Superior Court of California
County of Los Angeles – Central District
Department 53
BEN SOLEIMANI.Com, inc. , Plaintiff, vs. brightpearl, inc. , Defendant.
Case No.: 20STCV05473
Hearing Date: August 30, 2021
Time: 10:00 a.m.
[Tentative] Order RE:
motion to set aside default judgment
MOVING PARTY: Defendant Brightpearl, Inc.
RESPONDING PARTY: Plaintiff Ben Soleimani.com, Inc.
Defendant Brightpearl, Inc.’s Motion to Set Aside Default Judgment
The court has considered the moving, opposition, and reply papers.
BACKGROUND
On February 11, 2020, plaintiff Ben Soleimani.com, Inc. (“Plaintiff”) filed this action against defendant Brightpearl, Inc. (“Defendant”), alleging cause of action for breach of contract, common counts, and fraud. On September 29, 2020, Plaintiff filed an amended summons and first amended complaint (the “First Amended Complaint”).
Defendant’s primary office is located in Austin, Texas. (Park Decl., ¶ 3, Ex. 2.) Since 2011, Defendant’s agent for service of pr
Hearing Date
August 30, 2021
Type
Contractual Fraud (General Jurisdiction)
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 04/26/2021
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Superior Court of California
County of Los Angeles – Central District
Department 53
BEN SOLEIMANI.Com, inc. , Plaintiff, vs. brightpearl, inc. , Defendant.
Case No.: 20STCV05473
Hearing Date: August 30, 2021
Time: 10:00 a.m.
[Tentative] Order RE:
motion to set aside default judgment
MOVING PARTY: Defendant Brightpearl, Inc.
RESPONDING PARTY: Plaintiff Ben Soleimani.com, Inc.
Defendant Brightpearl, Inc.’s Motion to Set Aside Default Judgment
The court has considered the moving, opposition, and reply papers.
BACKGROUND
On February 11, 2020, plaintiff Ben Soleimani.com, Inc. (“Plaintiff”) filed this action against defendant Brightpearl, Inc. (“Defendant”), alleging cause of action for breach of contract, common counts, and fraud. On September 29, 2020, Plaintiff filed an amended summons and first amended complaint (the “First Amended Complaint”).
Defendant’s primary office is located in Austin, Texas. (Park Decl., ¶ 3, Ex. 2.) Since 2011, Defendant’s agent for service of pr