On December 29, 2003 a
Judgment
was filed
involving a dispute between
Travelers Casualty And Surety Company Of America, A Connecticut Corporation,
and
Alfred Antonini,
Alva Antonini,
Texas Valla Real Estate I, Inc., A Texas Corporation,
Wellington La Peak, Inc., Texas Corporation,
for Limited Civil
in the District Court of Alameda County.
Preview
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Dean P. Sperling
FILED COUNTY
State Bar No. 82936 ALAMEDA
LAW OFFICE OF DEAN P. SPERLING NOV 2 9.2004
201 East Sandpointe, Suite 220
Santa Ana, California 92707-5742 CLERK OF THE SUPERIOR COURT
(714) 438-8090 By
Depuiy
Attorneys for Plaintiff, TRAVELERS CASUALTY AND SURETY COMPANY OF
AMERICA, a Connecticut corporation
SUPERIOR COURT OF THE STATE OF CALIFORNIA
FOR THE COUNTY OF ALAMEDA
10 TRAVELERS CASUALTY AND SURETY ) CASE NO. HG03133859
COMPANY OF AMERICA, a Connecticut
11 corporation, DECLARATION OF DEAN P.
SPERLING REGARDING
12 Plaintiff, PREJUDGMENT INTEREST
CALCULATION;
13 VS.
14 ALFRED ANTONINI, individual; ALVA
ANTONINI, individual; TEXAS VALLA
15 REAL ESTATE I, INC., a Texas corporation;
WELLINGTON/LA PEAK, INC., Texas '
16 corporation; and DOES | through 50,
inclusive.
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Defendants.
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19 DECLARATION OF DEAN P. SPERLING
20 I, DEAN P. SPERLING, declare as follows:
21 1. I am an attorney at law, duly licensed to practice in the State of
22 California, and I am the sole proprietor of the Law Office of Dean P. Sperling attorney
~ 23 of record for Plaintiff TRAVELERS CASUALTY AND SURETY COMPANY OF
24 AMERICA, a Connecticut corporation, (hereinafter "Plaintiff"). I make this declaration
25 regarding the interest calculation in connection with this matter.
26 | 2. I am the attorney primarily responsible regarding this matter and, as such,
27 I have personal knowledge of the facts contained in this declaration. If called and
28 sworn as a witness, I could and would testify competently to said facts.
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Declaration of Dean P. Sperling in Opposition to OSC
INTEREST CALCULATION
3. For purposes of the prejudgment interest, an interest rate of 10% per diam
was used.
4, Plaintiff has been damaged in the principal sum of $12,468.00 together
with interest thereon from and after July 20, 2001 through August 13, 2004. The daily
interest is $3.42. The interest is owed for 1,120 days totaling $3,830.40. Damages of
$12,468.00 x 10% = $1,246.80 / 365 = $3.42 x 1,120 (days) = $3,830.40 in interest.
10 I declare under penalty of perjury under the laws of the State of California that
11 the foregoing is true and correct, and this declaration was executed on this
12 November 23, 2004 in Santa Ana, California.
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BEAN P. SPERLING /
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Declaration of Dean P. Sperling in Opposition to OSC
Document Filed Date
November 29, 2004
Case Filing Date
December 29, 2003
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