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  • Sentry Insurance Company, a mutual insurance company vs Hanson, Jeffreycivil document preview
  • Sentry Insurance Company, a mutual insurance company vs Hanson, Jeffreycivil document preview
  • Sentry Insurance Company, a mutual insurance company vs Hanson, Jeffreycivil document preview
  • Sentry Insurance Company, a mutual insurance company vs Hanson, Jeffreycivil document preview
						
                                

Preview

Brian P. Tapper, Esq. LAW GFFJCES Crf TODD F. HAINES 2 30rt95 Canwood Street, Suite l00 Agoura l lins, California 91301 2/13/2020 3 Phone: (ills) 597-22rt0 IFacsimille; (8 IS) 597-2120 4 Firm website: www.haineslawoffice.corn 6 Attorney for Plaintiff SUPERIOR COUR'T OF CALIFORNIA, COUNTY OF BUTTE 9 Sentry Insurance Company, ) Case iNo. 19CV01353 10 ) Plaintiff, ) ) DECLARA I'IQN QF C. WILLIAM ) CHASE IN SUPPORT OF 12 PLAINTIFF'S ) IIQTIQN TO VACATE Jeffrey Hanson, ) THE DISMISSAL ) Defendant. ) 14 ) ) I, C. Willliam Cha e, hereby declare that: I am an attorney at iaw licensed to practice in all courts of the State oi California. I could and would competently testify to the following facts which are 20 within my personal knowledge. 2., I was retained by Todcl Haines, counsel for Plaintiff, to make a specie appearance at the hearing on the Case Managem nt Conference scheduled on October 30, 20'I9, in the above captioned case. 3. I received the case assignment on October 29, 2019. 4. i had another matter scheduled for the same time in Department C10. 5. During the docket, I stepped outside the Courtroom to discuss another case. og 6. When I had finished the conversation outside the Courtroom, had missed I the Declaration ot'C. tryilnsrm Clhase irnSupport of Plaiintifps Motion tn Vacarte the Dismissal — Page l of 2 call of this case. 1 7. 1 was later advised that the case was dismissed without prejudice. 3 8. I apologize to the Court and all parties involved for any confusion, and ask thai 4 the case be reinstated, as this was an accident and not neglect, and itshould nol prejudice the Defendant, who has not been served as of this date. 7 I declare under penalty of perjury under the laws of the State of California that the 8 foregoing is true and correct, and that this declaration was executed at Chico, California on 9 the date noted below. Dated: December 4, 2019 13 G. William Chase 14 15 16 17 18 19 20 21 22 23 24 25 27 Declaration of C, William Chase in Support of Plaintifps Motion to Vacate the Dismissal — Page 2 of 2