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  • ANDY SABERI VS LES STANFORD, ETAL(06) Unlimited Breach of Contract/Warranty document preview
  • ANDY SABERI VS LES STANFORD, ETAL(06) Unlimited Breach of Contract/Warranty document preview
  • ANDY SABERI VS LES STANFORD, ETAL(06) Unlimited Breach of Contract/Warranty document preview
  • ANDY SABERI VS LES STANFORD, ETAL(06) Unlimited Breach of Contract/Warranty document preview
  • ANDY SABERI VS LES STANFORD, ETAL(06) Unlimited Breach of Contract/Warranty document preview
  • ANDY SABERI VS LES STANFORD, ETAL(06) Unlimited Breach of Contract/Warranty document preview
  • ANDY SABERI VS LES STANFORD, ETAL(06) Unlimited Breach of Contract/Warranty document preview
  • ANDY SABERI VS LES STANFORD, ETAL(06) Unlimited Breach of Contract/Warranty document preview
						
                                

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v. \\% g9\\\3 L j h I}??? I'd/h a ‘ ClV-‘l 30 y FOR COURT‘USE ONLY ATTORNEY 0R PARTY WITHOUT ATTORNEY (Name, stale'aaznmnber,«and address): M David R. Sldran (SBN 121063) a,“ , “Thomas M. CroWe11\( SBN 172799) MW Toschi Sidran Collins & Doyle 5145 Johnson Drive‘Pleasanton, CA 94588 51:0)83534'00 TELEPHONE No.3 FAX No. (OptionaIcs 10) 835-7800 _ FILED ' EMAIL ADDRESS‘IQPII'WIJ: dsidran@toschisidran.confltcrowelléfltoschisid’ran.com SAN MATEO ICOUNTY ' ATrORNE'Y FOR (Name): Les Stanford Chevrolet Cadillac .1 __ . 0 CT 1 9 2017 SUPERIOR COURT OF CALIFORNIA, COUNTY OF San Mateo STREET ADDRESS: 400 County Center MAILING ADDRESS: 400' County Center CITY AND ZIP CODE: Redwood City, CA 94063 BRANCH NAME? PLAINTIFF/PETITIONER; And)? Saberi DEFENDANT/RESPONDENT: Les Stanford Chevrolet Cadillac CASE NUMBER: NOTICE OF EfiNIRY OF JUDGMENT OR ORDER CIV536294 {Check One): UNLIMITEDOASE [:1 LIMITED CASE (Amount demanded (Amount demanded was exceeded $25,000) $25,000, or less) TO ALL PARTIES : 1_ A judgment. decree. or order was entered'in this actionon (date): September 29, 2017 BY FAX 2. Date'. A' copy of the judgment; decree, October 19 9‘2017 Thomas M. Crowell . ‘ O’r order is attached to this notice. } w; ///’w ’%¢;¢%v a} if x/ it”. W. f (“is/)9 a“; / 5 ‘ [:j , (TYRE OR PRINT NAME OE ATTORNEY PARTY WITHOUT ATTORNEY), (SIGNATURE)- {' GIV536294 I NOEJ '7” Notice of Entry of JudgmentIOrder l _' III IIIIII III III Page 1 of 2 F.0rm Approved for Optional Use www.muninfo_z:a. gov Juan-121 Council ureauromia CIV-‘l 30 [New January 1, 2010] NOTICE OF ENTRY OF JUDGMENT OR ORDER CIV-1 30 CASE NUMBER: PLAINTIFF/PETITIONER: DEFENDANT/RESPONDENT: PROOF OF SERVICE~ BY FIRST-CLASS MAIL NOTICE OF ENTRY OF JUDGMENT 0R ORDER (NOTE: You cannot serve the Notice of Entry of Judgment or Order if you are a party in the action. The person who served the notice must complete this proof of service.) 