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  • Motion to Vacate Order Compelling Arbitration Complex Civil Unlimited  document preview
  • Motion to Vacate Order Compelling Arbitration Complex Civil Unlimited  document preview
						
                                

Preview

N—r \r QPHmNFERIOR COURT OF CALIFORNIA, COUNTY OF SAN BERNARDINO p 29 O Terina Renee Locke, Case No.: C‘V SB 2 1 2 1 vs. CERTIFICATE OF ASSIGNMENT Riverside Sanitarium, LLC A civilaction or proceeding presented for filing must be accompanied by this Certificate. Ifthe ground is the residence of a party, name and residence shall be stated. The undersigned declares that the above-entitled matter is filed for proceedings in the San Bernardino District of the Superior Court under Rule131 and General Order of this courtfor the checked reason: E General D Collection Nature of Action Ground D 1. Adoption Petitioner resides within the district . D 2. Conservator Petitioner or conservatee resides within the district. D 3. Contract Performance in the districtisexpressly provided for. D 4. Equity The cause of action arose within the district. D 5. Eminent Domain The property is located within the district. D 6. Family Law Plaintiff,defendant, petitioner or respondent resides within the district. D 7. Guardianship Petitioner or ward resides within the district or has property within the district. D 8. Harassment defendant, Plaintiff, petitioner or respondent resides within the district. D 9. Mandate The defendant functions wholly within the district. D 10. Name Change The petitioner resides within the district. D 11. Personal Injury The injury occurred within the district. D 12. Personal Property The property is located within the district. 13. Probate Decedent resided or resides within or had property within the district. B 14. Prohibition The defendant functions wholly within the district. D 15. Review The defendant functions wholly within the district. D 16. Title to Real Property The property islocated within the district. D 17. Transferred Action The lower court islocated within the district. D 18. Unlawful Detainer The property islocated within the district. D 19. Domestic Violence The petitioner, defendant, plaintiff orrespondent resides within the district. 20_ Other Employment Causeof action arose within the district D 21. THIS FILING WOULD NORMALLY FALL WITHIN JURISDICTION OF SUPERIOR COURT The address of the accident, performance, party, detention, place of business, or other factor which qualifies this case above-designed for filing in the district is: Cause of Action arose within the district 11939 Hemlock St NAME — INDICATE TITLE OR OTHERQUALIFYING FACTOR ADDRESS Rancho Cucamonga CA 91739 CITY STATE ZIPCODE M I declare, under penalty of perjury, that the foregoing is true and correct and that this declaration was executed on October 14, 2021 at Irvine California. fl Signature of Attorney/Pan‘y Form # 13-1 6503-360 CERTIFICATE OF ASSIGNMENT Rev. June 201 9 Mandatory Use