATE OF CALIFORNIA
FOR THE COUNTY OF LOS ANGELES
BY FAX
10
Juanita Denise Schmittle CASE NO. BC 595422
11 [Assigned for all purposes to the Hon. Judge Teresa
12 Plaintiff, A. Beaudet, Dept. 50)
13 VS. PLAINTIFF’S SEPARATE STATEMENT IN
SUPPORT OF PLAINTIFF’S MOTION TO
14
QUASH SUBPOENA ISSUED TO KAISER
15 Baldwin Park Unified School District, PERMANENTE .
and DOES 1 through 10, inclusive,
16 [Notice of Motion; Memorandum of Points and
17 Defendants. Authorities; Declaration of Martin I. Aarons and
attached exhibits; served separately and
18 concurrently]
19 Hearing Date: April 23, 2018
20 Time: 8:30 a.m.
Location: Dept. 50
21
22 RES ID: 171226276947
23 Complaint Filed: September 22, 2015
ir Trial Date: June 6, 2018
ba 25 Plaintiff submits her Separate Statement in support of her motion seeking to quash the
2
26 medical records subpoena issued by Defendant to Glendale Memorial Hospital seeking all medical
27 récords, billing, and radiology of Ms. Schmittle’s without any limitation or direct relevance to this
wd
28 action as follows:
-i-
Plaintiff's Motion to Quash Subpoenas & for Sanctions — Separate Statement
Document Filed Date
December 26, 2017
Case Filing Date
August 09, 2014
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