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  • NINE ISLANDS I LLC vs SUPERCUTS INCBreach of Contract/Warranty: Unlimited  document preview
  • NINE ISLANDS I LLC vs SUPERCUTS INCBreach of Contract/Warranty: Unlimited  document preview
  • NINE ISLANDS I LLC vs SUPERCUTS INCBreach of Contract/Warranty: Unlimited  document preview
  • NINE ISLANDS I LLC vs SUPERCUTS INCBreach of Contract/Warranty: Unlimited  document preview
  • NINE ISLANDS I LLC vs SUPERCUTS INCBreach of Contract/Warranty: Unlimited  document preview
  • NINE ISLANDS I LLC vs SUPERCUTS INCBreach of Contract/Warranty: Unlimited  document preview
  • NINE ISLANDS I LLC vs SUPERCUTS INCBreach of Contract/Warranty: Unlimited  document preview
  • NINE ISLANDS I LLC vs SUPERCUTS INCBreach of Contract/Warranty: Unlimited  document preview
						
                                

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JOSEPH M. SWEENEY, ESQ. (78363) M. JONATHAN ROBB, JR., ESQ. (290457) SWEENEY MASON LLP Electronically Filed 983 University Avenue, Suite 104C 3/12/2021 5:03 PM Los Gatos, CA 95032-7637 Superior Court of California Telephone: (408) 356-3000 County of Stanislaus Facsimile: (408) 354-8839 Clerk of the Court Jsweeney@smwb.com By: Christine Zulim, Deputy jrobb@smwb.com Attorneys for Plaintiff, NINE ISLANDS I, LLC SUPERIOR COURT OF CALIFORNIA, COUNTY OF STANISLAUS 10 NINE ISLANDS 1, LLC., a California limited CASE NO. CV-20-004050 liability company, ll DECLARATION OF ARNALDO MARTINS 12 Plaintiff, IN SUPPORT OF PLAINTIFF’S APPLICATIONS FOR RIGHT TO 13 Vv. ATTACH ORDER AND WRIT OF ATTACHMENT 14 SUPERCUTS, INC., a State of Delaware Corporation, SUPERCUTS CORPORATE 15 SHOPS, INC., a State of Delaware 16 Corporation, MOXIE MANAGEMENT, Hearing: April 27, 2021 REGIS CORPORATION, a Minnesota Time: 8:30 a.m. 17 corporation, and DOES 1-50, Dept. 24 18 Defendants. 19 20 I, ARNALDO MARTINS, hereby declare as follows: 21 1 The statements below are of my own personal knowledge and if called upon to 22 testify thereto, I could and would competently do so. I make this declaration in support of 23 Plaintiff's Applications for Right to Attach Order and Writ of Attachment. 24 2. 1 am an employee of Vieira Company. Vieira Company is the property manager of 25 Countryside Plaza. There is a Supercuts salon at Countryside Plaza, located at 1854 Countryside 26 Drive, Turlock, California, 95380 (“Premises”). 27 3 As part of my job responsibilities with Vieira Company, | perform routine 28 maintenance at Countryside Plaza. In connection with my job responsibilities, | personally visit DECL. OF ARNALDO MARTINS. ISO PLTF’S APPLICATIONS FOR RIGHT TO ATTACH ORDER & WRIT OF ATTACHMENT. Countryside Plaza on a nearly daily basis. 4 Between January 25, 2021 and the date of this declaration, ] observed persons within the Premises having their hair cut by persons who appear to be Supercuts employees. The Premises appeared to me to be open for business from then until on or about March 1, 2021 5 Attached hereto as Exhibit “K” is a true and correct copy of a photograph of the front door of the Store that I took on or about February 3, 2021. I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. Executed this _10 thlay of March, 2021, in Turlock , California. Asmididy tik 10 ARNALDO MARTINS 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 DECL. OF ARNALDO MARTINS. ISO PLTE’S APPLICATIONS FOR RIGHT TO ATTACH ORDER & WRIT OF ATTACHMENT Exhibit “K” iN Ny ty GSOTAI N N ty— a OL rs ee oe