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Case Information

Filed 2023-05-22
Status Closed
Type Unlimited Civil Professional Negligence
Docket 74 entries
Disposition dismiss

Parties

Plaintiff Jane Doe
Defendant Louis Barry Mack|The Mack Law Offices
Photo of Hon. Manuel Bustamante

Judge

Hon. Manuel Bustamante

Riverside County (CA)

California

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Lawyers

Docket Entries

  1. Certificate of Counsel.
  2. Summons Issued and Filed
  3. Civil Case Cover Sheet
  4. Complaint for Negligence
  5. Notice of Department Assignment
  6. Proof of Service on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  7. Proof of Service of Summons on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  8. Proof of Service on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  9. Defendants Answer to complaint on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  10. Minute Order: Hearing re: Informal Discovery Conference
  11. Certificate of Mailing
  12. Notice of Case Management Conference
  13. Proof of Service on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  14. Stipulation and Protective Order Confidential Designation Only on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  15. Notice of Deposit of Jury Fees on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  16. Notice of Entry of Judgment or Order on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  17. Defendants' Notice of Posting Jury Fees on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  18. Case Management Statement untimely pursuant to CRC 3.725 on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  19. Minute Order: Court on its Own Motion
  20. Certificate of Mailing
  21. Notice of Order to Show Cause Re: Failure to file Trial Setting Declaration pursuant to Dept PS2 Rules.
  22. Notice of Order to Show Cause Re: Failure to comply with CRC 3.725
  23. Proof of Service on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  24. Declaration of ALEXIS C. HAMES IN SUPPORT OF PLAINTIFF JANE DOE'S NOTICE OF MOTION AND MOTION TO QUASH DEPOSITION SUBPOENA ISSUED TO RIVERSIDE COMMUNITY COLLEGE
  25. Plaintiff Jane Doe's Separate Statement in Support of Motion to Quash Deposition Subpoena Issued to Riverside Community College on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  26. Plaintiff Jane Doe's Notice of Motio and Motion to Quash Deposition Subpoena Issued to Riverside Community College on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  27. Proposed Order re: GRANTING PLAINTIFF JANE DOE'S NOTICE OF MOTION AND MOTION TO QUASH DEPOSITION SUBPOENA ISSUED TO CALIFORNIA BAPTIST UNIVERSITY on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  28. Declaration of ALEXIS C. HAMES IN SUPPORT OF PLAINTIFF JANE DOE'S NOTICE OF MOTION AND MOTION TO QUASH DEPOSITION SUBPOENA ISSUED TO CALIFORNIA BAPTIST UNIVERSITY
  29. Proof of Service on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  30. Proposed Order re: GRANTING PLAINTIFF JANE DOE'S NOTICE OF MOTION AND MOTION TO QUASH DEPOSITION SUBPOENA ISSUED TO CALIFORNIA BAPTIST UNIVERSITY on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  31. Plaintiff Jane Doe's Separate Statement in Support of Motion to Quash Deposition Subpoena Issued to California Baptist University on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  32. Plaintiff Jane Doe's Notice of Motion and Motion to Quash Deposition Subpoena Issued to California Baptist University on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  33. Proof of Service on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  34. Plaintiff Jane Doe's Separate Statement in Support of Motion to Quash Deposition Subpoena Issued to Mount San Antonio College on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  35. Declaration of ALEXIS C. HAMES IN SUPPORT OF PLAINTIFF JANE DOE'S NOTICE OF MOTION AND MOTION TO QUASH DEPOSITION SUBPOENA ISSUED TO MOUNT SAN ANTONIO COLLEGE
  36. Plaintiff Jane Doe's Notice of Motion and Motion to Quash Deposition Subpoena Issued to Mount San Antonio College on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  37. [PROPOSED] ORDER GRANTING PLAINTIFF JANE DOES NOTICE OF MOTION AND MOTION TO QUASH DEPOSITION SUBPOENA ISSUED TO MOUNT SAN ANTONIO COLLEGE on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  38. Proposed Order (hearing) re: [PROPOSED] ORDER GRANTING PLAINTIFF JANE DOES NOTICE OF MOTION AND MOTION TO QUASH DEPOSITION SUBPOENA ISSUED TO RIVERSIDE COMMUNITY COLLEGE on Complaint for Professional Negligence (Over $25,000) of JANE DOE for hearing on 06/20/2024
  39. Notice of Document Return.
  40. Notice of Document Return.
  41. Proof of Service by Electronic Service (non-complaint) of 1. Defendants' Opposition to Plaintiff Jane Doe's Motion to Quash Defendants' Deposition Subpoena Issued to California Baptist University 2. Declaration 3. Defendants Response on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  42. Defendants Response to Plaintiff Jane Doe's Separate Statement in Support of Motion to Quash Defendant's Deposition Subpoena for Production of Business Records of California Baptist University on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  43. Declaration of Steven J. Scordakis in Support of Defendants' Opposition to Plaintiff Jane Doe's Motion to Quash Defendant's Deposition Subpoena for Production of Business Records of California Baptist University
