On June 11, 2020 a
Proof of Service
was filed
involving a dispute between
Duke Realty Limited Partnership,
Insurance Company Of The West,
Madrigal, Adriana Quintero,
Marquez, Rafael Carvajal,
and
Does 2-100,
Duke Realty Corporation,
Duke Realty Limited Partnership,
Genie Industries, Inc.,
Gregg Electric, Inc.,
I.E. General Engineering Inc.,
King Equipment, Llc,
Terex Corporation,
General Engineering, Inc,
Gregg Electric, Inc., I.E.,
King Equipment, Inc.,
Roes 2 To 100,
for Personal Injury Non-Motor Vehicle Unlimited
in the District Court of San Bernardino County.
Preview
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SUPERIOR COURT or CALIFORN f
COUNTY 0F SAN BERNARDINO
SAN BERNARDmo DISTRICT
Kimberly S. Oberrecht [C.S.B. No. 190794]
HORTON, OBERRECHT & KIRKPATRICK JUL 0 7 2021
101 W. Broadway, 600 Suite
San Diego, California 92101
(619) 232-1183; Fax (619) 696-5719 BY "’
Jusm MANASSEE. DEPUTY
Attorneys for Defendant/Cross-Complainant, DUKE REALTY LIMITED PARTNERSHIP
KOOOQON
SUPERIOR COURT OF THE STATE OF CALIFORNIA
IN AND FOR THE COUNTY OF SAN BERNARDINO
10 RAFAEL CARVAJAL MARQUEZ; ADIANA CASE NO. CIVD82010310
QUINTERO MADRIGAL, [Assigned to Hon. Donald R. Alvarez,
11 Dept. S-23]
Plaintiffs,
12 DECLARATION OF PROOF 0F
vs. SERVICE
13
GENIE INDUSTRES, INC.; TEREX
14 CORPORATION; DUKE REALTY LIMITED
PARTNERSHIP; DUKE REALTY
15 CORPORATION; GREGG ELECTRIC, INC.; I.E.
GENERAL ENGINEERING, INC.; and DOES 1- VVVVVVVVVVVVVVVVVV
16 100, Inclusive,
17 Defendants.
18 Complaint Filed: 06/ 1 1/20
AND ALL RELATED CROSS-ACTIONS. Trial Date: None
19
20
21 Iam employed in the County of San Diego, State of California. I am over the age of eighteen years
and am not a party to the within entitled action; my business address is 101 W. Broadway, Suite 600,
22 San Diego, California 92 1 01.
23 On July 6, 2021, I served the following documents:
24 DEFENDANT DUKE REALTY LIMITED PARTNERSHIP’S NOTICE OF MOTION AND
MOTION FOR SUMMARY JUDGMENT, OR ALTERNATIVELY, SUMMARY
25 ADJUDICATION;
26 DEFENDANT DUKE REALTY LINIITED PARTNERSHIP’S NIEMORANDUM OF POINTS
AND AUTHORITIES IN SUPPORT OF MOTION FOR SUMMARY JUDGMENT OR, IN
27 THE ALTERNATIVE, SUMMARY ADJUDICATION;
28 DECLARATION OF DAWN C. NELMS IN SUPPORT OF DEFENDANT DUKE REALTY
LIMITED PARTNERSHIP’S MOTION FOR SUMMARY JUDGMENT, OR
DECLARATION OF PROOF OF SERVICE
1
G:\G_]ENTS\67Z4\PIeadingS\MSJ Duke Realty\POS.wpd
s
Document Filed Date
July 07, 2021
Case Filing Date
June 11, 2020
Category
Personal Injury Non-Motor Vehicle Unlimited
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