arrow left
arrow right
  • 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
						
                                

Preview

r 1 Peter Dubrawski Bar No 65677 pdubrawski hbblaw com 2 Bruce Cleelan Bar No 100524 bcleeland hbblaw com su E r ti A i 3 John M Wil erson Bar No 201383 al 1 t k Ji jwilkerson@hbblaw com 4 HAIGHT BROWN BONESTEEL LLP AU G 0 7 2u 3880 Lemon Street Suite 410 5 Riverside California 92501 sa Y Tele hone 951 341 8300 t 6 Facsimile 951 341 8309 7 Attorneys for Defendant Cross Complainant Cross Defendant 8 AUTOZONE PARTS INC 9 10 SUPERIOR COURT OF THE STATE OF CALIFORNIA 11 COUNTY OF SAN BERNARDINO SAN BERNARDINO DISTRICT 12 13 DYLAN DONNELLY Case No CIVDS1702333 14 Plaintiff TESTIMONY OF JILLIAN HORTON 15 v Judge Hon John Tomberlin Dept 5 33 16 EASTWOOD GARAGE INC MOUNTAIN VIEW TIRE SERVICE Action Filed February 8 2017 17 INC PLEASURE WAY INDUSTRIES Trial Date July 29 2019 LTD McMAHON S RV SUPERSTORE 18 INC TREY MITCHELL and DOES 1 through 100 inclusive 19 Defendants 20 21 AND RELATED CROSS ACTIONS 22 23 Cross Complainant submitted a Designation of Expert Witnesses dated 24 28 2019 Therein Cross Complainant identified Jillian Horton as a non retained May 25 expert While Ms Horton had been deposed as a person most knowledgeable on 26 22 2019 thereafter designated as an expert By counsel s May she was witness 27 Declaration it was stated 28 GB i2 00000ss 1 i3o iso2 i TESTIMONY OF JILLIAN HORTON 1 Jillian Horton is an employee of Dorman Products Inc 2 Ms Horton is Vice President of Business Solutions and 3 Engagement which includes exchanging product data with 4 retail customers Ms Horton will testify regarding ACES 5 files for the subject parts and the information given by 6 Dorman Products Inc to AutoZone Parts Inc including but 7 not limited to AutoZone s use of the ACES files and 8 AutoZone Z Net system Ms Horton has agreed to testify 9 and will be prepared to give deposition testimony if called 10 upon to do so Ms Horton s fees are available upon request 11 Faced with the designation of Ms Horton as a potential expert witness AutoZone 12 noticed the deposition of Ms Horton for June 11 2019 Exhibit A 1 13 AutoZone scheduled a court reporter for the deposition 14 Prior inquiry from counsel for plaintiff counsel for porman stated Jillian Horton is 15 not available on 6 1 L We are looking for dates for the following week Dan 16 E ibit B 17 On June 6 2019 counsel for AutoZone wrote to counsel for porman 18 acknowledging counsel s representation that Ms Horton was unavailable on the date 19 scheduled and that counsel had indicated they were looking for alternate dates 20 Despite inquiries no date was ever provided for Ms Horton 21 22 23 24 25 26 27 28 GBi2 00000ss 2 i3o7iso2 TESTIMONY OF JILLIAN HORTON