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  • STEPRO VS SPECIALIZED LOAN SERVICING, LLC ET AL26-CV Other Real Property-Civil Unlimited document preview
  • STEPRO VS SPECIALIZED LOAN SERVICING, LLC ET AL26-CV Other Real Property-Civil Unlimited document preview
  • STEPRO VS SPECIALIZED LOAN SERVICING, LLC ET AL26-CV Other Real Property-Civil Unlimited document preview
  • STEPRO VS SPECIALIZED LOAN SERVICING, LLC ET AL26-CV Other Real Property-Civil Unlimited document preview
						
                                

Preview

Jason W. Estavillo (Bar No. 188093) 1 David L. Chaffin (Bar No. 258459) 2 ESTAVILLO LAW GROUP 555 12th Street, Suite 1280 3 Oakland, CA 94607 Telephone: (510) 982-3001 4 Facsimile: (510) 982-3002 5 Email: jason@estavillolaw.com david@estavillolaw.com 6 7 Attorneys for Plaintiff, 8 GREGORY A. STEPRO 9 SUPERIOR COURT FOR THE STATE OF CALIFORNIA 10 COUNTY OF KERN 11 GREGORY A. STEPRO, ) Case No.: BCV-24-101264 12 ) 13 Plaintiff, ) [PROPOSED] ORDER GRANTING EX ) PARTE APPLICATION FOR 14 vs. ) TEMPORARY RESTRAINING ORDER ) TO CANCEL AND ENJOIN SALE OF 15 SPECIALIZED LOAN SERVICING, LLC; ) SUBJECT REAL PROPERTY AND GULF HARBOUR INVESTMENTS ) ORDER TO SHOW CAUSE RE: 16 CORPORATION; THE MORTGAGE LAW ) PRELIMINARY INJUNCTION FIRM, PLC; and DOES 1-20, ) 17 Defendants. ) Filed Concurrently With: 18 ) 1. Ex Parte Application; ) 2. Memorandum of Points & Authorities; 19 ) 3. Declaration of Gregory A. Stepro; and ) 4. Declaration of Alejandra Cornejo 20 ) Garcia ) 21 ) Date: April 22, 2024 22 ) Time: 8:30 AM ) Dept.: H 23 ) ) 24 GOOD CAUSE appearing in the operative Complaint, the supporting Declarations and the 25 Memorandum of Points and Authorities, and it is appearing that this is a proper case for issuance of an 26 order to show cause and a temporary restraining order; and that, unless a temporary restraining order 27 issues, the Plaintiff will suffer irreparable injury before the matter can be heard on notice; 28 ESTAVILLO LAW GROUP 555 12th Street, Suite 1280 Oakland, CA 94607 Telephone: (510) 982-3001 Facsimile: (510) 982-3002 Stepro v. Specialized Loan Servicing, LLC, et al. Proposed Order 1 1 IT IS HEREBY ORDERED THAT the Temporary Restraining Order cancelling 2 and enjoining the sale of the real property on April 24, 2024 is GRANTED. 3 IT IS FURTHER ORDERED THAT Defendant(s) appear on __________________, 2024 4 at _____A.M./P.M. in Department ____ of the above-entitled Court located at 5 ________________________________, to show cause why a preliminary injunction should not be 6 issued enjoining defendants from any further action concerning the sale of the property described in 7 the Complaint on file herein. 8 IT IS FURTHER ORDERED THAT pending the hearing on the order to show cause, 9 Defendants, defendants’ agents, officers, employees, partners, successors, and representatives; all 10 persons acting in concert or participating with them; and each of them are hereby restrained and 11 enjoined from any further action concerning the sale of the property described in the Complaint on file 12 in this action and is also identified as 456 East Hartley Ave., Ridgecrest CA 93555 (the “Property”). 13 IT IS FURTHER ORDERED THAT a copy of this Temporary Restraining Order and Order 14 to Show cause, be served on the Defendant(s) no later than ____________________________ by 15 fax/email service and no later than_______________________ by personal service. 16 17 Any opposition papers to the Order to Show Cause shall be filed and served on the Plaintiff by 18 fax or email no later than___________________________. 19 Any reply by the Plaintiff to the opposition papers shall be filed and served on the Defendant(s) 20 by fax or email no later than _________________________________. 21 22 The restraining order shall remain in effect until further order of the Court. 23 24 DATED: April _____, 2024 25 26 ______________________________________ 27 Judge of the Superior Court 28 ESTAVILLO LAW GROUP 555 12th Street, Suite 1280 Oakland, CA 94607 Telephone: (510) 982-3001 Facsimile: (510) 982-3002 Stepro v. Specialized Loan Servicing, LLC, et al. Proposed Order 2