Case Information
18-CIV-00789 | ALFREDO ABOYTES vs. FCA US LLC, A DELAWARE LIMITED LIABILITY COMPANY, et al
Case Number
18-CIV-00789
Court
Civil Unlimited
File Date
02/16/2018
Case Type
(06) Unlimited Breach of Contract/Warranty
Case Status
Active
Party
Plaintiff
ABOYTES, ALFREDO
Active Attorneys
Lead Attorney
BARRY, DAVID N.
Retained
Defendant
FCA US LLC, A DELAWARE LIMITED LIABILITY COMPANY
Active Attorneys
Lead Attorney
UNIVERSAL, JON D.
Retained
Defendant
DOES 1 THROUGH 20, INCLUSIVE
Cause of Action
File Date
Cause of Action
Type
Filed By
Filed Against
02/16/2018 Complaint Action ABOYTES, ALFREDO
FCA US LLC, A DELAWARE LIMITED LIABILITY COMPANY
DOES 1 THROUGH 20, INCLUSIVE
Events and Hearings
02/16/2018 New Filed Case
02/16/2018 Complaint
Complaint
02/16/2018 Civil Case Cover Sheet
Civil Case Cover Sheet
02/16/2018 Summons Issued / Filed
Summons Issued / Filed
02/16/2018 Notice of Case Management Conference
Notice of Case Management Conference
02/16/2018 Cause Of Action
Action
ComplaintFile Date
02/16/2018
03/02/2018 Proof of Service by PERSONAL SERVICE of
Proof of Service by PERSONAL SERVICE of SUMMONS; COMPLAINT; ADR PACKAGE SERVED ON AMANDA GARCIA, AUT
Comment
SUMMONS; COMPLAINT; ADR PACKAGE SERVED ON AMANDA GARCIA, AUTHORIZED AGENT FOR SERVICE OF PROCESS
03/26/2018 Answer (Unlimited)
Answer (Unlimited) Answer TO COMPLAINT
Comment
Answer TO COMPLAINT
05/17/2018 Case Management Statement
Case Management Statement
05/17/2018 Notice
Notice OF CASE MANAGEMENT CONFERENCE
Comment
OF CASE MANAGEMENT CONFERENCE
06/15/2018 Case Management Conference
~CIV Minute Order – Case Management Conference 06/15/2018
Judicial Officer
Scott, Joseph C.
Hearing Time
9:00 AM
Result
Held
06/15/2018 Notice of referral to ADR and Notice to file Stipulation and
Comment
Order to ADR within 21 days
06/15/2018 Notice of Mandatory Settlement Conference and Jury Trial
Notice of Mandatory Settlement Conference and Jury Trial
07/06/2018 ADR Stipulation and Order Due in Clerk’s Office
07/09/2018 10 Day Reminder Notice to file Stipulation and Order to ADR
07/13/2018 Stipulation and Proposed Order received & forwarded to Dept
Comment
11, STIP TO ADR
07/18/2018 Stipulation and Order to ADR
Stipulation and Order to ADR
Judicial Officer
Grandsaert, John L.
09/26/2018 Motion
Motion NOTICE OF MOTION AND MOTION TO COMPEL DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO SPECIA
Comment
NOTICE OF MOTION AND MOTION TO COMPEL DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO SPECIAL INTERROGATORIES ETC…
09/26/2018 Separate Statement
Separate Statement PLAINTIFF’S CRC 3.1345 SEPARATE STATEMENT OF ITEMS IN DISPUTE IN DISPUTE IN SUPPO
Comment
PLAINTIFF’S CRC 3.1345 SEPARATE STATEMENT OF ITEMS IN DISPUTE IN DISPUTE IN SUPPORT OF MOTION TO COMPEL ETC….
09/26/2018 Separate Statement
Separate Statement PLAINTIFF’S CRC 3.3145 SEPARATE STATEMENT OF ITEMS IN DISPUTE IN SUPPORT OF MOTIO
Comment
PLAINTIFF’S CRC 3.3145 SEPARATE STATEMENT OF ITEMS IN DISPUTE IN SUPPORT OF MOTION TO COMPEL ETC…
09/26/2018 Motion
Motion NOTICE OF MOTION AND MOTION TO COMPEL DEFENDANT FCA US LL’C SUPPLEMENTAL RESPONSES TO REQUEST
Comment
NOTICE OF MOTION AND MOTION TO COMPEL DEFENDANT FCA US LL’C SUPPLEMENTAL RESPONSES TO REQUESTS FOR PRODUCTION ETC…..
09/26/2018 Separate Statement
Separate Statement OF ITEMS IN DISPUTE IN DISPUTE IN SUPPORT OF MOTION TO COMPEL FURTHER RESPONSE TO
Comment
OF ITEMS IN DISPUTE IN DISPUTE IN SUPPORT OF MOTION TO COMPEL FURTHER RESPONSE TO REQUEST FOR ADMISSION ETC….
09/26/2018 Motion
Motion NOTICE OF MOTION AND MOTION TO COMPEL DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO REQUES
Comment
NOTICE OF MOTION AND MOTION TO COMPEL DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO REQUEST FOR ADMISSION ETC….
09/26/2018 Motion
Motion NOTICE OF MOTION AND MOTION TO COMPEL DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO FORM I
Comment
NOTICE OF MOTION AND MOTION TO COMPEL DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES ETC…..
09/26/2018 Separate Statement
Separate Statement OF ITEMS IN DISPUTE IN DISPUTE IN SUPPORT OF MOTION TO COMPEL FURTHER RESPONSES T
Comment
OF ITEMS IN DISPUTE IN DISPUTE IN SUPPORT OF MOTION TO COMPEL FURTHER RESPONSES TO FORM INTERROGATORIES ETC….
