On April 17, 2018 a
Motion-Secondary
was filed
involving a dispute between
Trujillo, Bryan,
Trujillo, Cindy,
and
Does 1-20,
Does 1-50,
Magee, Stephen,
Sac Aero Flying Club, Inc.,
for (23) Unlimited Other PI/PD/WD
in the District Court of San Mateo County.
Preview
Electmnita Ily
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DH 10/18/2019
By" III
MM
Email“—
MICHAEL S. DANKO, ESQ. SBN 111359
mdanko@dankolaw.com
KYOUNGHWA K. LEE, ESQ. SBN 304634
klee@dankolaw.com
DANKO MEREDITH
A 333 Twin Dolphin Drive, Suite 145
Redwood Shores, CA 94065
Telephone: (650) 453-3600
Facsimile: (650) 394-8672
Attorneys for Plaintiffs
BRYAN TRUJILLO and CINDY TRUJILLO
\OOOQQUI
SUPERIOR COURT OF THE STATE OF CALIFORNIA
1o
IN AND FOR THE COUNTY OF SAN MATEO
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UNLIMITED CIVIL JURISDICTION
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BRYAN TRUJILLO and CINDY TRUJILLO, Case No. 18CIV01901
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Plaintiffs, DECLARATION OF SHAWN R. MILLER IN
14 SUPPORT OF PLAINTIFFS’ MOTION TO
V. QUASH SUBPOENA FOR BUSINESS
15 RECORDS TO FORENSIC ANALYTICAL
STEPHEN MAGEE, SAC AERO FLYING CONSULTING SERVICES, INC. (FACS)
16 CLUB, INC., AND DOES 1 -
50,
17 Defendants Date: December 4, 201 9
Time: 9:00 a.m.
18 Dept: Law and Motion
19 ALLIED PROPERTY AND CASUALTY I
INSURANCE COMPANY; AMCO INSURANCE Complaint filed: April 17, 2018
20 COMPANY, Trial Date: November 4, 2019
21 Plaintiffs-in-Intervention,
22 vs.
23 STEPHEN MAGEE, SAC AERO FLYING
CLUB, INC.; AND DOES 1-20,
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Defendants.
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27 I,Shawn R. Miller, declare:
28 1. Iam an attorney at law duly admitted to practice law before all the courts of the State of
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DECLARATION OF SHAWN R. MILLER IN SUPPORT OF PLAINTIFFS’ MOTION TO QUASH SUBPOENA FOR
BUSINESS RECORDS TO FORENSIC ANALYTICAL CONSULTING SERVICES, INC. (FACS)
California and I am an attorney with Danko Meredith, attorneys of record for Plaintiffs Bryan Trujillo
and Cindy Trujillo. If called, I could and would testify from my personal knowledge as follows, under
penalty ofperjury.
Lh-PUJN
2. I spoke with Mr. Montanari on Tuesday, October 15, 2019 about the subpoena for business
records £0 FACS being late given the expert discovery deadline. He was unsure how to handle the
subpoena being potentially late but did not indicate that he was willing t0 withdraw the subpoena.
KOOOQOK
I declare under penalty 0f perjury under the laws of the State of California that the foregoing is
true and correct. Executed 0n October 17, 2019 at Redwood Shores, California.
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ficmgfl
Shawn R. Miller
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DECLARATION OF SHAWN R. MILLER IN SUPPORT OF PLAINTIFFS’ MOTION TO QUASH SUBPOENA FOR
BUSINESS RECORDS TO FORENSIC ANALYTICAL CONSULTING SERVICES, INC. (FACS)
Document Filed Date
October 18, 2019
Case Filing Date
April 17, 2018
Category
(23) Unlimited Other PI/PD/WD
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