arrow left
arrow right
  • BENTLY BIOFUELS COMPANY LLC DBA BENTLY BIOFUELS VS. K. DAVID FISHER et al CONTRACT/WARRANTY document preview
  • BENTLY BIOFUELS COMPANY LLC DBA BENTLY BIOFUELS VS. K. DAVID FISHER et al CONTRACT/WARRANTY document preview
  • BENTLY BIOFUELS COMPANY LLC DBA BENTLY BIOFUELS VS. K. DAVID FISHER et al CONTRACT/WARRANTY document preview
  • BENTLY BIOFUELS COMPANY LLC DBA BENTLY BIOFUELS VS. K. DAVID FISHER et al CONTRACT/WARRANTY document preview
  • BENTLY BIOFUELS COMPANY LLC DBA BENTLY BIOFUELS VS. K. DAVID FISHER et al CONTRACT/WARRANTY document preview
  • BENTLY BIOFUELS COMPANY LLC DBA BENTLY BIOFUELS VS. K. DAVID FISHER et al CONTRACT/WARRANTY document preview
						
                                

Preview

EOI SUPERIOR COURT OF CALIFORNIA COUNTY OF SAN FRANCISCO Document Scanning Lead Sheet Oct-22-2014 4:22 pm Case Number: CGC-13-535864 Filing Date: Oct-22-2014 4:17 Filed by: Juke Box: 001 Image: 04664334 DECLARATION BENTLY BIOFUELS COMPANY LLC DBA BENTLY BIOFUELS VS. K. DAVID Instructions: FISHER et al 001004664334 Please place this sheet on top of the document to be scanned.ATTORNEY FOR (Name): Defendants NAME OF COURT: SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN FRANCISCO street appress: 400 McAllister Street MAILING ADDRESS: city anozipcove: San Francisco, California 94102 BRANCH NAME: MC-052 ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, state bar number, and address): ‘OR COURT USE ONLY Stephen D. Collins (SBN 277482) / Kevin W. Isaacson (SBN 281067) F T L TINGLEY LAW GROUP, PC Superior Good oy E D 10 Almaden Boulevard, Suite 430 Sunty of San} Frgalforia San Jose, California 95113 OcT ‘TELEPHONE No: (408) 283-7000 Fax no. (408) 283-7010 2 220, 14 CASE NAME: BENTLY BIOFUELS COMPANY LLC v. FISHER, et al. CASE NUMBER: CGC-13-535864 DECLARATION IN SUPPORT OF ATTORNEY'S MOTION TO BE RELIEVED AS COUNSEL—CIVIL HEARING oaTe: December 15, 2014 vert: 302 time: 9:30 a.m. Reservation No. 102114-07 DATE ACTION FiLep: December 3, 2013 TRat oate: April 6, 2015 1. Attorney and Represented Party. Attorney (name): Curtis Tingley, Stephen Collins, Kevin Isaacson, Kevin O'Brien / Tingley Law Group, PC. is presently counsel of record for (name of party): Defendants K. DAVID FISHER and 3D OIL&GREASE LLC in the above-captioned action or proceeding. 2, Reasons for Motion. Attorney makes this motion to be relieved as counsel under Code of Civil Procedure section 284(2) instead of filing a consent under section 284(1) for the following reasons (describe): Withdrawal is permissible under Code Civ. Proc. section 284(2) and Cal. Rule Prof. Conduct, Rule 3-700(c). Good cause exists for this motion, which can only be provided in further detail to the Court in camera, as to provide otherwise would compromise the confidentiality of the attorney-client relationship. (1 Continued on Attachment 2. 3. Service a. Attomey has sv FAX (4) oO personally served the client with copies of the motion papers filed with this declaration. A copy of the proof of service will be filed with the court at least 5 days before the hearing. (2) KX] served the client by mail at the client's last known address with copies of the motion papers served with this declaration. b. If the client has been served by mail at the client's last known address, attorney has (1) confirmed within the past 30 days that the address is current (a) [J by mail, return receipt requested. (b) &X) by telephone. (ce) by conversation. (d) (1 by other means (specify): (Continued on reverse) Page 1 of 2 Form Adopted for Mandatory Use DECLARATION IN SUPPORT OF ATTORNEY'S Code of Civil Procedure, § 284; Judicial Council of California Cal. Rules of Cour, rule 3.1362 (MC-052 [Rev, January 1, 2007) MOTION TO BE RELIEVED AS COUNSEL—CIVIL wwrw.courtin‘o.ca.gov ‘American LegaiNet, Inc. ‘yeww.FormsWorkflow.comCASE NAME: (CASE NUMBER: BENTLY BIOFUELS COMPANY LLC v. FISHER, et al. CGC-13-535864 MC-052 3. b. (2)[]_ been unable to confirm that the address is current or to locate a more current address for the client after making the following efforts: (a) (1 mailing the motion papers to the client's last known address, retum receipt requested. (b) (calling the client's tast known telephone number or numbers. (c) (J contacting persons familiar with the client (specify): (d) (conducting a search (describe): (e) (1) other (specify): c. Even if attorney has been unable to serve the client with the moving papers, the court should grant attorney's motion to be relieved as counsel of record (explain): 4, The next hearing scheduled in this action or proceeding a. C1 is not yet set. b. (1 is set as follows (specify the date, time, and place): c. [] concems (describe the subject matter of the hearing): (2 Continued on Attachment 4. 5. The following additional hearings and other proceedings (including discovery matters) are presently scheduled in this case (for each, describe the date, time, place, and subject matter): (0 Continued on Attachment 5. 6. Trial in this action or proceeding a. () is not yet set. b. XX) is set as follows (specify the date, time, and place): April 6, 2015, at 9:30 a.m., in Room 206 San Francisco County Superior Court, 400 McAllister Street, San Francisco, CA 94102 7. Other. Other matters that the court should consider in determining whether to grant this motion are the following (explain): { declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. Date: October 22, 2014 Stephen D. Collins > So (TYPE OR PRINT NAME) (SIGNATURE OF DECLARANT) 8. Number of pages attached: 0 MC-052 [Rev. January 1, 2007] DECLARATION IN SUPPORT OF ATTORNEY'S Page 2 of 2 MOTION TO BE RELIEVED AS COUNSEL—CIVIL ‘American LegalNet, Inc. ‘wvew Forms Workfiow.com