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ey 2e7 28 40020 A e © re wan eo? [Mahboob tiahi (Pro Se) ‘ies in Poona happens (READ. et sen) pr order dae 1600 North Vine Street #447 Hollywood, CA 90028 Amrurrecor a pursue Gossees? 21D 345 Pius a one time administrative fee ee the ary becomes a judgment credos (6C $6103 5, 8638) ‘wuenoieno (323)871-8343. 2.80 sn. a scones “romney soxitan_ Plaintiff: Mahboob Elahi SUPERIOR COURT OF CALIFORNIA, COUNTY oF LOS ANGELES svearaoomss. 11] North Hill Street swwowsooeess 11 North Mill Street owmozecoos. Los Angeles, CA 90012 tral : PLAINTIFF: Mahboob Elahi Sy I PEE BR ss ounty of Los Angeles, OgFENOANT: , Sterling Family Trust.eeak Doves ly Hrets FEB O@ 2012 ipsa taal PRPERTIES, Ws [hoor ee Ardaperre avers ionn s ‘Clarke, Executive OMevt/ Cle} ‘COMPLAINT—Personal Injury, Property Damage, Wrongful Death By. (ba en (7) AMENDED (Number): ‘MOSES SOTO” i {ie inc aa pp oe : MOTOR VEHICLE OTHER (specify): Housing Discrimination Property Damage] Wrongful Death D-b3B Wea Meovey Personal injury _[—] Other Damages (speci: “Jurisdiction (check all that apply een (Factions a unaren civit case ‘Amount demanded [__] does not exceed $10,000 [exceeds $10,000, but does not exceed $25,000 ACTION IS AN UNLIMITED CIVIL CASE (exceeds $25,000) : FS Action s RecLASSIFeD by this amended complain BC4782138 © from timited to untimited TS trom untimited to limited 1 Plaintif (name or names) Mahboob Elahi ‘aleges causes of action agains! defendant (name or names) Sterling Family Trust; Beverly Hills Properties; Wilshire Ardmore Towers; Michelle Min; 2. This pleacing, including atachments and extibis, consits of he folowing number of pages: 6 3. Each psintifnamed above is a competent adut 2. (J except paint (name). (1) [2] a comperaton quatiis to do business in California (2) [an unincorporated entity cesorbe) (8) a pute enity describe) (4) Seminar (an aut (2) [_] forwhom a guarsian o conservator ofthe estate ora guardian ad em has been appointed (0) ater speci) ©) Toner tepeaiy) > [except iaintt (name) (1) J acomporaton quaits to do business in Calfomia (2) [en incorporates enty (eserte) ©) a pune enity deserbe) © () J aminor (_] an adut (2) [] forwhom a guarsian oc canservator ofthe estate ora guardian 26 litem has been appointed (©) other (sa0en (6) (Tonner pea) 7 tetormaton about a8donat plaints who ar nat cmpetent adits is shown in Ataehment 3 ae Sages ame ‘COMPLAINT—Personal injury, Property aro SR ea Ben ‘Damage, Wrongful Death ee weweerze PLD-P1-001 SHORT TLE wean Elahi v.Sterting Family Trust 4. 1 Phaint (oame}: is doing business under the fctBious name (Sooct) ‘and has complied with the fictitious business name laws. '5, Each defendant named above isa natural person 2. CZ) except defendant (name): Sterling Family Trsut ¢ [Z] except defendant (name): Wilshire Ardmore Towe (1) [2 e business organization, form unknown (1) [) a business organization, form unknown (2) (2) 2 comporation (2) [1] a corporation (@) an unincorporated entity (describe) (@) ] an unincorporated entity (deserve): (4) (7) a public entity (describe): (4) (1 a public entity (describe) 6) other specity: (5) (1 otter (specify: >. Zexcept defendant (name): Beverly Hills Propertis d. [=] except defendant (name): (1) (2 business organization, form unknown (1) (2) a business organization, form unknown 2) () a comporation (2) () a comoration (@) | anunincomoreted entty (describe): (3) an unincorporated entty (describe) (4) 2 panic enty deserve) (4) Co a public entity (describe: (8) (J) other (specity: (5) (7) other (specify: [7 information about additonal defendants who are not natural persons is contained in Attachment 5, 6, The true names of defendants sued as Does are unknown to plaintif. Doe defendants (specify Doe numbers): 10 were the agents or employees of other named defendants and acted within the Scope of hat agency oF employment b. 71 doe defendants (specity Doo numbers): are persons