09/28/2018 Motion
Motion NOTICE OF MOTION AND MOTION TO COMPEL DEFENDANT FCA US LLC’S FURTHER SUPPLEMENTAL RESPONSE TO
Comment
NOTICE OF MOTION AND MOTION TO COMPEL DEFENDANT FCA US LLC’S FURTHER SUPPLEMENTAL RESPONSE TO FORM INTERROGATORY 12.1 ETC……
09/28/2018 Separate Statement
Separate Statement OF ITEMS IN DISPUTE IN SUPPORT OF MOTION TO COMPEL FURTHER SUPPLEMENTAL RESPONSE
Comment
OF ITEMS IN DISPUTE IN SUPPORT OF MOTION TO COMPEL FURTHER SUPPLEMENTAL RESPONSE TO FORM INTERROGATORY NO. 12.1
10/31/2018 Memorandum of Points and Authorities in Opposition
Memorandum of Points and Authorities in Opposition TO PLAINTIFF’S MOTION TO COMPEL DEFENDANT FCA US
Comment
TO PLAINTIFF’S MOTION TO COMPEL DEFENDANT FCA US LLC’S FURTHER RESPONSES TO FORM INTERROGATORIES, SPECIAL INTERROGATORIES, REQUEST FOR PRODUCTION OF DOCUMENTS AND REQUEST FOR ADMISSION
10/31/2018 Declaration in Opposition
Declaration in Opposition TO MOTION TO COMPEL DEFENDANT FCA US LLC’S FURTHER RESPONSES TO FORM INTER
Comment
TO MOTION TO COMPEL DEFENDANT FCA US LLC’S FURTHER RESPONSES TO FORM INTERROGATORIES, REQUEST FOR PRODUCTION OF DOCUMENTS AND REQUEST FOR ADMISSIONS
10/31/2018 Separate Statement
Separate Statement DEFENDANT FCA LLC’S OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL DEFNDANT FC
Comment
DEFENDANT FCA LLC’S OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL DEFNDANT FCA US LLC’S FURTHER RESPONSES TO FORM INTERROGATORIES 1.1, 15.1 AND 17.1
10/31/2018 Separate Statement
Separate Statement DEFENDANT FCA LLC’S OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL DEFNDANT FC
Comment
DEFENDANT FCA LLC’S OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL DEFNDANT FCA US LLC’S FURTHER RESPONSES TO FORM INTERROGATORIES 12.1
10/31/2018 Separate Statement
Separate Statement DEFENDANT FCA LLC’S OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL DEFNDANT FC
Comment
DEFENDANT FCA LLC’S OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL DEFNDANT FCA US LLC’S FURTHER RESPONSES TO FORM INTERROGATORIES 1, 14, 25, 26, 31, 40, 41, 42, 43, 45, 46, 56, AND 57
10/31/2018 Separate Statement
Separate Statement DEFENDANT FCA LLC’S OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL DEFNDANT FC
Comment
DEFENDANT FCA LLC’S OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL DEFNDANT FCA US LLC’S FURTHER RESPONSES TO FORM INTERROGATORIES 7, 8, 17, 18, 22, 23,24, 25
10/31/2018 Separate Statement
Separate Statement DEFENDANT FCA LLC’S OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL DEFNDANT FC
Comment
DEFENDANT FCA LLC’S OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL DEFNDANT FCA US LLC’S FURTHER RESPONSES TO FORM INTERROGATORIES 18, 20, 31, 32, 37, 38, AND 39
11/06/2018 Memorandum of Points and Authorities in Opposition
Memorandum of Points and Authorities in Opposition PLAINTIFF’S COMBINED TO FCA US LLC’S (1) MOTION
Comment
PLAINTIFF’S COMBINED TO FCA US LLC’S (1) MOTION TO COMPEL FURTHER RESPONSES TO FORM INTERROGATORIES 1.1, 15.1, AND 17.1 AND (2) MOTION TO COMPEL FURTHER SUPPLEMENTAL RESPONSE TO FORM INTERROGATORIES 12.1
11/06/2018 Memorandum of Points and Authorities in Opposition
Memorandum of Points and Authorities in Opposition TO FCA US LLC’S MOTION TO COMPEL FURTHER RESPONSE
Comment
TO FCA US LLC’S MOTION TO COMPEL FURTHER RESPONSES TO REQUEST FOR ADMISSION NOW. 7, 8, 17, 18, 22, 23, 24, AND 25
11/06/2018 Memorandum of Points and Authorities in Opposition
Memorandum of Points and Authorities in Opposition TO FCA US LLC’S TO MOTION TO COMPEL FURTHER RESPO
Comment
TO FCA US LLC’S TO MOTION TO COMPEL FURTHER RESPONSE TO REQUEST FOR PRODUCTION OF DOCUMENTS NOS. 18, 20, 31, 32, 37, 38 AND 39
11/06/2018 Memorandum of Points and Authorities in Opposition
Memorandum of Points and Authorities in Opposition PLAINTIFF’S TO FCA US LLC’S TO MOTION TO COMPEL F
Comment
PLAINTIFF’S TO FCA US LLC’S TO MOTION TO COMPEL FURTHER RESPONSE TO SPECIAL INTEROGATPRRIES NOS. 1, 14, 25, 26, 31, 40, 41, 42, 3, 45, 45, 46, 56 AND 57
11/14/2018 Motion to Compel
~CIV Minute Order – Motion to Compel 11/14/2018
Judicial Officer
Greenberg, Susan
Hearing Time
9:00 AM
Result
Held
Comment
DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO SPECIAL INTERROGATORIES ETC…
11/14/2018 Motion to Compel
~CIV Minute Order – Motion to Compel 11/14/2018
Judicial Officer
Greenberg, Susan
Hearing Time
9:00 AM
Result
Held
Comment
DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO REQUESTS FOR PRODUCTION ETC…
11/14/2018 Motion to Compel
~CIV Minute Order – Motion to Compel 11/14/2018
Judicial Officer
Greenberg, Susan
Hearing Time
9:00 AM
Result
Held
Comment
DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO REQUEST FOR ADMISSION ETC….
11/14/2018 Motion to Compel
~CIV Minute Order – Motion to Compel 11/14/2018
Judicial Officer
Greenberg, Susan
Hearing Time
9:00 AM
Result
Held
Comment
DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES ETC….
