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Case Information

Filed 2024-07-24
Status Stayed
Type Unlimited Civil Product Liability
Docket 52 entries

Parties

Plaintiff Jorge Arcos Maldonado|Nora Arcos
Defendant General Motors, Llc|08:30 Am
Photo of Hon. O.g. Magno

Judge

Hon. O.g. Magno

Riverside County (CA)

California

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Lawyers

Docket Entries

  1. Summons Issued and Filed
  2. Civil Case Cover Sheet
  3. Certificate of Counsel.
  4. Complaint for Damages
  5. Proof of Service on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  6. Notice of Department Assignment
  7. Notice of Case Management Conference Complaint for Product Liability (Over $35,000)
  8. Notice of Case Management Conference
  9. Consent to Electronic Service and Notice of Electronic Service Address on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  10. General Motors LLC's Answer to Plaintiffs' Unverified Complaint on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  11. Notice of Document Quality Assurance
  12. Notice of Remote Appearance for Hearing on Throughout the case on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  13. Notice of Document Return.
  14. Plaintiffs' CRC 3.1345 Separate Statement Of Items In Dispute In Support Of Motion To Compel Defendant General Motors, LLC's Further Responses To Special Interrogatory Nos. 2-36, 40-72, And 51-83 on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  15. Plaintiff's Notice Of Motion And Motion To Compel Defendant General Motors, LLC's Further Responses TO Special Interrogatory Nos. 2-36, 40-47, AND 51-83; Declaration Defendant General Motors, LLC's Further Responses TO Special Interrogatory Nos. 2-36, 40-47, AND 51-83; Declaration on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  16. Plaintiffs' CRC 3.1345 Separate Statement Of Items In Dispute In Support Of Motion To Compel Defendant General Motors, LLC's Further Responses To Request For Production Of Documents Nos. 1-9, 13-21, 24, 25, 27, 33-38, And 41-90 on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  17. Plaintiffs' Notice of Motion and Motion to Compel Defendant General Motors, LLC's Further Responses to Request for Production of Documents Nos. 1-9,13-21, 24, 25, 27, 33-38, and 41-90; Memorandum of Points & Authorities; Declaration Defendant General Motors, LLC's Further Responses to Request for Production of Documents Nos. 1-9,13-21, 24, 25, 27, 33-38, and 41-90; Memorandum of Points & Authorities; Declaration of Erik Whitman with Exhibits on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  18. Plaintiff's CRC 3.1345 Separate Statement Of Items In Dispute In Support Of Motion To Compel Defendant General Motors, LLC's Further Responses To Form Interrogatory Nos. 12.1, 15.1, And 17.1 on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  19. Plaintiff's Notice of Motion and Motion to Compel Defendant General Motors, LLC's Further Responses to Form Interrogatory Nos. 12.1, 15.1, and 17.1; Declaration of Erik Whitman with Exhibits Defendant General Motors, LLC's Further Responses to Form Interrogatory Nos. 12.1, 15.1, and 17.1; Declaration of Erik Whitman with Exhibits on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  20. Stipulation and Protective Order- Confidential Designation Only on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  21. Case Management Statement on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  22. General Motors LLC's Separate Statement in Support of Opposition to Plaintiffs' Motion to Compel Further Responses to Request for Production of Document Nos. 1-9, 13-21, 24-25, 27, 33-38, and 41-90 on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  23. Separate Statement in Support of Defendant General Motors LLC's Opposition to Plaintiffs' Motion to Compel Further Responses to Special Interrogatory Nos. 2-36, 40-47, and 51-83 on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  24. General Motors LLC's Memorandum of Points and Authorities in Support of Opposition to Plaintiffs' Motion to Compel Further Responses to Special Interrogatory Nos. 2-36, 40-47, and 51-83 on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  25. Declaration of Xylon Quezada in Support of Defendant General Motors LLC's Opposition to Plaintiff's Motion to Compel Further Responses to Special Interrogatory Nos. 2-36, 40-47, and 51-83
