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_a SUBP-025 <br />ATTORNEY OR PARTY WITHOUT ATTORNEY (NanW— fate Bar number, and address) FOR COURT USE ONLY <br />Matthew P. Guichard (107450) <br />Christopher K. Teng (176431) <br />GUICHARD, TENG & PORTELLO, A.P.C. <br />1800 Sutter Street, Suite 730 <br />Concord, CA 94520 <br />TELEPHONE NO. 925-459-8440 FAX NO. (Optional: <br />E-MAIL ADDRESS (Optional) <br />ATTORNEY FOR (Name). Defendant and XComp Northwest Pump & E <br />SUPERIOR COURT OF CALIFORNIA, COUNTY OF San Joaquin <br />STREET ADDRESS 222 East Weber Avenue <br />MAILJNGADDREss: 222 East Weber Avenue <br />CITY AND ZIP CODE Stockton, CA 95202 <br />BRANCH NAME: <br />PLAINTIFF/ PETITIONER: C.J. JUTLA CASE NUMBER <br />39 -2010 -00239556 -CU -BC <br />DEFENDANT/ RESPONDENT: DIAMOND POINT CONSTRUCTION COMPANY <br />NOTICE TO CONSUMER OR EMPLOYEE AND OBJECTION <br />(Code Civ. Proc., §§ 1985.3, 1985.6) <br />NOTICE TO CONSUMER OR EMPLOYEE <br />TO (name): C. J JUTLA AND/OR ATTORNEY OF RECORD <br />1. PLEASE TAKE NOTICE THAT REQUESTING PARTY (name): GUICHARD, TENG & PORTELLO <br />SEEKS YOUR RECORDS FOR EXAMINATION by the parties to this action on (specify date): APRIL 11, 2011 <br />The records are described in the subpoena directed to witness (specify name and address of person or entity from whom records <br />are sought): SAN JOAQUIN COUNTY ENVIRONMENTAL HEALTH DEPT., 600 E. MAIN ST., STOCKTON, CA 95202 <br />A copy of the subpoena is attached. <br />2. IF YOU OBJECT to the production of these records, YOU MUST DO ONE OF THE FOLLOWING BEFORE THE DATE SPECIFIED. <br />IN ITEM a. OR b. BELOW: <br />a. If you are a party to the above -entitled action, you must file a motion pursuant to Code of Civil Procedure section 1987.1 to <br />quash or modify the subpoena and give notice of that motion to the witness and the deposition officer named in the subpoena <br />at least five days before the date set for production of the records. <br />b. If you are not a party to this action, you must serve on the requesting party and on the witness, before the date set for <br />production of the records, a written objection that states the specific grounds on which production of such records should be <br />prohibited. You may use the form below to object and state the grounds for your objection. You must complete the Proof of <br />Service on the reverse side indicating whether you personally served or mailed the objection. The objection should not be filed <br />with the court. WARNING: IF YOUR OBJECTION IS NOT RECEIVED BEFORE THE DATE SPECIFIED IN ITEM 1, YOUR <br />RECORDS MAY BE PRODUCED AND MAY BE AVAILABLE TO ALL PARTIES. <br />3. YOU OR YOUR ATTORNEY MAY CONTACT THE UNDERSIGNED to determine whether an agreement can be reached in writing <br />to cancel or limit the scope of the subpoena. If no such agreement is reached, and if you are not otherwise represented by an <br />attorney in this action, YOU SHOULD CONSULT AN ATTORNEY TO ADVI YOU OF YOUR RIGHTS PF --PRIVACY. <br />Date: MARCH 8, 2011 <br />CHRISTOPHER K. TENGG� <br />(TYPE OR PRINT NAME) (SIGNATURE OF REQUESTING PARTY kX ATTORNEY) <br />OBJECTION BY NON-PARTY TO PRODUCTION OF RECORDS <br />1. I object to the production of all of my records specified in the subpoena. <br />2. 1 object only to the production of the following specified records: <br />3. The specific grounds for my objection are as follows: <br />Date <br />(TYPE OR PRINT NAME) (SIGNATURE) <br />(Proof of service on reverse) Page 1 of 2 <br />Form Adopted for Mandatory Use NOTICE TO CONSUMER OR EMPLOYEE AND OBJECTION �e al <br />Judicial Council r California c��7' Code of Civil Procedure, <br />SUBP-025 (Rev. January 1, 20081 SO ut,l 715 §§ 1985.3, 1985.6, <br />2020.010-202.510 <br />Ek Pus <br />