whose capacties are unknown to paint 7. [1 Detendants who are joined under Code of Givi Procedure section 382 are names): 8. This courts the proper court because at least one defendant now resides in its jurisdictional area, the principal place of business ofa defendant corporation or unincorporated association isin its jurscictional area ¢ J injury to person or damage to personal ropery curred ints jursdictional area 4 othe (speci 8 Plaintiffs required to comply witha claims statute, and &. [27] has complied with applicable claims status, oF ». [1 isexcused from complying because (speci): FBR Rw tay OT COMPLAINT—Personal Injury, Property eae Damage, Wrongful Death —- —ervzere0— PLD-PL-001 SHORT TNE EE | Blahi v.Sterling Family Trust 10. The folowing causes of action are attached and the statements above apply to each (each complaint must have one or more causes of acon attached) 2 ] Motor Vehicle ». 5] ceneral Negligence © Zi imenionat Tor 6.) Preduets Listy Premises Libilty Otner (spec) Discrimination and Harassment on Account of National Origin (Housing) 11. Plainttthas suferes a, ) wage toss: 'b, [J loss of use of property . [) hospital and medical expenses general camage ©. (7) property damage 1 (=) toss of earning capacity 9. [J other damage (specify): 12, [__] The damages claimed for wrongful death and the relationships of plaintiff to the deceased are. [listed in Attachment 12. b. [7 as follows: 13. The relief sought in this complaint i within the jurisdiction of his court. 14. lantitf prays for dgment for oss of su for such reli a is fa, just and equitable: and for a. (1) LZ eompensetory dareges (2) (2) punitive damages “The amount of damages is (in cases for personal injury or wrongful death, you must check (1) (1) EZ) aecortng to proot @) ES inthe amountot $ 15. [2] The paragraphs of this coms ‘alleged on information and belief are as follows (specity paragraph numbers): Recovery of reasonable attorneys’ fees per statute. ate: February 1, 2012 , o2/o) [12 Fomeorme aman bem ‘COMPLAINT—Personal Injury, Property Paes Damage, Wrongful Death Mahboob Elahi ~erveeree PLD-PI-001(3) ‘SHORT TITLE CASE NUMBER Elahi v. Sterling Family Trust First CAUSE OF ACTION—Intentional Tort Page 4 ‘rumba ATTACHMENT TO LZ] Compiaint [—] cross - Complaint (Uso @ separate cause of action form for each cause of action) 1-1, Paint (name): Mahboob Elahi aleges that defendant (namey Sterling Family Trust; Beverly Hills Properties; Wilshire Ardmore Towers: des! to 10 ‘was the logal (proximate) cause of damages to plant. By the folowing acts or omissions to act, defendant intentionally caused the damnage to alainlll on (date)"2007-2010 nt at (place:L.os Angeles, CA MaTIOUAL ORICt DISCRIMINATE (descriotion of reasons fr lily) Plaintiff is of Bangladesh national origin and at all times relevant to this lawsuit was married to 4 woman of Japanese national origin, Plaintiff resided at 445 South Ardmore Avenue, Apt. 141, Los Angeles, CA 90020, a multi-unit apartment buildings. PlaintifF is informed and believes that the defendants and each of them, owned and/or managed the apariment building commonly known as 445 South Ardmore Street or Wilshire Ardmore Towers. Plaintiffs informed and believes that the owners are Caucasian and the managers are of Korean descent, Plaintif? first moved into the apartment in 1999 under a different owner and management, From 1999 to about 2006/2007 when the defendants took over, Plaintiff enjoyed relative peace and quiet without any discrimination or harassment from the former management. After the defendants took over, Plaintiff started experiencing discrimination. The discrimination started in 2007 when his Japanese wife came to join him. The discrimination continued until the Plaintiff was forced to move ‘out of the building in April 2010. ‘The discrimination included but was by no means limited to: forcing the Plaintiff to provide documentation that the wife is legally authorized