You are on page 1of 19
(age 1 of 19) a0 a 2 u ue 16 u 1 a 20 a 2 a DANIEL M. HODES, ESQ. (SBN 101773) HODES, MILMAN & LIEBECK LLP ‘9210 Irvine Center Drive Irvine, California 92618 Tel: 49) 640-8222; Fax: (949) 336-8114 Email: dhodes@hmllawe JUSTIN T. GREEN, ESQ. DANIEL 0. ROSE, ESQ. KREINDLER & KREINDLER LLP 750 Third Avenue |New York, New York 10017 Tel: (212) 687-8181; Fax: (212) 972-9432 Emails: jgeen@lacindler coms a TI Broadway, 12° Floor i New York, New York 10006 Tel: Em Rope of beef Cae Bo, tive of the Estat os deceased; JENNY BERL, sn nd dua MICHAEL BERL, anit MISRANDER BERL, on vie Plaintiffs, ve )MENA PRODUCTIONS, LLC, a California} ied ed ase mp: CROSS CREE) any; IMAGINE ENTERTAINMENT, — ) ‘a Delaware limited liability company; QUADRANT PICTURES, aCelifomia carperation; VENDIAN ENTERTAINMENT, 3 LLC, a Deleware ‘company; |FREDERIC NORTH; JIMMY LEE ) GARLAND; S&S AVIATION CO,,INC..a ) corp corporation, HELIBLACK, LLC,a_ ) California limited liabili j ESTATE) OF ALAN PURWIN, DI Di ceaeey KATHRYN PURWIN, as Executor and) d iF ) Personal Re ive of the Estate of Alan /Purwin; and DOES 1-40, Inclusive, Defendants, e iy wf SEP 14 2018 oticeniCir ooh Se et nc ‘Ctra (212) 385-4410; Fax: (212) 385-4417 DU toll aE Fue ikorek@lawyertimecom [Attomeys for Plaintiffs FSC:02/.28/ gta TAL: 3/ 1a SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF LOS ANGELES - CENTRAL DISTRICT BC633844 COMPLAINT FOR WRONGFUL DEATH AND SURVIVAL DAMAGES; AND. DEMAND FOR JURY TRIAL ‘Complaint filed: roan NAY oo'sehs: z0tbo 91/61/60 tared 3180 tao, *3OMHO SUD 28H & eauRY ENE CePA FOR WRONGEUL DEATH AD SURVIVAL BRNGES? AO DBA orsa| 38 am ost: 057 161248 q q ‘ooh 3 Faget 1 ~ Dec a0 = xesdesis02 Doc ype = om rage 2 9€ 19) _ PRELIMINARY STATEMENT 2 1, This case arises out ofthe September 11, 2015 crash of a Pipee/Smith Aerostar 3 |}600 airplane, United States Registration No. NIG4HH (the “Subject Aircraft”, that killed Carlos 4 || Berl and Alan Purwin, and also seriously injured defendant JIMMY LEE GARLAND (‘the 5 || Subject Flight”), The crash occurred during the filming of a major motion picture in the 6 || Republic of Colombia, South America, originally entitled “Mena” and since resitled “American 7 || Made,” in which Tom Cruise is castin the role of an American pilot, Barry Seal, a drug runner § || recruited by the C.LA. in the 1980's to try to capture drug kingpin Pablo Escobar, a ‘THE PARTIES 10 2, Plaintiff ANDRES BERL is the appointed, qualified, and acting executor of the 14 |] Rotate of Carlos Bel and i therefore ented to commence an action on Carlos Ber!'s behalf as 22 |[ his personal representative as that term is defined at Cade of Civil Procedure section 377.30. 35 |] Plaintiff ANDRES BERL brings this action in his capacity as the personal representative of and. 44 || on behalf of Carlos Berl, deceased, a citizen and resident of the State of New York. as 3, Plaintiff JENNY BERL is. citizen and resident of the State of New York, a 36 |] surviving child, and a suecessor-in-interest of Carlos Berl. un 4. Plaintiff MICHAEL BERL is acitizen and resident of the State of New York, a 16 } surviving child, and a successor-in-interest of Carlos Berl. as 5. Plaintiff ALEXANDER BERL isa citizen and resident of the State of New York, 20 | a surviving child, and a successor-in-interest of Carlos Ber. ae 6 Plaintiffs JENNY BERL, MICHAEL BERL, and ALEXANDER BERL assert 22 |] wcongfol death claims pursuant to Code of Civil Procedure section 377.60 et seq, or any other 22 | applicable laws, and claim all allowable wrongful death damages. on 7. Plaintiff ANDRES BERL, as Executor and Personal Representative of the Estate 225 |l of Carlos Ber, asserts survival claims pursuant to Code of Civil Procedure sections 377.10, 226 || 377.20, and 377.30 et seg, or anyother applicable laws, and claims all allowable survival $27 | damages. 