11/14/2018 Motion to Compel
~CIV Minute Order – Motion to Compel 11/14/2018
Judicial Officer
Greenberg, Susan
Hearing Time
9:00 AM
Result
Held
12/05/2018 ADR Evaluation Notice Sent
12/10/2018 Discovery Conference
Judicial Officer
Greenberg, Susan
Hearing Time
10:00 AM
Cancel Reason
Vacated
12/10/2018 Discovery Conference
~CIV Minute Order – Discovery Conference 12/10/2018
Judicial Officer
Greenberg, Susan
Hearing Time
10:30 AM
Result
Held
12/14/2018 Discovery Conference
~CIV Minute Order – Discovery Conference 12/14/2018
Judicial Officer
Greenberg, Susan
Hearing Time
02:30 PM
Result
Held
12/15/2018 ADR Mediation Scheduled
01/10/2019 Notice
Notice OF CONTINUANCE OF PLAINTFF’S MOTION TO COMPEL DEFNDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO
Comment
OF CONTINUANCE OF PLAINTFF’S MOTION TO COMPEL DEFNDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES 1.1, 15.1 AND 17.1
01/10/2019 Notice
Notice OF CONTINUANCE OF PLAINTIFF’S MOTION TO COMPEL DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES
Comment
OF CONTINUANCE OF PLAINTIFF’S MOTION TO COMPEL DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO REQUEST FOR ADMISSION NOW. 7,8,17,18,22,23,24,25
01/10/2019 Notice
Notice OF CONTINUANCE OF PLAINTIFF’S MOTION TO COMPEL DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES
Comment
OF CONTINUANCE OF PLAINTIFF’S MOTION TO COMPEL DEFENDANT FCA US LLC’S SUPPLEMENTAL RESPONSES TO REQUESTS FOR PRODUCTION NOW. 18, 20, 31, 32, 37, 38, AND 39
01/10/2019 Notice
Notice OF CONTINUANCE OF PLAINTIFF’S MOTION TO COMPEL DEFENDANT FCA US, LLC’S SUPPLEMENTAL RESPONSES
Comment
OF CONTINUANCE OF PLAINTIFF’S MOTION TO COMPEL DEFENDANT FCA US, LLC’S SUPPLEMENTAL RESPONSES TO SPECIAL INTERROGATORIES NOW. 1, 14, 25, 26, 31, 40, 41, 42, 43, 45, 46, 56 AND 57
01/10/2019 Notice
Notice OF CONTINUANCE OF PLAINTIFF’S MOTION TO COMPEL DEFENDANT FCA US LLC’S FURTHER SUPPLEMENTAL RE
Comment
OF CONTINUANCE OF PLAINTIFF’S MOTION TO COMPEL DEFENDANT FCA US LLC’S FURTHER SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES
01/18/2019 Motion to Compel
~CIV Minute Order – Motion to Compel 01/18/2019
Judicial Officer
Davis, III, Leland
Hearing Time
9:00 AM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC S SUPPLEMENTAL RESPONSES TO REQUEST FOR ADMISSION NOS. 7, 8, 17, 18, 22, 23, 24 AND 25 AND REQUEST FOR MONETARY SANCTIONS OF $2,055.00 BY ALFREDO ABOYTES
01/18/2019 Motion to Compel
~CIV Minute Order – Motion to Compel 01/18/2019
Judicial Officer
Davis, III, Leland
Hearing Time
9:00 AM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC S FURTHER SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES 1.1, 15.1 AND 17.1 AND REQUEST FOR MONETARY SANCTIONS OF $2,672.50 BY ALFREDO ABOYTES
01/18/2019 Motion to Compel
~CIV Minute Order – Motion to Compel 01/18/2019
Judicial Officer
Davis, III, Leland
Hearing Time
9:00 AM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC S SUPPLEMENTAL RESPONSES TO REQUESTS FOR PRODUCTION NOS. 18, 20, 31, 32, 37, 38 AND 39 AND REQUEST FOR MONETARY SANCTIONS OF $2,577.50 BY ALFREDO ABOYTES
01/18/2019 Motion to Compel
~CIV Minute Order – Motion to Compel 01/18/2019
Judicial Officer
Davis, III, Leland
Hearing Time
9:00 AM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC S SUPPLEMENTAL RESPONSES TO SPECIAL INTERROGATORIES NOS. 1, 14, 25, 26, 31, 40, 41, 42, 43, 45, 46, 56 AND 57 AND REQUEST FOR MONETARY SANCTIONS OF $2,862.50 BY ALFREDO ABOYTES
01/18/2019 Motion to Compel
~CIV Minute Order – Motion to Compel 01/18/2019
Judicial Officer
Davis, III, Leland
Hearing Time
9:00 AM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC’S FURTHER SUPPLEMENTAL RESPONSE TO FORM INTERROGATORY 12.1 BY ALFREDO ABOYTES
01/24/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 01/24/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
Per Judge Order to be set on dept. 3
01/24/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 01/24/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
Per order of Judge to be set in dept.3
01/24/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 01/24/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
Per Judge to be set in dept 3
01/24/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 01/24/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
per judge order to be in dept 3
01/24/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 01/24/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
Per Judge to be set in dept 3
01/29/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 01/29/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC S SUPPLEMENTAL RESPONSES TO REQUEST FOR ADMISSION NOS. 7, 8, 17, 18, 22, 23, 24 AND 25 AND REQUEST FOR MONETARY SANCTIONS OF $2,055.00 BY ALFREDO ABOYTES
01/29/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 01/29/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC FURTHER SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES 1.1, 15.1 AND 17.1 AND REQUEST FOR MONETARY SANCTIONS OF $2,672.50 BY ALFREDO ABOYTES
01/29/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 01/29/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC SUPPLEMENTAL RESPONSES TO REQUESTS FOR PRODUCTION NOS. 18, 20, 31, 32, 37, 38 AND 39 AND REQUEST FOR MONETARY SANCTIONS OF $2,577.50 BY ALFREDO ABOYTES
01/29/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 01/29/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC S SUPPLEMENTAL RESPONSES TO SPECIAL INTERROGATORIES NOS. 1, 14, 25, 26, 31, 40, 41, 42, 43, 45, 46, 56 AND 57 AND REQUEST FOR MONETARY SANCTIONS OF $2,862.50 BY ALFREDO ABOYTES
01/29/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 01/29/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC’S FURTHER SUPPLEMENTAL RESPONSE TO FORM INTERROGATORY 12.1 BY ALFREDO ABOYTES
01/31/2019 Stipulation & Order