to live in the United States or face eviction; refusing to make necessary repairs in Plaintiff's apartment; forcing the Plaintiff to pay for necessary repairs; not allowing the Plaintiff's infant daughter to play in the property like other kids; towing away the Plaintiff's car for no apparent reason; disconnecting the Plaintiffs phone from the central switch; ignoring complaints about Korean tenant involved in prostitution while busy harassing Plaitntiff; harassing the Plaintiff about his wife to preparation of their ethnic dish assigned Plaintif?’s parking space to a Korean couple, amidst others to many to mention here, Plaintiff is informed and believes and thereon alleges that he was discriminated against and harassed by the defendants and each of them because of his national origin/ancestry. The acts of the defendants and each of them was oppressive etc. As an actual and proximate result of the acts of the defendants and each of them, the Plaintiff was damaged in an amount subject to offer of proof, Fapeacorn scoters CAUSE OF ACTION-Intentional Tort co Cnn 48 2 exp RiGee srry 207 eivzerea PLD-P1-001(3) SHORT TITLE CASE NUMBER Elahi v. Sterling Family Trust Second CAUSE OF ACTION—Intentional Tort Page 5 ‘wumbey ATTACHMENT TO LZ] Complaint ~[—] Cross - Complaint (Use a soparaie cause of action form for each cause of action ) 1-4, Piaintit (name). Mahboob Elahi alleges that defendant (name) Sterling Family Trust; Beverly Hills Properties; Michelle Min; (21 does | 2 10 was the legal (proximate) cause of damages to plant. By the folowing acts or omissions to act, defendant intentionally caused the damage to piainttt on (date): 2007-2010 = at pace} Los Angeles, CA NATIONAL BRIG ABASIMEST (description ofresons fr eb) Plaintiff is of Bangladesh national origin and at all times relevant to this lawsuit was married to a ‘woman of Japanese national origin, Plaintiff resided at 445 South Ardmore Avenue, Apt. 141, Los Angeles, CA 90020, a multi-unit apartment buildings. Plaintiff is informed and believes that the defendants and each of them. owned and/or managed the apartment building commonly known as 445 South Ardmore Street or Wilshire Ardmore Towers. Plaintiff is informed and believes that the owners are Caucasian and the managers are of Korean descent. Plaintiff first moved into the apartment in 1999 under a different owner and management. From 1999 to about 2006/2007 when the defendants took over, Plaintiff enjoyed relative peace and quiet without any discrimination or harassment from the former management. Afier the defendants took over, Plaintiff started experiencing discrimination. The discrimination started in 2007 when his Japanese wife came to join him. The discrimination continued until the Plaintiff was forced to move out of the building in April 2010. “The discrimination included but was by no means limited to: forcing the Plaintiff to provide documentattion that the wife is legally authorized to live in the United States or face eviction; refusing to make necessary repairs in Plaintiff's apartment; forcing the Plaintiff to pay for necessary repairs; not allowing the Plaintiffs infant daughter to play in the property like other kids; towing away the Plaintiff's car for no apparent reason; disconnecting the Plaintiff's phone from the central switch; ignoring complaints about Korean tenant involved in prostitution while busy harassing Plaitntiff; harassing the Plaintiff about his wife to preparation of their ethnic dishes; assigned PlaintifPs parking space to a Korean couple, amidst others to many to mention here. Plaintiff is informed and believes and thereon alleges that he was discriminated against and harassed by the defendants and each of them because of his national origin/ancestry. The acts of the defendants and each of them was oppressive etc. As an actual and proximate result of the acts of the defendants and each of them, the Plaintiff was damaged in an amount subject