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Location: Los Angeles x
Judge: Chowdhury, Ashfaq x
2024.04.05 Motion to Compel Responses 021
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.04.05
Excerpt: ...0 this Notice, the attached Memorandum of Points and Authorities, the Declaration of Patrick J. Torsney, Esq., the court file and on such further information as may be presented at the hearing. The Court notes that Movant refers to itself as “Defendants.” It appears as if this motion was filed by one Defendant, not multiple Defendants. This motion appears to be filed by Defendant, 1001 Las Lomas, LLC. The Court will presume there is one movin...
2024.04.05 Motion for Relief from Waiver of Objections 086
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.04.05
Excerpt: ...ounds that Defendant James Wu has served responses in substantial compliance with sections 2030.010 et seq., 2031.010 et seq., and 2033.010 et seq., and the failure to serve timely responses was the result of his attorney's mistake, inadvertence, or excusable neglect. The motion will be based on this notice, the attached memorandum of points and authorities, and declaration of Lyle R. Mink; on all documents in the court file, and on any documents...
2024.04.05 Motion for Leave to Amend 544
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.04.05
Excerpt: ...nt's willful decision to drive above the speed limit and c ontinue operating his vehicle with knowledge that the vehicle would “slide” and lose control when he applied his brakes. Plaintiff's Motion is made pursuant to Code of Civil Procedure sections 473, subdivision (a)(1), and 576 on the following grounds: • Plaintiff deposed Defendant on January 31, 2024. There, Defendant testified that immediately before the collision, his vehicle “s...
2024.04.05 Motion for Attorney Fees 995
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.04.05
Excerpt: ...c)(5) and applicable ca se law on the ground that Plaintiff is entitled to recover their attorney fees incurred as an element of costs pursuant to the Contract and Guaranty. The Motion will be based on this Notice, the Memorandum of Points and Authorities, the Declaration of Todd S. Garan filed concurrently herewith, the complete files and records on file herein and upon such other and further oral and documentary evidence as may be presented at ...
2024.04.05 Motion to Compel Further Responses 728
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.04.05
Excerpt: ...nses without objections, and for:; 2. An order compelling Defendant Shupe to Further Respond to Plaintiff's Form Interrogatory 17.1 as it related to Plaintiff Saavedra's Request for Admissions #2. 3. An award of monetary sanctions in the amount of $3,105.00 against Defendant Shupe and his attorneys of record Adam L. Robinson, LaFollette, Johnson, DeHass, Fessler & Ames, jointly and severally. Plaintiff relies on Code of Civil Procedure §128....
2024.03.22 Motion to Strike 055
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.22
Excerpt: ...ief, and ¶5 in the Prayer for Relief. This motion is made pursuant to Code of Civil Procedure §§ 435 and 436 and California Rules of Court 3.1320(i) on the grounds the Cross -Complaint includes irrelevant, false or improper matters that should be stricken. Specifically, the Complaint improperly requests punitive damages without any facts or law to support such relief. In addition, the Cross -Complaint includes allegations and references that a...
2024.03.22 Motion to Set Aside or Vacate Dismissal 006
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.22
Excerpt: ...he dismissal entered in this case. RELIEF REQUESTED¿ Plaintiff, Tracey Baumert moves this Court for an Order setting aside and vacating the order entered on October 9, 2023 dismissing the complaint. Said motion will be made on the grounds that Plaintiff is entitled to be relieved from said order pursuant to California Code of Civil Procedure Section 473(b) and the court's inherent powers, on the grounds that such order was entered as the res...
2024.03.22 Motion to Compel Responses, for Sanctions 604
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.22
Excerpt: ...CCP §2030.290 and Request for Costs, Sanctions, and Attorneys Fee s under CCP §§2023.010 et seq. and 2030.290 et seq. against Defendant Moder Event Venue, Inc., and/or it's Attorney of Record, Cullins & Grandy, LLP. Plaintiff seeks sanctions, reimbursement of costs, and attorney's fees against Defendant in the amount of $1,661.50 under Cal. Civ. Proc. Code §§ 2023.010 et seq. and 2030.290. Procedural Moving Party: Plaintiff, Gina A. Castillo...
2024.03.22 Motion to Compel Arbitration 005
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.22
Excerpt: ...an Order (i) compelling Plaintiff Jesse Flores (“Plaintiff”) to arbitrate her claims on an individual basis, including her individual claims brought under the Private Attorneys General Act (“PAGA”), pursuant to the terms of a valid and enforceable arbitration agreement; (ii) staying Plaintiff's non -individual PAGA claims; and (iii) staying proceedings pending completion of the individual arb itration. Manpower Defendants bring this Motio...