Stipulation & Order Type: TO CONTINUE TRIAL (COPY FORWARDED TO MASTER CALENDAR) Signed by: JUDGE DAV
Comment
Type: TO CONTINUE TRIAL (COPY FORWARDED TO MASTER CALENDAR) Signed by: JUDGE DAVIS Date Signed: 01/29/19
02/04/2019 Notice of Mandatory Settlement Conference and Jury Trial
Notice of Mandatory Settlement Conference and Jury Trial
02/19/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 02/19/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC S SUPPLEMENTAL RESPONSES TO REQUEST FOR ADMISSION NOS. 7, 8, 17, 18, 22, 23, 24 AND 25 AND REQUEST FOR MONETARY SANCTIONS OF $2,055.00 BY ALFREDO ABOYTES
02/19/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 02/19/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC FURTHER SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES 1.1, 15.1 AND 17.1 AND REQUEST FOR MONETARY SANCTIONS OF $2,672.50 BY ALFREDO ABOYTES
02/19/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 02/19/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC SUPPLEMENTAL RESPONSES TO REQUESTS FOR PRODUCTION NOS. 18, 20, 31, 32, 37, 38 AND 39 AND REQUEST FOR MONETARY SANCTIONS OF $2,577.50 BY ALFREDO ABOYTES
02/19/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 02/19/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC S SUPPLEMENTAL RESPONSES TO SPECIAL INTERROGATORIES NOS. 1, 14, 25, 26, 31, 40, 41, 42, 43, 45, 46, 56 AND 57 AND REQUEST FOR MONETARY SANCTIONS OF $2,862.50 BY ALFREDO ABOYTES
02/19/2019 Discovery Conference
~CIV Minute Order – Discovery Conference 02/19/2019
Judicial Officer
Greenberg, Susan
Hearing Time
01:30 PM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC’S FURTHER SUPPLEMENTAL RESPONSE TO FORM INTERROGATORY 12.1 BY ALFREDO ABOYTES
03/21/2019 Stipulation and Proposed Order received & forwarded to Dept
Stipulation and Proposed Order received & forwarded to Dept #3 TO CONTINUE PLAINTIFF’S MOTION TO COM
Comment
#3 TO CONTINUE PLAINTIFF’S MOTION TO COMPEL EVEN FURTHER SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES AND SPECIAL INTERROGATORIES
03/21/2019 Notice of Motion and Motion to Compel Further Responses
Notice of Motion and Motion to Compel Further Responses PLAINTIFF’S MOTION TO DEFENDANT FCA US LLC’S
Comment
PLAINTIFF’S MOTION TO DEFENDANT FCA US LLC’S EVEN FURTHER SUPPLEMENTAL RESPONSE TO SPECIAL INTERROGATORIES 14,40-43, 45 AND 56; ETC
03/21/2019 Notice of Motion and Motion to Compel Further Responses
Notice of Motion and Motion to Compel Further Responses PLAINTIFFS’ MOTION TO DEFENANT FCA US LLC’S
Comment
PLAINTIFFS’ MOTION TO DEFENANT FCA US LLC’S EVER FURTHER SUPPLEMENTAL RESPONSE TO FORM INTERROGATORIES 12.1, 15.1, AND 17.1; ETC
03/21/2019 Separate Statement
Separate Statement PLAINTIFF CRC 3.1345; OF ITEMS IN DISPUTE IN SUPPORT OF MOTION TO COMPEL DEFENDAN
Comment
PLAINTIFF CRC 3.1345; OF ITEMS IN DISPUTE IN SUPPORT OF MOTION TO COMPEL DEFENDANT’S EVEN FURTHER SUPPLEMENTAL RESPONSES TO SPECIAL INTERROGATORY NOS. 14,40-43,45 AND FURTHER RESPONSE TO 56
03/21/2019 Separate Statement
Separate Statement PLAINTIFF CRC 31.1345; OF ITEMS IN DISPUTE IN SUPPORT OF MOTION TO COMPEL DEFENDA
Comment
PLAINTIFF CRC 31.1345; OF ITEMS IN DISPUTE IN SUPPORT OF MOTION TO COMPEL DEFENDANT’S EVEN FURTHER SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES 12.1, 15.1 AND 17.1
03/26/2019 Stipulation & Order
Stipulation & Order Type: TO CONTINUE PLAINTIFF’S MOTION TO COMPEL EVEN FURTHER SUPPLEMENTAL RESPONS
Comment
Type: TO CONTINUE PLAINTIFF’S MOTION TO COMPEL EVEN FURTHER SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES AND SPECIAL INTERROGATORIES Signed by: JUDGE GREENBERG Date Signed: 3/22/2019
04/02/2019 Separate Statement
Separate Statement FCA US LLC’S SEPARATE STATEMENT IN SUPPORT OF ITS OPPOSITION TO PLAINTIFF’S MOTIO
Comment
FCA US LLC’S SEPARATE STATEMENT IN SUPPORT OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL EVEN FURTHER SUPPLEMENTAL RESPONSES TO SPECIAL INTERROGATORY NOS. 14, 40-43, 45 AND FURTHER RESPONSE TO 56
04/02/2019 Memorandum of Points and Authorities in Support
Memorandum of Points and Authorities in Support FCA US LLC’S MEMORANDUM OF POINTS AND AUTHORITIES IN
Comment
FCA US LLC’S MEMORANDUM OF POINTS AND AUTHORITIES IN SUPPORT OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL EVEN FURTHER SUPPLEMENTAL RESPONSES TO SPECIAL INTERROGATORIES 14, 40-43, 45 AND 56; AND REQUEST FOR SANCTIONS
04/02/2019 Separate Statement
Separate Statement FCA US LLC’S SEPARATE STATEMENT IN SUPPORT OF ITS OPPOSITION TO PLAINTIFF’S MOTIO
Comment
FCA US LLC’S SEPARATE STATEMENT IN SUPPORT OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL EVEN FURTHER SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES 12.1,15.1, AND 17.1
04/02/2019 Memorandum of Points and Authorities in Support
Memorandum of Points and Authorities in Support OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL EV
Comment
OF ITS OPPOSITION TO PLAINTIFF’S MOTION TO COMPEL EVEN FURTHER SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES 12.1,15.1, AND 17.1 FROM DEFENDANT, AND REQUEST FOR SANCTIONS
04/08/2019 Memorandum of Points and Authorities in Reply
Memorandum of Points and Authorities in Reply PLAINTIFF’S REPLY TO FCA’S OPPOSITION TO MOTION TO COM
Comment
PLAINTIFF’S REPLY TO FCA’S OPPOSITION TO MOTION TO COMPEL EVEN FURTHER SUPPLEMENTAL RESPONSES TO FORM INTERROGATORIES 12.1, 15.1 AND 17.1; DECLARATION OF SARAH JANE NORRIS; EXHIBIT
04/08/2019 Memorandum of Points and Authorities in Reply
Memorandum of Points and Authorities in Reply PLAINTIFF’S REPLY TO FCA’S OPPOSITION TO MOTION TO COM
Comment
PLAINTIFF’S REPLY TO FCA’S OPPOSITION TO MOTION TO COMPEL EVEN FURTHER SUPPLEMENTAL RESPONSES TO SPECIAL INTERROGATORIES 12.1, 15.1 AND 17.1; DECLARATION OF SARAH JANE NORRIS; EXHIBIT
04/15/2019 Motion to Compel
