On December 08, 2016 a
Proof of Service
was filed
involving a dispute between
Dollar Tree Stores, Inc.,
Spice Delight, Inc,
Eason, Deborah Antionette,
and
Blm Victorville,
Dollar Tree Stores Inc,
Spice Delight Inc,
for Personal Injury Non-Motor Vehicle Unlimited
in the District Court of San Bernardino County.
Preview
1 George G Mgdesyan Esq State Bar No 225476
Araksya Boyadzhyan Esq State Bar No 299917
2
SUPERIOR Coupr OF CALIFORNIA
MGDESYAN LAW FIRM COUNTY OF SAN BERNARDINO
s 15260 Ventura Blvd Suite 800 SAN BERNARDINO CIVIL DIVtS ON
Sherman Oaks CA 91403
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araksya@mgdesyanlaw com MAR 1 z019
Telephone 818 386 6777
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Facsimile 818 754 6778 t
6 RIN L NIMAN DEPUTY
Attorneys for Plaintiff
DEBORAH ANTIONETTE EASON
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SUPERIOR COURT OF THE STATE OF CALIFORNIA
io
IN AND FOR THE COUNTY OF SAN BERNARDINO
ii
y
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DEBORAH ANTIONETTE EASON an Case No CIVDS 1621424
i 3 ndividual
Assigned Judge Honorabte Thomas S Garza
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Plaintiff
15 PLAINTIFF flEBORAH EASON S
AMENDED PROOF OF SERVICE OF
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PLAINTIFF DEBORAH EASON S
vs
NQTICE OF MOTION AND MOTION TO
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QUASH DEFENDAIVT S MEDICAL
SUBPOENAS OR IN THE
18 DOLLAR TREE STORES iNC SPICE
ALTERNATIVE LIMIT THE SCOPE OF
DELIGHT INC and DOES 1 to 100 THE MEDICAL SUBPOENAS
19 DECLARATION OF GEORGE
Inclusive
MGDESYAN
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Defendants DATE May 6 2019
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TIME 8 30 AM
Za DEPT S27
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ACTION FILED l2 6I2016
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2S
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2B
PLAlNT FFDEBORAH FrlSONS AMENDED PROOFOFSERi 10E OF PLATNTIFF DEBORAH EASOPI S NOTICEOF MOTION
AND MOTION TO QUASH DEFENDANT S MEDICAL SUBPOENAS OR IN THE ALTERNATIVE LIMITTHE SCOPE OFTHE
MEDICAL SUBPOENAS DECLAltAT10N OF CEORGE MGDESYAN
1
1
P t04F OF SERVICE
2 1Q13A 2015 5 C C P
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TATE 4F C1 LIFQRNIA I EBO12AH A ITIC NETTE EAS4N
4
ss vs
DCILLAR TREE STC RES INC et al
CI UNTY OF LOS ANGC LES
I am employ d in tl e Ca inty of Los 1 ngeles State ofCalifarnia I am over tl e age of eighteen
years and not a party to the withii exltitled action n y business address is I 52b0 Ventura Boulevard Suite
800 Sherman 4aks Ca3ifornia R1403 I am readily familiar with ihe business practice at my place of
business for collectioz and processing of correspondellce for mailing with the United States Postal Service
Correspondence so collected and processed is deposited with the United States Postal Selvice that same da
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rn ardinary caurse of business
12 On March 11 2019 I served the PLAINTIFF Z EBCIRe4 I EASC7N S AMENDEZ Pl Q QF O
SERT IC E tJF PLAII TTIFF DEBORAH EAS DN S NOTICE OF MOTION AND MQTIOI TO
13 Qi JASH DEFENDANT S MEDICAL SUBPOENAS OR IN THE ALT RNATIVE LIMIT THE
SCOPE UF TH MEDICAL UBPUENAS DECLARATION OF GEORGE MGDESYAN on the
i4 interested parties in this action as stated on the attached service as follows
X ZBY MAIL I caused such envelope with postage tllereon fully prepaid at my place ofbusiness to be
placed in the Unit d States mail at Sherman Qaks California
7 BY ACSIMILE Pursuant to CCP 1013 e and f and CR Rule 2008 on 10121l241 b at
approximately 4 OOprn I served tihe above stated docutnents by facsimile from the facsimile machine of
1 Mgdesyan Law I inn whose fax number is 81 54 6778 ta ihe fax number s as stated on the attached
service list The facsimile rnachine us d con plies with CRC Rule 2003 3 Pursuant ta CRC Rule 2008 e
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the transmission be facsimile was reparted as complete and vvithout error
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B FEDERAL EXPRESS I a n readily familiar with the business practice at my place af business for
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collection and processing af documents and correspondences for overnight delivery by Federal Express on
the sa ne day in the ordinary course vf business On the below date said envelope was deposited at the
Federal Express Drap in Shernian Oaks Califarnia by S OOpn
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B ELE CTRONIC MAIL by submitting an eiectronic version af the abave referenced documents to
the email address s as stated on the attached service list
X STATE
I declared under penalty of perjury under ihe laws afthe State Califo ia that the abave
is true and correct
I ated March I I 2019 By
3 Anna M ita i
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Roo or s Rv c
Document Filed Date
March 11, 2019
Case Filing Date
December 08, 2016
Category
Personal Injury Non-Motor Vehicle Unlimited
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