2024.03.22 Motion for Attorney Fees 166
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.22
Excerpt: ...: (1) $35,488.00 incurred in attorney's fees plus a 1.5 time multiplier in the additional amount of $17,744.00; and (2) an additional $5,000 for Plaintiffs' counsel to review General Motors LLC's Opposition, draft the Reply brief, and attend the hearing on this Motion (though they expect to spend well over ten hours on these) plus a 1.5 time multiplier in the additional amount of $2,500.00. Plaintiff also seeks enforcement of the prospective sanc...
2024.03.22 Demurrer 144
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.22
Excerpt: ...motion is made on the grounds that Plaintiffs on each of the grounds set forth herein in the following demurrer. 1. The First Supplemental Cause of Action fails to state facts sufficient to constitute a cause of action as detailed in California Code of Civil Procedure §430.10(e). Moving Parties, for each of these reasons, move for an order of this Court sustaining the Demurrer and Motion to Strike without leave to amend. This Demurrer and Motion...
2024.03.22 Demurrer 098
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.22
Excerpt: ...30 and California Rules of Court, rule 3.1320, and is made on the following grounds: 1. Plaintiff's first cause of action for Premises Liability fails to state facts sufficient to constitute a cause of action. (Code Civ. Proc. §430.10(e).) 2. Plaintiff's first cause of action for Premises Liability is uncertain, ambiguous and unintelligible Plaintiff has not stated any facts or allegations as to Defendant's notice or that Defendant's conduct was...
2024.03.15 Motion for Summary Judgment 033
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.15
Excerpt: ...remises Liability and (2) General Negligence. Plaintiff alleges that while they were in Defendant, Glendale Adventist Health Center's, place of business as a patron, active construction work was conducted by Cornerstone Construction, and Plaintiff tripped over an object on the floor which cause d Plaintiff to fall. On 05/04/2023, Defendant, Glendale Adventist Medical Center dba Adventist Health Glendale, filed an Answer to the Complaint. On 06/02...
2024.03.15 Demurrer 440
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.15
Excerpt: ...Big Sisters Association of Los Angeles dba Camp Bob Waldorf (erroneously sued as two separate entities) (“JBBBS” or “Defendant”) Responding Party: Plaintiff, David Hernandez, a minor, by and through his Guardian Ad Litem Daizy Villalvazo RELIEF REQUESTED Defendant, Jewish Big Brothers Big Sisters Association of Los Angeles dba Camp Bob Waldorf (erroneously sued as two separate entities) (“JBBBS” or “Defendant”), demurs generally a...
2024.03.15 Motion to Set Aside or Vacate Dismissal 682
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.15
Excerpt: ...ntry Metropolitan Transportation Authority, Henry C. Alvarez, and Integon National Insurance Company, a corporation. On 8/15/2023, an Order to Show Cause Re: Failure to File Proof of Service was called for hearing and no appearances were made by, or for, either party. Proof of service had not been filed, so the Court indicated the following: On the Court's own motion, the Order to Show Cause Re: Failure to File Proof of Service scheduled for ...
2024.03.15 Motion for Summary Judgment, Adjudication 367
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.15
Excerpt: ...endale Unified School District, pursuant to the provisions of Code of Civil Procedure Section 437c, will and hereby does move the Court for an order granting Summary Judgment or, in the alternative, for an order granting summary adjudication of some or all of the causes of action that are found in the plaintiff's First Amended Complaint on the following grounds: The defendant moves for summary judgment as to the FAC on the following grounds: 1. T...
2024.03.15 Motion to Compel Deposition 057
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.15
Excerpt: ...Plaintiff alleges that on or about April 27, 2021, Plaintiff was a patron at Defendant's The Coffee Bean & Tea Leaf store. (Compl. ¶7.) Plaintiff alleges that when she was walking inside of the store, she slipped and fell in a large puddle of soapy water on the floor. (Id.) Plaintiff alleges that an employee of Defendant witnessed the incident and took down an incident report. ( Id.) On 5/15/2023, Plaintiff filed an amendment to the Complaint na...