~CIV Minute Order – Motion to Compel 04/15/2019
Judicial Officer
Greenberg, Susan
Hearing Time
9:00 AM
Result
Held
05/07/2019 Motion to Compel Further
~CIV Minute Order – Motion to Compel Further 05/07/2019
Judicial Officer
Greenberg, Susan
Hearing Time
09:30 AM
Result
Held
Comment
SUPPLEMENTAL RESPONSE TO SPECIAL INTERROGATORIES 14, 40-43. 45, AND 56
05/07/2019 Motion to Compel Further
Judicial Officer
Greenberg, Susan
Hearing Time
10:00 AM
Result
Held
Comment
SUPPLEMENTAL RESPONSE TO FORM INTERROGATORIES 12.1, 15.1, AND 17.1
06/05/2019 Notice of Motion and Motion to Compel Deposition
Notice of Motion and Motion to Compel Deposition FCA US LLC’S NOTICE OF MOTION AND MOTION TO COMPEL
Comment
FCA US LLC’S NOTICE OF MOTION AND MOTION TO COMPEL PLAINTIFF’S DEPOSITION; REQUEST FOR SANCTIONS
06/05/2019 Memorandum of Points and Authorities in Support
Memorandum of Points and Authorities in Support OF FCA US LLC’S MOTION TO COMPEL PLAINTIFF’S DEPOSIT
Comment
OF FCA US LLC’S MOTION TO COMPEL PLAINTIFF’S DEPOSITION; REQUEST FOR SANCTIONS
06/05/2019 Declaration in Support
Declaration in Support OF JON D UNIVERSAL IN SUPPORT OF FCA US LLC’S MOTION TO COMPEL PLAINTIFF’S D
Comment
OF JON D UNIVERSAL IN SUPPORT OF FCA US LLC’S MOTION TO COMPEL PLAINTIFF’S DEPOSITION; REQUEST FOR SANCTIONS
06/05/2019 Notice of Motion and Motion to Compel
Notice of Motion and Motion to Compel FCA US LLC’S NOTICE OF MOTION AND MOTION TO COMPEL VEHICLE INS
Comment
FCA US LLC’S NOTICE OF MOTION AND MOTION TO COMPEL VEHICLE INSPECTION AND REQUEST FOR MONETARY SANCTIONS
06/05/2019 Memorandum of Points and Authorities in Support
Memorandum of Points and Authorities in Support OF FCA US LLC’S MOTION TO COMPEL VEHICLE INSPECTION
Comment
OF FCA US LLC’S MOTION TO COMPEL VEHICLE INSPECTION AND REQUEST FOR MONETARY SANCTIONS
06/05/2019 Declaration in Support
Declaration in Support OF JON D UNIVERSAL IN SUPPORT OF FCA US LLC’S MOTION TO COMPEL VEHICLE INSPEC
Comment
OF JON D UNIVERSAL IN SUPPORT OF FCA US LLC’S MOTION TO COMPEL VEHICLE INSPECTION AND REQUEST FOR MONETARY SANCTIONS
07/02/2019 Memorandum of Points and Authorities in Opposition
Memorandum of Points and Authorities in Opposition TO DEFENDANT FCA US LLC’S MOTION TO COMPEL
Comment
TO DEFENDANT FCA US LLC’S MOTION TO COMPEL
07/02/2019 Memorandum of Points and Authorities in Opposition
Memorandum of Points and Authorities in Opposition TO DEFENANT FCA US LLC’S MOTION TO COMPEL VEHICLE
Comment
TO DEFENANT FCA US LLC’S MOTION TO COMPEL VEHICLE INSPECTION
07/03/2019 Memorandum of Points and Authorities in Opposition
Memorandum of Points and Authorities in Opposition TO DEFENDANTS MOTION TO COMPEL THE DEPOSITION OF
Comment
TO DEFENDANTS MOTION TO COMPEL THE DEPOSITION OF PLAINTIFF; ETC…
07/03/2019 Memorandum of Points and Authorities in Opposition
Memorandum of Points and Authorities in Opposition TO DEFENDANTS MOTION TO COMPEL VEHICLE INSPECTION
Comment
TO DEFENDANTS MOTION TO COMPEL VEHICLE INSPECTION AND REQUEST FOR SANCTIONS; ETC…
07/10/2019 Declaration in Reply
Declaration in Reply Defendant’s Reply ISO Motion to Compel Deposition and Declaration of Jon D. Uni
Comment
Defendant’s Reply ISO Motion to Compel Deposition and Declaration of Jon D. Universal
07/10/2019 Declaration in Reply
Declaration in Reply Defendant’s Reply ISO Motion to Compel Vehicle Inspection and Declaration of Jo
Comment
Defendant’s Reply ISO Motion to Compel Vehicle Inspection and Declaration of Jon D. Universal
07/17/2019 Motion to Compel Depositions
~CIV Minute Order – Motion to Compel Depositions 07/17/2019
Judicial Officer
Davis, III, Leland
Hearing Time
9:00 AM
Result
Held
Comment
FCA US LLC’S NOTICE OF MOTION AND MOTION TO COMPEL PLAINTIFF’S DEPOSITION; REQUEST FOR SANCTIONS
07/17/2019 Motion to Compel
~CIV Minute Order – Motion to Compel 07/17/2019
Judicial Officer
Davis, III, Leland
Hearing Time
9:00 AM
Result
Held
Comment
FCA US LLC’S NOTICE OF MOTION AND MOTION TO COMPEL VEHICLE INSPECTION AND REQUEST FOR MONETARY SANCTIONS
07/17/2019 Tentative ruling adopted and becomes order:
Comment
DEFENDANT’S MOTION TO COMPEL THE ATTENDANCE OF PLAINTIFF ALFREDO ABOYTES AT DEPOSITION. Defendant’s motion to compel the attendance of Plaintiff Alfredo Aboytes at deposition is GRANTED. Plaintiff is ordered to appear for deposition within 14 days of this order. Since November 2018, Defendant FCA has provided Plaintiff numerous opportunities to supply a mutually agreeable date for Plaintiff’s deposition. Plaintiff did not cooperate until after this motion was filed. Plaintiff’s last-minute cooperation does not moot the motion. Plaintiff has cited CCP 2030.300. That section addresses responses to interrogatories and is inapplicable to the present motion. Plaintiff did not provide a timely response to Defendant’s request to supply dates to proceed with the deposition. The court finds that Defendant’s meet and confer efforts were adequate. The court notes that, although FCA indicated, in an email on June 21, it would withdraw the motion if Plaintiff agreed to the deposition on July 10, Plaintiff did not confirm or follow up on that offer. Plaintiff contends that Defendant’s motion should be denied for failure to file a separate statement. Plaintiff, however, cites no specific subsection within CRC 3.1345 requiring Defendant to file a separate statement in conjunction with a motion to compel attendance at deposition. Defendant’s request for sanctions is GRANTED in the amount of $2,060. Plaintiff’s request for sanctions is DENIED. Counsel for Defendant shall prepare a written order consistent with the Court’s ruling for the Court’s signature, pursuant to California Rules of Court, Rule 3.1312, and provide written notice of the ruling to all parties who have appeared in the action, as required by law and the California Rules of Court.
