On March 28, 2022 a
Proof of Service
was filed
involving a dispute between
Trinity Management Services, Inc.,A California,
and
Does 1 - 10,
Navarro,,
Navarro, Manuel,
for UNLAWFUL DETAINER - RESIDENTIAL
in the District Court of San Francisco County.
Preview
11
12
13
14
15
16
17
18
9
20
21
22
23
24
25
26
27
28
Ashley E. Klein, Esq. SBN 291586
Jaimie Bombard, Esq. SBN 271776
Lauren E. Jones, Esq. SBN 291460
KAUFMAN DOLOWICH & VOLUCK, LLP
425 California Street, Suite 2100 :
San Francisco, California 94104 A
Telephone: (415) 926-7600 San Francisco County Superior Court
Facsimile: (415) 926-7601
Email: aklein@kdvlaw.com MAR 28 2022
Email: ljones@kdvlaw.com
Web: www.kdvlaw.com cl F yy yg"
Attorneys for Plaintiff By:
TRINITY MANAGEMENT SERVICES, INC., Deputy Clerk
A California corporation
SUPERIOR COURT OF THE STATE OF CALIFORNIA
CITY AND COUNTY OF SAN FRANCISCO — UNLIMITED CIVIL JURISDICTION
TRINITY MANAGEMENT SERVICES, INC., CaseNo. “ae
A California corporation “-e-2 2 -66 8 9 c a
DECLARATION OF JACKY LOPEZ
&
AG RO
Plaintiff,
vs.
MANUEL NAVARRO, and Does 1-10,
Defendants.
DECLARATION OF JACKY LOPEZ
I, JACKY LOPEZ, declare as follows:
1. Iam the agent of TRINITY MANGEMENT SERVICES, INC., Plaintiff in the above-
described action. I am the corporate legal manager for the real property in San Francisco,
California commonly known as 2000 Broadway Street, Unit 408, San Francisco, CA 94115
(the “Premises”). I have personal knowledge of the facts stated herein, except where stated
upon information and belief. If called upon as a witness, I could and would competently testify
as to the following.
2. Ihereby verify that the following statement is true:
1.
DECLARATION OF JACKY LOPEZ|10
ai
12
13
14
15
16
17
18
19
20
al
22
23
24
25
26
27
28
a. I provided the Defendant with a Declaration of COVID-19-related Financial Distress
with the Notice, and more than fifteen (15) business days have passed since the date I
served the Defendant with the 15-day notice underlying the Complaint, and the
Defendant has not submitted the Declaration to me.
b. Lhave not received notice or obtained verification from the pertinent government rental
assistance program indicating that the Defendant has submitted a completed application
for rental assistance to cover the rental debt demanded from the defendants in the case.
c. Ihave received no communication from the Defendant that the Defendant has applied
for government rental assistance to cover the unpaid rental debt demanded from the
Defendant in the case.
I declare under penalty of perjury under the laws of the State of California that the foregoing is
true and correct. Executed this 3 day of March, 2022 at San Francisco, California.
TRINITY MANAGEMENT SERVICES, INC.,
A California corporation
By: JACKY LOPEZ
DECLARATION OF JACKY LOPEZ|
Document Filed Date
March 28, 2022
Case Filing Date
March 28, 2022
Category
UNLAWFUL DETAINER - RESIDENTIAL
For full print and download access, please subscribe at https://www.trellis.law/.