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  • HAROLD KOEPKE et al VS. FORD MOTOR COMPANY et al ASBESTOS document preview
  • HAROLD KOEPKE et al VS. FORD MOTOR COMPANY et al ASBESTOS document preview
  • HAROLD KOEPKE et al VS. FORD MOTOR COMPANY et al ASBESTOS document preview
  • HAROLD KOEPKE et al VS. FORD MOTOR COMPANY et al ASBESTOS document preview
  • HAROLD KOEPKE et al VS. FORD MOTOR COMPANY et al ASBESTOS document preview
  • HAROLD KOEPKE et al VS. FORD MOTOR COMPANY et al ASBESTOS document preview
						
                                

Preview

Ci¥-110 ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, Slate Bar number, and ariicess): FOR COURT USE ONLY Steven Kazan, Esq. (C.8.B. #46855) KAZAN, McCLAIN, SATTERLEY & GREENWOOD A Professional Law Corporation Jack London Market, 55 Harrison Street, Suite 400 Oakland, CA 94607 ELECTRONICALLY vetePHone No: (S16} 302-1000 FAX NO. (Optional: E-MAIL ADDRESS (Optenay: SkaZan@kazanlaw.com FILED ATTORNEY FOR (Name: Plaintiffs Superior Court of California, County of San Francisco SUPERIOR COURT OF CALIFORNIA, COUNTY OF srreetavoress: 400 McAllister SAN Street FRANCISCO JUL 31 2014 MAILING ADDRESS: Clerk of the Court ciryannzpcooe: San Francisco, CA 94102 BY: ROMY RISK eranch Name: Civic Center Courthouse Deputy Clerk : PLAINTIFF/PETITIONER: HAROLD KOEPKE and NANCY KARIDIS-— K DEFENDANT/RESPONDENT: FORD MOTOR COMPANY, et al. CASE NONBER REQUEST FOR DISMISSAL CGC13-276217 A conformed copy will not be returned by the clerk unless a method of return is provided with the document. This form may not be used for dismissai of a derivative action or a class action or of any party or cause of action ina class action. (Cal. Rules of Court, rules 3.760 and 3.770.) 1. TO THE CLERK: Please dismiss this action as follow: a. (1) __) With prejudice (2) L__! Without prejudice ba) L Compiaint (2) L__ Petition (3) [7] Cross-compiaint filed by (name): on (date): (4) ["_j Cross-compiaint filed by (name): ‘on (datey: © | Entire action of all parties and all causes of action © [xX | Other (specify)* As to defendant, FORD MOTOR COMPANY, only. Each side to bear own Co. 2. ¢ Complete. in all cases ‘except family law cases.) The court | did Lat did not waive court fees and cosis for a party in this case. (This information may be obtained from the clerk. If court fees and costs were waived, the declaration on the back of thi completed). Date: June 20, 2014 Steven Kazan, Esq. (C.S.B. #46855) > (TYPE OR PRINT NAME OF r| X | attorney _] Parry withour ATTORNEY) (SIGNATURE) Attorney or party without attorney for: “if dismissal requested fs of specified parties only of specified causes of action only, or of specified cross-compiaints only, so state and identify the parties, | Plaintiff/Petitioner _} Defendant/Respondent causes of action, or cross-complaints to be dismissed. L_} Cross—Complainant 3. TO THE CLERK: Consent to the above dismissal is hereby given.** Date: > (TYPE OR PRINT NAME OF arrorney [| party WITHOUT ATTORNEY) (SIGRATURE Attorney or party without aftorney for: ** if @ cross-complaint—or Response (Family Law) seeking affirmative relief — is on file, the attorney for cross-compiainant (respondent) must sign this consent if required by Code of Civil Procedure section 581 or ~_] PlaintiffyPetitioner Defendant/Respondent [] Cress-Complainant (To be completed by clerk) 4. ___| Dismissal entered as requested on (date): 5. [_} Dismissal entered on (date): as to only fname}: 8. Dismissal not entered as requested for the following reasons (specify): 7. a. Lbona ] Attorney or party without attorney notified on (date): b. 7 heed Aitorney or party without attorney not s notified. Filing party failed te provide [") a copy to be conformed [ | means to return conformed copy Daie: Clerk, by , Deputy Page fof 2 Form Adopted fer Mandatory Use Code of Civil Procedure, § 581 et seq. Judicial Couneit of California REQUEST FOR DISMISSAL soins Gov. Code, § 68637(c); Cal. Rules of Court, rule 3.1380 CiV-110 fev. Jan, 1, 2013} Cl¥-110 PLAINTIFF/PETITIONER: HAROLD KOEPKE and NANCY KARIDIS- CASE NUMBER: KOEPKE DEFENDANT/RESPONDENT: FORD MOTOR COMPANY, et al. CGC13~-276217 COURT'S RECOVERY OF WAIVED COURT FEES AND COSTS If a party whose court fees and costs were initially waived has recovered or will recover $10,000 or more in value by way of settlement, compromise, arbitration award, mediation settlement, or other means, the court has a statutory lien on that recovery. The court may refuse to dismiss the case until the lien is satisfied. (Gov. Code, § 68637.) Declaration Concerning Waived Court Fees 1. The court waived court fees and costs in this action for (name): yk 2. The person named in item 14 is (check one below): a. } not recovering anything of value by this action. b. |. recovering less than $10,000 in value by this action. c LF] recovering $10,000 or more in value by this action. (/f item 2¢ is checked, item 3 must be completed.) 3. All court fees and court costs that were waived in this action have been paid to the court (check one): |__} Yes [__| No | declare under penalty of perjury under the laws of the State of California that the information above is true and correct. Date: » (TYPE OR PRINT NAME OF Lo | ! atrorney [| PARTY MAKING DECLARATION) (SIGNATURE) CIV-#10 (Rev. January 1, 20137 REQUEST FOR DISMISSAL Page 2 of 2 PROOF OF SERVICE BY LEXIS NEXIS San Francisco County Superior Court No. CGC13-276217 Lam over the age of 18 and not a party to the within action. I am employed in the County of Contra Costa, State of California by Lankford Crawford Moreno & Ostertag LLP. : My business address is 1850 Mt. Diablo Boulevard, Suite 600, Walnut Creek, CA 94596, On July 31, 2014, I electronically served the document via LexisNexis File & Serve described as: REQUEST FOR DISMISSAL AS TO DEFENDANT FORD MOTOR COMPANY 10 on the recipients designated on the Transaction Receipt located on the LexisNexis File & 1 Serve Website. 12 I declare under the penalty of pesjury pursuant to the law of the State of California 13 that the foregoing is true and correct. Executed on July 31, 2014, at Walnut Creek, 14 California. 15 16 17 Teresa L. DeLillo 18 19 20 21 22 23 24 25 26 27 PROOF OF SERVICE