1. I am at least 18 years old and not a party to this action. I am a resident of or employed in the county where the mailing took place, and my residence or business address is (specify): 2. | sewed a copy of the Notice of Entry of Judgment or Order by enclosing it in a sealed envelope with postage fully prepaid and (check one): a. deposited the sealed envelope with the United States Postal Service. b. [:| placed the sealed envelope for collection and processing for mailing, following this business's usual practices. with which I am readily familiar. On the same day correspondence is placed for collection and mailing, it is deposited in the ordinary course of business with the United States Postal Service. 3. The Notice of Entry of Judgment or Order was mailed: a. on (date): b. from (city and state): 4. The envelope was addressed and mailed as follows: a. Name of person sewed: c. Name of person sewed; Street address: Street address: . City: City: State and zip code: State and zip code: b. Name of person sewed: d. Name of person sewed: Street address: Street address: City: City: State and zip code: State and zip code: [:I Names and addresses of additional persons sewed are attached. (You may use form PCS-030(P).) 5. Number of pages attached I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. Date: (TYPE OR PRINT NAME OF DECLARANT) (SIGNATURE OF DECLARANT) Page 2 of 2 C'V"3°IN9‘”Ja"“a'Y1-2°‘°l NOTICE OF ENTRY OF JUDGMENT OR ORDER DAVID R. SIDRAN (SBN 121063) THOMASM. CROWELL(SBN 172799) 1 ENDORSED FILED 2 TOSCHI - SIDRAN-ICOLLINS- DOYLE SAN MATEO COUNTY ‘ 5145 Johnson Drive 3 Pleasanton, CA 94588 SE P 2 9 2017 Tel: (510) 835-3400 4 Fax: (510) 835-7800 gem 0': ":31 8:52}; rior Court -' 5 Attorneys for Defendant, DEPUTY CLEHGK LES STANFORD CHEVROLET CADILLAC 6 7 SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN MATEO 8 UNLIMITED JURISDICTION 9 3 » . ANDY SABERI, an individual, ) Case No.: CIV536294 10 ) Plaintiff, ) 11 i ' l STIPULATION OF THE PARTIES TO v, ) CONTINUE TRIAL DATE, TO EXTEND 12 ) DEADLINE TO CONDUCT ADR, AN TO LES STANFORD CHEVROLET ) HAVE PRE-TRIAL AND DISCOVERY ‘ 13 CADILLAC, INC., a Michigan corporation, ) DEADLINES CALCULATED FROM BJ DITERSTATE AUTO TRANSPORTERS, ) THE NEW TRIAL DATE. 14 INC. a Nevada corporation, BOGDAN ) DEDYK, doing business as SAFE AUTO ) 15 TRANSPORT, an individual, and DOES 1 ) through 25, inclusive, ) . 16 ) Complaint Filed: November 18, 2015 Defendants. ) Trial Date: Nov. 20, 2017 17 / 18 p The above—captioned action is currently set for trial November 20, 2017. The parties 19 agreed to mediation, and mediation-was set to occur with William Diffenderfer, Esq., on August 20 29, 2017. 21 Shortly before the mediation, the plaintiff in this case, ANDY SABERI, became severely 22 ill and is currently unable to participate in the litigation. In order to preserve his privacy, details of 23 his condition will not be disclosed in a pleading which will be open to the public, however 24 generally he is suffering from cardiac issues which prevent him from engaging in mediation, from 25 submitting to a deposition, or from participating in the preparation of the matter for trial. Because 26 of Mr. SABERI’s medical condition, the parties hereby stipulate to continUe the trial six months, to 27 May 2018. The parties propose June 11, 2018 28 -1- CASE N0.: CIV536294 ‘ STIPULATION OF‘THE PARTIES TO CONTINUE TRIAL DATE, T0 EXTEND DEADLINE TO CONDUCT ADR, AN TO HAVE PRE-TRIAL AND DISCOVERY DEADLINES CALCULATED FROM THE NEW TRIAL DATE. The parties stipulate that Mandatory Settlement Conference should also be reset to a date 2 based on the new trial date. 3 The parties request that the time to complete ADR be extended to March 31, 2018. 