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  • Robbins, Cheryl vs Fire Insurance Exchange(07) Unlimited Business Tort/Unfair Business Practice document preview
  • Robbins, Cheryl vs Fire Insurance Exchange(07) Unlimited Business Tort/Unfair Business Practice document preview
  • Robbins, Cheryl vs Fire Insurance Exchange(07) Unlimited Business Tort/Unfair Business Practice document preview
  • Robbins, Cheryl vs Fire Insurance Exchange(07) Unlimited Business Tort/Unfair Business Practice document preview
						
                                

Preview

1 J. Edward Kerley (175695) Dylan L. Schaffer (153612) 2 Nicholas J. Peterson (287902) Kerley Schaffer LLP 3 1939 Harrison Street, #500 12/17/2020 Oakland, California 94612 4 Telephone: (510) 379-5801 Facsimile: (510) 228-0350 5 Attorneys for Plaintiff 6 Cheryl Robbins 7 8 SUPERIOR COURT FOR THE STATE OF CALIFORNIA 9 FOR THE COUNTY OF BUTTE, UNLIMITED JURISDICTION 10 11 Cheryl Robbins, an individual, Case No. 20CV01703 12 Plaintiff NOTICE OF MOTION AND MOTION 13 TO COMPEL INSURANCE APPRAISAL v. PURSUANT TO INSURANCE CODE 14 §2071 15 Fire Insurance Exchange, a corporation, Date: Wednesday, February 17, 2021 Farmers Insurance Exchange, an Time: 9:00 a.m. 16 Dept.: 1 insurance exchange, 17 and Does 1 through 10, 18 Defendants. 19 20 21 22 23 24 25 26 27 28 1 Notice of Motion and Motion to Compel Insurance Appraisal Pursuant to Ins. Code §2071 1 TO FIRE INSURANCE EXCHANGE, FARMERS INSURANCE 2 EXCHANGE, AND THEIR ATTORNEY OF RECORD: 3 PLEASE TAKE NOTICE THAT on February 17, 2021 at 9:00 a.m. in 4 Department 1 at the Butte County Superior Court at 1775 Concord Avenue, Chico CA 5 95928, Plaintiff Cheryl Robbins will request that the Court compel Fire Insurance 6 Exchange and Farmers Insurance Exchange (collectively, “FIE”) to appraise the value of 7 Robbins’ insurance claim in accordance with its agreement to do so. 8 This motion is made pursuant to California Code of Civil Procedure §1281.2, 9 California Insurance Code §2071, and the mandatory arbitration provision of the 10 insurance contract. This motion is based on this Notice of Motion and Motion, the 11 accompanying Memorandum of Points and Authorities, the Declaration of Cheryl 12 Robbins and accompanying exhibits, and upon any other evidence presented at the 13 hearing on this petition. 14 15 Date: December 13, 2020 Kerley Schaffer LLP 16 17 Nicholas J. Peterson Attorneys for Plaintiff 18 19 20 21 22 23 24 25 26 27 28 2 Notice of Motion and Motion to Compel Insurance Appraisal Pursuant to Ins. Code §2071