07/17/2019 Tentative ruling adopted and becomes order:
Comment
DEFENDANT’S MOTION TO COMPEL A VEHICLE INSPECTION. Defendant’s motion to compel a vehicle inspection is GRANTED. Plaintiff is ordered to produce the subject vehicle for inspection within 14 days of this order. On November 30, 2018, Plaintiff noticed the vehicle inspection to occur on January 29. Defendant did not respond to the demand until January 18, more than 30 days after service of the demand. As a result, Plaintiff’s waived any objections to the demand pursuant to CCP 2031.260. Plaintiff contends that, pursuant to CCP 2031.310, Defendant’s motion is untimely because it was not filed within 45 days of Plaintiff’s response on January 18. CCP 2031.310 governs motions to compel further responses. Defendant, however, does not seek to compel further responses to the demand. Rather, Defendant seeks to compel the inspection. Further, the 45-day limit set forth in CCP 2031.310 runs from service of a verified response. Plaintiff has not alleged that any verified response to Defendant’s demand was served. Accordingly, the court is unpersuaded by Plaintiff’s argument that Defendant’s motion is untimely. As in its opposition to the motion to compel Plaintiff’s deposition, Plaintiff contends that Defendant’s motion should be denied for failure to file a separate statement. Plaintiff, however, cites no specific subsection within CRC 3.1345 or other authority requiring Defendant to file a separate statement in conjunction with a motion to compel a vehicle inspection. Finally, Plaintiff contends it is entitled to a protective order “that prohibits FCA from unreasonably excluding Plaintiff from the road test portion of the inspection of its own vehicle.” [Opposition, p.8] Plaintiff has provided no authority supporting the issuance of such an order. Plaintiff alleges that a protective order is necessary “to obviate the possibility that Defense could thus tamper with or alter data gleaned from said road test.” [Id., p.10] Plaintiff, however, has offered no evidence indicating that this is a valid concern in this case. Plaintiff’s motion is denied for the additional reason that, as indicated above, Plaintiff did not “promptly” seek a protection order as required by CCP 2031.060. Defendant’s request for sanctions is DENIED. In light of the similarities between this motion and Defendant’s motion to compel Plaintiff’s deposition, the court finds that no sanctions should be awarded in conjunction with this motion. Plaintiff’s request for sanctions is DENIED. Counsel for Defendant shall prepare a written order consistent with the Court’s ruling for the Court’s signature, pursuant to California Rules of Court, Rule 3.1312, and provide written notice of the ruling to all parties who have appeared in the action, as required by law and the California Rules of Court.
08/09/2019 Proposed Order Received
Proposed Order Received ON DEFENDANT FCA US LLC’S MOTIO TO COMPEL ETC… FWD TO DEPT. #1
Comment
ON DEFENDANT FCA US LLC’S MOTIO TO COMPEL ETC… FWD TO DEPT. #1
08/09/2019 Proposed Order Received
Proposed Order Received ON DEFENDANT FCA US LLC’S MOTION TO COMPEL VEHICLE INSPECTION ETC…. FWD TO
Comment
ON DEFENDANT FCA US LLC’S MOTION TO COMPEL VEHICLE INSPECTION ETC…. FWD TO DEPT. #1
08/19/2019 Order
Order Type: ON DEFENDANT FCA US LLC’S MOTION TO COMPEL VEHICLE INSPECTION AND REQUEST FOR SANCTIONS
Comment
Type: ON DEFENDANT FCA US LLC’S MOTION TO COMPEL VEHICLE INSPECTION AND REQUEST FOR SANCTIONS Signed by: JUDGE DAVIS Date Signed: 8/16/19
08/19/2019 Order
Order Type: ON DEFENDANT FCA US LLC’S MOTION TO COMPEL PLAINTIFF’S DEPOSITION AND REQUEST FOR SANCTI
Comment
Type: ON DEFENDANT FCA US LLC’S MOTION TO COMPEL PLAINTIFF’S DEPOSITION AND REQUEST FOR SANCTIONS Signed by: JUDGE DAVIS Date Signed: 8/16/19
08/19/2019 Mandatory Settlement Conference Statement received
08/22/2019 Notice of Entry of Order
Notice of Entry of Order Notice of Entry of Order on Defendant’s Motion to Compel Plaintiff’s Deposi
Comment
Notice of Entry of Order on Defendant’s Motion to Compel Plaintiff’s Deposition and Request for Sanctions
08/22/2019 Notice of Entry of Order
Notice of Entry of Order Notice of Entry of Order on Defendant’s Motion to Compel Vehicle Inspection
Comment
Notice of Entry of Order on Defendant’s Motion to Compel Vehicle Inspection
08/23/2019 Mandatory Settlement Conference Statement received
08/29/2019 Mandatory Settlement Conference
~CIV Minute Order – Mandatory Settlement Conference 08/29/2019
Judicial Officer
Grandsaert, John L.
