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  • Rodney Abbott, et al vs. Ronald Paul Britschgi, et al Unlimited Civil document preview
  • Rodney Abbott, et al vs. Ronald Paul Britschgi, et al Unlimited Civil document preview
  • Rodney Abbott, et al vs. Ronald Paul Britschgi, et al Unlimited Civil document preview
  • Rodney Abbott, et al vs. Ronald Paul Britschgi, et al Unlimited Civil document preview
  • Rodney Abbott, et al vs. Ronald Paul Britschgi, et al Unlimited Civil document preview
  • Rodney Abbott, et al vs. Ronald Paul Britschgi, et al Unlimited Civil document preview
						
                                

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ARCHERNORRIS A PROFESSIONAL LAW CORPORATION 656 University Avenue, Suite 225 GREGORY K. FEDERICO Sacramento, CA 95825-6747 gfedenco@archernorris com 918.646.2480 9166462480 916 646 5696 (Fax) www.archernorns com February 4, 2010 The Honorable Brian Van Camp, Department 43 Attention: Tony Brown, Clerk 720 Ninth Street Sacramento, CA 95814 Re: Rodney and Florentine Abbott v. Ronald Paul Britschgi, etal Sacramento County Superior Court Case No. 07AS04450 Our Client: Richard Ruybalid dba CA Construction Our File No.: NIC-341 Dear Tony: As you recall, the parties recently had a conference call to discuss rescheduling the June 7,2010 trial date due to a conflict in Judge Van Camp's schedule. One of the date's proposed involved keeping the trial in Judge Van Camp's courtroom, but moving it to June 15, 2010. The parties also discussed the potential for keeping the June 7, 2010 trial but having another judge hear the case. At the end of the call, Plaintiffs' counsel advised all parties that she would need to speak to her client on the issue. Just yesterday, Plaintiffs' counsel advised all parties that she wishes to maintain the trial date on June 7,2010 but have it heard before another Judge due to Judge Van Camp's conflict. She also notified the parties that she would advise the Court that she prefers the trial to commence on June 7, 2010 with another judge. After the recent conference call with Judge Van Camp, I too discussed the issues surrounding the trial date with my client. As a result, we request that the trial remain with Judge Van Camp. It is my understanding that when the parties were assigned to Judge Van Camp, it was an assignment for all purposes. As such, we want the trial to remain with Judge Van Camp and the June 15, 2010 date is acceptable for us. It is my understanding that another cross- defendant involved in the case also prefers the June 15,2010 start date for the trial, and another defendant has not responded to requests for trial date preference. Thus, it would appear that the parties are at an impasse and cannot mutually agree on a start date. WALNUT CREEK SACRAMENTO NEWPORT BEACH LOS ANGELES The Honorable Brian Van Camp, Department 43 February 4,2010 Page 2 Thank you for your attention to the matters discussed in this letter, and please do not hesitate to contact me with any questions. Please be advised that I am currently on vacation through February 7, 2010 and unavailable for conference calls to discuss this issue. Very truly yours, ARCHER NOPvRIS DICTATED BUT NOT READ TO AVOID DELAY Gregory K. Federico GKF/mc cc: All Counsel - See Attached Service List (Via Facsimile) NIC341/908301-1 1 Service List 2 Stephanie Finelii PLAINTIFFS 3 Law Offices of Stephanie J. Finelii 1007 Seventh Street, Suite 500 Tel: (916)443-2144 4 Sacramento, CA 95814 Fax:(916)443-1511 E-mail: sfinelli700@yahoo.com 5 Craig N. Lundgren Counsel for RONALD PAUL BRITSCHGI, 6 LUNDGREN & REYNOLDS, LLP INDIVIDUALLY AND DBA BRITSCHGI 424 Second Street, Suite A CORPORATION 7 Davis, CA 95616 Tel: (530)297-5030 8 Fax: (530) 297-5077 E-mail, clundgren@lr-law.net 9 Richard D. Sopp Counsel for CADRE DESIGN GROUP, INC. 10 Wheatley Sopp LLP 1004 River Rock Drive, Suite 245 Tel: (916)988-3857 11 FolsomrCA 95630 Fax: (916) 988-5296 Email: rds@mwsblaw.com 12 Sean D. Schwerdtfeger Counsel for CONSTRUCTION TESTING & 13 Joyati Tanya Schomee ENGINEERING, INC. L/O OF SEAN D. SCHWERDTFEGER 14 501 West Broadway, Suite 1700 Tel: (619) 595-3403 San Diego, CA92101 Fax:(619)595-3404 15 Email: sean.schwerdtfeger@gmail.com 16 Mark Smith In Pro Per (SENT VIA MAIL) 8549 Willow Valley Place 17 Granite Bay, CA 95746 18 19 20 21 22 23 24 25 26 27 28 NIC341/608293-1 SERVICE LIST