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  • Hohl et al -v - General Motors LLC et al Print Breach of Contract/Warranty Unlimited  document preview
  • Hohl et al -v - General Motors LLC et al Print Breach of Contract/Warranty Unlimited  document preview
  • Hohl et al -v - General Motors LLC et al Print Breach of Contract/Warranty Unlimited  document preview
  • Hohl et al -v - General Motors LLC et al Print Breach of Contract/Warranty Unlimited  document preview
						
                                

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.4 V STATE BAR NUMBER ?sef/siior Erk’fie S(amp NAME AND ADDRESS 0F ATTO‘RNEY OR PARW WITHOUT ATTORNEY: Kevin Y. Jacobson, Esq. (SBN 320532) 320532 P RIOR COURT OF CAUFORNl/x Quill 81 Arrow, LLP 8%(3EUNTY OF SAN BERNARDlNO T SAN BERNARDINO DISTRIC 10900 Wilshire Blvd., Suite 300, Los Angeles CA 90024 TELEPHONE No.2 (310) 933—4271 2022 law.com TR|AL SETTING CONFERENCE DATE: July 20, E.MAIL ADDREss;kjacobson@ uillarrow JUN 2 8 2022 ATTORNEY FOR (Name): HO L) LOUIS UNL|M|TED CASE; x et 31 FAX NO. (Optional): (310) 889-0645 LIMITED CASE; SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN BERNARDINO COURTHOUSE ADDRESS: 247 West Third San Bernardino, CA 92415 ELM" ARCIA. Deputy Street, ANGEL NE PLAINTIFF: HQHL, LOUIS et a1 DEFENDANT3 General Motors LLC VASE ”UMBER CIV332133316 INITIAL TRIAL SETTING CONFERENCE STATEMENT t must be filed and INSTRUCTIONS: All applicable boxes must be checked, and the specified information must be provided. This documen served at least 15 dag eror to the trial setting conference date. 1. Patty or parties (answer one): a. d x This statement is submitte by party (name): HOHL, LOUIS et a1 b. This statement is submitted jointly by parties (names): has X has not been completed. 2. Service of Complaint on all parties 3. Service of Cross—Complaint on all panies has has not been completed. 4. Description of case in Complaint: multiple Plaintiffs delivered the vehicle to Defendant‘s authorized repair facilities Plaintiffspurchased a used 201 7 Chevrolet Tahoe from and manufactured by Defendant, not replacing the of opportunities. Defendant violated the Song-Beverly Consumer Warranty Act by times and Defendant failed to repair the vehicle after a reasonable number vehicle or repurchasing the vehicle after a reasonable number of opportuniti es. 5. Description of case in Cross-Complaint: be completed: Per COde 6. Has all discovery been completed: Yes L] No LXI Date discovery anticipated to Yes X No Please checktype agreed to: Private: x Court—sponsored: 7. Do you agreeto mediation? Case. 8. Related cases, consolidation, and coordination: Please attach a Notice of Related dates requested: YesLJ No Available dates: Time Amotionto :1 consolidate Trial estimate: 9, Other issues: The following additional matters are requested to be considered by the Court: 10. Meet and Confer: X The patties represent that they have met and conferred on all subjects required by California Rules of Court, Rule 3.724. j The parties have entered into the following stipulation(s): 11. Total number of pages attached (if any): n, as well as l am completely familiar with case and will be fully prepared to discuss the status of discovery and alternative dispute resolutio this ons on these issues at the time of the Initial Trial Setting other issues raised by this statement, and will possess the authon’ty to enter into stipulati Conference, including the written authority of the party where required. Date: Iune 28, 2022 Kevin Y. Jacobson, Esq. (TYPE OR PRINT NAME) {m (SIGNAT PARTY OR ATTORNEY (TYPE OR PRINT NAME) (SIGNATURE OF PARTY OR ATTORNEY Form # 13-09001 -360 Rev,6-2020 Mandatory INITIAL TRIAL SETTING CONFERENCE STATEMENT RECEIVED JUN 28 2022 SUPERIOR COURT OF CALIFORNIA COUNTY OF SAN BERNARDINO SAN BERNARDINO DISTRICT