Hearing Time
9:30 AM
Result
Held
Comment
MOTION TO COMPEL DEFENDANT FCA US LLC’S FURTHER SUPPLEMENTAL RESPONSE TO FORM INTERROGATORY 12.1 BY ALFREDO ABOYTES
09/13/2019 Ex Parte Opposition
Ex Parte Opposition DEFENDANT FCA US LLCS OPPOSITION TO PLAINTIFFS EX PARTE APPLICATION AND MOTION T
Comment
DEFENDANT FCA US LLCS OPPOSITION TO PLAINTIFFS EX PARTE APPLICATION AND MOTION TO COMPEL NON-RETAINED EXPERT WITNESSES OR EXCLUDE THEM FROM TRIAL
09/13/2019 Ex Parte Opposition
Ex Parte Opposition DECLARATION OF JON D. UNIVERSAL IN SUPPORT OF OPPOSITION TO PLAINTIFFS EX PARTE
Comment
DECLARATION OF JON D. UNIVERSAL IN SUPPORT OF OPPOSITION TO PLAINTIFFS EX PARTE APPLICATION AND MOTION TO COMPEL NON-RETAINED EXPERT WITNESSES OR EXCLUDE THEM FROM TRIAL
09/13/2019 Ex Parte Fee Paid
09/13/2019 Ex Parte Application
Ex Parte Application FOR AN ORDER COMPELLING THE DEPOSITION OF DEFENDANT FCA US LLC’S EXPERT WITNESS
Comment
FOR AN ORDER COMPELLING THE DEPOSITION OF DEFENDANT FCA US LLC’S EXPERT WITNESSES ETC…
09/13/2019 Proposed Order Received
Proposed Order Received DENIED PROPOSED EX PARTE ORDER
Comment
DENIED PROPOSED EX PARTE ORDER
09/17/2019 Notice
Notice of RULING RE PLAINTIFF’S EX PARTE APPLICATION TO COMPEL DEPOSITIONS OF DEFENDANT’S NON-RETAIN
Comment
of RULING RE PLAINTIFF’S EX PARTE APPLICATION TO COMPEL DEPOSITIONS OF DEFENDANT’S NON-RETAINED EXPERT WITNESSES, OR IN THE ALTERNATIVE, FOR AN ORDER EXCLUDING THOSE WITNESSES FROM TESTIFYING AT TRIAL
09/20/2019 Witness List
Witness List DEFENDANT FCA US LLC’S WITNESS LIST
Comment
DEFENDANT FCA US LLC’S WITNESS LIST
09/20/2019 Motion In Limine
Motion In Limine MOTION IN LIMINE NO. 1 BY DEFENDANT TO PRECLUDE PREJUDICIAL REFERENCES OR CHARACTER
Comment
MOTION IN LIMINE NO. 1 BY DEFENDANT TO PRECLUDE PREJUDICIAL REFERENCES OR CHARACTERIZATIONS AT TRIAL
09/20/2019 Motion In Limine
Motion In Limine MOTION IN LIMINE NO. 2 BY DEFENDANT TO EXCLUDE EVIDENCE AND TESTIMONY RELATING TO A
Comment
MOTION IN LIMINE NO. 2 BY DEFENDANT TO EXCLUDE EVIDENCE AND TESTIMONY RELATING TO ANY LOSS OF USE, LOSS OF WAGES AND OTHER CONSEQUENTIAL DAMAGES AT TRIAL
09/20/2019 Motion In Limine
Motion In Limine MOTION IN LIMINE NO. 3 BY DEFENDANT TO EXCLUDE EVIDENCE OF EMOTIONAL DISTRESS
Comment
MOTION IN LIMINE NO. 3 BY DEFENDANT TO EXCLUDE EVIDENCE OF EMOTIONAL DISTRESS
09/20/2019 Motion In Limine
Motion In Limine MOTION IN LIMINE NO. 4 BY DEFENDANT TO EXCLUDE UNREPORTED COMPLAINTS
Comment
MOTION IN LIMINE NO. 4 BY DEFENDANT TO EXCLUDE UNREPORTED COMPLAINTS
09/20/2019 Motion In Limine
Motion In Limine MOTION IN LIMINE NO. 5 BY DEFENDANT TO EXCLUDE ANY ATTEMPTS BY PLAINTIFF AND/OR HIS
Comment
MOTION IN LIMINE NO. 5 BY DEFENDANT TO EXCLUDE ANY ATTEMPTS BY PLAINTIFF AND/OR HIS COUNSEL TO INTRODUCE EVIDENCE/TESTIMONY ABOUT SIMILAR COMPLAINTS, LAWSUITS, INTERNET CHAT AND OTHER HEARSAY EVIDENCE AT TRIAL
09/20/2019 Motion In Limine
Motion In Limine MOTION IN LIMINE NO. 6 BY DEFENDANT TO EXCLUDE SETTLEMENT DISCUSSIONS UNDER EVIDENC
Comment
MOTION IN LIMINE NO. 6 BY DEFENDANT TO EXCLUDE SETTLEMENT DISCUSSIONS UNDER EVIDENCE CODE 1152
09/20/2019 Motion In Limine
Motion In Limine MOTION IN LIMINE NO. 7 BY DEFENDANT TO PRECLUDE PLAINTIFF FROM INTRODUCING WITNESSE
Comment
MOTION IN LIMINE NO. 7 BY DEFENDANT TO PRECLUDE PLAINTIFF FROM INTRODUCING WITNESSES, EVIDENCE, OR CONTENTIONS NOT DISCLOSED IN HIS DISCOVERY
09/20/2019 Jury Instructions – final version read to jury
Jury Instructions – final version read to jury
09/20/2019 Motion In Limine
Motion In Limine NO. 9 BY DEFENDANT TO EXCLUDE ANY OPINION TESTIMONY BY PLAINTIFF’S EX PERT NOT ALRE
Comment
NO. 9 BY DEFENDANT TO EXCLUDE ANY OPINION TESTIMONY BY PLAINTIFF’S EX PERT NOT ALREADY PROVIDED AT DEPOSITION
09/20/2019 Statement
Statement DEFENDANT FCA US LLC’S STATEMENT OF THE CASE
Comment
DEFENDANT FCA US LLC’S STATEMENT OF THE CASE
09/20/2019 Exhibit List
Exhibit List
09/20/2019 Proposed Verdict
Proposed Verdict DEFENDANT FCA US LLC’S SPECIAL VERDIT FORM-EXPRESS WARRANTY
Comment
DEFENDANT FCA US LLC’S SPECIAL VERDIT FORM-EXPRESS WARRANTY
09/20/2019 Proposed Verdict
Proposed Verdict DEFENDANT FCA US LLC’S SPECIAL VERDIT FORM BREACH OF IMPLIED WARRANTY OF MERCHANTAB
Comment
DEFENDANT FCA US LLC’S SPECIAL VERDIT FORM BREACH OF IMPLIED WARRANTY OF MERCHANTABILITY
09/20/2019 Motion In Limine
Motion In Limine PLAINTIFF ALFREDO ABOYTES’ MOTION IN LIM/NE NO. 1 TO PRECLUDE DEFENDANT FCA US LLC
Comment
PLAINTIFF ALFREDO ABOYTES’ MOTION IN LIM/NE NO. 1 TO PRECLUDE DEFENDANT FCA US LLC FROM REFERENCING PLAINTIFF’S FAILURE TO AV AIL HIMSELF TO ANY 3RD PARTY DISPUTE PROGRAM, INCLUDING BUT NOT LIMITED TO, THE BETTER BUSINESS BUREAU PROGRAM; DECLARATION OF DAVID
09/20/2019 Motion In Limine
Motion In Limine PLAINTIFF ALFREDO ABOYTES’ MOTION IN LIM/NE NO. 2 TO PRECLUDE THE INTRODUCTION OF W
Comment
PLAINTIFF ALFREDO ABOYTES’ MOTION IN LIM/NE NO. 2 TO PRECLUDE THE INTRODUCTION OF WITNESSES AND DOCUMENTS NEVER IDENTIFIED IN DISCOVERY BY DEFENDANT; DECLARATION OF DAVID N. BARRY, ESQ.
