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r <br /> -ATTORNEY OR PARTY WITHOUT ATTORNEY(Name ydress): 111,450 TELEPHONE NO.: FOR COURT USE ONLY <br /> STEVEN A. CLAIR 209/477-8171 <br /> BROWN, HALL, CLAIR & McKINLEY <br /> 3031 W. March Lane, Suite 230 West <br /> Stockton, California 95219 <br /> ATTORNEY FOR(Name): Defendant - <br /> NAMEOFCOURT: SUPERIOR COURT .:OF CALIFORNIA, .COUNTY <br /> STREET ADDRESS: COUNTY OF SAN- JOAQUIN <br /> MAILING ADDRESS: 2 2 2 E. Weber Avenue - <br /> CiTYANDTIPCODE: Stockton, California 95202 <br /> BRANCH NAME: <br /> PLAINTIFF/PETITIONER: <br /> STOCKTON PLATING, INC. <br /> DEFENDANT/RESPONDENT: <br /> STOCKTON SERVICE STATION <br /> DEPOSITION SUBPENA CASE NUMBER: i <br /> For Personal Appearance 249694 <br /> OX and Production of Documents and Things <br /> THE PEOPLE OF THE STATE OF CALIFORNIA,TO(name, address,and telephone number of deponent; if known <br /> ERIC TREVENA, San Joaquin County Public Health Services, 445 N: San <br /> Joaquin Street, Stockton, CA ' <br /> 1. YOU ARE ORDERED TO APPEAR IN PERSON TO TESTIFY AS A WITNESS in this action at the following time and lace: <br /> Date:August 10, 1993 Time:3 , 00 Address:3031 W. March Lane, Suite 230 <br /> p.m. West, Stockton, CA <br /> a, [-1 As a deponent who is not a natural,person, you are ordered to designate one or more persons to testify on your behalf as <br /> to the matters described in item 3. (Code of Civil Procedure section 2025(d)(6).) <br /> b. QX You are ordered to produce the documents and things described in item 3. <br /> c. Q This deposition will be recorded stenographically and by []audiotape Qvideotape. <br /> d. This videotape deposition is intended for possible use at trial under Code of Civil Procedure section 2025(u)(4). <br /> 2. 0 The personal attendance of the custodian of records or other qualified witness 0 and the production of the original documents <br /> are required by this deposition subpena.,The procedure authorized by Evidence Cede sections.1560(b), 1561, and 1562 will <br /> not be deemed sufficient compliance'with this subpena: i <br /> 3. 0 The documents and things to be produced and any testing or sampling being sought are described as follows: <br /> All reports or writings prepared by you in connection with or related to. <br /> that certain real property located at 632 S. El -Dorado St. , Stockton, <br /> California, from October 1, 1985, through May 30, 1993 . <br /> 0 Continued on attachment 3. <br /> 4. A deposition permits an attorney to ask questions of a witness who is swam to tell the truth. An attorney for other parties may then <br /> ask questions also.Questions and answers are.recorded stenographically at the deposition:later they are transcribed for possible use <br /> at trial. A witness may read the written record and change any incorrect ansvVers:be fore signing the deposition. The witness is entitled <br /> to receive witness fees and mileage actually traveled both ways. The money must be paid, at the option of the partygiving notice of <br /> the deposition, either with service of this subpena or at the time of the deposition <br /> DISOBEDIENCE OF THIS SUBPENA MAYBE PUNISHED AS CONTEMPT BY HIS OURT.YOU WILL ALSO BE LIABLE FOR THE <br /> SUM OF FIVE HUNDRED DOLLARS AND ALL DAMAGES RESULTING FR M Y UR FAILURE TO OBEY. <br /> Date issued: July 9, 1993 . <br /> STEVEN A. CLAIR , <br /> • ••••••• (TYPE OR PRINT NAME) •••••••• ••• •• - (51GNATURE OF PERSON ISSUING SUBPENA) <br /> Attorney for Defendant <br /> (See reverse for proof of s rvice) TITLE <br /> Form Adopled by Rule 982 Code o1 Civil Procedure.$S 2020;2025 <br /> Judicial Council o1 California DEPOSITION SUBPENA- PERSONAL APPEARANCE Government Code 5 6"7.1 <br /> 3r W(a)(151)IRev January 1.1993) <br /> CEO <br /> J <br />