4 IT IS SO STIP'ULATED: 5 DATED: September 13 201.7 \FFICES OF JAMES DOMBROSKI 6 7 By: \ JAMIE OMBROSKI 8 'I‘HOM’ S SABERI Attom “ys for Plaintiff 9 AND SABERI ' 10 IT IS SO STIPULATED . 11 21 DATED: Septembet __, 20.17 7 TOSCHI- /SIV§Ay;a§IO EmS- DOYLE ‘2 13 14 ' By: ///// SI/D‘RAN THOMAS CROWELL t’/// Attorneys for 15 LBS STANFORD CHEVROLET CADILLAC I6 IT IS SO STIPULATED: 17 - 18 DATED: September _, 2017 LeVANGIE LAW GROUP, LLP 19 By: 20 MICHAEL JOHN LeVANGIE Attorneys for 21 BJ INTERSTATE AUTO TRANSPORTER’S, INC. AND BOGAN DEDYK 22 . 23 IT IS SO STIPULATED: 24 25 26 ’ 27 ' 28 .2- CASE NO.: CIV536294 S'I‘IPULA’I‘ION OF THE PARTIES TO CONTINUE TRIAL DATE. T0 EXTEND DEADLINE TO CONDUCT ADR. AN TO HAVE PRE—TRIAL AND DISCOVERY DEADLINES CALCULATED FROM THE NEW TRIAL DATE. .fl. H May 2018. The parties propose [we are available any days in May other than 5/21—25. Other .,,.~....._...~__._~.,..,...._.m,””5.“. 2 counsel please include your unavailable dates] , 3 The parties stipulate that Mandatory Settlement Conference should also be reset to a date 4 based on the new trial date. 5 The parties request that the time to complete ADR be extended to March 31, 2018. 6 IT IS SO STIPULATED: 7 DATED: September _, 2017 LAW OFFICES OF JAMES DOMBROSKI 8 9 By: JAMES DOMBROSKI 10 THOMAS SABERI Attorneys for Plaintiff 11 ANDY SABERI 12 IT IS SO STIPULATED: 13 DATED: September _, 2017 TOSCHI - SIDRAN - COLLINS - DOYLE 14 15 By: DAVID SIDRAN 16 THOMAS CROWELL Attorneys for 17 LBS STANFORD CHEVROLET CADILLAC 18 IT IS SO STIPULATED: 19 g, 2017 /% DATED: September LeVANGIE LAW GROUP, LLP 20 . 21 22 - - A orneys for _ 23 BJ INTER ATE AUT RANSPORTER’S, INC. AN BOGAN DYK 24 . 25 26 27 28 .2. CASE NO.: CW536294 STIPULATION OF THE PARTIES TO CONTINUE TRIAL DATE, TO EXTEND DEADLINE TO CONDUCT ADR, AN TO HAVE FEE-TRIAL AND DISCOVERY DEADLINES CALCULATED FROM THE NEW TRIAL DATE. 1 DA'I‘ED: September /_$/, 2017 LAW 0 «3 OF JAMES ATTRIDGE ‘ 2 3 By: JAMES ATTRIDGE 4 Attorneys for Plaintiff BJ' INTERSTATE AUTO TRANSPORTER’S, 5 INC. 6 ORDER 7 , Upon stipulation of the parties, the Court hereby approves the stipulation and orders that the trial 8 u 9 in this matter be VACATED, and reset for (I'M. ll . I ’Zoi 8 at ‘1 two ‘/p.m. in l: J . Dep‘t.____ All Pretrial and discovery deadlines shall be calculated from the new date. The 10 deadline to complete Alternative Dispute Resolution IS reset to March 31 2018. Th4 W54.» 