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  • JAMES WELCH AS PERSONAL REPRESENTATIVE FOR THE ESTATE OF CARMEN J. HADLEY VS HAROLD CRAWFORD CO., INC.06-CV Breach of Contract/Warranty-Civil Unlimited document preview
  • JAMES WELCH AS PERSONAL REPRESENTATIVE FOR THE ESTATE OF CARMEN J. HADLEY VS HAROLD CRAWFORD CO., INC.06-CV Breach of Contract/Warranty-Civil Unlimited document preview
  • JAMES WELCH AS PERSONAL REPRESENTATIVE FOR THE ESTATE OF CARMEN J. HADLEY VS HAROLD CRAWFORD CO., INC.06-CV Breach of Contract/Warranty-Civil Unlimited document preview
  • JAMES WELCH AS PERSONAL REPRESENTATIVE FOR THE ESTATE OF CARMEN J. HADLEY VS HAROLD CRAWFORD CO., INC.06-CV Breach of Contract/Warranty-Civil Unlimited document preview
  • JAMES WELCH AS PERSONAL REPRESENTATIVE FOR THE ESTATE OF CARMEN J. HADLEY VS HAROLD CRAWFORD CO., INC.06-CV Breach of Contract/Warranty-Civil Unlimited document preview
  • JAMES WELCH AS PERSONAL REPRESENTATIVE FOR THE ESTATE OF CARMEN J. HADLEY VS HAROLD CRAWFORD CO., INC.06-CV Breach of Contract/Warranty-Civil Unlimited document preview
						
                                

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1 William A. Daniels, Esq. (SBN 172042) William A. Daniels, Jr., Esq. (SBN 315867) 2 DANIELS LAW 3 15021 Ventura Boulevard, #883 Sherman Oaks, CA 91403 4 Tel: 818/907-8073 Fax: 818/332-1284 5 Bill@DanielsLaw.com 6 Will@DanielsLaw.com 7 Attorneys for Plaintiff, JAMES WELCH 8 9 SUPERIOR COURT OF THE STATE OF CALIFORNIA 10 FOR THE COUNTY OF KERN 11 12 JAMES WELCH as personal ) Case No: BCV-20-100434TSC representative for the ESTATE OF ) 13 ) NOTICE OF ERRATA TO PLAINTIFF’S CARMEN J. HADLEY, ) THIRD AMENDED COMPLAINT 14 ) Plaintiff, ) 15 vs. ) Assigned To: Hon. Thomas S. Clark ) Dept: “17” 16 ) THE HAROLD CRAWFORD COMPANY, ) 17 INC.; DOES 1 through 25, inclusive, Complaint Filed on: February 13, 2020 ) ) 18 Defendants. ) ) 19 ) ) 20 ) 21 TO THE HONORABLE COURT AND TO ALL PARTIES AND THEIR COUNSEL OF 22 RECORD: 23 PLEASE TAKE NOTICE that as a result of a processing error the exhibits that 24 were attached to Plaintiff’s Proposed Third Amended Complaint, as lodged with the 25 Court in support of Plaintiff’s Motion To Amend, were not attached to Plaintiff’s Third 26 Amended Complaint as filed December 10, 2021. The exhibits are now filed under a separate document captioned “Exhibits To 27 Plaintiff’s Third Amended Complaint.” 28 /// 1 NOTICE OF ERRATA TO PLAINTIFF’S THIRD AMENDED COMPLAINT 1 DATED: January 7, 2021 DANIELS LAW 2 3 By: _________________________ 4 William A. Daniels, Jr. Attorney for Plaintiffs 5 JAMES WELCH 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 2 NOTICE OF ERRATA TO PLAINTIFF’S THIRD AMENDED COMPLAINT