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  • SCHLOMO SCHMUEL  VS. CASPAR MANAGEMENT GROUP, LLC Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction) document preview
  • SCHLOMO SCHMUEL  VS. CASPAR MANAGEMENT GROUP, LLC Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction) document preview
						
                                

Preview

Electronically|FILED by Superior Court of California, C ounty of Los Angeles on 03/20/2019 02:31 PM Sherri R. Carter, Executive Officer/Clerk of Court, by J . Hall, Depitty Clerk Law Offices of Barak Isaacs Barak Isaacs SB#196916 18757 Burbank Boulevard Suite 215 Tarzana, California 91356 Telephone: (818) 344-4175 Facsimile: (818) 344-1546 Attorneys for Defendant, Caspar Management Co., LLC (sued as Caspar Management Group, LLC) SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF LOS ANGELES SCHLOMO SCHMUEL, an individual; ) Case No.: LC106625 10 SCHLOMO SCHMUEL D.P.M, INC., a ) California Corporation, Related to Case Number LC103145 a Plaintiffs, (assigned to the Honorable Michael J. Convey) 12 vs. OPPOSITION TO MOTION TO COMPEL 13 ATTENDANCE AT DEPOSITION OF 14 CASPAR MANAGEMENT GROUP, LLC, a DEFENDANT CASPAR MANAGEMENT California limited liability company; and CO. LLC, DECLARATION OF BARAK 15 DOES 1-10 inclusive, ISAACS 16 Date: April 3, 2019 Defendants Time: 8:30 a.m. 17 Dept: U 18 19 20 21 TO THE COURT AND ALL PARTIES AND THEIR ATTORNEYS OF RECORD: 22 Defendant Caspar Management Co, LLC (hereinafter “Caspar”) respectfully submits its 23 opposition to Plaintiff Schlomo Schmuel’s (“Plaintiff”) motion to compel attendance at 24 deposition of Defendant Caspar Management Co., LLC’s Person Most Knowledgeable. Insofar 25 as the parties have agreed to a March 29, 2019 deposition date, the substantive relief sought in 26 Opposition to Motion to Compel - 1 —_ ee —_