On March 08, 2021 a
Motion,Ex Parte
was filed
involving a dispute between
Taniguchi, Charles,
Taniguchi, Marie Louise,
and
Does 1 Throough 50, Inclusive,
Restoration Homes, Llc, A Business Entity,
Young, Larry,
for (26) Unlimited Other Real Property
in the District Court of San Mateo County.
Preview
1 Matthew Mellen (Bar No. 233350)
MELLEN LAW FIRM
2 1050 Marina Village Parkway, Suite 102
Alameda, CA 94501
3 Telephone: (510) 263-9638
Facsimile: (415) 276-1902 3/17/2021
4 email@mellenlawfirm.com
5 Attorney for Plaintiffs,
CHARLES TANIGUCHI
6 MARIE LOUISE TANIGUCHI
7
SUPERIOR COURT OF THE STATE OF CALIFORNIA
8
COUNTY OF SAN MATEO
9
10 CHARLES TANIGUCHI, an individual, Case No: CIV525919
MARIE LOUISE TANIGUCHI, an [Consolidated with CIV526396]
11 individual [Consolidated with 17-CIV-00114]
12 Plaintiff, NOTICE OF MOTION AND MOTION TO
v. CONSOLIDATE ACTIONS
13
RESTORATION HOMES, LLC, a business Date: April 30, 2021
14 9 a.m.
entity; and DOES 1 through 50, inclusive, Time:
15 Dept.: 21
Defendants. Judge: Robert D Foiles
16
17 Trial Date: Not Set
18
Case No: 21-CIV-01178
19 CHARLES TANIGUCHI, an
individual, MARIE LOUISE TANIGUCHI,
20 an individual
21
Plaintiff,
22
v.
23
RESTORATION HOMES, LLC, a business
24 entity; LARRY YOUNG, an individual; and
DOES 1 through 50, inclusive
25
Defendants. Date Filed: March 8, 2021
26
27
28
1
NOTICE OF MOTION AND MOTION TO CONSOLIDATE ACTIONS
1
PLEASE TAKE NOTICE that that on April 30, 2021 at 9 a.m., or as soon as the matter
2
may be heard, in the Law and Motion Department of the above-entitled court, located at 400
3
County Center, Redwood City, CA 94063, Plaintiffs CHARLES TANIGUCHI and MARIE
4
LOUISE TANIGUCHI will, and hereby do, move the court for an order consolidating San
5
Mateo County Consolidated Case CIV525919 with San Mateo County Case 21-CIV-01178.
6
This motion is brought pursuant to Code of Civil Procedure Section 1048(a) and
7
California Rules of Court 3.350. This motion will be based on the Motion itself, the
8
Memorandum of Points and Authorities in Support of the Motion, the Declaration of Matthew
9
Mellen, the case files, and any evidence presented at hearing. In accordance with Rule
10
3.350(a)(1)(A), the parties to the underlying cases are as follows:
11
12
Consolidated Case Case No. 21-CIV-01178
13
No. CIV525919
14
Plaintiffs Charles Taniguchi and Charles Taniguchi and
15 Marie Louise Taniguchi Marie Louise Taniguchi
16 Plaintiffs’ Counsel Matthew Mellen, Esq. Matthew Mellen
17 Mellen Law Firm MELLEN LAW FIRM
Defendants Restoration Homes, LLC Restoration Homes, LLC
18 Restoration Homes Larry Young
19
Defendant’s Counsel Glenn Weschler, Esq. TBD
20 Law Offices of Glenn H Weschler
21 John Fairbrook, Esq.
Law Firm of Trainor Fairbrook
22
DATED: March 16, 2021 Respectfully Submitted,
23
MELLEN LAW FIRM
24
25
___________________
26 Matthew Mellen, Esq.
Attorney for Plaintiffs
27
CHARLES TANIGUCHI
28 MARIE LOUISE TANIGUCHI
2
NOTICE OF MOTION AND MOTION TO CONSOLIDATE ACTIONS
Document Filed Date
March 17, 2021
Case Filing Date
March 08, 2021
Category
(26) Unlimited Other Real Property
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