11 (6 QLDW‘LLVLM—L‘po-{ZJ {HAL—1H3 Zolg GJ’LZDPI’VI IT is so STI‘PULATED: DATED: September _fl, 2017 15 <~ [<4 By: 16 JWDGE OF THE SUPERIOR COURT -3- CASE NO; CW536294 . ST I'I’ULATION OF THE PARTIES TO CONTINUE TRIAL DATE, TO EXTEND DEADLINE TO CONDUCT ADR, AN TO HAVE l’RE—TRIAL AND DISCOVERY DEADLINES CA LCULATED FROM THE N EW TRIAL DATE. ] PROOF OF SERVICE 2 SABERI v. LES STANFORD CHEVROLET CADILLAC ET AL. 3. San Mateo Superior Court Case No.: CIV53‘6294 4 I, the undersigned, am employed in the County of A1a‘rneda,.'Sta‘te of California. I am over the ageof 18 and net a’party to the within action; my blisiness address is Toschi, Sid’ran, Collins 5 & Doyle, 5145 J ohnsonvDrive, Pleasanton, California 94588. 6 On October 19-, 2017, I served the within: 7 NOTICE OF ENTRY 'OF JUDGEMENT OR ORDER 9 8 ; BY MAIL: By placing a true copy thereof enclosed in a sealed envelope with postage thereon fully prepaid 1n the United States mail at Pleasanton California, to the person(s) at the address(es) as set forth below. ' 10 ‘ BY PERSONAL SERVICE: By having a true copy thereof personally delivered to the 11 person(s) at the address(es) as set forth below. BY FACSIMILE: By sending a copy from facsimile number (510) 835—7800 to the 12 pe1son(s) at the facsimile number(s) as set forth below. , 1 BY OVERNIGHT DELIVERY: By placing a true copy thereof enclosed in asealed 13 enveIOpe‘, to'be deliVered by gnarant‘eed. overnight deliVery with Federal Express,.to the W1: person(‘s) at the addreSsCes) asset forth be10w._ 14 «. ’ BY ELECTRONIC MAIL (IE-MAIL): By electronically mailing an Adobe .pdf WW, '1":‘"'fi*':"'-W:‘r' 1. 5 Version from e-mail address @tos‘chisidran. com via Toschi, Sidran, Collins “41.1,...“ _ & Doyle’ 5 electronic mail system to the person(s) at the: e—mail address(es) as set forth ”1. z 1 6 below. 17 , 18 PLEASE SEE SERVICE LIST 1-9 1 I declare under penalty of perjury under the laws of the State of California that the foregoing 1s true and correct and that this declaration was executed on October 19 2017, in 20 Pleasanton', California. ' 21 - . Kmart/1r 22 V Kharyl Mithkeaw 23 2.4 25 .26 27 28 ., ‘1' 133531.? $221? A Mango“; OUR FILE NO.-: 11052 PROOF OF SERVICE Com-01211111011 ' SERVICE LIST SABERI v. LES STANFORD CHEVROLET CADILLAC ET AL. w San Mateo Superior Court Case No.: CIV536294 ATTORNEY FOR PLAINTIFF ATTORNEY FOR PLAINTIFF ANDY SABERI \oooqoxmhwmw James M. Dombroski, Esq. Thomas I. Saberi, Esq. Law Office of James M. Dombroski Law Office of William H. Payner Post Office Box 751027 1045 Ariport Blvd. Suite 12 Petaluma, CA 94975 So. San Francisco, CA 94080 Tel: (707) 762-7807 Tel: (650) 588-2428 Fax: (707) 769-0419 Fax: (650) 873—7046 ATTORNEY FOR BJ INTERSTATE QUTO ATTORNEY FOR BJ INTERSTATE OUTO TRANSPORTER’S INC. and BOGAN DEDYK TRANSPORTER’S, INC. and BOGAN DEDYK James Attridge, Michael John LeVangie Law Office of James Attn'dge LeVangie Law Group, LLP 270 Divisadero St. #3 _ 2021 N. St. San Francisco, CA 94117 Sacramento, CA 95811 ' Tel: (415) 552-3088 Tel: (916) 443—4849 jattridge@attridgelaw.com Fax: (916) 443—4855 NNNNNNNNi—‘fi—‘i—‘HHHHHHH \IONUI-kmNF-‘OKOOOQQMhWNl—‘O 28 Toscm . SIDRAN . Coums . DOYLE A PROFESSIONAL OUR FILE No.: 11052 PROOF OF SERVICE CORPORATION