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  • SAN FRANCISCO HOUSING AUTHORITY VS. JOAQUIN SHAW ET AL UNLAWFUL DETAINER - RESIDENTIAL document preview
  • SAN FRANCISCO HOUSING AUTHORITY VS. JOAQUIN SHAW ET AL UNLAWFUL DETAINER - RESIDENTIAL document preview
  • SAN FRANCISCO HOUSING AUTHORITY VS. JOAQUIN SHAW ET AL UNLAWFUL DETAINER - RESIDENTIAL document preview
  • SAN FRANCISCO HOUSING AUTHORITY VS. JOAQUIN SHAW ET AL UNLAWFUL DETAINER - RESIDENTIAL document preview
  • SAN FRANCISCO HOUSING AUTHORITY VS. JOAQUIN SHAW ET AL UNLAWFUL DETAINER - RESIDENTIAL document preview
  • SAN FRANCISCO HOUSING AUTHORITY VS. JOAQUIN SHAW ET AL UNLAWFUL DETAINER - RESIDENTIAL document preview
						
                                

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IOUMNAA SUPERIOR COURT OF CALIFORNIA COUNTY OF SAN FRANCISCO Document Scanning Lead Sheet Apr-07-2016 10:50 am | Case Number: CUD-15-653470 Filing Date: Apr-07-2016 10:49 Filed by: ANNA TORRES Image: 05345892 DECLARATION _ SAN FRANCISCO HOUSING AUTHORITY VS. JOAQUIN SHAW ET AL 001005345892 Instructions: Please place this sheet on top of the document to be scanned.© 3 Nichole Santiago (SBN 291632) The San Francisco Housing Authority Superior Court'st C: 1815 Egbert Avenue 6 County of San San Francisco, CA 94214 APR OT 291 6 santiagon@sfha.org Telephone: (415) 715-3274 CLEr: av BY by . “J epciy Chere Attorney for Plaintiff The San Francisco Housing Authority SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF SAN FRANCISCO LIMITED JURISDICTION Case No.: CUD-15-653470 SAN FRANCISCO HOUSING AUTHORITY DECLARATION OF ATTORNEY NICHOLE SANTIAGO IN SUPPORT OF PLAINTIFF’S EX PARTE APPLICATION REQUESTING AN ORDER TO CONTINUE THE HEARING ON DEFENDANT’S MOTION FOR RELIEF FROM FORFEITURE PURSUANT TO STIPULATION OF THE PARTIES Plaintiff, JOAQUIN SHAW, LAVONTE SHAW, and DOES 1-10, inclusive, Defendants. Hearing Date: April 7, 2016 Time: 11:00 a.m. Department: 501 Ne eee OS I, NICHOLE SANTIAGO, declare as follows: 1. I am the attorney for the Plaintiff in this action and have personal knowledge o! the facts stated in this Declaration and would and could competently testify thereto. 2. On April 5, 2016, I gave Defendant’s counsel notice while speaking on th telephone that I would appear ex parte in department 501 on April 7, 2016 to request continuance of the hearing scheduled for April 14, 2016. -1- DECLARATION OF ATTORNEY NICHOLE SANTIAGO IN SUPPORT OF PLAINTIFF’S EX PARTE APPLICATION REQUESTING AN ORDER TO CONTINUE THE HEARING ON DEFENDANT’S MOTION FOR RELIEF FROM FORFEITURE PURSUANT TO STIPULATION OF THE PARTIES© ° I declare under penalty of perjury under the laws of the state of California that all of th foregoing is true and correct except as to matters which are stated upon information and belief, and as those matters I believe them to be true, and that this declaration was executed on April 6, 2016, at San Francisco, California. Dated: / Qe / an type G, f Nichole Santiago -2- DECLARATION OF ATTORNEY NICHOLE SANTIAGO IN SUPPORT OF PLAINTIFF’S EX PARTE APPLICATION REQUESTING AN ORDER TO CONTINUE THE HEARING ON DEFENDANT’S MOTION FOR RELIEF FROM FORFEITURE PURSUANT TO STIPULATION OF THE PARTIES