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  • Rodriguez -v - American Honda Motor Co., Inc. et al Print Breach of Contract/Warranty Unlimited  document preview
  • Rodriguez -v - American Honda Motor Co., Inc. et al Print Breach of Contract/Warranty Unlimited  document preview
  • Rodriguez -v - American Honda Motor Co., Inc. et al Print Breach of Contract/Warranty Unlimited  document preview
  • Rodriguez -v - American Honda Motor Co., Inc. et al Print Breach of Contract/Warranty Unlimited  document preview
						
                                

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NAME Am MESS OF ATTORNEY 0R PARTY WITHOUT ATTORKY STATE DAR NWBER Rum” b1 bek‘t Fl. Shun BOWMAN AND BROOKE LLP 334769 Brian Takahashi (SBN: 146505) Theodore Dorenkamp (SBN: 277004) Scott Hancox (SBN: 334769) SUPERIOR EolukTEopDcAuFoanA 970 West 190th Street, Suite 700 COUNTY 0F SAN BERNARD‘NO Torrance. California 90502 TELEPHONE NO 310/ 768-3068 0,0” E-MAIL. Efilehonda@bowmanandbrooke‘com TRIAL SETTING CONFERENCE DATE November 30. 2023 SEP 0 8 LU“ ATTORNEY FOR (Name): Defendant E AMERICAN HONDA MOTOR FAX No (Optnnal) 310/719/1029 SUPERIOR COURT 0F CALIFO RNIA, CO., INC. UNLIMITED CASE LIMITED CASE §§— DDEPT COUNTY OF SAN BERNARDINO ‘ __‘ Non.“ onmmo. ,De puW COURTHOUSE ADDRESS: 247 w‘ 3" Street. San Bernardino. CA 9241 5 PLAINTIFF: BERNARDO HORTA RODRIGUEZ DEFENDANT, AMERICAN HONDA MOTOR CO. IN‘C INITIAL TRIAL SETTING CONFERENCE STATEMENT éfiig‘g‘g‘flym INSTRUCTIONS: All :pplicablo boxes must b0 chockod. and tho specified Information must b0 provldod. 1, Party or panics (answer one). a. X This statement is submitted by party (name): Defendant AMERICAN HONDA MOTOR CO., INC. b. D This statement is submitted jolnuy by panics (names): 2. Sorvlco of Complalnt on all panics E has been completed. D has not been completed. 3 Service of Crou-Complalnt on all parties D has been completed. E has not been completed. 4. oo.cnpuon ofcm .n alleges a breach of express warranty cause of action under the Song-Beverly Compcaim: Plaintiff Consumer Warranty Act arising out of the sale, service, and warranty of a 2019 Honda Accord. Defendant denies AHM Plaintiff‘s allegations. 5. Description of cu. in Cross—Complaint 6‘ Hus all discovery bun complutod: D E Yes No Date discovery anticipated to be completed: Januaw 2024 7. Do you Igm to mediation? Yes E No D Phase check type agreed m: Privme: Ye§ Court-sponsored: 8. Roland cu“, consoIld-flon, and coorulnatlon am There are companion. undenying. or routed cases. (1) Name ofcase: (2) Name of court (3) Case number: (4) Status: ORIGINAL b. D A motion to D consonsdmD berm coordinate win by (name ofpmy): 9. D Trial dam nquomd: Yes D No E Avenue dam. Time estimate: 5—7 days JT D COURT E 10. Other issues: D The following additional matters are requested to be considered by the Court 11 Mutand Confon 5W E The panics represent that they have met Ind conferred on ll! subjects required by California Rules d Court. Rule 3.724. E The parties have entered into the following stipulation(s): There i5 a StipU|ated protective order. 12 Total number of pages machod (If any): | am completely familiar wvth this case and will be fully prepared to discuss the status of discovery Ind alternative dispute resolution. as well u Omar issues raised by this statement. and will possess the amhor‘ny b enter inb stipulations on hose issues at the time d the Innial Trial Setting Conference, 'ncluding the wrhen aumority of the party where required. FAXED 0m: Segtember 7, 2023 Scott Hancox (TYPE OR PRINT NAME) (SIGNATURE OF PARTY OR ATTORNEY (TYPE OR PRINT NAME) (SIGNATURE OF PARTY OR ATTORNEY Form fl 13-09001-360 Rev 11-2021 Mmdntory INITIAL TRIAL SETTING CONFERENCE STATEMEN WWW Allurin- quNn. Inc. f. PROOF 0F SERVICE COP 1013A(3) STATE OF CALIFORNIA, COUNTY OF LOS ANGELES | am employed in the County of Los Angeles. State of California. am over the age of 18 and not a party l to the within action; my business address is 970 West 190th Street, Suite 700, Torrance, California 90502- 1091. On September 7, served the foregoing document described as INITIAL TRIAL SETTING 2023, l CONFERENCE STA TEMENT on all interested parties in this action by placing on all interested parties in this action by transmitting an electronic copy as follows: SEE ATTACHED SERVICE LIST (X) BY ELECTRONIC SERVICE (CCP 101 0.6): caused the above—referenced document(s) to be | sentin electronic PDF format as an attachment to an email addressed to the person(s) on whom such document(s) is/are to be served at the email address(es) shown above, as last given by that person(s) or as obtained from an internetwebsite(s) relating to such person(s), and did not | receive an email response upon sending such email indication that such email was not delivered. BY MAIL (CCP §1013(a) and §201 5.5): As follows: am "readily familiar" with the firm's practice I of collection and processing documents for mailing. Under the practice it would be deposited with the U.S. postal service on that same day with postage thereon fully prepaid in the ordina course of business. am aware that on motion of the part sewed, service is presumed invalid If | pgztal cancellation date or postage date is more than 1 ay after date of deposit for mailing in a I avit. Executed on September 7, 2023, at La Quinta, California. (X) (State) declare under penalty of perjury I under the laws of the State of California that the above is true and correct. Regina Foley Amen'un [4;an Inc. y. mimi‘nnkfimm