2 ze ff ____C______|} ‘COMPLAINT FOR WHONGFUL DEATH AND SURVIVAL DAMAGES? AND DEMAND FOR JURY TRIAL ‘Doct 4 Pagel 2 — Doo ID = 1668693500 - Dos Sype = ona (rage 3 of 19) » a 2 » “ re “ ” s » » a ” 2 ox Eas Sas ea 26 8. Plaintiffs are informed and believe and on that basis allege thet defendant MENA PRODUCTIONS LLC, is and at all times herein mentioned was a California limited liability company with a principal place of business in Los Angeles County, California. Plaintiffs are further informed and believe and thereon allege that defendants DOES 1-5 are principals, general partners, owners, operators, proprietors, shareholders, members and alter egos of MENA PRODUCTIONS LLC. 9. Plaintiffs are informed and believe and thereon allege that defendant CROSS |CREEK PICTURES, LLC is and at all times herein mentioned was a Delaware limited liability company with a principal place of business in the County of Los Angeles, California. Plaimtffs are further informed and believe and thereon allege that defendants DOES 6-10 ae principals, general parmers, owners, operators, proprietors, shareholders, members and alter egos of CROSS) |CREEK PICTURES, LLC. 10, Plaintiffs are informed and believe and thereon allege that defendant IMAGINE, ENTERTAINMENT, LLC is and atal times herein mentioned was a Delaware limited liability ‘company with its principal place of business in the County of Los Angeles, California. Plaintiffs are further informed and believe and thereon allege that defendants DOES 11-15 are principals, general parmers, owners, operators, proprietors, sharcholders, members and alter egos of IMAGINE ENTERTAINMENT, LLC. 11, Plaintiffs are informed and believe and thereon allege that defendant QUADRANT PICTURES is and at all times herein mentioned was a California corporation with its principal place of business in the County of Los Angles, California. Plaintiffs ae further informed and believe and thereon allege that defendants DOES 16-20 are principals, general partners, owmers, operators, proprietors, shareholders, members and alter egos of QUADRANT PICTURES. 12, Plaintiffs are informed and believe and thereon allege that defendant VENDIAN ity company with ts principal place of business in the County of Los Angeles, California, Plaintifis 3 ENTERTAINMENT, LLC, is and at all times herein mentioned was a Delaware limited ‘COMPLAINT FOR WRONGFUL DEATH AND SURVIVAL DAMAGES? AND DEMAND FOR JURY TRIAL | ‘Book 2 Page 3 - Doo 1D = 12666691502 ~ Deo type = om (rage ¢ of 19) e e 1 | are further informed and believe and thereon allege that defendants DOES 21-25 are principals, 2 || general partners, owners, operators, propristors, shareholders, members and alter egos of 3 || VENDIAN ENTERTAINMENT, LLC. ‘ 13, Plaintiffs ae informed and believe and on that basis allege that defendant 5 || FREDERIC NORTH is a resident of Los Angeles County, California and a citizen of France. 