473 Motion
473 Motion
473 Motion
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matter may be heard in Department WEK of the above-entitled court located at 1725 Main
Street, Santa Monica CA 94104, Defendant and Cross-Defendant BERNARD ALLEN
KHALILI (KHALILI) will and hereby does move this court for an Order Setting Aside the
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MOTION TO SET ASIDE JUDGMENT
473 on the grounds of mistake, inadvertence and/or excusable neglect. Further, this motion will
be based on this Notice of Motion, the Memorandum of Points and Authorities, the declaration
of Jeffrey Cabot Myers, declaration of Jennifer Solomon, and the exhibits hereto; all pleadings
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and papers on file herein, and such other and further oral and documentary evidence as may be
presented at the time of the hearing on the motion.
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By
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MOTION TO SET ASIDE JUDGMENT
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1.
INTRODUCTION
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This action arises out of a fatal automobile accident that occurred on August 23, 2005 at
on Wilshire Boulevard west of Whittier Drive. Related to the accident, defendant KHALILI
was charged and convicted of vehicular manslaughter and sentenced to four (4) years in state
Jamestown, California.
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(CITY) served their Request for Admissions on Defendant KHALILI. Defendant CITY was
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aware at the time of serving the Request for Admissions, Defendant KHALILI was incarcerated
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in state prison. At the time CITY served the discovery on defendant KHALILI, he was
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incarcerated at the North Kern County Prison. Defense counsel forwarded the propounded
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discovery from CITY to KHALILI at the North Kern County Prison. When KHALILI did not
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respond to the discovery a few days before they were due, defense counsel learned that
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KHALILI had been transferred to a prison in Jamestown, CA from North Kern prison to
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Jamestown Conservation Center. Jamestown is located over 450 miles from Los Angeles and .
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California, Jennifer Solomon, whose office is located in San Francisco, approximately 135
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miles from Jamestown. Ms. Solomon was to: a) attend/defend KHALILI at deposition; and b)
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meet with KHALILI and obtain discovery responses due to the CITY.
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Ms. Solomon met with KHALILI on March 20, 2008 and obtained discovery responses
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from him. However, at the time Ms. Solomon meet with KHALILI, she forgot the case file,
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which contained the verifications, at her office. Regrettably, Ms. Solomon did not obtain
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Defense counsel is in the process of obtaining the verifications and will provide them to
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the CITYs attorney as soon as possible. Logistically, we are required to communicate with our
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MOTION TO SET ASIDE JUDGMENT
client through the Prison Litigation Coordinator, Emma McCue, so I anticipate providing
following factors:
a)
b)
c)
d)
Curing the defect is more time consuming than usual due to defendants
incarceration.
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2.
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The court may, upon any terms as may be just, relieve a party or his or
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The court in Zamora v. Clayborn Contracting Group, Inc., 28 Cal.4th 249 (2002)
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reasoned discretionary relief from a judgment or order should be granted when it is of the type
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In the case at bar, counsel in Northern California, Jennifer Solomon, forgetting the file
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before leaving on a day long trip to Jamestown prison is a common mistake shared by every
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person some time or another. Such mistake, inadvertence and excusable is common place.
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Defendant has provided all parties with unverified discovery responses without objections and
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has sent discovery responses and verifications to defendant KHALILI overnight express and
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MOTION TO SET ASIDE JUDGMENT
expect to receive signed verifications in the coming days. Said verifications will be provided to
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3.
CONCLUSION
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Based on the statutory, case law and good faith declarations presented by attorneys
regarding their mistake, inadvertence and excusable neglect, it is respectfully requested that this
court set aside the judgment deeming defendants responses to Request for Admissions deemed
admitted.
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By
JEFFREY CABOT MYERS
Attorney for Defendant and Cross-Defendant
BERNARD ALLEN KHALILI
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MOTION TO SET ASIDE JUDGMENT
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the State of California, and if called upon, could and would competently testify to the following
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2. That I am the attorney primarily responsible for the handling of the file
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entitled James M. Stone v. City of Beverly Hills, Los Angeles Superior Court Case Number SC
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090744.
