Preview
E-FILED
WANGER JONES HELSLEY PC 12/28/2020 11:41 AM
265 E. River Park Circle, Suite 310 Superior Court of California
Fresno, California 93720 County of Fresno
Telephone: (559) 233-4800
By: A. Ramos, Deputy
Facsimile: (559) 233-9330
Steven M. Crass #209873
scrass@wihattorneyssom
Attorneys for: Defendant, FRESNO COMMUNITY HOSPITAL AND MEDICAL
CENTER, dba COMMUNITY REGIONAL MEDICAL CENTER (erroneously sued and
served herein as “COMMUNITY MEDICAL CENTERS, also known as COMMUNITY
REGIONAL MEDICAL CENTER”)
SUPERIOR COURT OF THE STATE 0F CALIFORNIA
FOR THE COUNTY 0F FRESNO—UNLIMITED CIVIL
AMRIT PAL KAUR, an individual, Case No.: 20CECG02100
Plaintiff, NOTICE 0F HEARING ON PETITION
T0 COMPEL ARBITRATION AND
v. FOR STAY PENDING ARBITRATION
COMMUNITY MEDICAL CENTERS, DATE: May 19, 2021
also known as COMMUNITY REGIONAL TIME: 3:30 P.M.
MEDICAL CENTER; and DOES 1-100, DEPT.: 501
inclusive,
Assigned for A11 Purposes to
Defendants. The Honorable Kimberly Gaab
Complaint Filed: July 20, 2020
Trial Date: Not Yet Assigned
T0 PLAINTIFF AMRIT PAL KAU, AN INDIVIDUAL, AND T0 HER
COUNSEL OF RECORD:
NOTICE IS HEREBY GIVEN that 0n May 19, 2021, at 3:30 P.M., or as soon
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thereafter as the matter can be heard in Department 501 of this Court, at
Street, Fresno, California, the petition 0f Defendant, FRESNO COMMUNITY HOSPITAL
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{7847/005101135932.D0C}
NOTICE OF HEARING 0N PETITION TO COMPEL ARBITRATION AND FOR STAY PENDING
ARBITRATION
AND MEDICAL CENTER, dba COMMUNITY REGIONAL MEDICAL CENTER
(erroneously sued and served herein as “COMMUNITY MEDICAL CENTERS, also known as
COMMUNITY REGIONAL MEDICAL CENTER”) (“Defendant”) for an order t0 arbitrate
certain controversies specified in the petition, a copy of which is served herewith, will be heard
by the court.
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This petition is based on Defendant’s Petition to Compel Arbitration and for Stay
Pending Arbitration, the Memorandum of Points and Authorities, Declaration of Carla Milton,
Declaration of Steven M. Crass, and Request for Judicial Notice filed and served in support
thereof, the documents on file herein, and such other evidence as may be presented at the
hearing on this matter.
Dated: December 2.6“, 2020 WANGER JONES HELSLEY PC
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By: ‘XQASL
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StéVéfi M. Crass
Attorneys for Defendant, FRESNO
COMMUNITY HOSPITAL AND MEDICAL
CENTER, dba COMMUNITY REGIONAL
MEDICAL CENTER
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{7847/005/OI 185932.DOC}
PENDING
NOTICE OF HEARING ON PETITION TO COMPEL ARBITRATION AND FOR STAY
ARBITRATION
PROOF OF SERVICE
My business address is 265 East River Park Circle, Suite 310, Fresno, California
93 720. I am employed in Fresno County, California. Iam over the age of 18 years and am not
AWN
a party t0 this case.
On the date indicated below, I served the foregoing document(s) described as
NOTICE 0F HEARING 0N PETITION TO COMPEL ARBITRATION AND FOR
STAY PENDING ARBITRATION 0n all interested parties in this action by placing a true
copy thereof enclosed in sealed envelopes addressed as follows:
Larry H.
Ooofiom
Shapazian, Esq. Attorneys for Plaintiff AMRIT PAL
TOMASSIAN, PIMENTEL & KAUR
SHAPAZIAN
3419 W. Shaw Ave.
Fresno, CA 93711
10 P: 559-277-7300
F: 559—277-7350
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BY MAIL: I am readily familiar with the business‘ practice for collection and
13 processing 0f correspondence for mailing, and that correspondence, with postage thereon fully
prepaid, will be deposited With the United States Postal Service 0n the date noted below in the
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ordinary course 0f business, at Fresno, California.
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I declare under penalty 0f perjury under the laws of the State 0f California that the
16 foregoing is true and correct. Executed this 28m day of December, 2020, at Fresno, California.
17 / s / Veronica Kearney
Veronica Kearney
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.DOC}
{7847/005/01 178591 1
PROOF OF SERVICE