On June 11, 2020 a
Motion,Ex Parte
was filed
involving a dispute between
Duke Realty Limited Partnership,
Insurance Company Of The West,
Madrigal, Adriana Quintero,
Marquez, Rafael Carvajal,
and
Does 2-100,
Duke Realty Corporation,
Duke Realty Limited Partnership,
Genie Industries, Inc.,
Gregg Electric, Inc.,
I.E. General Engineering Inc.,
King Equipment, Llc,
Terex Corporation,
General Engineering, Inc,
Gregg Electric, Inc., I.E.,
King Equipment, Inc.,
Roes 2 To 100,
for Personal Injury Non-Motor Vehicle Unlimited
in the District Court of San Bernardino County.
Preview
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StéPOSRIORFgéusELEEFPmFORNM
SAN BERNARDUNO Oglcq'o
Kimberly S. Oberrecht [C. S. B. No. 190794] JUL O7 2021
Dawn C. Nelms [C S B. No. 222845]
HORTON, OBERRECHT & KIRKPATRICK
WM 101 W. Broadway, Suite 600 BY -
San Diego, California 92101 4‘5“” MANASSEE. DEPUTY
(619) 232-1 183; Fax (619) 696—5719
kl]
Attorneys for Defendant/Cross-Complainant, DUKE REALTY LIMITED PARTNERSHIP
\OOOQQ
SUPERIOR COURT OF THE STATE 0F CALIFORNIA
IN AND FOR THE COUNTY OF SAN BERNARDINO
10 RAFAEL CARVAJAL MARQUEZ; ADLANA ) CASE NO. CIVD82010310
QUINTERO MADRIGAL, ) [Assigled to Hon. Donald R. Alvarez,
11 ) Dept. S-23]
Plaintiffs, )
12 )
DECLARATION OF DAWN C.
vs. )
NELMS IN SUPPORT OF
13 ) DEFENDANT DUKE REALTY
GENIE INDUSTRIES, INC.; TEREX )
LIMITED PARTNERSHIP’S
14 CORPORATION; DUKE REALTY LIMITED ) MOTION FOR SUMMARY
PARTNERSHIP; DUKE REALTY ) JUDGMENT, OR
15 CORPORATION; GREGG ELECTRIC, INC; I.E. )
ALTERNATIVELY, SUMMARY
GENERAL ENGINEERING, INC.; and DOES 1-
)
ADJUDICATION
16 100, Inclusive, )
) Hearing Date: 9/2 1/21
17 Defendants. ) Hearing Time: 9:00 am.
) Dept; 23
18 )
AND ALL RELATED CROSS—ACTIONS. )
Complaint Filed: 06/1 1/20
19 ) Trial Date: 5/9/22
)
20
21 I,Dawn C. Nelms, declare as follows:
22 1. I am an attorney duly licensed to practice law before all courts in the State of
23 California.
24 2. Iam an associate with the law firm ofHORTON, OBERRECHT & KIRKPATRICK,
25 attorneys 0f record for the Defendant Duke Realty Limited Partnership in the above-referenced
26 proceeding.
27 / / /
28 / / /
DECLARATION OF DAWN C. NELMS IN SUPPORT OF MOTION FOR SUMMARY JUDGMENT
1
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3. Iam familiar with all the matters asserted herein and if called upon to testify, would
and could competently testify thereto.
4. A true and correct copy of the Complaint filed by Plaintiff on June 1 1,2020, in San
Bernardino County Superior Court, Case No. CIVDSZOIO3 1 0 is attached to the accompanying
Notice of Lodgment as Exhibit A.
\OOONQUI-PUJNH
5. A true and correct copy of Defendant Genie Industries, Inc.’s Form Interrogatories
to Cross—Defendant JSR Constructions Services, Inc. (Set One) isattached to the accompanying
Notice of Lodgment as Exhibit C.
6. A true and correct copy of Cross—Defendant JSR Constructions Services, Inc.’s
Responses to Genie Industries, Inc. ’s Form Interrogatories (Set One) is attached to the accompanying
Notice of Lodgment as Exhibit D.
Ideclare under penalty ofperjury under the laws ofthe State of California that the foregoing
is true and correct and that this declaration was executed on this 6thday of July 2021 at San Diego,
California.
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Dawn C. Nelms, Declarant
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DECLARATION OF DAWN C. NELMS IN SUPPORT OF MOTION FOR SUMMARY JUDGMENT
2
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Document Filed Date
July 07, 2021
Case Filing Date
June 11, 2020
Category
Personal Injury Non-Motor Vehicle Unlimited
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