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  • Midland Funding Llc vs Ackley, Jason(09) Limited Rule 3.740 Collections - under 10,000 document preview
  • Midland Funding Llc vs Ackley, Jason(09) Limited Rule 3.740 Collections - under 10,000 document preview
  • Midland Funding Llc vs Ackley, Jason(09) Limited Rule 3.740 Collections - under 10,000 document preview
  • Midland Funding Llc vs Ackley, Jason(09) Limited Rule 3.740 Collections - under 10,000 document preview
  • Midland Funding Llc vs Ackley, Jason(09) Limited Rule 3.740 Collections - under 10,000 document preview
  • Midland Funding Llc vs Ackley, Jason(09) Limited Rule 3.740 Collections - under 10,000 document preview
  • Midland Funding Llc vs Ackley, Jason(09) Limited Rule 3.740 Collections - under 10,000 document preview
  • Midland Funding Llc vs Ackley, Jason(09) Limited Rule 3.740 Collections - under 10,000 document preview
						
                                

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F Superior Court of California | County of Butte File No. 18-10511-0 Robert Scott Kennard 11/5/2020 State Bar No. 117017 Amit Taneja State Bar No. NELSON & KENNARD 304559 By a fess Electronically FILED Deputy 5011 Dudley Blvd, Bldg 250, Bay G McClellan, CA 65652 Bo, Box 13807 Sacramento, cA 95853 Telephone: {916) 920-2298 Facsimile: (916) 920-0682 Attorneys for Plaintiff MIDLAND FUNDING LLC SUPERIOR COURT OF CALIFORNIA, COUNTY OF BUTTE 10 CHICO COURTHOUSE - LIMITED CIVIL CASE Ee MIDLAND FUNDING LLC, CASE NO. 19CV01586 12 Plaintiff, DECLARATION OF AMIT TANEJA 13 IN SUPPORT OF PLAINTIFE’S MOTION TO TRANSFER VENUE TO PLUMAS 14 vs. COUNTY as JASON ACKLEY, et al Date: December 9, 2020 16 Time: 9:00a.m. Defendant Dept: Civil AF Complaint filed: May 24, 2019 18 Trial Date: None aig) SS SSS 20 I, Amit Taneja, hereby declare: 21, 1 I am an attorney at law duly licensed to practice before 22 all courts of the State of California and am an associate employed 23 by the law office of Nelson & Kennard, Attorneys for Midland Funding 24 Lle (hereinafter “Plaintiff”). As to each of the matters set forth 25 herein, I testify of my own personal knowledge except as to those 26 matters of which I testify on information or belief and/or as ai custodian of records for the Law Offices of Nelson & Kennard 28 DECLARATION OF AMIT TANEJA - 1 (hereinafter “Nelson & Kennard”) In that regard, I am familiar with the mode and method of record keeping at Nelson & Kennard. Each of the records referenced herein are kept in the ordinary course of business as a standard business practice of Nelson & Kennard. ag called to testify, I would competently affirm the content hereof. 2 At the time of the commencement of this action, Plaintiff believed the Defendant resided in the CouNty of Butte at 14629 Carnegie Rd., Magalia, CA 95954. Accordingly, Plaintiff filed this action in the Superior Court of California, County of Butte. 10 3 On June 5, 2013, Plaintiff attempted service at 14629 at Carnegie Rd., Magalia, CA 95954 which is located in Butte County. 12 This attempt was unsuccessful as the process server noted the 13 property was vacant and there was a for sale sign for the home. A 14 true and correct copy of the Declaration of Non-Service is attached AS) hereto as Exhibit 1 and incorporated by reference herein. 