Laserfiche WebLink
1 <br />2 <br />3 <br />4 <br />5 <br />6 <br />7 <br />8 <br />9 <br />10 <br />11 <br />12 <br />13 <br />14 <br />15 <br />16 <br />17 <br />18 <br />19'' <br />20 <br />21 <br />22 <br />23 <br />24 <br />25 <br />26 <br />27 <br />28 <br />organization, is, and at all times relevant herein was, engaged in the business of MARINA AND <br />BOAT STORAGE, located at 6649 EMBARCADERO DRIVE, STOCKTON, CALIFORNIA. <br />13. Defendant WILLIAM D. SCHMICKER, individually and as a partner of VILLAGE <br />WEST MARINA INVESTORS, a California Limited Partnership, a business of unknown type of <br />organization, is, and at all times relevant herein was, engaged in the business of MARINA AND <br />BOAT STORAGE, located at 6649 EMBARCADERO DRIVE, STOCKTON, CALIFORNIA. <br />14. Defendant DASCH, Inc., a California corporation, a business of unknown type of <br />organization, is, and at all times relevant herein was, engaged in the business of MARINA AND <br />BOAT STORAGE, located at 6649 EMBARCADERO DRIVE, STOCKTON, CALIFORNIA. <br />15. Defendant WILLIAM SCHMICKER, individually and as an officer of DASCH, Inc., <br />a California corporation, a business of unknown type of organization, is, and at all times relevant <br />herein was, engaged in the business of MARINA AND BOAT STORAGE, located at 6649 <br />EMBARCADERO DRIVE, STOCKTON, CALIFORNIA. <br />16. Defendant DWIGHT D. DAVIS, individually and as an officer of DASCH, Inc., a <br />California corporation, a business of unknown type of organization, is, and at all times relevant <br />herein was, engaged in the business of MARINA AND BOAT STORAGE, located at 6649 <br />EMBARCADERO DRIVE, STOCKTON, CALIFORNIA. <br />17. Defendant DOES ONE through FIFTY are connected and responsible for the acts <br />complained of below. Their real names are unknown at this time, and the People will amend this <br />complaint at a later date when the true identities of DOES ONE through FIFTY are discovered. <br />18. Whenever in this Complaint reference is made to any act of Defendants, such <br />allegation shall be deemed to mean that Defendants and their officers, agents, employees, or <br />representatives, did or authorized acts while actively engaged in the management, direction, or <br />control of the affairs of said Defendants, and while acting within the course and scope of their <br />duties. <br />HI <br />4 <br />VERIFIED COMPLAINT <br />