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r ' • <br /> I the name of THE PEOPLE OF THE STATE OF CALIFORNIA and hereby allege: <br /> 2 <br /> 3 JURISDICTION AND VENUE <br /> 4 3. The defendants transact business within the County of San Joaquin and elsewhere <br /> 5 throughout the State of California. The alleged violations of the law, hereinafter described, have <br /> 6 been carried out within said San Joaquin County and elsewhere throughout the State of <br /> 7 California. The alleged actions of the defendants and each of them,jointly and separately, as set <br /> 8 out below, are in violation of the law and public policy of the State of California. Unless <br /> 9 enjoined and restrained by an order of this court, the defendants will continue to retain the means <br /> 10 to engage in unlawful action and practices and courses of conduct set out below. <br /> 11 <br /> 12 DEFENDANTS <br /> 13 4. Defendant EL DORADO AUTO is, and at all times relevant herein was, engaged <br /> 14 in the business of the owner of the property located at 2070 El Dorado Street, Stockton, <br /> 15 California. <br /> 16 5. Defendant MARGARET R. QUIROGA is, and at all times relevant herein was, <br /> 17 engaged in the business of the owner of the property located at 2070 El Dorado Street, Stockton, <br /> 18 California. <br /> 19 6. Defendant CARL ARELLANO is, and at all times relevant herein was, engaged in <br /> 20 the business of the owner of the property located at 2070 EI Dorado Street, Stockton, California. <br /> 21 7. Defendants DOES 1 through 20 are connected and responsible for the acts <br /> 22 complained of below. Their real names are unknown at this time, and the People will amend this <br /> 23 complaint at a later date when the true identities of DOES 1 through 20 are discovered. <br /> 24 8. Whenever in this complaint reference is made to any act of defendants, such <br /> 25 allegation shall be deemed to mean that defendants and their officers, agents, employees, or <br /> 26 <br /> 27 <br /> 28 <br /> 2 <br />