  44. Defendants Opposition to Plaintiff Jane Doe's Motion to Quash Defendants Deposition Subpoena Issued to California Babtist University on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  45. Plaintiff Jane Doe's Reply in Support of Plaintiff's Motion to Quash Deposition Subpoena Issued to California Baptist University on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  46. Proof of Service by Electronic Service (non-complaint) of 1. Defendants' Opposition to Plaintiff Jane Doe's Motion to Quash Defendants' Deposition Subpoena Issued to Mount San Antonio College 2. Declaration 3. Defendants Response on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  47. Defendants Response to Plaintiff Jane Doe's Separate Statement in Support of Motion to Quash Defendant's Deposition Subpoena for Production of Business Records of Mount San Antonio College on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  48. Declaration of Steven J. Scordakis in Support of Defendants' Opposition to Plaintiff Jane Doe's Motion to Quash Defendant's Deposition Subpoena for Production of Business Records of Mount San Antonio College
  49. Defendants Opposition to Plaintiff Jane Doe's Motion to Quash Defendants Deposition Subpoena Issued to Mount San Antonio College on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  50. Proof of Service by Electronic Service (non-complaint) of Notice of Withdrawal of Deposition Subpoena for Production of Business Records to Mount San Antonio College and Riverside Community College on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  51. Notice of Withdrawal of Deposition Subpoena for Production of Business Records to Mount San Antonio College and Riverside Community College
  52. Notice of Ruling re: PLAINTIFFS MOTION TO QUASH DEPOSITION SUBPOENA ISSUED TO CALIFORNIA BAPTIST UNIVERSITY; REQUEST FOR MONETARY SANCTIONS on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  53. Proof of Service by Electronic Service (non-complaint) of Defendants' Opposition to Plaintiff Jane Doe's Motion to Quash Defendants' Deposition Subpoena Issued to Riverside Community College; Memorandum of Points and Authorities; Request for Monetary Sanctions on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  54. Response to Plaintiff Jane Doe's Separate Statement in Support of Motion to Quash Defendant's Deposition Subpoena for Production of Business Records of Riverside Community College on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  55. Declaration of Steven J. Scordakis in Support of Defendnats' Opposition to Plaintiff Jane Doe's Motion to Quash Defendant's Deposition Subpoena for Production of Business Records of Riverside Community College
  56. Opposition to Plantiff Jane Doe's Motion to Quash Defendants' Deposition Subpoena Issued to Riverside Community College; Memorandum of Points and Authorities; Request for Monetary Sanctions on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  57. Minute Order: Hearing on Motion to Quash PLAINTIFF JANE DOE’S NOTICE OF MOTION AND MOTION TO QUASH DEPOSITION SUBPOENA ISSUED TO CALIFORNIA BAPTIST UNIVERSITY; MEMORANDUM OF POINTS AND AUTHORITIES; REQUEST FOR MONETARY SANCTIONS by JANE DOE
  58. Clerk's Certificate of Mailing on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  59. Notice OF WITHDRAWAL OF MOTION TO QUASH DEPOSITION SUBPOENA ISSUED TO MOUNT SAN ANTONIO COLLEGE; MEMORANDUM OF POINTS AND AUTHORITIES; REQUEST FOR MONETARY SANCTIONS
  60. Notice OF WITHDRAWAL OF MOTION TO QUASH DEPOSITION SUBPOENA ISSUED TO RIVERSIDE COMMUNITY COLLEGE; MEMORANDUM OF POINTS AND AUTHORITIES; REQUEST FOR MONETARY SANCTIONS
  61. Proof of Service by Electronic Service (non-complaint) of NOTICE OF WITHDRAWAL OF MOTION TO QUASH (2) on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  62. Notice of Document Return.
  63. Proof of service on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  64. Joint Stipulation Re Protocol Re Cell Phone Inspection on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  65. Proof of Service by Electronic Service (non-complaint) of Notice of Change of Firm Name on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  66. Notice of Change of Firm Name on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  67. Proof of Service by Electronic Service (non-complaint) of Joint Trial Setting Conference Declaration on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  68. Joint Trial Setting Conference Declaration
  69. Proof of Service by Electronic Service (non-complaint) of Notice of Association of Counsel on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  70. Notice of Association of Counsel on Complaint for Professional Negligence (Over $25,000) of JANE DOE
  71. Minute Order: Trial Setting Conference
  72. Minute Order: Order to Show Cause as to why sanctions not to exceed $1,500.00 or dismissal should not be imposed for Failure to file Trial Setting Declaration pursuant to Dept PS2 Rules. as to MAKAREM & ASSOCIATES, WINGERT GREBING BRUBAKER & WALSHOK LLP
  73. Minute Order: Order to Show Cause as to why sanctions not to exceed $1,500.00 or dismissal should not be imposed for Failure to comply with CRC 3.725 as to MAKAREM & ASSOCIATES
  74. Notice of Order to Show Cause Re: Failure to comply with Local Rule 3401 and PS2 Trial Rules

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