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  • DYLAN DONNELLY -V- EASTWOOD GARAGE, ETA AL Print Personal Injury Non-Motor Vehicle Unlimited  document preview
  • DYLAN DONNELLY -V- EASTWOOD GARAGE, ETA AL Print Personal Injury Non-Motor Vehicle Unlimited  document preview
  • DYLAN DONNELLY -V- EASTWOOD GARAGE, ETA AL Print Personal Injury Non-Motor Vehicle Unlimited  document preview
  • DYLAN DONNELLY -V- EASTWOOD GARAGE, ETA AL Print Personal Injury Non-Motor Vehicle Unlimited  document preview
						
                                

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FILED SUPERIOR COURT OF CAUFOF N COUNN OF 3AtV BERNARDINU 1 Bruce Cleeland Bar No 100524 saN RFRNaao rvo c vu rnv oN bcleeland hbblaw com 2 John M Wil erson Bar No 201383 Q j 7 2 jwilkerson@hbblaw com 3 HAIGHT BROWN BONESTEEL LLP 3880 Lemon Street Suite 410 J Syivla Guajardc 4 Riverside California 92501 Tele hone 951 341 8300 5 Facsimile 951 341 8309 6 Sharon C Collier Bar No 203450 scc@severson com 7 SEVERSON WERSON KERRY W FRANICH State Bar No 245857 kwf@severson com A Professional Corporation 9 One Embarcadero Center Suite 2600 San Francisco California 94111 10 Tele hone 415 398 3344 Facsimile 415 956 0439 11 Attorneys for Cross Complainant Cross 12 Defendant AUTOZONE PARTS INC 13 14 SUPERIOR COURT OF THE STATE OF CALIFORNIA 15 COUNTY OF SAN BERNARDINO SAN BERNARDINO DISTRICT 16 17 DYLAN DONNELLY Case No CIVDS1702333 Hon John M Tomberlin 18 Plaintiff Dept S33 19 v DECLARATION OF JOHN M WILKERSON IN SUPPORT OF 20 EASTWOOD GARAGE INC et al MOTION FOR JNOV BY CROSS COMPLAINANT CROSS 21 Defendants DEFENDANT AUTOZONE PARTS INC 22 AND RELATED CROSS ACTIONS Date September 17 2020 23 Time 9 00 AM Dept S 33 24 Action Filed February 8 2017 Q 25 Trial Date July 30 2019 Jud ment Entered Julv 23 2020 26 1 27 28 1 GBi2 00000as DECLARATION OF JOHN M WILKERSON IN SUPPORT OF MOTION FOR JNOV 13469375 1 BY AUTOZONE PARTS INC 1 I John M Wilkerson declare as follows 2 1 I am an attorney at the law firm of Haight Brown Bonesteel LLP counsel af 3 record for Cross Complainant Cross Defendant AUT ZONE PARTS INC in the above 4 captianed action I am a member in good standing of the State Bar of California I have 5 personal knawledge of the facts set farth in this Declaration and if called as a witness could 6 and would testify competently to such facts under oath I submit this declaration in support of 7 Declaration of John M Wilkerson in Support of Motion for JNOV By AutoZone Parts Inc 8 1 Attached to the concurrently f led and served Request for Judiciai Natice in 9 Support of Motion for JNOV by AutoZone Parts Inc as Exhibit 1 is a true and correct capy 10 ofthe Reparter s Transcript dated Monday August S 2019 A M Sessian at pages 1 20 70 11 that was sent to me the Certified Sharthand Reparter 12 2 Attached to the concurrently filed and served Request for Judicial Notice in 13 Support of Motion for TNOV by AutoZone Parts Inc as Exhibit 2 is a true and correct copy 14 of the Reporter s Transcript dated Monday August 7 2019 Afternoan Session atpages 1 15 15 17 26 27 41 6S 66 67 68 69 70 71 73 1 b 3 Attached to the concurrently filed and served Request for 3udicial Natice in 17 Suppart of Motion for JN4V by AutoZane Parts Inc as Exhibit 3 is a true and correct copy 18 of the Declaration of Peter Feighan in Support of Mation for Entry of 3udgment Consistent 19 with Jury Verdict and Prior Court Rulings including Exhibit A Confidential Settlement 20 Agreement and Release Exhibit B Sattlement Claecks and Exhibit C Haight Letter Dated 21 May 2 2019 that I received in support of said motion that I am informed and believe is on 22 le with the court in this action 23 4 Attached to the concurrently filed and served Request for Judicial Notice in 24 Suppart of Motian far JNOV by AutaZone Parts Inc as Exhibit 4 is a true and carrect copy 25 af the Motion for Entry of Judgment Consistent with Jury Verdict and Prior Court rulings 26 Memarandum of Points and Authorities by Cross Complainant Twin City Fire Insurance 27 Company 28 IlII 2 siz 00000ss DECLARATION OF JOHN M WILKERSON IN SUPPORT OF MOTION FOR JNOV 13469375 1 BY AiJTOZONE PARTS TNC