On June 24, 2021 a
Party Statement
was filed
involving a dispute between
Campos Fredy,
and
Nissan North America Inc.,
for Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
Electronically FILED by S
jerior Court of California, County of Los Angeles on 09/29/2022 06:03 PM Sherri R. Carter, Executive Officer/Clerk of Court, by $. Bolden,Deputy Clerk
DAVID N. BARRY, ESQ. (SBN 219230)
ANDREW P. MATERA, ESQ. (SBN 317394)
THE BARRY LAW FIRM
11845 W. Olympic Blvd., Suite 1270
Los Angeles, CA 90064
Telephone: 310.684.5859
Facsimile: 310.862.4539
Attomeys for Plaintiff, FREDY CAMPOS
SUPERIOR COURT OF THE STATE OF CALIFORNIA
FOR THE COUNTY OF LOS ANGELES - STANLEY MOSK COURTHOUSE
woe Case No. 21STCV 23469
FREDY CAMPOS, an individual,
Plaintiff,
DECLARATION OF ANDREW P.
v. MATERA, ESQ. REGARDING STATUS
OF ARBITRATION
NISSAN NORTH AMERICA, INC., A | Date: October 6, 2022
oe . Time: 8:30 AM
California Corporation; and DOES 1 through | Dept.: 74
20, inclusive, Action Filed: June 24, 2021
Trial Date: None
Defendants.
Assigned for all purposes to the Hon. Michelle
Williams Court
in Dept. 74
DECLARATION OF ANDREW P. MATERA
I, Andrew P. Matera, declare as follows:
1. I am an attomey duly licensed to practice law before all the courts of the State of
California and am an associate at The Barry Law Firm, attorneys for Plaintiff, Fredy Campos. I
have personal knowledge of the facts contained within this declaration, and if called upon to
testify, 1 would and could competently testify thereto.
2. I make this declaration regarding the status of Arbitration.
“1
DECLARATION OF ANDREW P. MATERA, ESQ. REGARDING STATUS OF
ARBITRATION
Document Filed Date
September 29, 2022
Case Filing Date
June 24, 2021
Category
Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction)
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