6 || Defendant FREDERIC NORTH is self-described motion picture helicopter pilot and an owner, 7 Tl proprietor, director, shareholder, partner, principal and/or member of defendant HELIBLACK, §|Itte. 9 14, Plaintiffs are informed and believe and on that basis allege that defendant JIMMY} 10 || LEE GARLAND is a resident and citizen of the State of Georgia, Defendant JIMMY LEE 11 || GARLAND is the CFO and an owner, proprietor, director, shareholder, partner, principal and/or 12 || member of defendant S&S AVIATION CO., INC. Plaintiffs are further informed and believe 9 || and thereon allege that JIMMY LEE GARLAND conducted substantia! business in California, 24 | including business agreements and other dealings withthe other above named Defendants in 35 || relation to services for aerial filming and flight support services forthe film “Mena,” including 16 || the Subject Flight. a 15. Plaintiffs are informed and believe and on that basis allege that defendant S&S 18 |] AVIATION CO. INC,, is and at all times herein mentioned was a Georgia corporation with 2 19 || principal place of business in Ball Ground, Georgia. Plaintiffs are further informed and believe 20 || and thereon allege that defendants DOES 26-30 are principals, general partners, owners, 21 || operators, proprietors, shareholders, members and alter egos of S&S AVIATION CO., INC. 22 || Plaintiffs are further informed and believe and thereon allege that S&S AVIATION CO., INC., 23 || conducted substantial business in California, including business agreements and other dealings 224 || with the other above named Defendants in relation to services for aerial filming and flight 25 | support services for the film “Mena,” including the Subject Flight. i ee 16. Plaintiffs are informed and believe and on that basis allege that defendant ‘227 || HELIBLACK, LLC, is and at all times herein mentioned was a California limited liability Z 4 28 Sn eae eeeeeee ‘CONPEAINT FOR WRONGFUL DEATH AND SURVIVAL DANAGES; AND DEMAND FOR JURY TRIAL ‘Dock 2 wages 4 - Boo TD = 1666691502 ~ Doe type = oR (age 5 of 30) + ||company with a principal place of business in Los Angeles County, California, Alan Purwin was, 2 lan owner, proprietor, director, shareholder, partner, principal and/or member of defendant 3 ||HELIBLACK, LLC. Plaintiffs are further informed and believe and thereon allege that 4 | | defendants DOES 31-35 are principals, general partners, owmers, operators, proprietors, 5 |\ sharcholders, members and alter egos of HELIBLACK, LLC. 5 17. Plaintiffs are informed and beliove and on that basis allege that Defendant 7 | KATHRYN PURWIN is the Executor and Personal Representative of the Estate of Alan Purwia, ® | deceased (the “Purwin Estate”), Plaintiffs have prepared a Creditor's Claim pursuant to the 5 |) Probate Code and have caused or will cause it to be duly served upon KATHRYN PURWIN as 20 |) the legal representative of the Purwin Estate at the appropriate time, and will mect all other 12 || requirements under the Probate Code that permit filing suit against the Purwin Estate. Defendant 12 | ESTATE OF ALAN PURWIN, DECEASED, issued herein pursuant to Probate Code sections 33 |1550-552. 