arrow left
arrow right
  • Philip Restivo vs Worldwide Ground Transportation Solutions, Inc. at el Breach of Contract/Warranty Unlimited(06)  document preview
  • Philip Restivo vs Worldwide Ground Transportation Solutions, Inc. at el Breach of Contract/Warranty Unlimited(06)  document preview
  • Philip Restivo vs Worldwide Ground Transportation Solutions, Inc. at el Breach of Contract/Warranty Unlimited(06)  document preview
  • Philip Restivo vs Worldwide Ground Transportation Solutions, Inc. at el Breach of Contract/Warranty Unlimited(06)  document preview
						
                                

Preview

Michael G. Ackerman, Esq. (SBN 64997) LAW OFFICES OF MICHAEL G. ACKERMAN 2391 The Alameda, Suite 100 Santa Clara, CA 95050 Telephone: (408) 261-5800 Facsimile: (408) 261-5900 Email: mga@mgackermanlaw.com Attorneys for Plaintiff, PHIL RESTIVO SUPERIOR COURT FOR THE STATE OF CALIFORNIA 10 COUNTY OF SANTA CLARA 1 PHILIP RESTIVO, ) Case No.: 17CV308469 12 Plaintiff, ) STATEMENT OF THE CASE 13 vs. ) 14 ) Trial Date: March 11, 2019 WORLDWIDE GROUND 15 TRANSPORTATION SOLUTIONS, INC.; ) JAMES BROWN, an individual; and DOES ) 16 1 through 5, inclusive. ) 17 Defendants. ) ) 18 19 This lawsuit was filed by Philip Restivo against Worldwide Ground Transportation Solutions, 20 Inc. for breach of contract. Restivo Enterprises, Inc., a company Mr. Restivo owned and operated, 21 sold all of its goodwill in the form of telephone numbers and customer lists to Worldwide Ground 22 Transportation Solutions, Inc. Part of the transaction was a covenant not to compete for a period of 23 seven years given by Mr. Restivo in exchange for Worldwide Ground Transportation Solutions, Inc. 24 providing discounted limousine services to Mr. Restivo. A dispute arose regarding these discounted 25 limousine services resulting in the two parties going to a mediation and signing a new agreement. 26 Mr. Restivo contends that Worldwide Ground Transportation Solutions, Inc. breached this new 27 agreement after it was signed causing him damage. Worldwide Ground Transportation Solutions, 28 Inc. denies this. =1- STATEMENT OF THE CASE Case No.: 17CV308469 DATED: March 7 » 2019 LAW OFFICES OF MICHAEL G. ACKERMAN By: ICHAEL ERMAN, ESQ (Attorneys f¢ Plainti ff, PHIL RESTIVO 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 2s STATEMENT OF THE CASE Case No.: 17CV308469