On November 18, 2015 a
Party Statement
was filed
involving a dispute between
Les Stanford Chevrolet Cadillac, Inc,
Saberi, Andy,
and
Bj Interstate Autotransporters, Inc,
Dedyk, Bogdan,
Les Stanford Chevrolet Cadillac, Inc,
for (06) Unlimited Breach of Contract/Warranty
in the District Court of San Mateo County.
Preview
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1 JAMES ATTRIDGE [SBN NO.
124003]
LAW OFFICES OF JAMES
2
3
270
San Francisco,
Telephone:'
ATTRIDGE
Divisadero Street, #3
CA 94117
E ILED
SAN MATEO OUNTY
'
(415) 552-3088 _ .
Email: jattridge@attridgelaw.com
4
Attorney for Defendants ; '.
5 _ __
BJ INTERSTATE AUTO
TRANSPORTERS f...— a
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9529 SW3
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7
SUPERIOR COURT OF CALIFORNIA
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8
COUNTY OF SAN MATEO
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mammals
10 ANDY SABERI l.
Case No: CIV 536294
l 1
Plaintiff,
L
CASE MANAGEMENT
STATEMENT
12 VS.
Date: March 30, 2017
13 LBS STANFORD CHEVROLET Time: 9 AM
CADILLAC, Inc. Courtroom: Ten
14 .
Defendants.
15
I6
17 Cross~complaints were filed in this
action on march 22, 2017
by defendant Les Stanford
18 Chevrolet Cadillac against
defendants Bogda Dedyk and BJ
Interstate Auto Transporters.
They have
19 not been answered. BJ Interstate
Auto Transporters intends to seek
demurrer without leave to amend.
20 This case is not at issue and the
Case Management Conference
should be taken off calendar
and
21 rescheduled for sixty days.
22 March 27, 2017
23
24
James Attridge for Defendant BJ Interstate
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TRIAL BRIEF
PROOF OF SERVICE
I declare that I am over the age of eighteen (18) and not a party to this action. My business
address is 270 Divisadero Street, #3, San Francisco, CA 941 17.
On March 27, 2017, l se1ved the following document(s): Case Management Statement on
the interested parties in this action by placing a true and cor1ect copy of such document, enclosed in
a sealed envelope, addressed as follows:
Thomas Crow/ell] Tosch'i Sidran
'5145'Johns0n Drive
Pleasanton, CA 94588.
Michael 'Le'vangie
2021 N. Street ‘
Sacramento, CA 94080
James Dombroski, Esq
P. 0. BOX 751027
11 Petaluma, CA 94975
12
13
14
I am readily familiar with the business’ practice for collection and processing of
15 correspondence for mailing with the United States Postal Service. I know that the
correspondence was deposited with the United States Postal Service on the same day this
16 declaration was executed in the ordinary course of business. I know that the envelope was
sealed and, with postage thereon fully prepaid, placed for collection and mailing on this date
17 in the United States mail at, San Francisco, California.
18
19 Executed: March 27, 2017
20
21
22
UJames/Attridge
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l
JOINT CASE MANAGEMENT CONFERENCE STATEMENT
Document Filed Date
March 30, 2017
Case Filing Date
November 18, 2015
Category
(06) Unlimited Breach of Contract/Warranty
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