1“ 18. Plaintiffs are informed and believe and thereon allege that defendants DOES 36- 415 | 40 are and at all times herein mentioned were in the business of scheduling, coordinating, 26 || supplying, operating, piloting, flight planning, testing, maintaining, and controlling aircraft for 17 || use in on demand air-taxi operations and in film production, * a 19, One or more defendants’ principal place of business and/or their residence for 29 || venue purposes is in Los Angeles County and this judicial district. Therefore, venue for this 20 || action in this court is proper pursuant to Code of Civil Procedure section 395(@). a (GENERAL ALLEGATIONS =e 20. Plaintiffs are informed and believe and thereon allege that on or before September| 23 I! 11, 2015, defendants MENA PRODUCTIONS LLC, CROSS CREEK PICTURES, LLC, g? || IMAGINE ENTERTAINMENT, LLC, QUADRANT PICTURES, VENDIAN (225 | ENTERTAINMENT, LLC, S&S AVIATION CO., INC., HELIBLACK, LLC, and DOES 1-40 326 || embarked on the production of a motion picture titled “Mena.” oe ier 5 JS CC CONPEATNE FOR WRONGFUL DEATH AND SURVIVAL DAMAGES; AND DEMAND FOR JURY TRIAL Dock 2 Pagel § ~ Doo ID = 1664651507 ~ Doe Type = OTE rage 6 of 19) 2 21, Defendant MENA PRODUCTIONS LLC was formed forthe purpose of 2 || producing and filming the motion picture “Mena.” 3 22. Plaintiffs are further informed and believe and thereon allege that MENA 4 || PRODUCTIONS LLC, CROSS CREEK PICTURES, LLC, IMAGINE ENTERTAINMENT, || LLC, QUADRANT PICTURES, VENDIAN ENTERTAINMENT, LLC, HELIBLACK, LLC, § ||3&s AVIATION CO., INC, and DOES 1-40 secured the use of a numberof aireraft for use in 7 || the production of "Mena,” including the Subject Aireaf, which wes owned, maintained and 6 | operated by defendant HELIBLACK, LLC. ° 23, Plaintiffs are further informed and believe and thereon allege that MENA 30 || PRODUCTIONS LLC, CROSS CREEK PICTURES, LLC, IMAGINE ENTERTAINMENT, 11 || LLC, QUADRANT PICTURES, VENDIAN ENTERTAINMENT, LLC and DOES 1-25, and al 12 | lof tem hired FREDERIC NORTH, a principal of HELIBLACK, LLC, as the aerial coordinator 39 || for the production of the film “Mena.” “ 24, Plaintiffs are further informed and believe and thereon allege that defendants 25 || MENA PRODUCTIONS LLC, CROSS CREEK PICTURES, LLC, IMAGINE 26 | ENTERTAINMENT, LLC, QUADRANT PICTURES, VENDIAN ENTERTAINMENT, LLC 37 land DOES 1-25, and all of them hired Alan Purwin, a principal of HELIBLACK, LLC, as 8 18 || helicopter and airplane pilot and/or aerial photographer forthe production of the film “Mena.” a 25, Plaintiffs are further informed and believe and thereon allege that defendants 20 | MENA PRODUCTIONS LLC, CROSS CREEK PICTURES, LLC, IMAGINE 21 | ENTERTAINMENT, LLC, QUADRANT PICTURES, VENDIAN ENTERTAINMENT, LLC, 22 || HELIBLACK, LLC, and DOES 1-40, and all of them hired defendant JIMMY LEE GARLAND 23 | as an serial unit pilot and flight instructor, and his company S&S AVIATION CO., INC., to | provide aircraft inspection, repair, maintenance, flight instruction, piloting, fixed base operator services and other services to the production ofthe film “Mena.” 26, Defendants MENA PRODUCTIONS LLC, CROSS CREEK PICTURES, LLC, /IMAGINE ENTERTAINMENT, LLC, QUADRANT PICTURES, VENDIAN 5 ‘COMPLAIN FOR WRONGFUL DEATH AND SURVIVAL DAMAGES; AND DEMAND FOR JURY TRIAL giz 01769, Doct 1 Paget € - Doo 2D ~ 1664601502 ~ Go Type ~ OTHER oge 7 of 29) 1 || ENTERTAINMENT, LLC, FREDERIC NORTH, JIMMY LEE GARLAND, S&S AVIATION 2 |Ico. INC, HELIBLACK, LLC, and DOES 1-40, and Alan Purwin, and all of them, owed the + || duty and were responsible to assure that all fights in suppor of or in connection with the 4 || production of the film “Mena” were operated ina safe manner. This includes, but is not limited 5 [jto, providing pilots with appropriate, adequate and sufficient rest, pre-flight preparation, pre- « | night briefing, safety training and briefing, and break time between flights. 