  26. General Motors LLC's Memorandum of Points and Authorities in Opposition to Plaintiff's Motion to Compel Further Responses to Request for Production Nos. 1-9, 13-21, 24-25, 27, 33-38, and 41-90 on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  27. Declaration of Xylon Quezada in Support of Defendant General Motors LLC's Opposition to Plaintiff's Motion to Compel Further Responses to Request for Production Nos. 1-9, 13-21, 24-25, 27, 33-38, and 41-90
  28. Separate Statement in Support of Defendant General Motors LLC's Opposition to Plaintiffs Motion to Compel Further Responses to Form Interrogatory 12.1, 15.1 and 17.1 on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  29. Memorandum of Points and Authorities in Support of General Motors LLC's Opposition to Plaintiffs Motion to Compel Further Responses to Form Interrogatory 12.1, 15.1 and 17.1 on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  30. Declaration of Xylon Quezada Support of Defendant General Motors LLC's Opposition to Plaintiffs Motion to Compel Further Responses to Form Interrogatory 12.1, 15.1 and 17.1
  31. Plaintiffs' Notice of Posting Jury Fees on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  32. Case Management Statement on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  33. Minute Order: Court on its Own Motion
  34. Certificate of Mailing
  35. Plaintiffs' Evidentiary Objections to the Declaration of Xylon Quezada in Support of Defendant's Opposition to Plaintiff's Motion to Compel Defendant's Further Responses to Special Interrogatories on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  36. Plaintiffs' Reply Brief in Support of Plaintiff's Motion to Compel Further Responses to Special Interrogatory Nos. 2-36, 40-47, and 51-83 on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  37. Plaintiffs' Evidentiary Objections to the Declaration of Xylon Quezada in Support of Defendant's Opposition to Plaintiff's Motion to Compel Defendant's Further Responses to Requests for Production on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  38. Reply in Support of Plaintiff's Motion to Compel Defendant General Motors, LLC's Further Responses to Request for Production of Documents Nos. 1-9, 13-21, 24, 25, 27, 33-38, and 41-90; Supplemental Declaration of Erik Whitman with Exhibit on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  39. Plaintiffs' Evidentiary Objections to the Declaration of Xylon Quezada in Support of Defendant's Opposition to Plaintiff's Motion to Compel Defendant's Further Responses to Form Interrogatories on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  40. Plaintiffs' Reply Brief in Support of Plaintiffs' Motion to Compel Further Responses to Form Interrogatory Nos. 12.1, 15.1, and 17.1; Supplemenal Declaration of Erik Whitman on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  41. Minute Order: Hearing re: Motion to Compel
  42. Minute Order: Hearing re: Motion to Compel Defendant General Motors, LLC's Further Responses to Form Interrogatory Nos. 12.1, 15.1, and 17.1; Declaration of Erik Whitman with Exhibits by NORA ARCOS, JORGE ARCOS MALDONADO
  43. Minute Order: Hearing re: Motion to Compel Defendant General Motors, LLC's Further Responses TO Special Interrogatory Nos. 2-36, 40-47, AND 51-83; Declaration by NORA ARCOS, JORGE ARCOS MALDONADO
  44. Minute Order: Court on its Own Motion
  45. Certificate of Mailing
  46. Notice of Settlement of Entire Case (CM-200) on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  47. Notice of Order to Show Cause re: Dismissal After Conditional Settlement (CRC 3.1385(c))
  48. Notice of Hearing (eFiling) on Notice of Settlement of Entire Case (CM-200) on Complaint for Product Liability (Over $35,000) of NORA ARCOS
  49. Minute Order: Hearing re: Motion to Compel
  50. Minute Order: Hearing re: Motion to Compel
  51. Minute Order: Hearing on Order to Show Cause re: Dismissal After Conditional Settlement Pursuant to CRC 3.1385(c)
  52. Minute Order: Court on its Own Motion

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