On December 24, 2020 a
dec.mo.relief.10.27.23
was filed
involving a dispute between
Dekkert, Candace,
Latala Homes, Inc.,
Latala, Paul,
and
Latala Homes, Inc.,
Latala, Paul,
Phan, Tuan Anh,
Pietryga, Dominika,
for (06) Unlimited Breach of Contract / Warranty
in the District Court of Santa Cruz County.
Preview
MC-052
ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, state bar number, and address): FOR COURT USE ONLY
JOHN P. HANNON II SBN: 111692
Law Offices of John P. Hannon II
273 Knappton Road
Naselle, WA 98638
TELEPHONE NO.: (831) 239-4898 FAX NO.:
ATTORNEY FOR (Name): Candace Dekke1t
NAME oF coURT: Superior Court of California
STREET ADDRESS: 701 Ocean Street
MAILING ADDRESS: 701 Ocean Street
cIrv AND zIP CODE: Santa Cruz, 95060
BRANCH NAME: Santa Cruz Main Courthouse
CASE NAME: DEKKERT v. LATALA CASE NUMBER:
20CV02691
HEARING DATE: 1/12/2024
DEPT.: 10 TIME: 8:30 a.m.
DECLARATION IN SUPPORT OF ATTORNEY'S BEFORE HON.: Schmal
MOTION TO BE RELIEVED AS COUNSEL-CIVIL
DATE ACTION FILED:12/24/2020
TRIAL DATE:TBA
1. Attorney and Represented Party. Attorney (name): JOHN P. HANNON II
is presently counsel of record for (name of party): Candace Dekkert
in the above-captioned action or proceeding.
2. Reasons for Motion. Attorney makes this motion to be relieved as counsel under Code of Civil Procedure section 284(2) instead
of filing a consent under section 284(1) for the following reasons (describe):
A conflict has arisen between myself and my client. This conflict results in my being unable to adequately represent Ms. Dekkert.
Due to the confidentiality of attorney client matters, I am not allowed to identify the specific reasons for the conflict absent a waiver
of privilege by Ms. Dekkert.
The court should note that no trial date has been set in this matter.
D Continued on Attachment 2.
3. Service
a. Attorney has
(1) D personally served the client with copies of the motion papers filed with this declaration. A copy of the proof of service
will be filed with the court at least 5 days before the hearing.
(2) [][I served the client by mail at the client's last known address with copies of the motion papers served with this declaration.
b. If the client has been served by mail at the client's last known address, attorney has
(1) [xJ confirmed within the past 30 days that the address is current
(a) [X] by mail, return receipt requested.
(b) D by telephone.
(c) D by conversation.
(d) [X] by other means (specify):E-mail
(Continued on reverse)
Page 1 of2
Form Adopted for Mandatory Use
Judicial Councll of California DECLARATION IN SUPPORT OF ATTORNEY'S Code of Civil Procedure, § 284;
Cal. Rules of Court, rule 3.1362
MC-052 [Rev. January 1, 2007]
MOTION TO BE RELIEVED AS COUNSEL-CIVIL www.courtinfo.ca.gov
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PROOF OF SERVICE BY E-MAIL AND E-MAIL
The undersigned hereby declares that he/she is over the age of 18 years and not a party
to the action. The undersigned's business address is 273 Knappton Road, Naselle, Washington,
98638. On the date last written, the undersigned delivered the following document(s):
Declaration in Support of Attorney's Motion to Be Relieved as Counsel - Civil
by personally sending by mailing the listed documents by first class mail with the United States
Postal Service and by E-mail on the same date of signature hereto to the address(es) and eÂ
mail(s) set forth:
Candace Dekkert
P.O. Box 2243
Santa Cruz, CA 95063
E-mail: dulcitacruz@sbcglobal.net
Nora H. Boardman
Law Offices of John A. Hauser
P.O. Box 2282
Brea, CA 92822-2282
E-mail: Nora.Boardman@thehartford.com
Jesse Boyed
Erickson Arbuthnot
2300 Clayton Road, Suite 350
E-mail: jboyd@ericksenarbuthnot.com
Jeffrey N. Stewart
Law Offices of Karen M. Johnson
1771 Cowan Street, Suite 260
Irvine, CA 92614
E-mail: Jeffrey.stewart@amtrustgroup.com
Eric Hartnett
Law Office of Eric T. Hartnett
563 S. Murphy Avenue
Sunnyvale, CA 94086-6117
E-mail: ehartnett@erichartnetlaw.com
I declare under penalty of perjury under the laws of the State of California that the
foregoing is true and correct.
Dated: IO /z r/z3 JerHN P. HANNON II
Document Filed Date
October 27, 2023
Case Filing Date
December 24, 2020
Category
(06) Unlimited Breach of Contract / Warranty
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