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  • KAREN FINNEY, ET AL VS GLENN MENDOZA(31) Limited Commercial Unlawful Detainer - under 10,000 document preview
  • KAREN FINNEY, ET AL VS GLENN MENDOZA(31) Limited Commercial Unlawful Detainer - under 10,000 document preview
  • KAREN FINNEY, ET AL VS GLENN MENDOZA(31) Limited Commercial Unlawful Detainer - under 10,000 document preview
  • KAREN FINNEY, ET AL VS GLENN MENDOZA(31) Limited Commercial Unlawful Detainer - under 10,000 document preview
						
                                

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1 Mark K. Oto, Esq. 0100058 ..2 255 North Market Street SAN TEO COUN7Y 3 Suite 285 N I Z014 San Jose, California 95110 Telephone: (408) 283-0220 SMPerlor C4QN 4 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 15 SUMMONS AND COMPLAINT 16 (BY FAX) Glenn Mendoza, 17 Defendant. 18 19 I, Chris Hopkins, declare as follows: 20 1. The following facts are within my personal knowledge and ifcalled upon as a 21 witness to testify thereto, I could and would competently do so. 22 23 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 27 sought by Plaintiffin this action. The premises at issue are located at 604 Bayport Avenue, San 28 Carlos, CA 94070. To Llsa Page 2 of 2 201 4-01Off 1 2 1 0'41 (OMT) From ChristopherHopkins 81/82/2514 23:58 488M88688 P4iE 83/83 1 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 '8 hnown place of business) and his hst kaown home address. 9 10 Il l2 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, 16 Glenn Mendozs, by posting the same in a conspicuousplace on the premiseslocated at 604 -17 Baypott Avenue, San Carlos,CA 94070, and maihng a copy of said Suuunons and Complaint, 18 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. 22 28