7 27. Defendant's MENA PRODUCTIONS LLC, CROSS CREEK PICTURES, LLC, 6 | IMAGINE ENTERTAINMENT, LLC, QUADRANT PICTURES, VENDIAN 9 || ENTERTAINMENT, LLC, FREDERIC NORTH, JIMMY LEE GARLAND, S&S AVIATION 20 ||cO. INC, HELIBLACK, LLC, DOES 1-40, and Alan Purwin, and all of them, owed the duty 11 || and were responsible to assure that pilots operating aircraft for or on defendants’ behalf were 12 || provided appropriate, adequate, and sufficient pre-flight preparation, instruction, training, and 13 || supervision to operate aircraft under the existing conditions and in the Republic of Colombia, 34 |] South America, a 28, Plaintiffs are informed and believe and thereon allege that on September 10, 2015) 36 || defendants MENA PRODUCTIONS LLC, CROSS CREEK PICTURES, LLC, IMAGINE 37 || ENTERTAINMENT, LLC, QUADRANT PICTURES, VENDIAN ENTERTAINMENT, LLC, 20 || FREDERIC NORTH, JIMMY LEE GARLAND, S&S AVIATION CO. INC., HELIBLACK, 28 |ILLC, and DOES 1-40, and Alan Purwin, and all of them, invited Carlos Ber tothe filming 20 |] Location in the Republic of Colombia in anticipation of his participating in ferrying the Subject 22 I aircraft back to the United States. a ‘29. Prior to travelling to South America, Carlos Berl repeatedly informed the 25 || defendants that he had insufficient light experience inthe Subject Aireraft and required flight S. Loss of inheritances an 6. Funeral and burial expenses; ' a 7. Property damage; : 3 8. Prejudgment interest; I B 9. Costs of suit; and, ! u 10, Any other damages fo which Plaintiffs and/or the beneficiaries may be entitled | 235 || onder all applicable laws. . a6 i 37 [HDated: " September 4, 2016 HODES MILMAN LIEBECK, LLP 1 1 ' ' a | 20 | a : 2 23 i 3 é os me 3 ey ge ff __________) COMELATIT FOR WAONGFOL DEATH AND SURVIVAL ORVAGES? AND DEMAND FOR JURY TRIAL ‘Deck 4 Paget 12 ~ Boo 1D = 1660695502 ~ Doc Type = OTHE rage 13 of 3) 2 DEMAND FOR. TRIAL 2 Plaintiffs demand a trial by jury onall issues sq triable in this action. September I, 2016 HODES MILMAN LIEBECK, LLP By. /astomney for Plaintiffs a0 a 2 a ue as I 26 ” Fy a9 20 a 2 a ze fl ‘CONPLATNE FOR WRONGFUL DEATH AND SURVIVAL BANAGES; AND ORNANO FOR JURY TRIAL Deck 1 Faged 3 - boo 30 = 1EC4691802 - Doo Type = OTR (eage 14 of 30) v [arremeren a wnGar ATOM mame ot (aniel M. Hodes, Esq, 101773 Hodes Milman Liebeck, LLP 9210 ivine Center Drive Irvine, California 92618 ‘aariowena: (949) 640-8222 sromsrrongant Pisntifs, ANDRES BERL, etc. [superior couar oF eauronuia, cownry o= Los Angeles rat ooness: 111 N. Hil Steet wewarocness Same as above forvainze cone: Los Angeles. szsrownue: Stanley Most Courthouse ‘CASE Nave: Bers, Mera Productions, LLC, etal cm.o10 ae aa FoR corRF TORY Fai an alia Lahti SE? 14 2g Cat, ‘emait dhodes@hmriaw 19) 338-8114 2 Ofer inn |_peesagsa GWViL CASE COVER SHEET Untinited—C] Limited (Amount demanded sexcoode $26,000) Complex Gaze Designation DD counter 1) singer led with rst appearance by detendent | “PS* '$25,000 orless)|__ (Cal Rules of Cour, ule 3.402) | oer ems 1-6 Bolaw must be competed (see nsfucions on page 2 FGheck one box blow forthe cae typ tat bes! cescibes fs cose: AgoTon onset Frovistonay Comping ci Ltgation ato 22) ‘eschefcrsatvarany (8) {Sa Rls of Cour une 14003403) seared i 4) ues ecertons 02) Auta ato 5) ier PUI feral ry