09/20/2019 Motion In Limine
Motion In Limine PLAINTIFF ALFREDO ABOYTES’ MOTION IN LIMINENO. 3 TO EXCLUDE DEFENDANT FCA US LLC’S
Comment
PLAINTIFF ALFREDO ABOYTES’ MOTION IN LIMINENO. 3 TO EXCLUDE DEFENDANT FCA US LLC’S EXPERT WITNESSES FOR FAILURE TO TIMELY PRODUCE THEMSELVES FOR DEPOSITION; DECLARATION OF DAVID N. BARRY, ESQ.
09/20/2019 Motion In Limine
Motion In Limine PLAINTIFF AFLREDO ABOYTES’S MOTION IN LIMINE NO. 4 TO PRECLUDE TESTIMONY, ARGUMENT,
Comment
PLAINTIFF AFLREDO ABOYTES’S MOTION IN LIMINE NO. 4 TO PRECLUDE TESTIMONY, ARGUMENT, OR IMPLICATION THAT PLAINTIFF DID NOT MAKE SUFFICIENT EFFORTS TO ASK DEFENDANT TO REPURCHASE OR REPLACE THE SUBJECT VEHICLE; DECLARATION OF DAVID N. BARRY, ESQ.
09/20/2019 Motion In Limine
Motion In Limine PLAINTIFF AFLREDO ABOYTES’ MOTION IN LIMINE NO. 5 TO EXCLUDE ARGUMENT THAT MISUSE,
Comment
PLAINTIFF AFLREDO ABOYTES’ MOTION IN LIMINE NO. 5 TO EXCLUDE ARGUMENT THAT MISUSE, ABUSE, OR MODIFICATIONS WERE THE CAUSE OF ANY OF THE SUBJECT VEIDCLE’S DEFECTS; DECLARATION OF DAVID N. BARRY, ESQ.
09/20/2019 Motion In Limine
Motion In Limine PLAINTIFF AFLREDO ABOYTES’ MOTION IN LIM/NE NO. 6 TO PROIDBIT REFERENCE TO SETTLEME
Comment
PLAINTIFF AFLREDO ABOYTES’ MOTION IN LIM/NE NO. 6 TO PROIDBIT REFERENCE TO SETTLEMENT NEGOTIATIONS; DECLARATION OF DAVID N. BARRY, ESQ. FCA
09/20/2019 Motion In Limine
Motion In Limine PLAINTIFF AFLREDO ABOYTES’ MOTION IN LIM/NE NO. 7 TO PROHIBIT ARGUMENT REGARDING IN
Comment
PLAINTIFF AFLREDO ABOYTES’ MOTION IN LIM/NE NO. 7 TO PROHIBIT ARGUMENT REGARDING INCREASE COSTS OF VEHICLES BECAUSE OF LEMON LAW LITIGATION; DECLARATION OF DAVID N. BARRY, ESQ.
09/20/2019 Exhibit List
Exhibit List PLAINTIFF’S EXHIBIT LIST
Comment
PLAINTIFF’S EXHIBIT LIST
09/20/2019 Jury Instructions – final version read to jury
Jury Instructions – final version read to jury
09/20/2019 Witness List
Witness List
09/20/2019 Proposed Verdict
Proposed Verdict
09/20/2019 Proposed Verdict
Proposed Verdict
09/20/2019 Statement
Statement PLAINTIFF’S STATEMENT OF THE CASE
Comment
PLAINTIFF’S STATEMENT OF THE CASE
09/20/2019 Trial Brief
Trial Brief PLAINTIFF’S TRIAL BRIEF
Comment
PLAINTIFF’S TRIAL BRIEF
09/23/2019 Jury Trial
~CIV Minute Order – Jury Trial 09/23/2019
Judicial Officer
Karesh, Jonathan E.
Hearing Time
9:00 AM
Result
Not Held
Comment
JURY TRIAL TIME ESTIMATE 5 DAYS
Parties Present
Plaintiff
Attorney: BARRY, DAVID N.
09/23/2019 Exhibit List
Exhibit List DEFENDANT FCA US LLC’S AMEND EXHIBIT LIST
Comment
DEFENDANT FCA US LLC’S AMEND EXHIBIT LIST
09/23/2019 Declaration in Support
Declaration in Support OF MOTION IN LIMINE NO. 8 BY DEFENDANT TO EXCLUDE OPINION, TESTIMONY OR EVIDE
Comment
OF MOTION IN LIMINE NO. 8 BY DEFENDANT TO EXCLUDE OPINION, TESTIMONY OR EVIDENCE BY PLAINTIFF’S NON-DESIGNATED EXPERT AT TRIAL
09/23/2019 Motion In Limine
Motion In Limine MOTION IN LIMINE NO. 8 BY DEFENDANT TO EXCLUDE OPINION, TESTIMONY OR EVIDENCE BY PL
Comment
MOTION IN LIMINE NO. 8 BY DEFENDANT TO EXCLUDE OPINION, TESTIMONY OR EVIDENCE BY PLAINTIFF’S NON-DESIGNATED EXPERT AT TRIAL
12/03/2019 Order to Show Cause Re: Dismissal of Entire Action