On June 08, 2021 a
Motion,Ex Parte
was filed
involving a dispute between
Jackson, Katherine,
Jackson, Marvin,
and
Does 1 Through 10,
General Motors Llc,
for Breach of Contract/Warranty Unlimited
in the District Court of San Bernardino County.
Preview
QUILL & ARROW, LLP
ELECTRONICALLY FILED (Auto)
Kevin Y. Jacobson, Esq. (SBN 320532)
SUPERIOR COURT OF CA .LIFORNIA
kiacobson@quillarr0wlaw.com COUNTY OF SAN BERNAF RDINO
Harry H. Terzian, Esq. (SBN 347701) 1/24/2024 6:41 PM
hterzian@quillarr0wlaw.com
Matthew Treybig, Esq. (SBN 336797)
mtrevbig@quillarrowlaw.com
Nicholas Yowarski, Esq. (SBN 338165)
nvowarski@quillarrowlaw.com
David Derderian, Esq. (SBN 349787)
dderderian@quillarrowlaw.com
Chris Grigoryan, Esq. (SBN 349424)
cgrigorvanQunillarrowlaw.com
10900 Wilshire B1Vd., Suite 300
Los Angeles, CA 90024
Telephone: (3 10) 933-4271
10 Facsimile: (3 10) 889-0645
11 Attorneys for Plaintiffs,
KATHERINE JACKSON
12 AND MARVIN JACKSON
13
14
SUPERIOR COURT OF CALIFORNIA
COUNTY OF SAN BERNARDINO
15
KATHERINE JACKSON, and individual, and Case No.: CIVSBZI 16008
16
MARVIN JACKSON, an individual,
Assigned t0 the Hon. Donald Alvarez in
17
Dept. S23
Plaintiffs,
18
VS.
PLAINTIFFS’ MOTION IN LIMINE
NO. 8 0f 10
19
GENERAL MOTORS LLC, a Delaware
NOTICE OF MOTION AND
20 MOTION IN LIMINE TO PROHIBIT
Limited Liability Company, and DOES 1
through 10, inclusive,
ARGUMENTS REGARDING
21 DEFENTANT’S ABILITY TO
REPAIR VEHICLE
22
Defendant. Date Filed: June 8, 2021
23
Trial Date: February 5, 2024
24
25
26
27
28
-1-
PLAINTIFFS’ MOTION INLIMINE NO. 8
TO ALL PARTIES AND TO THEIR ATTORNEYS OF RECORD:
PLEASE TAKE NOTICE that Plaintiffs KATHERINE JACKSON and MARVIN
JACKSON (“Plaintiffs”) move the Court in limine for an order prohibiting testimony regarding
GENERAL MOTORS LLC’s ability t0 repair 0r the cost 0f repairing the vehicle.
Plaintiffs further move the Court to instruct all parties and their counsel, as well as require
counsel to advise all Witnesses of the following:
1. Not t0 attempt to convey to the jury, directly or indirectly, any of the facts
mentioned in this Motion without first obtaining permission from the Court outside the presence
and hearing 0f the jury;
10 2. Not to make any reference to the fact that this Motion has been filed; and,
11 3. T0 warn and caution all Witnesses to strictly follow the same instructions.
12 This motion is based upon the supporting Memorandum 0f Points and Authorities, the
13 Declaration of Nicholas Yowarski, Esq. attached hereto, the papers and pleadings 0n file in this
14 action, and upon such further matters that may be presented at the hearing.
15 Plaintiffs advised opposing counsel 0ftheir intent t0 file this Motion and attempted t0 meet
16 and confer in good faith with regards t0 the subject matter 0f this Motion 0n January 16, 2024.
17
Dated: Januagy 24 2024
18
19 Respectfully submitted,
20 QUILL & ARROW, LLP
21
22 KeVi . acobson, Esq.
Nicho Yowarski, Esq.
s
23 Attorneys for Plaintiffs,
KATHERINE JACKSON
24 AND MARVIN JACKSON
25
26
27
-2-
PLAINTIFFS’ MOTION INLIMINE NO. 8
Document Filed Date
January 24, 2024
Case Filing Date
June 08, 2021
Category
Breach of Contract/Warranty Unlimited
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