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3.
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4.
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at the deposition; b) prepare discovery responses due to the CITY. Our prior communications
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to my client were not responded to relative to the discovery because he was transferred to the
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5.
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responses. As of the date of the writing of this Declaration, responses have been served on the
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6.
responses. I did not learn of this problem until May 12, 2008.
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We are obtaining the verifications and will provide them to the CITYs
attorney as soon as possible. Logistically, we are required to communicate with our client
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MOTION TO SET ASIDE JUDGMENT
verifications by June 15, 2008. I request the courts indulgence based on the following factors:
a)
My client has already been deposed and the information requested has
already been obtained;
b)
c)
d)
Curing the defect is more time consuming than usual due to my clients
incarceration.
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I declare under penalty of perjury under the laws of the State of California that the
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foregoing is true and correct and that this Declaration was executed on May ___, 2008 at
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Glendale, California.
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______________________________
JEFFREY CABOT MYERS
Declarant
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MOTION TO SET ASIDE JUDGMENT
Superior Court-Unlimited
PROOF OF SERVICE
I am employed in the county of Los Angeles, State of California. I am over the age of 18 and not
a party to the within action; my business address is 330 North Brand Blvd., Suite 950, Glendale, CA
91203
On date set forth below, I served the foregoing document(s) described as * on the parties in this
action
[ ] by transmitting via facsimile the document(s) listed above to the fax number(s) set forth below, or as
stated on the attached service list, on this date before 5:00 pm.
[X] by placing the true copies thereof enclosed in sealed envelopes addressed as followed or as stated on
the attached mailing list:
[X] BY MAIL
[ ]
I deposited such envelope in the mail at Glendale, California. The envelope was mailed
with postage thereon fully prepaid.
[X]
As follows: I am "readily familiar" with the firm's practice of collection and processing
correspondence for mailing.
Under that practice, it would be deposited with U.S. postal service on that same day with
postage thereon fully prepaid at Glendale, California in the ordinary course of business. I
am aware that 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 affidavit.
[ ] BY FAX
I caused the documents described above to be faxed on the interested parties in this action
pursuant to CRC Rule 2008 (b) and CCP 1013(e). The facsimile machine I used complied with
CRC Rule 2003(3). The telephone number of the sending facsimile machine was (818) 9564388. The transmission was properly issued by the transmitting facsimile machine, and the
transmission was reported as complete and without error.
[] (State) I declare under penalty of perjury under the laws of the State of California that the above is
true and correct.
[x ] (Federal) I declare that I am employed in the office of a member of the bar of this court at whose
direction the service was made.
Executed on *, at Glendale, California.
ROSA BARRETO
Type or Print Name
Signature
Superior Court-Unlimited
Rahul Raviopudi, Esq.
Panish, Shea & Boyle LLP
11111 Santa Monica Blvd #700
Los Angeles, CA 90025
(310) 477-1700 FAX (310) 477-1699
Attorneys for Plaintiffs
Philip E. Black, Esq.
Law Offices of Philip E. Black
370 North Westlake Blvd., Ste. 100
Westlake Village, CA 91362-7039
(805)494-4321 Fax (805) 494-4382
Attys for Deft & XComp City of Beverly Hills
Michael H. Artinian, Esq.
Specter & Willoughby, LLP
4675 MacArthur Court, Suite 1150
Newport Beach, CA 92660
949-833-9400 Fax (949) 833-9425
Attys for X-Deft. Conoco Phillips and El Toro Company
David Louis Schaffer, Esq.
Stone & Hiles LLP
16633 Ventura Blvd., No. 1420
Encino, CA 91436
(818) 386-0600 Fax (818) 386-0649
Attys for Deft/X-Deft Shalom Gaby