On May 16, 2023 a
Motion,Ex Parte
was filed
involving a dispute between
Garrick, Craig,
and
Bfba, Llp,
Does 1-25,
for Defamation Unlimited
in the District Court of San Bernardino County.
Preview
BLANK ROME LLP
Cheryl S. Chang (SBN 237098)
Cheryl.chang@blankrome.com
Jessica A. McElroy (SBN 299919)
jessica.mcelroy@b1ankr0me.com
2029 Century Park East. 6th Floor F l L
SUPERIOR COURT 5F CALIFORNIA
Los Angeles, CA 90067 COUNTY OF SAN BERNARDINO
SAN BERNARDINO DISTRICT
Telephone: 424.239.3400
Facsimile: 424.239.3434 OCT 09 2023
William J. Dorsey
william.dorsey@blankrome.com BY
444 W. Lake Street. Suite 1650 ROB EIER, DEPUTY
Chicago IL 60606
Telephone: 312.776.2512
Facsimile: 312.776.2601
Attorneys for Plaintiff
CRAIG GARRICK
11
12 SUPERIOR COURT OF THE STATE OF CALIFORNIA
13 COUNTY OF SAN BERNADINO
14
15 CRAIG GARRICK, an individual Case No. CIV SB 2310720
I6 Plaintiff, [Assignedfor all purposes to Honorable
17
Jejfiey R. Erickson, Depl. S14]
VS.
18
EX PARTE APPLICATION FOR AN
BFBA LLP. a California limited liability ORDER CONTINUING THE HEARING
19 partnership, and DOES 1-25. ON BFBA LLP’S MOTION TO STAY
ORlGflNAL ACTION: MEMORANDUM OF POINTS
20 Defendants.
AND AUTHORITIES
21
[Filed Concurrently with Declaration of
22 Cheryl S. Chang and Proposed Order]
23 Current Hearing Date: October 10, 2023
Time: 8:30 am.
24 Dept: S—l4
125
FAXED Complaint Filed: 05/19/2023
26
Trial Date: Not Yet Set
27
28
EXPARTEAPPLICATION FOR AN ORDER CONTINUING THE HEARING ON BFBA LLP’S MOTION
TO STAY ACTION
166732.10001/133310776V.2
TO ALL PARTIES AND THEIR COUNSEL OF RECORD:
PLEASE TAKE NOTICE that on October 10. 2023, at 8:30 a.m., 0r as soon thereafter as
the matter may be heard. in Department Sl4 of the above-entitled Court. located at 247 W 3rd St.,
San Bemardino, California, Plaintiff Craig Garrick ("Garrick") will, and hereby does. apply ex
“0&1!th
parte for an order continuing the hearing date 0n Defendant BFBA LLP‘S (“BFBA") Motion to
Stay Action (“Motion to Stay") from October l9. 2023 to at least October 25. 2023, or later as the
Court may deem proper.
This Application is based on Code ofCivil Procedure section 128, et seq. This
Application will be further based on this Notice. the attached Memorandum of Points and
10 Authorities, the attached declaration ofCheryl Chang. all other documents and pleadings 0n file
11 in this matter. and upon such further oral or documentary evidence and argument as may be
12 presented to the Court at the hearing on this Application.
13 In accordance with the requirements ofCalifomia Rules 0f Coun. Rules 3.1200 et seq.,
14 specifically Rule 3.1203. counsel for Garrick informed all counsel to this action 0f the date. time.
15 and particulars ofthis Ex Parte Application. Declaration ofCheryl Chang ("Chang Decl." 5.) At
1]
16 this time. Garrick does not know whether BFBA intends to appear and oppose the Application.
17 (1d. )
18
19 DATED: October 9. 2023 BLANK ROME LLP
20
21 By:
Cheryl S. Chang
22 William J. Dorsey‘
Jessica A. McElroy
23
Attorneys for Plaintiff,
24
CRAIG GARRICK
25
26
27 '
William Dorsey is a Provisionally Licensed Lawyer in the State ofCalifomia. under the supervision of
Ana Tagvoryan. Blank Rome. 2029 Century Park East. 6th Floor. Los Angeles. CA 90067. 424.239.3400
28
(CA Bar No. 246536). 2
EXPARTEAPPLICATION FOR AN ORDER CONTINUING THE HEARING ON BFBA LLP’S MOTION
TO STAY ACTION
166732.10001/133310776V.2
Document Filed Date
October 09, 2023
Case Filing Date
May 16, 2023
Category
Defamation Unlimited
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