Property ‘ne ctetons 0 onset cle (10 Dansteltnonah Det Tet trowareacowne(e) ——«]_ Mann tot (0) ‘eis (8) D1 obereonea a 1D secsnestipaten ce) Prec hy (28) Fea Prepay Oy irmenateci 1D) Neseaimsretce 4s) Engen cemaniersa Ieuan caverape com ig fom the B_ overrirowo a) 5 ee ~ Bau aotroycanp ce Hos-piron (hey Fart ‘resp oon 3) = (cess towitartuess pric (7) C) otal pepery 8) nertnent Jedgment Ch coi (on, Unlawful Detaner C_Entocamen opment (20) ett (3) 1D comecsion Pein GiComtt est Rexeni 2 ‘C0 tet opry 1) Doge 08) Toner amp aspect tor 2 resin epgene 2) ‘eta Review ieetannas Ci Peon oer nan upon tee) eset ti (5) (DPatentipanseaoortegovnancs 2) Exploynert )_revtencetstenavara(tny C] oer tensed bore 9) rghit eriaton G8) 1 wnormeseam 02) (O_onerpsettrevew 09) oun He cates compe ‘complex under rue 3.400 ofthe Calfornia Ful factors requiing excep gement a. O Large umber of soparetely represented portes o. [) Large number of witnesses 3 C1 Extenshe roton pusieetisng cette vel e. @) Cootnaion wih alle ators pensngin one or more nits [saves ha willbe ine-consurng to resolve mother courts, states, or counties rin a federal court e © Substantsl amount ofdocumentey evidence f._[]_Subetantal postudgment ucla! superision Remedies sought (check al that apply): 2.6] monetary b. C] nénmenetay declaratory crinjnctve retet punitive Number of causes of action (speci: Two: (1) Wrongful Death; (2) Survival Claim Thisease C] is BR isnot actos action su. Zee {8 thete are any known rlated cases le acd serve a notice of elated cass a. 4 6. (ate: September JY, 2016 DANIEL M. HODES, ESQ NOTICE Pian must te Wis cover cheat wath theft paper fled inthe atogr | under the Probate Case, Family Gode, or Welle and Insttufons ls? sanctions. 1 Fo this cover sheet in addon to any cover sheet reauied by I ‘he partes ihe action or proceeding. [3th ease is complex under nde 3,400 a eq, ofthe Calfocna Rules of Cour, you must serve a copy of tis cover sheet on all + Uriess is ie eallectons case under ue 8740 ora complex case, his cover sheet willbe used for tail purposes ap ceeding (excapt small iain cases or cases fled (Cal Rules of Cour ute 3.220) Fale to fe may result out rule, Sains ‘GWVIL GASE COVER SHEET = yan ‘ech 4 Bagel 14 — boo #D = 2664601502 ~ Deo Type = OmER age 18 of 39) ® cur INSTRUCTIONS ON HOW TO COMPLETE THE COVER SHEET To Plaintifa and Others Fling First Papers. If you ar fing @ frst paper tor example, a complaint) In civil case, you must complete and fo, along with your fst paper, he Ci! Case Cover Sheet contained on page 1. This information willbe used to compile ‘alts about fe typas and numbers of c2ses fled. You must complete tems 4 thrugh 6 on the sheet, Inter 1, you must check ‘no bor forthe case ype tal bost describes the case. ithe case fis bal a general and a more speci type of case Esl In em 1, Check the more specie ona Ifthe case has mulple causes of actin, check the box that best Indcales the primary cause of acfon. ‘To seit you in completing the shoot, exompes ofthe cases that belong under eath cate type initem 1 are provided below, A cover sheet must be fee only wil your itl paper. Falia to Me a cover sheet wit the ft paper fled ina cil case may subject a party, lis counsel, orbath to sancllons under rules 2.0 and 3.20 cf the Celfomia ules of Cou, ‘To Parties in Rulo 3.740 Collections Case. A “cllcons case" under rue 3740 is datned as an acton for recovery of money. ‘ved in a eum slate be cartln