16 4 Plaintiff has determined, Quincy, CA 95971-9387, to be li Defendant’s proper address. This address was confirmed with several 18 skip tracing tools, such as the United States Postal Service, 19 process server diligence and Melissa Data. 20 I declare under penalty of perjury under the laws of the State 21 of California that this declaration was executed on October 27, 2020 22 at Fullerton, County of Orange, California. 23 24 By: z Amit Taneja 25 Attorney for Plaintiff MIDLAND FUNDING LLC 26 27 28 DECLARATION OF AMIT TANEJA - 2 EXHIBIT 1 ‘ATTORNEY GR PARTY WITHOUT ATTORNEY (Ame, Stale, Bor number, and address) ‘FOR COURS USE ONLY Robert Scott Kennard (117017) Nelson & Kennard F Superior Court of Califomia 5011 Dudley Blvd Building 250, Bay G McClellan, CA 9565: | County ot Butle i TELEPHONE NQ: 916.920-2295 FAX NO. (Opdanap: E-MAL ADDRESS (Cation)! L 6/6/2019 L ATTORNEY FOR (Name; MIDLAND FUNDING LLC SUPERIOR COURT OF CALIFORNIA, COUNTY OF BUTTE E E D D ‘STREET ADDRESS: MALLING ADDRESS: TY AND 2P CODE: 4775 Concord Ave ‘1775 Concord Ave By eby omic Electronically FILED Depuly Chico 95928 RANCH ANE. North Butte County Courthouse PLAINTIFF/PETITIONER: MIDLAND FUNDING LLC CASE NUMBER: DEFEND ANT/RESPONDENT: Ackley, Jason 4SCVO1S86 Ra. Na. oF Fie Na: DECLARATION OF NON SERVICE 18-10511 | declare that | am and was on the dates herein mentioned, over the age of 8 years, not a party to nor interested in the above entitled action, and competent to be a witness therein. | received the following documents for service: Summons; Complaint; Civil Case Cover Sheet; Alternative Dispute Resolution (ADR) Packet | attempted to serve Jason Ackley at the address of 44629 Carnegie Rd, Magaiia, CA 95954 and was unabie io effect service for the following reasons: 6/5/2049 10:38 AM: Vacant property: real estate lockbox, empty inside, over grownhouse for sale Fee for service: $ 84.50 lam a registered Califomia process server, my name, address, phone number, and county of registration and number are: Natasha Duran For: ABC Legal Services, Inc, 3146 W 2nd St. ard Floor, Los Angeles, CA $0012 Registration #. 6779 213-621-9999 County: Los Angeles Butte County, #201 | declare under penalty of perjury Under the laws of the State of Califomia the foregoing is true and correct. Date: June 05, 2019 Natasha Duran (PRINTED NAME OF DECLARANT) Nedadhe (SIGNATURE OF DECLARANT) 2 Page 1 off Tracking # 0038101347 LEEcr sass IOAN DECLARATION OF NON SERVICE File No. 18-10511-0 Robert Scott Kennard State Bar No. 117017 Amit Taneja State Bar No. 304559 NELSON & KENNARD 5011 Dudley Blvd, Bldg 250, Bay G McClellan, CA 95652 BO. Box 13807 Sacramento, cA 95853 Telephone: (916) 920-2295 Facsimile: (916) 920~0682 Attorneys for Plaintiff MIDLAND FUNDING LLC SUPERIOR COURT OF CALIFORNIA, COUNTY OF BUTTE 10 CHICO COURTHOUSE - LIMITED CIVIL CASE ad. MIDLAND FUNDING LLC, CASE NO. 19CV01586 12 Plaintiff, ig) ORDER GRANTING PLAINTIFF’S MOTION vs. TO TRANSFER VENUE TO PLUMAS 14 COUNTY JASON ACKLEY, et al 15) December 9, 2020 Date: 16 Defendant Time: 9:00a.m. Dept: Civil A? Complaint filed: May 24, 2019 18 Trial Date: None 19 20 The Motion of Plaintiff Midland Funding Lic for an order to Bi venue of the above-captioned action from this court to the transfer 22 civil division of the Superior Court in the County of Plumas, came 23 for hearing by the court on December 9, 2020, at on regularly 24 9:00a.m. of the above-entitled Court before the Honorable 25) Judge presiding. SS , 26 Based upon the proof offered by Plaintiff to the satisfaction 27 this motion ought to be granted of the court, 28 ORDER - 1