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  • SANDRA TIDWELL VS JACKSON TIDWELL, ETAL(06) Unlimited Breach of Contract/Warranty document preview
  • SANDRA TIDWELL VS JACKSON TIDWELL, ETAL(06) Unlimited Breach of Contract/Warranty document preview
  • SANDRA TIDWELL VS JACKSON TIDWELL, ETAL(06) Unlimited Breach of Contract/Warranty document preview
  • SANDRA TIDWELL VS JACKSON TIDWELL, ETAL(06) Unlimited Breach of Contract/Warranty document preview
  • SANDRA TIDWELL VS JACKSON TIDWELL, ETAL(06) Unlimited Breach of Contract/Warranty document preview
  • SANDRA TIDWELL VS JACKSON TIDWELL, ETAL(06) Unlimited Breach of Contract/Warranty document preview
						
                                

Preview

FrancoisX. Sorba, Esq. [SBN 88092] 1611 Borel Place, Suite 7 San Mateo, CA 94402 F E L E E} SAN MATE 0 COUNTY (650) 57 0—0566; Fax (650) 570-7831 W Attorney for Defendants, SEP 1 2 2017 Jackson Tidwell and Dena Tidwell \OOO\IO\U‘IH>-DJI\J)—\ By Clerk “wen”1M _ Court éLEnK D’EPVJTY SUPERIOR COURT OF CALIFORNIA COUNTY OF SAN MATEO UNLIMITED JURISDICTION SANDRA TIDWELL, CONSOLIDATED CASE NO. CIV- 536345 A 9 P Magi you ANA/(fl Plaintiff, STIPULATION/POR CON TINUANCE OF TRIAL AND [PROPOSED] vs. ORDER JACKSON TIDWELL, et a1. NNNb—‘HHHHHHHr—‘H NHooooflomptr—xo Defendants. AND RELATED CROSS COMPLAINT 32336345 , 353322 L ll||llll||_|||llllllllllllllllllllll Plaintiff and Cross Defendant, Sandra Tidwell and Defendant Jackson Tidwell and Cross Complainants, Jackson and Dena Tidwell, being all the parties to this action hereby stipulate to the following: 1. The trial in this matter was scheduled for July 17, 2017. 2. On the day of trial, all parties appeared and were ready for trial. No courtroom was available to the parties and a new date was selected by the parties. The trial is now 1 Stipulation Tidwell v. Tidwell scheduled for September 18, 2017. 3. Defendant and Cross Complainants’ counsel just learned that his expert is not available to meet with counsel to prepare for trial and attend trial for family reasons. 4. A continuance ©00\10\01H>00N)—\ of the trial would be in the interest of justice. 5. The parties stipulate that the trial scheduled for September 18, 2017, be continued to October 16, 2017 or October 23, 2017, with preference to October 16, 2017. 6. Service of the Order may be served on Plaintiff’s attorney via e-mail or personal delivery no later than September 12, 2017. 7. The trial was previously continued by the Court to allow the parties to further explore settlement. Dated: September 12, 2017 NNNNNNNHHHr—lr—Ar—JHHHr—l Respectfully FKANC‘O‘ Jack '1 A '1. :5; Submitted, x. SORBA, Attorney for well and Dena Tidwell L Dated: September 12, 2017 / Robat Howie, Attorney Sandra Tidwell 7/: OOSChU‘IHkOONr-AOKOOOVOxmbP-OJ'NHO Proposed Order Upon consideration of the Stipulation filed by the Parties and good cause appearing, IT IS ORDERED THAT: 1. The trial is continued to l2 Q}; Ma , 2017. 2. A copy of this Order shall be served by personal delivery of e-mail to Plaintiff’s N Stipulation Tidwell v. Tidwell attorney no later than September 12, 2017. Dated: September 12, 2017 Judge of the Superior Court \OOO\]O\U‘IH>DJI\JI~—\ SUSAN IRENE ETEZADI NNNNNNNNr—AHHr—‘b—‘HHHHp—A VOWFPQJNr—JOKOOOVCEO‘IFPOJNP—‘O N 00 Stipulation Tidwell v. Tidwell