to offer of proof. mnt cooe Exe ‘CAUSE OF ACTION-Intentional Tort one Gn Peay 252 { { | Third PLD-PI-001(3) SHORT TITLE CASE NUMBER Elahi v. Sterling Family Trust __. CAUSE OF ACTION—Intentional Tort Page 6 ‘urbe ATTACHMENT TO CZ] Complaint [—) Cross - Complaint (Use @ separate cause of action form for each cause of action) 7-1, Plant (name): Mahboob hi alleges that defendant (name) Sterling Family Trust; Beverly Hills Properties; Michele Min; CZ Does | to 10 ‘was the legal (proximate) cause of damages to plant. By the folowing acts or omissions to act, defendant intentionally ‘caused the damage to piainti on (datey: 2007-2010, stipoerLos Angele, ca (AL TENTIOMAL FLICICo" op tryin. Dips (description of reasons for abit: Plaintiff is of Bangladesh national origin and at all times relevant to this lawsuit was married to a woman of Japanese national origin, Plaintiff resided at 445 South Ardmore Avenue, Apt. 141, Los Angeles, CA 90020, a multi-unit apartment buildings. Plaintiff is informed and believes that the defendants and each of them, owned and/or managed the apartment building commonly known as 445 South Ardmore Street or Wilshire Ardmore Towers, Plaintiff is informed and believes that the ‘owners are Caucasian and the managers are of Korean descent. Plaintiff was discriminated and incesstantly harassed by the management of the building because of his national origin/ancestry. ‘The defendants and each of them had no basis in law or fact to discriminate against the Plaintiff, Plaintiff is informed and believes and thereon alleges that the defendants and each of them intended to cause him and his family severe emotional distress by their incessant harassment and discrimination, The Plaintiff is informed and believes and thereon alleges that the defendants and each of them knew that he is susceptible to emotional distress based on his pleas with the defendams, to slop harassing and discriminating against him and his family. ‘The acts of the defendants and each of them as set forth above was intentional, malicious and “oppressive and was carried out with a reckless disregard as to its effect on the Plaintiff and his family. ‘As an actual and proximate result of the above acts of the defendants and each of them, the Plaintiff suffered severe emotional distress. Wherefore, the Plaintiff prays compensatory and punitive damages in an amount subject to the offer of proof. Finally, Plaintiff prays fo award of all reasonable costs associated with prosecutin this case. ais oOo nan 5 18 ‘CAUSE OF ACTION-Intentional Tort cmo1 TARDY OR PARTY WOT ATONEY We Si Bar ao a }*Nanboob flan 1600 North Vine Street, #447 Hollywood, CA 90028. snssmioueno: (323)871-8343 ssromney on naeo) Mahboob Elahi Pan. IsureRion couRT oF caLIFoRNA, counTy OF LOS ANGELES stmreraconess 1] North Hill sauncaconess. 111 North Hill or mozecoce Los Angeles, CA 90012 sawcnnane Central ‘aunty of Los Angeles. FEB O2 2012 John A. Clarke, Executive OMicer/ Cler Breach of contractwarranty (06) J Rute 3.740 cotectons (00) Omer cotectons (09) ‘so 22) ‘Uninsured metoit (6) thor PUPDAWD (Personal Injury/Proporty (CASE NAME: By a » De Elahi vs. Sterling Family Trust MOSES S010. CIVIL CASE = ‘SHEET ‘Complex Case Designation CERO : Unlimited Limited 478218 inant eek (1) counter J voinser | — demanded demandadis | Filed wit frst appearanoe by defendant exceeds $25,000) $25,000 erless)| (Cal Rules of Cour. rule 3.402) | oer : “ems 6 below must be completed (see insiructions of page 2). {- Check one box bel for he case iype tat best cescrbes ti case: ‘Auto Tort Contact Provislonaty Complex Chil Ligation Medea maprcin 4) One PreonaD Nom UPD (ote) or Suatess la buses race (7) oar (8 Datenaion 1) Fro) tea pope (9) TE} Proteocona ngeeree 28 Otero UPD fo 8 Egloyment ogi inn 21728720 TF otter empoyment (15) DamagaMrongful Death) Tor Insurance coverage (18) Mass tort (0) ‘Asbestos (04) 1 other contract (37) {=} secuntios atgaton (28) [Produce tinct (24) ‘Real Property [= EnvironmentavTosic tort (30) Eminent comalninverse condemnation (14) TJ Wong eviction (93) 7 other reat property (26) Unlawful Detainor Commercial 1) Resident (92) rugs (38) Judieist Review ‘eset frou (05) Pelion re: aebiraton award (19) CJ) wit of mandate (02) (7) omnes eit review (39) oO Enforcement of Judgment Niscelancous Civil Complaint © acon LMiscellancous Civil Patition {Gal Rule of Cour res 3400°3.409) ott rpation 02 1 constucion detect (10) Insurance coverage ciims arising from the above ised prowsonaly complex case fipes tat) Enforcament of judgment (20) (ther complaint (nt specie’ above) (42) Partnership and corporate governance (21) (er patton (not seecied above) (43) Z Te case [Jie (ZT isnot complex under rule 2.400 ofthe Cofoma Rules of Gout Whe case complex, mane ‘nos requing exceptions pial management 2.) Large numoer ot separately represented partes ». E] Entensve motion prac sing dia or novel issues thal wi be time-consuming to resoNe ¢ (2) Substantial amoun of documentary evisence 6 [tate number of wiesses «© [coorinaton wi related actions pending none of ove courts inthe courts sates, oF counties, ain a federal coun + [2 sostantal postuagment uit superion Remedies sought (check afl that apply): a7] monetary b.[_] nonmonetary; deciaratory or injunctive retief —¢. (Z ]punitve Number of causes of action (specify): This case is isnot class action suit Ii there are any known related cases, fle and serve a notice of elated case. (¥ cue 02/0) [1 20maneo0e ELAM, NOTICE « Plainif must fie this cover shoot withthe fst paper fled in the action or proceeding (except smal claims cases or cases filed under the Probete Code, Famiy Code, or Welfare and Institutions Code). (Cal. Rules of Court, rule 3.220 ) Failure to file may result In sanctons, * Fle this cover sheet in alton to any cover sheet required by local court rule. * Ithis case is complex under rule 3.400 et seq. of the California Rules of Court, you must serve a copy ofthis cover sheet on all ‘other partes tothe action or prooaeding. + Unless isis @colectons case under rue 3.740 or a complex case this cover shee wil be used for statistical purposes only CIVIL CASE COVER SHEET SS Poraesuus cate Stuer So ~ereeres INSTRUCTIONS ON HOW TO COMPLETE THE COVER SHEET To Plaintiffs and Others Filing First Papers. if you are fling a fist paper (or example, ¢ complaint) in @ civil case, you must complete and fle, along with your frst paper, the Civil Case Cover Shee! contained on page 1. This information will be used to compile Siatistics about the types and numbers of cases filed. You must complete items 1 through 6 on the sheet. In item 1, you must check ‘one box for the case type that best describes the case. I the case fits both a general and a more spectic type of case ksted in item 1 {check the more specific one. Ifthe case nas multple causes of action, check the box that best Incicates the primary cause of action, To assist you in completing the sheet, examples of the cases that belong under each case type in item 1 are provided below. A cover sheet must be filed only with your ial paper. Failure to fle a cover sheet withthe frst paper fled in a cvil case may subject a party, its counsel, orboth fo sanctions under rules 2.30 and 3.220 af the California Rules of Cour. To Parties in Rule 3.740 Collections Cases. A ‘collections case" under rule 3.740 is defined as an action for recovery of money ‘owed in a sum stated to be certain that is not more than $25,000, exclusive of interest and attomey’s fees, arising from a transaction in ‘which propery, services, or money was acquired on credit. A collections case does not include en action seeking the ollowing: (1) tor damages, (2) punitive damages, (3) recovary of real property, (¢) recovery of personal propery, or (6) 2 prejudgment wrt of attachment. The identifcation of a case as a rule 3.740 collections case on this form means that i will be exempt from