On November 22, 2017 a
Order
was filed
involving a dispute between
Diaz, Emilio,
Fambrough, Francesca,
Madden, Alison,
Peschcke-Koedt, Nina,
Slanker, Dan,
Slanker, Dawn,
Smith, Brenda,
Smith, Thumper,
Tavenner, Chris,
and
City Of Redwood City,
Redwood City,
for (26) Unlimited Other Real Property
in the District Court of San Mateo County.
Preview
FILED
SAN MATEO COUNTY
MAR 0'35
2021
ay
Clerkof
WC1e riorCourt
DEPUfY CLERK
SUPERIOR COURT OF THE STATE OF CALIFORNIA
COUNTY OF SAN‘MATEO
FRANCESCA FAMBROUGH, et a1., 'Civil No. 17CIV05387
Plaintiffs, Assigied for All Purposes to
Hon. Marie S. Weiner, Dept. 2
vs.
CASE MANAGEMENT ORDER #19
REDWOOD CITY,
Defendant.
ALLISON MADDEN; WILLIAM
MICHAEL FLEMING; EDWARD
STANCIL; JEDRICK HUMPHRIES;
ALBA LUCIA DIAZ; JONATHAN
REID; TINA REID; and JOHN
CHAMBERS,
Plaintiffs in Intervention,
vs.
CITY OF REDWOOD CITY,
Defendant.
/
On March 4, 2021 , an unreported Informal Discovery Conference was held in
Department 2 of this Court before the Honorable Marie S. Weiner. Karen Frostrom of
Thorsnes Bartolotta McGuire LLP appeared on behalf of all Plaintiffs in Intervention
1
except Madden; Maxwell Blum of Burke Williams & Sorensen LLP appeared on behalf
of Defendant Redwood City; and Alison Madden appeared on behalf of herself as an
Intervenor Plaintiff. Plaintiff Edward Stancil also attended.
Discovery disputes raised by Defendant were discuSSed and addressed.
IT IS HEREBY ORDERED as follows:
l. On or before April 3; 2021, Plaintiff John Chambers shall serve his
veried substantive answers to Defendants’ Form Interrogatories (Set One); and his
“objection” that the information is not available is overruled and rejected. On or before
April 3, 2021, Plaintiff John Chambers shall serve his verications to written responses
to Defendant’s Requests for Admissions (Set OneO, Requests for Production (Set One),
and Special Interrogatories (Set One).
2. On or before April 3, 2021, Plaintiff Emilio Diaz shall produce to
Defendant’s counsel all responsive document to Defendant’s Requests for Production of
Documents (Set Two) Nos. 24, 25, 27, 28, 29, 30, 31, and 33.
3. On or before April 14, 2021, Plaintiffs Jonathan and Rina Reid shall le
and serve their veried Amended Responses to Defendant’s Requests for Production of
Documents (Set One), as Plaintiffs now claim that they have no responsive documents.
4. On or before April 3, 2021, PlaintiffAlison Madden shall either (or both)
produce all responsive documents to Defendant’s Requests for Production of Documents
Nos. l, 2, and 8, OR shall serve veried Amended Responses Stating that she has no
responsive documents. Plaintiff Madden conrms that she had no responsive documents
to No. 27, which she already stated in her response. On or before April 3, 2021, Plaintiff
Alison Madden shall le and serve veried Amended Responses to Defendants’ Requests
for Production of Documents Nos. 29-32, and shall produce all responsive documents in
her possession.
5. BE AWARE THAT FAILURE OF A PLAINTIFF TO PRODUCE
RESPONSIVE DOCUMENTS TO DEFENDANT, DURING PRETRIAL
DISCOVERY, SHALL BAR THAT PLAINTIFF FROM PRESENTING AS
EVIDENCE AT TRIAL ANY SUCH DOCUMENTS NOT PREVIOUSLY PRODUCED
To THE DEFENDANT.
DATED: March 4, 2021 ,_// ff”???’ "
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/
__
x
r .
HON. MARIE S. WEINER
JUDGE OF THE SUPERIOR COURT
SERVICE LIST
As of May 2020
MICHELLE MARCHETTA KENYON
KEVIN SIEGEL
ALBERT TONG
MAXWELL BLUM
BURKE WILLIAMS & SORENSONLLP
1901 Harrison Street, Suite 900
Oakland, CA 94612-3501
(510) 273-3501
mkenyon@bwslaw.com
ksiegel@bwslaw.com
atong@bwslaw.com
mblum@bswlaw.com
VINCENT BARTOLOTTA JR.
KAREN FROSTROM
THORSNES BARTOLOTTA
MCGUIRE LLP
2550 Fifth Avenue, 11th Floor
San Diego, CA 92103
(619) 236-93 63
ostromu’a),tbmlawvers.com
ALISON MADDEN
P.O. Box 620650
Woodside, CA 94062
(920) 602-6685
dndslanker@,gmail.com
alisonmadden@vahoo.com