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  • CYNTHIA MEYER VS FARMERS FINANCIAL SOLUTIONS LLC ET AL Wrongful Termination (General Jurisdiction) document preview
  • CYNTHIA MEYER VS FARMERS FINANCIAL SOLUTIONS LLC ET AL Wrongful Termination (General Jurisdiction) document preview
						
                                

Preview

Electronically FILED by Superior Court of California, County of Los Angeles on 08/28/2019 12:03 PM Sherri R. Carter, Executive Officer/Clerk of Court, by J. Lara,Deputy Clerk 1 THARPE & HOWELL, LLP 15250 Ventura Boulevard, Ninth Floor 2 Sherman Oaks, California 91403 (818) 205-9955; (818) 205-9944 fax 3 CHRISTOPHER S. MAILE, ESQ.; STATE BAR NO.: 117998 4 RICHARD C. MOORE, ESQ.; STATE BAR NO.: 111840 5 Attorneys for Defendants, FARMERS FINANCIAL SOLUTIONS, LLC; FFS HOLDING, LLC 6 7 8 SUPERIOR COURT OF THE STATE OF CALIFORNIA 9 COUNTY OF LOS ANGELES - CENTRAL 10 11 CYNTHIA MEYER, Case No. BC625867 12 Plaintiff, Complaint Filed: July 5, 2016 Civil Unlimited Jurisdiction 13 v. [assigned to the Honorable Howard L. Halm, Dept. 53] 14 FARMERS FINANCIAL SOLUTIONS, LLC, FFS HOLDING, LLC, COURTNEY DEFENDANTS’ MOTION IN LIMINE NO. 5 15 SA YE, JOHN MUETING, and DOES 1 to TO PRECLUDE TESTIMONY OF 100, inclusive, PLAINTIFF’S EXPERT WITNESS CRAIG 16 SNYDER Defendants. 17 [Filed concurrently with [Proposed] Order] 18 Trial Date: May 15, 2019 Time: 9:30 a.m. 19 Dept. 53 20 TO PLAINTIFF AND HER COUNSEL OF RECORD: 21 Defendants FARMERS FINANCIAL SOLUTIONS, LLC and FFS HOLDING, LLC, 22 respectfully submit this Motion in Limine for an order precluding Plaintiffs expert witness, Dr. Craig 23 Snyder, from testifying on Plaintiffs behalf about the “real reasons” Plaintiff quit her job; from 24 offering a conclusion in the guise of medical opinion that Plaintiff “had no alternative” but to quit 25 her job; and from basing his opinions regarding “the psychological impact of Defendants’ actions on 26 the Plaintiff’ on facts that are no longer in issue per the Court’s March 19, 2018 ruling summarily 27 adjudicating the case. 28 /// - 1 - DEFENDANTS’ MOTION IN LIMINE NO. 5 TO PRECLUDE TESTIMONY OF PLAINTIFF’S EXPERT WITNESS CRAIG SNYDER