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  • C.F.  vs. Martinez Civil document preview
  • C.F.  vs. Martinez Civil document preview
  • C.F.  vs. Martinez Civil document preview
  • C.F.  vs. Martinez Civil document preview
  • C.F.  vs. Martinez Civil document preview
  • C.F.  vs. Martinez Civil document preview
  • C.F.  vs. Martinez Civil document preview
  • C.F.  vs. Martinez Civil document preview
						
                                

Preview

1 Daniel R. Friedenthal, Esq. – State Bar Number 136847 Jay D. Brown, Esq. – State Bar Number 143522 2 FRIEDENTHAL, HEFFERNAN & BROWN, LLP 1520 W. Colorado Boulevard, Second Floor 3 Pasadena, California 91105 4 Telephone: (626) 628-2800 Facsimile: (626) 628-2828 5 Email: dfriedenthal@fhblawyers.com jbrown@fhblawyers.com 6 Attorneys for Defendant, ALTERNATIVE FAMILY SERVICES 7 8 SUPERIOR COURT OF THE STATE OF CALIFORNIA 9 FOR THE COUNTY OF SONOMA 10 11 C.F. by and through her Guardian and Case No.: SCV264540 Guardian Ad Litem SOLOMON FARR; [Assigned to Patrick M. Broderick; Dept. “16”] 12 E.F. by and through her Guardian and Guardian Ad Litem SOLOMON FARR; ORDER FOR EX PARTE 13 S.F. by and through his Guardian and APPLICATION TO CONTINUE THE Guardian Ad Litem SOLOMON FARR, TRIAL DATE 14 15 Plaintiffs, 16 v. 17 18 MARK ZAPATA MARTINEZ; MARTHA MARTINEZ; ALTERNATIVE FAMILY 19 SERVICES, INC.; and DOES 1 - 30, Action Filed: 5/31/19 20 Defendants. Trial Date 9/15/23 21 22 On September 6, 2023, defendant, Alternative Family Services, made an ex 23 parte application to the court for an order continuing the trial date. 24 GOOD CAUSE HAVING BEEN SHOWN the court grants the ex parte 25 application. The court orders that trial in this matter be continued to 26 ________________, at _______ in Department “16.” 27 DATED: ____________ ________________________________ 28 JUDGE OF THE SUPERIOR 1 ORDER FOR EX PARTE APPLICATION TO CONTINUE THE TRIAL DATE 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 2 ORDER FOR EX PARTE APPLICATION TO CONTINUE THE TRIAL DATE 1 PROOF OF SERVICE C.F., et al. v. Martinez, et al. 2 Case No.: SCV264540 3 STATE OF CALIFORNIA ) ) ss: 4 COUNTY OF LOS ANGELES ) 5 I am employed in the County of Los Angeles, State of California. I am over the 6 age of 18 and not a party to this action. My business address is: 1520 W. Colorado Boulevard, Second Floor, Pasadena, California 91105. My electronic (email) address 7 is nruiz@fhblawyers.com. 8 On September 5, 2023, I electronically served the foregoing document named: ORDER FOR EX PARTE APPLICATION TO CONTINUE THE TRIAL DATE on the 9 parties indicated in the attached Service List. 10 MAIL SERVICE: As follows: I am "readily familiar" with the firm's practice of collection and processing correspondence for mailing. Under that practice it would 11 be deposited with U.S. postal service on that same day with postage thereon fully prepaid at Pasadena, California, in the ordinary course of business. I am aware that 12 on motion of the party served, service is presumed invalid if postal cancellation date or postage meter date is more than one day after date of deposit for mailing in 13 affidavit. 14 FEDERAL EXPRESS SERVICE: I caused such envelopes to be delivered by 15 Federal Express to the offices of the addressee listed on the attached Service List. I further designed such envelopes to be delivered to all addressees on the attached 16 Service List utilizing Fed-Ex’s “Overnight Next-Day Delivery Service.” 17 ELECTRONIC MEANS (EMAIL): I caused such document(s) to be electronically served through email for the above-entitled matter. This service complies with Code 18 of Civil Procedure §1010.6(e)(1) and/or California Rule of Court 2.251(C)(3) and/or an agreement of the parties to accept service by electronic transmission. The file 19 transmission was reported as complete and a copy of the “Sent” page noting the date 20 and time of such transmission will be maintained with the file copy of the document(s) in our office. 21 I declare under penalty of perjury under the laws of the State of California that 22 the above is true and correct. Executed on September 5, 2023, at Pasadena, California. 23 24 Natasha Ruiz 25 For purposes of serving documents on Friedenthal, Heffernan & Brown, LLP, 26 please use the following email addresses: dfriedenthal@fhblawyers.com; jbrown@fhblawyers.com; 27 nruiz@fhblawyers.com 28 -1- PROOF OF SERVICE 1 SERVICE LIST C.F., et al. v. Martinez, et al. 2 Case No.: SCV264540 3 Attorneys for Plaintiffs, C.F., E.F. and S.F. by and through their GAL, 4 SOLOMON FARR Michael D. Green, Esq. Johann Hall, Esq. 5 Scott R. Montgomery, Esq. THE LAW OFFICE OF JOHANN HALL ABBEY, WEITZENBERG, WARREN & 703 2nd St., Suite 353 6 EMERY, P.C. Santa Rosa, CA 95405 100 Stony Point Rd., Suite 200 Tel. No.: (707) 360-8717 7 Santa Rosa, CA 95402 Fax No.: (707) 921-7378 8 Tel. No.: (707) 542-5050 johann@jhallesq.com Fax No.: (707) 542-2589 9 mgreen@abbeylaw.com; smontgomery@abbeylaw.com; 10 hnorton@abbeylaw.com 11 Criminal Attorneys for MARK ZAPATA MARTINEZ 12 Chris P. Andrian, Esq. ANDRIAN & GALLENSON 13 1100 Mendocino Ave. Santa Rosa, CA 95401 14 Tel. No.: (707) 527-9381 15 Fax No.: (707) 526-9051 Andgal.chris@sonic.net 16 17 18 19 20 21 22 23 24 25 26 27 28 -2- PROOF OF SERVICE