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  • Diana Blum, MD vs Sutter Health et al Wrongful Termination Unlimited(36)  document preview
  • Diana Blum, MD vs Sutter Health et al Wrongful Termination Unlimited(36)  document preview
  • Diana Blum, MD vs Sutter Health et al Wrongful Termination Unlimited(36)  document preview
  • Diana Blum, MD vs Sutter Health et al Wrongful Termination Unlimited(36)  document preview
  • Diana Blum, MD vs Sutter Health et al Wrongful Termination Unlimited(36)  document preview
  • Diana Blum, MD vs Sutter Health et al Wrongful Termination Unlimited(36)  document preview
						
                                

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Theresa J. Barta, SBN 150995 BARTA LAW 4041 Macarthur Blvd., Ste. 280 Newport Beach, CA 92660-2537 Telephone: (949) 833-3383 Facsimile: (949) 209-2530 Email: theresa@barta-law.com Charles M. Louderback, SBN 88788 Stacey L. Pratt, SBN 124892 LOUDERBACK LAW GROUP 44 Montgomery Street, Suite 2970 San Francisco, CA 94104 Telephone: (415) 615-0200 Facsimile: (415) 795-4775 E-Mail: clouderback@louderbackgroup.com spratt@louderbackgroup.com Attorneys for Plaintiff DIANA P. BLUM, M.D. IN AND FOR THE STATE OF CALIFORNIA COUNTY OF SANTA CLARA - UNLIMITED JURISDICTION DIANA P. BLUM, M.D., Plaintiff, v. SUTTER HEALTH, a California corporation; PALO ALTO FOUNDATION MEDICAL GROUP, INC., a California corporation; PALO ALTO MEDICAL FOUNDATION, a California corporation; and DOES 1 through 20, Defendants. I, Jung Shin, am employed in the City and County of San Francisco, State of California. 1 am over the age of eighteen years and not a party to the within-entitled action. My business Civil Case No. 2015-1-CV-277582 PROOF OF SERVICE Date: June 29, 2018 Time: 9:00 a.m. Dept: 16 Judge: Hon. Drew C. Takaichi Complaint filed: March 4, 2015 Trial Date: January 8, 2018 PROOF OF SERVICE; Civil Case No. 2015-1-CV-277582address is 44 Montgomery St., Suite 2970, San Francisco, CA 94104, and email address is jshin@louderbackgroup.com. On May 30, 2018, I served the foregoing document(s) described as: ° PLAINTIFF DIANA BLUM, M.D.’S NOTICE OF MOTION AND MOTION TO FILE UNDER SEAL DR. LIPIAN’S PSYCHIATRIC EVALUATION REPORT THAT WAS FILED AS EXHIBITS TO THE DECLARATIONS OF THERESA BARTA; e MEMORANDUM OF POINTS AND AUTHORITIES IN SUPPORT OF PLAINTIFF DIANA BLUM, M.D.’S MOTION TO FILE UNDER SEAL DR. LIPIAN’S PSYCHIATRIC EVALUATION REPORT THAT WAS FILED AS EXHIBITS TO THE DECLARATIONS OF THERESA BARTA; e DECLARATION OF THERESA J. BARTA IN SUPPORT OF PLAINTIFF’S DIANA BLUM, M.D.’S MOTION TO FILE UNDER SEAL DR. LIPIAN’S PSYCHIATRIC EVALUATION REPORT THAT WAS FILED AS EXHIBITS TO THE DECLARATIONS OF THERESA BARTA; e [PROPOSED] ORDER GRANTING PLAINTIFF DIANA BLUM, M.D.’S MOTION TO FILE UNDER SEAL DR. LIPIAN’S PSYCHIATRIC EVALUATION REPORT THAT WAS FILED AS EXHIBITS TO THE DECLARATIONS OF THERESA BARTA. on the following persons in this action by placing a true copy thereof enclosed in sealed envelope(s) with postage thereon fully prepaid and addressed as stated below: Attorneys for Defendants SUTTER HEALTH and PALO ALTO MEDICAL FOUNDATION Lindbergh Porter, Jr. lporter@littler.com LITTLER MENDELSON PC 333 Bush St F134 San Francisco, CA 94104 Maiko Nakarai-Kanivas mnakaraikanivas@littler.com LITTLER MENDELSON PC 1255 Treat Blvd Ste 600 Walnut Creek, CA 94597 Attorney for Defendant PALO ALTO FOUNDATION MEDICAL GROUP, INC. Marcie Isom Fitzsimmons misom@grsm.com GORDON REES LLP 275 Battery St Ste 2000 San Francisco CA 94111 PROOF OF SERVICE Case No. 2015-1-CV-277582x] BY U.S. MAIL: | am readily familiar with my firm’s practice of collection and processing correspondence for mailing with the Unites States Postal Service. Under that practice, correspondence will be deposited with the U.S. Postal Service on this same day with postage thereon fully prepaid at San Francisco, California, in the ordinary course of business. x BY E-MAIL: Additionally, I caused said documents to be prepared in portable document format (PDF) for e-mailing and served by electronic mail on May 30, 2018 as indicated above. That the document was served electronically and the transmission was reported as complete and without error. I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. Executed on May 30, 201 San Francisco, California. oP PROOF OF SERVICE, Case No. 2015-1-CV-277582