fat snot more than $25,600, exclusive of interest and attorney fas, eising rom a vansacton in ‘hich propery, cores, or maney was sequed on eredt. A caflecions case does not include an acto seeking the flowirg: (1) fort ‘damages, 2} punlive damages, (3) recovery of real propeny, (6) recovery of personal propery, of (5) & preludgment wrt of atlackment, The Wentfeaten of a caso 26 a rule 3.740 cafecons case on iis form means {halt wil be exerep rom the general tine r-servies raqurements and case managemort rules, unless a delendan les a responsive pleading. A rule 3.740 colections cao vil be subjet tothe requromons for cerca and obtaining = idgment in rue 2.740. ‘To Parties In Complex Caves. in complex cases only, pales must aso use the Cuil Case Cover Sheet to designate whether the ‘caso fs complex Ifa plant believes tho case Is complax under rule 3400 ofthe Calfloria Rules of Cou, this must be inciated by ‘camplatng the appropiate bores in ems 1 ond . Ifa plain designacs a case as comple, the cover sheet must be served wih the ‘complert on ol partes to the acon, A defendant ay fla and serve no later than the tie of is fst appearance a jonder inthe plans deetgnation, a counter designation that to e360 lnot comple, o, ithe plaintif has made no designation a designation that Ihe cavels compl. CASE TYPES AND EXANPLES ‘toot const Provan Compl el igatan (a : ‘Aia(an-PenenalguyiPagery roan! Conrestarany (8) ots of cout e300. I os ea Grech etonatvee "gturrace Rogan (3) | tee st) ihe ‘Geet at nis ear Corser bln i uaa neared ror econ ‘Sans hing fon oy 1 eourccineaede contains rescSeter Secaaaighin { intone io i ot er Envcomerta Tos Tt 30 1 inoue Nea rach Cent ‘Btuanee Cows : ge SR Ronen i eta ef Consntanoty oe feed aoe) i) econ (og aay one on entxcmen of Judgment oot ocean 62) men 123 Caio cere Sete st “Rerun Otel ‘terns veaectana Protea ol ose tnawanc Sovege tl oionaly Cn cimereraand “Sama Ge eer Sn Kasebgtion imitate Agere Ard Soar Tet rpa sas) a upton cnet oni peulsteiteton et Ey ot i (bw Pera Hoa a cea Pet “gat on Una eee i Sher Coed Dena onareercerent Jena i ‘ier UPD) fel prop coe | rent os, Een Sanaa optomee En conan, | ior Sty yD ‘Sir Conant rt peated 1 ‘eg, semnrenay con) : ieee Sere tay i Envi Savess ‘ical ny fan ' i etn ‘erseand nal Dskoos Mectaniee Uen | overtirote ‘Ser Conner Conpont | NongurDnin (rk Tot eon ! Stree ‘omer ci Compiat : Cunt ag, aint, smscaaneus Oi Pedon i ary co pend Cowaaa | (ese “Soetoce | ata don a cone Pan flected : ‘ storm, teach ows ee | ei eile = Sere napa epson © 9 etmeseater re Care | 5 outer PEND 09) Patan Rate remo | "Sits roman 8) ar conse Petten i Sloman) | Hl I compe a9 ‘CIVIL GASE COVER SHEET men ‘Dock 1 Paged 18 - boo 1D « 2664693502 ~ Doo fyge = omen Ber vs. Mena Productions, LLC, et mm BOG S8B42 . CIVIL CASE COVER SHEET ADDENDUM AND: ‘STATEMENT OF LOCATION (CERTIFICATE OF GROUNDS FOR ASSIGNMENT TO COURTHOUSE LOCATION) “This form is required pursuant to Lotal Rulé23 in all new cul case flings inthe Los Angeles Superior Court. ‘Step 1: Ate completing the Civil Case Cover Sheet (Jucsial Counc form CN-010), ind the exact case type in Column A that corresponds tothe case ype indicated in the Givi Case Cover Sheet. ‘Step 2: In Column 8, check the box forthe type of action thal best describes the nature of the case. ‘Step 3: In Column C, circie the number which explains the:reason for the court fing location you have chosen

You might also like