Free Motion to Dismiss - District Court of California - California


File Size: 34.9 kB
Pages: 3
Date: December 28, 2007
File Format: PDF
State: California
Category: District Court of California
Author: unknown
Word Count: 510 Words, 3,150 Characters
Page Size: Letter (8 1/2" x 11")
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https://www.findforms.com/pdf_files/casd/258880/7-1.pdf

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Case 3:07-cv-02229-WQH-WMC

Document 7

Filed 12/28/2007

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GIOVANNIELLO & MICHELS, LLP Alexander F. Giovanniello (CSB# 125562) 1470 South Valley Vista Drive, Suite 200 Diamond Bar, California, 91765 Ph: (909) 396-1964 Fax (909) 396-0885 Attorneys for DEFENDANT RENESTER VILLA, LLC dba THE VALLEY INN n/k/a BLOSSOM VALLEY INN (erroneously sued and served as Blossom Valley Inn) UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA WILLIAM A. HOGUE, by and through ) ) his Guardian Ad Litem CASSI ) DePAOLI; ) ) ) Plaintiff, ) ) vs. ) ) CITY OF HOLTVILLE, A Public ) Entity; OFFICER BARRY FORNEY, ) ) an Individual; OFFICER THOMAS IP, ) an Individual; BLOSSOM VALLEY ) ) INN, business form unknown, TINA ) TOTEN, an Individual; NURSE DOE ) #21, an Individual; and DOES 1-100, ) ) Inclusive, ) ) ) Defendants. ) ) ) Case No.: 07 CV 2229 WQH (WMC) DEFENDANT'S NOTICE OF MOTION AND MOTION TO DISMISS THE COMPLAINT; MEMORANDUM OF POINTS AND AUTHORITIES FRCP 12(b)(6) NO ORAL ARGUMENT UNLESS REQUESTED BY THE COURT Date: February 4, 2008 Time: 11:00 a.m. Courtroom: 4

TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD: PLEASE TAKE NOTICE THAT on February 4, 2007, at 11:00 a.m., or as soon thereafter as the matter may be heard in Courtroom 4, of the above-entitled
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MOTION TO DISMISS (07 CV 2229)

Case 3:07-cv-02229-WQH-WMC

Document 7

Filed 12/28/2007

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court located at 940 Front Street, San Diego, California 95113, Defendant RENESTER VILLA, LLC dba THE VALLEY INN n/k/a BLOSSOM VALLEY INN (erroneously sued and served as Blossom Valley Inn) (hereinafter "Defendants") will move this Court for an order to dismiss portions of Plaintiff's Complaint (the Complaint) pursuant to FRCP 12(b)(6). This Motion will be based on the grounds that Plaintiff's Complaint, specifically, (1) the Fifth Cause of Action for Breach of Written Contract; (2) the Sixth Cause of Action for Breach of Implied Covenant of Good Faith and Fair Dealing; (3) the Eighth Cause of Action for General Negligence; (4) the Ninth Cause of Action for Elder Neglect and Abuse; (5) the Tenth Cause of Action for Fraudulent Misrepresentation; and (6) and the Eleventh Cause of Action for Negligent Misrepresentation, fails to state a claim upon which relief can be granted. This motion is based upon this Notice, the Memorandum of Points and Authorities on file herein, all documents and evidence on file herein, and upon such other oral and documentary evidence as may be presented at the hearing of this matter.
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MOTION TO DISMISS (07 CV 2229)

Case 3:07-cv-02229-WQH-WMC

Document 7

Filed 12/28/2007

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Date: December 27, 2007

GIOVANNIELLO & MICHELS, LLP

By:

/s/ Alexander F. Giovanniello Alexander F. Giovanniello Attorneys for DEFENDANT, RENESTER VILLA, LLC dba THE VALLEY INN n/k/a BLOSSOM VALLEY INN (erroneously sued and served as Blossom Valley Inn)

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MOTION TO DISMISS (07 CV 2229)