On June 10, 2020 a
Conference
was filed
involving a dispute between
Corso, Craig Anthony,
and
Nissan Northamerica, Inc A California Corporation,
for Breach of Contract/Warranty Unlimited
in the District Court of San Bernardino County.
Preview
. A A
NAME AND ADDRESS OF ATTORNEY 0R PARTY WITHOUTAT
TORNEY: STATE BAR NUMBER
Kevin Y. )acobson, Esq. (SBN 320532) Reserved for Clark's FileSlamp
320532
Quill 8: Arrow, LLP
10900 Wilshire Blvd., Suite 300, Los Angeles
TELEPHONE N0: (310) 933-4271
CA 90024 i L E
R COURT 0F CAUFORMA
D
E-MAIL ADDREss:k;acobson@_quxllarrow1aw.com S‘é‘ZEfi'Rv
TRIAL SETTING CONFERENCE DATE: December 10 2020 0F SAN BERNARDINO
ATTORNEY F0R(Name): Craig Anthony COFSO SAN BERNARD‘NQ DISTRICT
UNLIMITED CASE: x
FAX NO. (Optional): (310) 889-0645
LIMITED CASE;
SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN BERN DEC O 3 282a
b
COURTHOUSEADDRESS: ARDINO
247 West Third Street, San Bernardino, CA 92415
PLA'NT'FF:
Craig Anthony Corso
DEFENDANT: Nissan North éY
America DEBRA PEDROSA’ DEPUTY
INITIAL TRIAL SETTING CONFERENCE STATEMENT CASENUMBE“
CIVD82012063
INSTRUCTIONS: AII applicable boxes must be checked, and
the specified Information must be provided. Thls docume
served at least 15 days prior to the trlal setting confere nt must be filed and
nce date.
1. Party or parties (answer one):
a.
b.
—x This statement
This statement
is
is
submitted by party (name): Craig Anthony Corso
submitted jointly by parties (names):
Service of Complaint on all parties has :1 has no! X been completed.
Service of Cross-Complaint on all parties has has not been completed.
Description of case in Complaint:
Plaintiffspurchased a 2017 Nissan Sentra from and manufactured
by Defendant. Plaintiffs delivered the vehicle to Defendant's authorized repair facilities multiple
“failed to repairthe vehicle after a reasonable number of opportunities times and Defendant
Defendant violated the Song-Bcverly Consumer Warranty Act
vehicle after a reasonable number of opportunities. by not replacing the vehicle or repurchasing the
Description of case in Cross—Complaint:
Has all discovery been completed: Yes I
No X Date discovery anticipated to be completed: Per COde
Do you agree to mediation? Yes X No Please check type agreed to: Private: x Court-sponsored:
Related cases, consolidation, and coordination: Please attach
a Notice of Related Case.
1:] Amotionto D consolidate :] Trialdates requesteszes‘ No Available dates: Time
estimate:
Other issues:
The following additional matters are requested ‘o be considered by the Court:
10. Meet and Confer:
The parties represent that they have met and conferred on all subjects required by California Rules of Court, Rule 3.724.
The parties have entered into the following stipulation(s):
11. Total number of pages attached (if any):
x“!
l am
completely familiar with this case and will be fully prepared
to discuss the status of discovery and alternative dispute
resolution, as well as
other issues raised by this statement, and will possess
the authority to enter into stipulations on ‘hese issues
at the time of the Initial Trial Sefling
Conference, including the written authority of the party where
required.
Date: December 2, 2020
Kevin Y. Jacobson, Esq, 1* um
(TYPE OR PRINT NAME) (SIGNATURE P TY OR ATTORNEY
(TYPE OR PRINT NAME) (SIGNATURE OF PARTY OR ATI'ORNEY
Form # 13-09001-360
Revmozo Mandatory INITIAL TRIAL SETTING CONFERENCE STATEMENT
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Document Filed Date
December 03, 2020
Case Filing Date
June 10, 2020
Category
Breach of Contract/Warranty Unlimited
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