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I Joaquin County and more particularly located in Stockton, California at 1502 North el Dorado <br /> 2 Street. <br /> 3 27. On information and belief it is alleged that Defendants UNOCAL and TOSCO were <br /> 4 engaged in the business of leasing the property located at 1700 East Yosemite Avenue, Manteca, <br /> 5 California during the relevant time periods described by this complaint. <br /> 6 28. On information and belief it is alleged that Defendant UNOCAL was engaged in the <br /> 7 business of leasing the property located at 1665 Pacific Avenue, Stockton, California, during the <br /> 8 relevant time periods described by this complaint. <br /> 9 29. On information and belief it is alleged that Defendants UNOCAL and TOSCO were <br /> 10 engaged in the business of leasing the property located at 4707 Pacific Avenue, Stockton, <br /> 11 California, during the relevant time periods described by this complaint. <br /> 12 30. On information and belief it is'alleged that Defendant UNOCAL and TOSCO were <br /> 13 engaged in the business of leasing the property located at 2701 W. March Lane, Stockton, <br /> 14 California, during the relevant time periods described by this complaint. <br /> 15 31. The names and capacities, whether individual, corporate or otherwise, of Defendants <br /> 16 named herein as DOES 1 through 100, inclusive, are unknown to Plaintiff at this time, who, <br /> 17 therefore, sues said Defendants by such fictitious names and Plaintiff will amend this complaint <br /> 18 to show their true names and capacities if and when the same have been ascertained. Plaintiff is <br /> 19 . informed and believes, and on such information and belief alleges, that each of the Defendants <br /> 20 named as a Doe is responsible in some manner for events and occurrences about which this <br /> 21 complaint is filed and therefore is liable for the relief sought herein. <br /> 22 32. When reference is made in this complaint to any act or act of Defendants, such allegations <br /> 23 shall be deemed to mean the act of each Defendant acting individually,jointly and severally. <br /> 24 33. At all times mentioned herein, each of the Defendants was the agent, employee or <br /> 25 principal of each of the remaining Defendants, and was acting within the scope of his agency and <br /> 26 employment. <br /> 27 111 <br /> 28 111 <br /> H:\HOM'MYOUNG%CASESIUNOCALICOMPLAIN.WPD S <br />