the general time-forservice requirements and case management rules, unless @ defendant fies a responsive pleading, A rule 3740 collections case wit be subject to the requirements for service and obtaining a judgment in rule 3.740, To Parties in Complex Cases. In complex cases only, parties must also use the Civil Case Cover Sheet to designate whether the case is complex. Ifa plaintiff believes the case is complex under rule 3.400 of the California Rules of Cour, this must be indicated by ‘completing te appropriate boxes in items 1 and 2. I plant designates a case as complex, the Cover sheet must be served withthe complaint on al parties to the action, A defendant may fle and serve na later than the time of is frst appearance a joinder in the plainti’s designation, a counterdesignation thatthe case is not complex, or, if the plaintiff has made no designation, a designation that cmo10 pncieaes corer ‘CASE TYPES AND EXAMPLES ‘auto Tor Contract Provisional Complex Civil Ligation (Ca. “lo (22)-Pereanatyuryroperty Breach of Convaeywarrany (95) Rules of Court Rules 3400-2403) ‘Damagentengta Death roach of Rertacase “anibusrade Reguaton (3) Uniaized Matera 46) (ne Conract rat eniawtaoainer Consrucien Detect (10) ‘as0 owes an unsure ‘a wronghl eviction ‘Game ivtvng Mos Tot (40) ‘motoret elm sudo f. CconractWararty Brescr-Selec Secure Ligation 20) ‘rtraton check tom Pani rt faue o negigence) Envronmerta one Tort (20) Irstoad of toy Negigent Seach of Contac Inauranon Coverage Clans ‘Other PUPDIWO (Parson injury! waranty (aisng tom prowsonay complex Propeny Gamagerongtl Other Broach of ContactWaranty aso ype tod above} (41), Reta eae ear Coleco fg. money owed. open Enfercemant ot Juegmont ‘Asbestos (04) ook csounis) (08) nforomert af udgment 20) ‘asbestos Property Damage Cotecion Cese-Seber Pair ‘Aosta of gmt (Out of ‘Alberts Porras Other Promsson NeterCalectons ‘caus Worgfu Death Case Conloson of udgment on- Prt ity (ot asbasios or Insurance Coverage (nt provisonaty ones lone) Mieco es ‘omen (18) Sister Sate gent Medea ebracica (9) ‘Auto Surogaton ‘amisstatve Agony Award Medical Malpractice ‘mer Coverage (rot unpaid ores) Physeions& Surgeons ther Contact 27) PeltontCeriteation of Entry of (ther Protesiona Heath Care ontraca Fraud udgment on Unpa Taxes. Wapracien Gitar Conroe Deputo ote: Enforcement of xdgment Other PIRDIWD (23 Real Property ‘ease remses abi (9 sp eet Sonate iscolanooue ivi Compsint ra Condermaton (18). RICO 7) Inerteral Bey inryPOMO Wrongful Evielon (33) tay Compan nt pec ‘co sat onary Ghee apty to, cot) 25) a Irtntonalinseson of Wit of Peatession of Real Properly agi Rotel On Emaonal Dates Mongage Forecosze Injincive Rte! On tron- Negligent nition ot Ouertie hhaasaron) Emotonal Datess ‘thet Rea Property (ot eminent Mechanics Lien otter IPOD peal albaderiLirt Other Commer! Compl ‘on-PUPOMD (Other Tor foretesire) one, eetion comptes) Bushose Torn Business Uniawtl Detainar CalComp Prez (07 Commerea no eran cas ‘ial Rohs (eg. scrnination, Resicental 32) Parner and Corporate tae are itt Digs (8) he case inves toga! ‘Govemance @1) harass gs, ebeck ns tm horns, once Detamaton (9 sander.) ‘toar Se Commerce or Reateritan Ones pasn ret specs £3, sudiciat Review Sin asemene eee ‘Asset Forteture (05) ‘Workplace Viewnce Imahetil Property (18) Pelfon Re: Arsiaton Award (11) ee Profesional Negigence (26) Wit of Mandate (02) eee Legal Vapractce Virt-toraniative Mancamus ae ‘thor Pofessienel Mapractoe Wet Mandamus 0 Lntod Cout Pear araae (ot medica or eae), ase Mater Patio or Rote! Fram Cate enpongyion Promo TER 9 Witter Limite Cour Case ‘Gan mplaymant Roviow il Petition ‘Weng Ternireton (98) Othe sia Review (9) eee ‘Omer Employment (18) Review of Heath Fear Order Noten ot Appea-Laboe ‘Commins Appeals Sea CIVIL CASE COVER SHEET I le e e perme See “lab v.Sterling Family Trust RO478218 BS CIVIL CASE COVER SHEET ADDENDUM AND STATEMENT OF LOCATION (CERTIFICATE OF GROUNDS FOR ASSIGNMENT TO COURTHOUSE LOCATION) | This form is required pursuant to Local Rule 2.0 in all new civil case filings in the Los Angeles Superior Court | ttom |. Check the types of hearing and fil inthe estimated length of hearing expected for this case: | vue WI ves ciassacnion? 