2024.03.08 Motion to Vacate or Set Aside Default 092
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.08
Excerpt: ... Tom Love Group Responding Party: Defendant, Palig Saghdejian Moving Papers: Plaintiff's Ex Parte Motion To Vacate Sister -State Judgment Against Defendant Opposition Papers: No Opposition submitted; however, Defendant's attorney filed a “Notice of Remote Appearance.” Reply: No Reply 16/21 Day Lapse (CCP §12c and §1005(b): Ok Proof of Service Timely Filed (CRC, Rule 3.1300): Ok Correct Address (CCP §1013, §1013a): Uncertain – On eCourt,...
2024.03.08 Motion to Compel Responses 015
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.08
Excerpt: ...Complaint on 05/16/2023 against Defendants LA County Metro Trans Authority and Michael Jay Ahn. On 07/20/2023, Cross -Complainant, Los Angeles Country Metropolitan Transportation Authority, filed a Cross -Complaint against Cross -Defendant, Meri Iskandaryan. MOTION 1 Moving Party: Cross -Defendant, Meri Iskandaryan Responding Party: Cross -Complainant, Los Angeles County Metropolitan Transportation Authority Moving Papers: Motion; Proposed Order ...
2024.03.08 Motion to Compel Further Responses 889
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.08
Excerpt: ...anitza Maravilla, and Andres Morales Rios, move the Court for an order compelling further responses to Plaintiffs' First Set of Requests for Production and for monetary sanctions in the amount of $2,610.00 against Defendant FCA US LLC and its attorneys of record, Ongaro P.C. “This motion is made on the grounds that Defendant FCA US LLC has not provided Code - compliant responses to Plaintiffs' Requests for Production numbers 45-46 pursuant to C...
2024.03.08 Motion for Attorney Fees 183
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.08
Excerpt: ...; v. WOODGLEN HOMEOWNERS ASSOCIATION, a California non -profit corporation and DOES 1 THROUGH 20, inclusive, [TENTATIVE RULING – MOTION FOR ATTORNEY FEES] RELIEF REQUESTED ¿ Petitioners, Traci Ann Curtis -De Rago, an individual and as Trustee, or Successor Trustee, under the John E. De Rago and Traci Ann Curtis -De Rago Family Trust dated November 20, 2009, Margarita Hirapetian, Roubina Malayan, an individual and Trustee of the Roubina Malayan...
2024.03.08 Demurrers, Motion to Strike 492
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.03.08
Excerpt: ...: Plaintiffs, Hilda Kasimian and Stepan Kasimian Moving Papers: Notice/Demurrer Opposition Papers: Opposition Reply Papers: Reply RELIEF REQUESTED Defendant, GMS, moves this Court for an order sustaining its demurrer to the First Amended Complaint (FAC) as to the first cause of action for breach of contract. This Demurrer is made pursuant to California Code of Civil Procedure §§ 430.10(e) and (f) on the grounds that the First Cause of Action in...
2024.02.23 Motion to Enforce Global Settlement 612
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.02.23
Excerpt: ... STRIKE] Moving Party: Defendant, Elvis Madatyan Responding Party: No Opposition Moving Papers: Demurrer and motion to strike (All submitted in a single filing) Opposition Papers: No Opposition submitted Reply Papers: No Reply submitted RELIEF REQUESTED Defendant, Elvis Madatyan, moves the Court for an order sustaining his demurrer to the third, fourth, fifth, sixth, seventh, and ninth causes of action of Plaintiffs' Complaint pursuant to CCP §4...
2024.02.23 Motion to Compel Further Responses 768
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.02.23
Excerpt: ... corporation; Galpin Volkswagen, a business entity, form unknown; and DOES 1- 40 inclusive. The first three causes of action – (1) Violation of Song- Beverly Act – Breach of Express Warranty, (2) Violation of Song-Beverly Act – Breach of Implied Warranty, and (3) Violation of Song-Beverly Act – Section 1793.2 – are alleged against Defendant Volksw agen Group of America, Inc. The fourth cause of action for negligent repair is alleged aga...
2024.02.23 Motion to Compel Further Responses 544
Location: Los Angeles
Judge: Chowdhury, Ashfaq
Hearing Date: 2024.02.23
Excerpt: ...s for Admission (Set One), on the following grounds: •Plaintiff served straightforward requests for admission; • Requests for admission are designed to narrow the issues that will be presented at the time of trial; • Defendant provided evasive responses filled with boilerplate objections to each of Plaintiff's 26 requests for admission; • Plaintiff needs the requested discovery to prepare for trial; • Plaintiff will be prejudiced if he ...

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