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DECLARATION OF JAMES E. GANZER <br /> 1. I, James E. Ganzer, am the attorney of record for <br /> Jardine Petroleum Corporation and Raymond Yu in the above <br /> matter. <br /> 2 . The matters stated in this declaration are based <br /> upon my own personal, firsthand knowledge, unless otherwise <br /> stated, and if called as a witness, I could and would testify <br /> competently to all such matters. <br /> 3 . The above cause has been set for trial on June 4 , <br /> 1991 at 8 :45 in a department to be assigned. <br /> 4 . I am informed and believe that Harlin Knoll is a <br /> witness qualified to testify about the following files: <br /> a. The active tank file re 521 North Cherokee, <br /> Lodi, CA; and <br /> b. The cleanup file re 521 North Cherokee, Lodi, <br /> CA. <br /> 5 . I believe the above documents are material to this <br /> case as they <br /> /evidence matters which are at issue. <br /> DATED: <br /> JAMES E. GANZER <br /> GANZER & WILLIAMS <br /> By: <br /> Attorneys for JARDIN <br /> PETROLEUM CORPORATION and <br /> C27 :Har.depo RAYMOND YU <br /> 1 <br />