On December 30, 2013 a
Request,Application
was filed
involving a dispute between
Cheng, Charles,
Finney, Karen Lee,
Jeanette Aaronson,Trustee Of The Jeanette Aaronson Trust,
Ryan D Finney, Trustees Of The Karen Lee Finney Trust,
and
Mendoza, Glenn,
for (31) Limited Commercial Unlawful Detainer - under 10,000
in the District Court of San Mateo County.
Preview
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Mark K. Oto, Esq. 0100058
..2 255 North Market Street SAN TEO COUN7Y
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Suite 285
N I Z014
San Jose, California 95110
Telephone: (408) 283-0220 SMPerlor C4QN
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Attorney for Plaintiff
oem's'0
SUPERIOR COURT, STATE OF CALIFORNIA
COUNTY OF SAN MATEO
CIVILDIVISION, SOUTHERN BRANCH
12 Karen Lee Finney, et al., CASE NI.JMBER: CLJ 208957
13 Plaintiff,
vs. DECLARATIONOF PLAINTIFF/PLAINTIFF'S
14 AGENT IN SUPPORT OF A REQUEST FOR AN
ORDER FOR POSTING AND MAILING
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SUMMONS AND COMPLAINT
16 (BY FAX)
Glenn Mendoza,
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Defendant.
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I, Chris Hopkins, declare as follows:
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1. The following facts are within my personal knowledge and ifcalled upon as a
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witness to testify thereto, I could and would competently do so.
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2. I am the Property Manager for the Plaintiffherein. As such, I am familiar with
the facts alleged and make this Declaration on PlaintifF s behalf, and am authorized to do so.
25 3. The Defendant, Glenn Mendoza, is a necessary and proper party to this action in
26 that he is in possession of and claims a right to possession of the premises, possession of which is
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sought by Plaintiffin this action. The premises at issue are located at 604 Bayport Avenue, San
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Carlos, CA 94070.
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4. Mls is sn action for unlawful detauter.
The unlawM detainer complaint wss fBed
on or about Qecetnber 30, 2013.
5. At the time Defendant appliedfor the rental Def~ had indicated on
pretniises
5 Ms Application to Rent that he would be using the Ptumises
address for hh business purposes.
8 Defendant further indicatedthat his home addresswas at 706 Bounty Drive, Unit NR8, Foster
City, Califorma. The process"serverhss attempted to serve Defendantat the Premises(his last
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hnown place of business) and his hst kaown home address.
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6. I am unaware ofany other place of employment
of the Premises
other than the address
Defetuhurt may be served at.
I am unaware
at issue,
Defendant
of any other~may be employed and,
in which the
IS 7. Based upon the foregoing snd the Declaration and Application for Orderfor
and + 'l' Suuunons and Comphintf being submitted herewith, it js teqttested
that
IS
this court enter an order pcnaitting service
of the Summits and Complaint upon the Defendant,
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Glenn Mendozs, by posting the same in a conspicuousplace on the premiseslocated at 604
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Baypott Avenue, San Carlos,CA 94070, and maihng a copy of said Suuunons and Complaint,
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by cert%ed Snail, to such
Defendant at his last known address.
go I declne under penalty of perjury that the foregoing is true and correct snd that this
Ql Declsratiou was executed on this 3rd dayof January,2{H4 at Los Altos, Cali&mia.
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Document Filed Date
January 17, 2014
Case Filing Date
December 30, 2013
Category
(31) Limited Commercial Unlawful Detainer - under 10,000
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