On December 11, 2023 a
93109PROPO047519
was filed
involving a dispute between
Pinney, Diane,
and
Al-Siddiq, Rufia,
Al- Siddiq, Waqaas,
Qadisiyyah Ranch Llc,
for 37: Unlimited Other Contract
in the District Court of Sonoma County.
Preview
1 RENE I. GAMBOA, Bar No. 136166
rgamboa@grsm.com
2 GORDON REES SCULLY MANSUKHANI, LLP
275 Battery Street, Suite 2000
3 San Francisco, California 94111
Telephone: (415) 986-5900
4 Facsimile: (415) 986-8054
5 Attorneys for Defendants
QADISIYYAH RANCH LLC; WAQAAS AL-
6 SIDDIQ; and RUFIA AL-SIDDIQ
7
8 SUPERIOR COURT OF THE STATE OF CALIFORNIA
9 COUNTY OF SONOMA
GORDON REES SCULLY MANSUKHANI, LLP
10
275 BATTERY STREET, SUITE 2000
SAN FRANCISCO, CA 94111
11 DIANE PINNEY, Case No. 23CV01909
12 Plaintiff, UNLIMITED JURISDICTION
13 v. [PROPOSED] ORDER GRANTING
DEMURRER OF DEFENDANTS
14 QADISIYYAH RANCH LLC; WAQAAS AL- QADISIYYAH RANCH LLC; WAQAAS
SIDDIQ; RUFIA AL-SIDDIQ; and DOES 1 AL-SIDDIQ; and RUFIA AL-SIDDIQ
15 TO 10, TO THE COMPLAINT OF DIANE
PINNEY
16 Defendants.
[Concurrently filed and served with Notice
17 of Demurrer and Demurrer; Memorandum
of Points and Authorities; and Declaration
18 of Rene I. Gamboa]
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20 Trial Date:
Date Action Filed: December 11, 2023
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[PROPOSED] ORDER GRANTING DEMURRER OF DEFENDANTS QADISIYYAH RANCH LLC; WAQAAS
AL-SIDDIQ; AND RUFIA AL-SIDDIQ TO THE COMPLAINT OF DIANE PINNEY
1 On ______________2024 at 8:30 a.m., the Demurrer of defendants QADISIYYAH
2 RANCH LLC; WAQAAS AL-SIDDIQ; and RUFIA AL-SIDDIQ (“Defendants”) to the Fourth
3 Cause of Action for Fraud and the Sixth Cause of Action for Defamation contained in the Complaint
4 filed by plaintiff Diane Pinney (“Plaintiff”) came on for regularly for hearing in the above-entitled
5 court. After consideration of the moving, opposing, and reply papers filed by the parties, all papers
6 filed in connection thereto, having heard the oral argument of the parties, and good cause appearing,
7 the Court rules as follows:
8 IT IS HEREBY ORDERED that Defendants’ Demurrer to Plaintiff’s Third Cause of Action
9 for Fraud and Sixth Cause of Action for Defamation contained in Plaintiff’s Complaint on the
GORDON REES SCULLY MANSUKHANI, LLP
10 grounds that Plaintiff cannot maintain these causes of action because she failed to plead them with
275 BATTERY STREET, SUITE 2000
SAN FRANCISCO, CA 94111
11 the requisite specificity under California law is SUSTAINED with prejudice and without leave to
12 amend.
13 IT IS SO ORDERED.
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15 Dated: ________________ _______________________________
JUDGE OF THE SUPERIOR COURT
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[PROPOSED] ORDER GRANTING DEMURRER OF DEFENDANTS QADISIYYAH RANCH LLC; WAQAAS
AL-SIDDIQ; AND RUFIA AL-SIDDIQ TO THE COMPLAINT OF DIANE PINNEY
1 PROOF OF SERVICE
2 I am a resident of the State of California, over the age of eighteen years, and not a party
to the within action. My business address is: Gordon Rees Scully Mansukhani, LLP 1111
3 Broadway, Suite 1700, Oakland, CA 94607. On the date shown below, I served the within
documents:
4
[PROPOSED] ORDER GRANTING DEMURRER OF DEFENDANTS
5 QADISITYYAH RANCH LLC; WAQAAS AL-SIDDIQ; AND RUFIA AL-SIDDIQ TO
THE COMPLAINT OF DIANE PINNEY
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7 BY EMAIL OR ELECTRONIC TRANSMISSION: Pursuant to CCP § 1010.6, I
caused the document(s) to be sent to the person(s) at the E-Mail address(es) listed
below. I did not receive, within a reasonable time after the transmission, any
8 electronic message or other indication that the transmission was unsuccessful.
9
David Hiller, Esq.
10 Law Office of David W. Hiller
4040 Civic Center Drive, Suite 200
11 San Rafael, CA 967-1984
Tel: (415) 967-1984
Fax: (415) 480-8531
Gordon Rees Scully Mansukhani, LLP
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Email: david@dwhesq.com
1111 Broadway, Suite 1700
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Attorneys for Plaintiff
Oakland, CA 94607
14 Diane Pinney
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16 I declare under penalty of perjury under the laws of the State of California that the above
is true and correct.
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Executed on March 1, 2024, at Oakland, California.
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Nadine E. Williams
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PROOF OF SERVICE
Document Filed Date
March 02, 2024
Case Filing Date
December 11, 2023
Category
37: Unlimited Other Contract
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