Stephanie M. Bowick
(Subscribe to View)
June 14, 2017
Los Angeles County, CA
Other Real Property Rights Case (General Jurisdiction)
ALBERTSON GINA L. ESQ. - Attorney for Defendant/Respondent
BALALI SHIDEH N. - Former Attorney for Deft/Resp
BANK OF AMERICA N.A. - Defendant/Respondent
CASCADA ARROYO CORP - Defendant and Cross-Complainant
DELGADO ANGELA - Defendant/Cross-Defendant
DOES 1 THROUGH 100 - Defendant/Respondent
FLORES EDWIN S. ESQ. - Former Attorney for Deft/Resp
GASTELUM OMAR ESQ. - Former Attorney for Deft/Resp
LIPPA ALISON V. - Attorney for Defendant/Respondent
MAXI REALTY GROUP INC. - Defendant/Respondent
NATIONAL DEFAULT SERVICING CORPORATION - Defendant/Respondent
RAMIREZ JOSE - Defendant & Defendant in Pro Per
ROMERO CARLOS ALFREDO - Defendant/Respondent
SELECT PORTFOLIO SERVICING INC. - Defendant/Respondent
SETAREH LAW GROUP - Attorney for Plaintiff/Petitioner
SETAREH SHAUN - Plaintiff/Petitioner
SLOAN MICHAEL L. - Attorney for Defendant/Respondent
U.S. BANK NATIONAL ASSOCIATION - Defendant/Respondent
Aug 29, 2017
Aug 08, 2017
Jun 14, 2017
May 31, 2017
Edward Mokhtarian Et Al Vs Richard Saperstein Et Al
Chelsy International Corporation Vs Jamez Yoo, Et Al.
Law Offices Of F. Bari Nejadpour Vs Masoumeh Khayat Islami
Jose Velasco Vs Lithia Motors, Inc.
Magued R. Fadly, M.D. Vs Medmark Companies, A Wyoming Corporation , Et Al.
Seon Joo Chung Vs Hee Soo Lee, Et Al.
Crane Development Corporation Vs Jp Rodriguez Painting Contractors, Inc.
Plaintiff's Motions to Compel: 1) Further Responses to Form Interrogatories and 2) Further Responses to Requests for Production of Documents against Defendants Bank of America and Defendant LaSalle Bank (Four Motions Total) are CONTINUED TO June 29, 2017, 8:30 a.m.The Court advises Plaintiff's counsel to seriously consider the position of Defendants in opposition to these motions, the objections asserted and what they have agreed to provide in response. Plaintiff's counsel is ordered to reasonably meet and confer in good faith with Defendants' counsel by telephone or in person as to each item in dispute in all of the above motions. Plaintiff's counsel is further ordered to file by June 26, 2017, and submit a courtesy copy to the Department, a supplemental declaration for each motion, outlining what meaningful meet and confer efforts took place since today's date, the date of such discussions, the amount of time expended, and an update as to what has been resolved and what remains........
You can see and manage all of your alerts under Settings -> Alerts
Please wait a moment while we gather your results.