Alvarez v. Universal Underwriters Insurance Company et al
Filing
12
ORDER REMANDING CASE TO STATE COURT Signed by Judge Paul S. Grewal on November 7, 2014 granting 11 (psglc2, COURT STAFF) (Filed on 11/7/2014)
1 LEWIS BRISBOIS BISGAARD & SMITH LLP
Julian J. Pardini, Esq., SB# 133878
Email: Julian.Pardini@lewisbrisbois.com
2
Stephen J. Liberatore, Esq., SB# 129772
Email: Stephen.Liberatore@lewisbrisbois.com
3
333 Bush Street, Suite 1100
4 San Francisco, California 94104-2872
Telephone: 415.362.2580
5 Facsimile: 415.434.0882
Attorneys for Defendants UNIVERSAL UNDERWRITERS INSURANCE COMPANY and
6 UNIVERSAL UNDERWRITERS SERVICE CORPORATION
7 LAW OFFICE OF DANIEL E. GRIFFEE
Daniel E. Griffee, Esq., SB# 229897
Email: Daniel@DGriffeeLaw.com
8
44 West Alisal Street
9 Salinas, California 93901
Telephone: 831.753.6577
10 Facsimile: 831.424.9625
Attorneys for Plaintiff ADELA G. ALVAREZ
11
UNITED STATES DISTRICT COURT
12
NORTHERN DISTRICT OF CALIFORNIA
13
14 ADELA G. ALVAREZ, an individual
CASE NO. 14-CV-04719 PSG
15
STIPULATION AND [PROPOSED] ORDER
TO REMAND CASE TO STATE COURT
Plaintiff,
16
v.
17 UNIVERSAL UNDERWRITERS INSURANCE
COMPANY, a business entity form unknown,
18 UNIVERSAL UNDERWRITERS SERVICE
CORPORATION, a corporation and DOES 1
19 through 20, inclusive,
20
Defendants.
21
RECITALS
22
1.
23
Plaintiff Adela G. Alvarez (“Plaintiff”) commenced this action by filing a complaint in
24 the Superior Court of the State of California in and for the County of Monterey (the “State Court”) on
25 or about September 17, 2014, against Defendants Universal Underwriters Insurance Company, and
26 Universal Underwriters Service Corporation (“Defendants”).
27 / / /
LEWIS
28 / / /
BRISBOIS
BISGAARD
& SMITH LLP
ATTORNEYS AT AW
4852-0176-7712.1
14-CV-04719 PSG
1
STIPULATION AND [PROPOSED] ORDER TO REMAND CASE TO STATE COURT
2.
1
On October 23, 2014, Defendants removed this matter to this Court based on personal
2 jurisdiction.
3.
3
Plaintiff and Defendants, by and through their respective counsel of record, have met
4 and conferred and have reached agreement to remand this matter back to the State Court.
4.
5
Plaintiff and Defendants, by and through their respective counsel of record, have
6 further met and conferred and agree that each party will bear its own costs and fees with regard to all
7 efforts in the removal of this action to this Court, as well as the remand of the action to the State
8 Court.
9
10
STIPULATION
NOW, THEREFORE, Plaintiff and Defendants, by and through their respective attorneys of
11 record, hereby stipulate and agree that the action shall immediately be remanded to the Superior Court
12 (Limited Jurisdiction) in and for the State of California, County of Monterey.
13
IT IS SO STIPULATED.
14 DATED: November 7, 2014
15
LAW OFFICE OF DANIEL E. GRIFFEE
By:
16
17
/s/ Daniel E. Griffee
Daniel E. Griffee
Attorneys for Plaintiff
ADELA G. ALVAREZ
18
19 DATED: November 7, 2014
20
By:
21
22
23
24
25
LEWIS BRISBOIS BISGAARD & SMITH
LLP
/s/ Stephen J. Liberatore
Julian J. Pardini
Stephen J. Liberatore
Attorneys for Defendants
UNIVERSAL UNDERWRITERS INSURANCE
COMPANY and UNIVERSAL UNDERWRITERS
SERVICE CORPORATION
I hereby attest that I have on file all holographic signatures corresponding to any
26 signatures indicated by a conformed signature (/s/) within this e-filed document.
27 DATED: November 7, 2014
LEWIS
28
/s/ Stephen J. Liberatore
Stephen J. Liberatore
BRISBOIS
BISGAARD
& SMITH LLP
ATTORNEYS AT AW
4852-0176-7712.1
14-CV-04719 PSG
2
STIPULATION AND [PROPOSED] ORDER TO REMAND CASE TO STATE COURT
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?