On February 04, 2014 a
Motion-Secondary
was filed
involving a dispute between
Liu, Li Zhu,
Li Zhu Liu,
and
Alfred Bianchi,
Alfred Bianchi As Trustee Of The Bianchi Trust Dated November 13, 2006,
Lois Bianchi,
Lois Bianchi As Trustee Of The Bianchi Trust Dated November 13, 2006,
for Other PI/PD/WD Tort
in the District Court of Alameda County.
Preview
‘ACA
Aaron Yu SBN: 304882. -
WoncG & ASSOCIATES
413 Third Street
Oakland, CA 94607
Telephone: (510) 451-2124
Facsimile: (510) 451-2448.
Attorney for Plaintiff
-Li Zhu Liu
“SDD
SUPERIOR COURT OF STATE OF CALIFORNIA
FOR THE COUNTY OF ALAMEDA
oo
CIVIL UNLIMITED
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“10
11 LI ZHU LIU, ~ Case No,: RG13704000
Plaintiff
12 [PROPOSED] ORDER
13
14 ALFRED BIANCHI. AND LOIS BIANCHI, Trial Date: April 11, 2017
as trustee of the Bianchi Trust dated
15
November, 13, 2006 and DOES 1-10,
16
7 Defendants :
17
18
19
2017
The Motion in Limine of Plaintiff LI ZHU LIU for an order excluding from entering into
20
=
evidence,
APR
“21
1. Any documents or testimony regarding documents, which have not been produced |
22
"by Defendant in resporise to proper Request for Production of Document pursuant to
23.
California Code of Civil Procedure CC. C. P”) $2031. 010 et seq so
24 |
2. Any documents or testimony regarding documents which have not been identified iin
ASSOCIATES
25
SQUARE.
94607
LAW
STREET
451-2124
AT
26 answers to.form or special interhogatories pursuant toc, C. P §2030.010 etseq.; and,
CA
LONDON
ATTORNEYS
THIRD
OAKLAND,
27
(510)
&
413
JACK
WonG
28
1:
[PROPOSE D] ORDER
Liu vy: Bianchietlal,Case No. RG13704000 7~
3. Any documents or testimony regarding documents which have not been introduced. .
~ -as an exhibit to a deposition of witnesses therein, |
Ww 2 NS
Came on for hearing on |, 2017, before Honorable re - 7 —_
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in Department ,of the above entitled Court: Plaintiff appeared by counsel Aaron'Yu;
ae,
Defendants appeared Pro. Per. The matter having been argued and evidence having been
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submitted, and proof having been made to the satisfaction of the Court.
IT IS ORDERED that the Motion in Lirnine isgranted: aid that,
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|1. Any documents or testimony, regarding documents, which have not been produced : fe
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10 by Defendant in response to proper Request for Production of Document pursuant to
11
California Code of Civil Prodedure CCCP) §203 1.010 et.seq.;
12
2. Any documents or.testimony regarding documents which have not been identified in
13]
answers to form or special inlerrogatories pursuant to C.C.P. §2030.010 et seq.; and,
14
15 3. Any documents or testimony regarding documents which have not been introduced |
16 . as an exhibit to a deposition of witnesses therein | | |
17 shall be excluded from trial.
19]
IT IS SO ORDERED. . —
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21
2 Dated: |.
23 Honorable
24
ASSOCIATES
SQUARE
94607
..
AT LAW
STREET
451-2124
26
OAKLAND,CA
LONDON
ATTORNEYS
THIRD
(510)
&
27
413
JACK
WONG
*
28
.
[PROPOSED] ORDER...
Liu v.Bianchi etal.,Case No: RG13704000. ~
Document Filed Date
April 04, 2017
Case Filing Date
February 04, 2014
Category
Other PI/PD/WD Tort
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