On September 25, 2023 a
Proof of Service
was filed
involving a dispute between
Hunter, Desiree,
and
Upland Police Department,
for Civil Rights Unlimited
in the District Court of San Bernardino County.
Preview
RICHARD T. EGGER, Bar No. 162581
richard.egger@bbklaw.com ELECTRONICALLY FILED
MICHAEL J. THIES, Bar No. 323666 SUPERIOR COURT OF CALIFORNIA
michael.thies@bbklaw.com
COUNTY OF SAN BERNARDINO
SAN BERNARDINO DISTRICT
BEST BEST & KRIEGER LLP
2855 E. Guasti Road 11/2/2023 3:51 PM
Suite 400
Ontario, California 91761 By: Eilene Ramos, DEPUTY
Telephone: (909) 989-8584
Facsimile: (909) 944-1441
Attorneys for Defendant EXEMPT FROM FILING FEES PURSUANT
UPLAND POLICE DEPARTMENT T0 GOVERNMENT CODE SECTION 6103
SUPERIOR COURT OF THE STATE OF CALIFORNIA
COUNTY OF SAN BERNARDINO
10
SAN BERNARDINO JUSTICE CENTER
11
LLP
400
1761 12
9
KRIEGER
LAW
SUITE
DESIREE HUNTER, Case N0. CIVSB2323 132
AT ROAD,
CALIFORNIA
13 Judge: Hon. Donald R. Alvarez
& ATTORNEYS GUASTI
Plaintiff,
BEST
E. ONTARIO,
14 DEFENDANT UPLAND POLICE
BEST
2855
V. DEPARTMENT’S PROOF OF
15 SERVICE RE MOTION TO STRIKE
UPLAND POLICE DEPARTMENT, PLAINTIFF DESIREE HUNTER’S
16 COMPLAINT
Defendant.
17 Hearing on Motion:
Date: February 6, 2024
18 Time: 8:30 am.
Dept: $23
19
Action Filed: September 25, 2023
20 TSC: March 25, 2024
Trial Date: None Set
21
22
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24
25
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27
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46700.20123\40999641 .1 PROOF OF SERVICE RE MOTION TO STRIKE COMPLAINT
PROOF 0F SERVICE
I am a citizen 0fthe United States and employed Riverside County, California. I am over
the age of eighteen years and not a party t0 the within-entitled action. My business address is
3390 University Avenue, 5th Floor, Riverside, California 92501. On November 2, 2023, I served
a copy of the within document(s):
A
(1) Defendant Upland Police Department’s Notice 0f Motion and Motion to Strike Plaintiff
Desiree Hunter’s Complaint; (2) Declaration 0f Michael J. Thies in Support of Defendant
Upland Police Department’s Motion to Strike Plaintiff Desiree Hunter’s Complaint; and
flow (3) [Proposed] Order re Defendant Upland Police Department’s Motion t0 Strike Plaintiff
Desiree Hunter’s Complaint
above t0 the fax number(s)
D by transmitting Via facsimile the document(s)
forth below on this date before 5:00 p.m.
listed set
by placing the document(s) listed above in a sealed envelope With postage thereon
fully prepaid, the United States mail at Riverside, California addressed as set forth
10 below.
listed above in a sealed envelope and affixing
LLP
11
D by placing the document(s)
a pre-paid air bill, and causing the envelope to be delivered to a agent for
400
91761
12 delivery.
SUITE
LAW
KRIEGER
delivering the document(s) listed above to the person(s) at the
D by personally
AT ROAD,
CALIFORNIA
13
& A'rmRNEYs
GUASTI address(es) set forth below.
BEST
E. ONTARIO,
14
via e-mail or electronic transmission the document(s) listed above
D by transmitting
2855
BEST
15 t0 the person(s) at the e-mail address(es) set forth below.
16 Desiree Hunter
2 1 96 Kendall Drive
17 Apt. 2 1 8
San Bernardino, CA 92407
18
19
I am readily familiar with the firm's practice of collection and processing correspondence
for mailing. Under that would be deposited with the U.S. Postal Service 0n that same
practice it
20 day With postage thereon fully prepaid in the ordinary course 0f business. I am aware that 0n
motion 0f the party served, service is presumed invalid if postal cancellation date or postage
21 meter date is more than one day after date 0f deposit for mailing in affidavit.
I declare under penalty of perjury under the laws 0f the State of California that the above
22
is true and correct.
23 Executed on November 2, 2023, at Riverside, California.
24
25
26
Michael J. Thies
27
28
46708.00315\41724009.1
PROOF OF SERVICE
Document Filed Date
November 02, 2023
Case Filing Date
September 25, 2023
Category
Civil Rights Unlimited
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