7] yes unmencaser Clves mvc estiaren FoR TRIAL SC] Hous’ nays Item Il. Indicate the correct district and courthouse location (4 steps ~ If you checked "Limited Case”, skip to Item Il, Pg. 4) Step 1: After first completing the Civil Case Cover Sheet form, find the main Civil Case Cover Sheet heading for your ‘case in the left margin below, and, to the right in Column A, the Civil Case Cover Sheet case type you selected. | Step 2: Check one Superior Court type of action in Column B below which best describes the nature of this case. Step 3: in Colurm C, cle the reason for the cour location choice that apples to the type of action you have ' checked. For any exception to the court location, see Local Rule 2.0. Applicable Reasons for Choosing Courthouse Location (see Column C below) | Glas actions must adn the Sartey Mosk Courthouse canal distil. &. Location of property or permanenty garaged vile 2 Maybe fled n cereal (oer coun. orto Body lorprepeny damage 4 USaton ono potion endes 3 tetatn where chuse ot acien ae iy iiveybrorery cemane). [eet wheter cotondaniressendent functions whoty. tezaion where boc ny. dat of darnage cece, & Logon wntre ons or mare che osres Tene, 8 Location where performance requted or detendant resides. 10, [oeaten of Labor Commasonar Step 4: Flin the information requested on page 4 in Item Il; complete Item IV. Sign the declaration : A B c ' ‘iv Cove Cover Set Type Acton Agoteabe Reasons - i Category Ne (Chescony om) See Sup 3 Above Hee ao 22) 1D ATIOD Motor venise Personal nuryPropeny Danagetnongtubean | 1.2.4 | 2° [ unnstes aise) [47110 Peron! muyirepery Oomogentronga Death -Unnsrs Moet | 1.2.4 (©. A8070 Aebesios Property Dama Asveses 08) feline a 12. A7221_Aebetos -Peconal yong Daath BE Be | Preawauminy (2) [A720 Pret ubiy rt sees ertoicenvannerta) 1.2.84. 23 7210 Wea acc Phsns & Suore FS | scuvawacce us) | 720 Medial ibreie- Pao & Suge tA ae 1D A724 Ober Protesens Heath Care Mapractee tA z 17250 Premises Labi (eg. 30 and tl) i | &B Ohne 12 7200 ientona ody nun/Propey Damayernecoghl Dest (e9 i ge Persona ry toa | Bs een ‘sa vandalom, ee) 5 whee cost | aero menial intton ot Emoiona Diss a (27220 One Personal yy Property Damapenongtl Cea 1a g B Davioemev a) CIVIL CASE COVER SHEET ADDENDUM Local Rue 20 1 LASC Approved 03.04 AND STATEMENT OF LOCATION Page 1 of 4 Etah Storing Famiy Tst A B c cacao stot pest ecten ‘opis esas eto scene) Se Sine ee ee EE | camemon [a sons carascrnnin naa | £8 $3 Datamation 13) | AB00 Detamaton anderen 128 EE Fra 16) © AGOTS Feud (oo corvact 1.2.8 ‘gs aS 3 A017 tea ope a ED | rneoiessene 29 ($8 ©. A9080 Othe: Proesins Mabratze nat media or easb 1.2.8 ners) [A025 One tne Pope Ooms 2a [eesetenneran [a Mier Wo Tematen 78 5 © at Oh ones gene = E | overtones E © ATO8 Lair Conmisn Nea ‘0 © sie besa otRenesa Coc peimavts connor] 5 eis ncaa ay as oI © tne Coweerarry Busy Sehr Pit eedresine) {not insurance) _A6019 Negligent Breach of ContractiWarranty {no fraud) ae 1 A6028 Other Breach of ContractWarranty (no! fraud or negligence) meet z © A602 Collections Cate Seller Plant 2.5.6. cotozen 0 3 AGOI2 One Promissory NoteColectone Caso 2 rawwer oveape(t6)_ |. Ais mee Ce tana Lass © tte Gowan teas mercontacion [a aso: Toss rere Lass 2 tet Ope Conca Depaect venaimsemnctouireaene) ——_|1.2.3.8 Eman Danaivinesse T7300 Eminent Domanendernaton Number a paca 2 BE |_ vreogr even) | Aza wort evince ae = 1 AG018 Mongage Forectosure 2 © | onerneareneey 20 | sere ose 2 1. Ae0 he Re ope eit dori nso owe) | 2 . coerce ‘Commerciel | Cy ago21 Unigwtul Detainer-Commercial not drugs or wrongful eviction) 2.6. Bnew oetameresieml | go2o Uniaws Oetoines escent (ot gs of wongh econ) 2.8. es ee ee 28 rn Ceteurongs 99 [Ata Lies One Ove za LACH 109 (Rev, 0391) CIVIL CASE COVER SHEET ADDENDUM Local Rule 2.0 ~etveeree LASC Apsroved 02-08 AND STATEMENT OF LOCATION Page 2 of ~ weaves ASC Approves 03.08 AND STATEMENT OF LOCATION para caeaain Elahi v.Stering Family Trust A B Cc ‘om cose Cover Sect Typo otten Apne Reasons - ace he (Cesony on) See Step 3 Ave | ‘act Forte 05) | Aai08 Asset Force Cate 28 log Peiiton re Artivation (11) | C 26115. Petition to CompeticontrmAVacateAsbitration 2.5 : ; é 1 A6iS1 W-Adninevae Mandamus ne ‘| etorMandatea) | A6152 Wit Mandamus on ined Cour Cate Mater 2 3 ©6152 Witter Lied Cour Cte Revew 2 Ober can Review 20) | ABtE0 Ober Wiel Revow an : 5 AniitrustTrade Regulation (03) | A600 Antitrus/Trade Reguiston 1 2 8. Canewaten Owe 10) | ABO? Coneusion Geet 12.8 z eee cen Mass Tot |r 600s Claims InvoWing Mass Tort 128 7 uae z Toxe Ton i ema gy | B AEOR8 Toc Tennent 1288 | nprarce Coverzge Cain® | 0 AGo14 insurance Coverage/Subrogation (complex case oy) 1.2.5.8, © AeIat Se Sate Joe Ze ez 1 ABt60 Abst of uogment 28 ee Entscomny | AB1O7 Conleein of Jaen’ aon dome aos) 20. 33 eoagmem'20) 1 ABt40 Acmintave Agency Award (nt np tx) ae as 1 Asi¥4 PettowCerente for Ent ofsuegent on Unga Tax ae {2 ABIY2 Ober Enrcementt Joma Cate 2.0.0 c micoan Asta Racrteng RIGO) Care Tae Ze ae 1 ABIG0 Deda Reet Ony 128 A | ceerconiane [1 Ato pret Rab! On ot conericharsunent 28 BE | (erSpectiod Above) 42) | 45011 omer Commerc Compl Caso (nom torvnen compen) 1.2 id (O. A6000 Other Civil Complaint (non-tortinan-complex) 102, tershe Coase Tc nora Panwshp ard Grpole Govemme Cse 28 e C. A6121 Civil Harassment 2 gs 2 A6129. Workplace Harassment 2 ae coterretuom | © ASI28 EldeDepercen Ade Abus Case 2 $= | erSmecton steve) [C As160 elecionCetet 2 z6 ad (0. A610 Petibon for Change of Name 27, {2 A6170 patton fo Ree em Late Ga Law 2ake ©. Asto0 oer cv Peton 2 LACIV 108 (Rev. 03/14) CIVIL CASE COVER SHEET ADDENDUM Local Rule 2.0 Page 3 of 4 [monn CASE ROE i Elahi v.Sterling Family Trust Item Ill, Statement of Location: Enter the address of the accident, party's residence or place of business, performance, or other tcumstance indicated in tem I, Step 3 on Page 1, asthe proper reason for ing inthe court location you selected REASON: Check the appropriate bores forthe numnbore shown | 4¢5 South Ardmore Avenue, under Column ¢ forthe type of action that you have selectad for | | enieeane. 064.05. 08. 07.08. O9. O10. om sae | Becone | |Loe Angeles, lca | s0020 tem IV. Declaration of Assignment: | declare under penalty of perjury under the laws ofthe State of California that the foregoing is true and correct and that the above-enitted matter is properly fled for assignment to the Stanley Mosk courthouse in the Central District of the Superior Court of California, County of Los Angeles [Code Civ, Proc., § 392 et sea., and Local Rule 2.0, subds. (b),(¢) and (di) orf Jir Dates: February_2012 PLEASE HAVE THE FOLLOWING ITEMS COMPLETED AND READY TO BE FILED IN ORDER TO PROPERLY COMMENCE YOUR NEW COURT CASE: | 1. Original Complaint or Petition 2. If fling @ Complaint, a completed Summons form for issuance by the Clerk. 3. Civil Case Cover Sheet, Judicial Councl form CM-010. 1 4 Givi Case Cover Sheet Addendum and Statement of Location frm, LACIV 109, LASC Approved 03-04 (Rev. | iH | 5. Payment in full ofthe fling fee, unless fees have been waived. 6. A signed order appointing the Guardian ad Litem, Judicial Council form ClV-010, ifthe plaintiff or petitioner is a ‘minor under 18 years of age will be required by Court in order to issue a summons, | 7 Addtional copies of documents to be conformed by the Clerk. Coples ofthe cover sheet and this addendum ‘must be served along with the summons and compisint, or other initiating pleading in the case. e17e8728 {ACI 109 (Rev. 0377) CIVIL CASE COVER SHEET ADDENDUM Local Rule 20 LASC Approved 03.08 AND STATEMENT OF LOCATION Page 4 of 4

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