The Demurrer (ROA # 22) of Defendant MEHRAN SABERI ("Saberi" or "Defendant") to the Complaint filed by Plaintiff VIDA OSTOVAR ("Plaintiff" or "Ostovar"), is MOOT as a result of Plaintiff's filing of a First Amended Complaint ("FAC"). ROA # 31.

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The Demurrer (ROA # 28) of Defendant Savile Holdings, LLC ("Defendant" or "Savile") to the Seventh, Eighth, Ninth and Tenth Causes of Action in Plaintiff's Complaint, is MOOT as a result of Plaintiff's filing of a First Amended Complaint ("FAC"). ROA # 31.

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The Motion (ROA # 16) of Defendant Savile Holdings, LLC ("Defendant" or "Savile") for an order ,pursuant to Code of Civil Procedure 405.32, expunging the "Notice of Pendency of Action" or lis pendens recorded by Plaintiff Vida Ostovar on September 16, 2020 in the Official Records of the San Diego County Record as Doc # 2020-0543003, thereby encumbering the real property owned entirely by Savile located at 12453 Carmel Park Drive, San Diego, CA 92130 (APN 307-161-69-00) ("Propert