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1 Valerie A.

Lopez (SPACE BELOW FOR FILE STAMP ONLY)

2328 Sunningdale Drive


2 Tustin California 92782
Telephone: (714) 760-4117
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2rms@sbcglobal.net
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Attorney In Pro per
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6 SUPERIOR COURT OF THE STATE OF CALIFORNIA
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IN AND FOR THE COUNTY OF ORANGE
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CENTRAL JUSTICE CENTER
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VALERIE A. LOPEZ, individually, ) Case No.: 30-2018-01011817
10 )
Plaintiff, ) Judge: SHEILA B. FELL
11 )
)
12 vs. ) REQUEST FOR JUDICIAL NOTICE
) (EVIDENCE CODE §§451, et Seq AND
13 ) REQUEST PURSUANT TO CALIFORNIA
WORLD SAVINGS BANK FSB; ) RULES OF COURT, RULE 3.1306(c) FOR
14 MCCALLA RAYMER LEIBERT PIERCE ) THE CLERK TO HAVE ENTIRE FILE IN
LLC; THE SUNNINGDALE TRUST #2328, )) RELATED CASE IN COURT ROOM FOR
15 HEARING ON DEFENDANTS MOTION
VECCHIO REAL ESTATE CORP., as ) UNDER CODE OF CIVIL PROCEDURE §527.
16 TRUSTEE; AND DOES 1 THROUGH 50, )
INCLUSIVE )
17 ) [Evidence Code §451 & CRC, Rule 3.1306(c)]
)
18 ) [CCP § 527 & Rules of Court, Rule 3.1204]
)
19 ) DATE: August 27, 2018
) TIME: 8:30 am
20 )
) DEPT: C25
21 )
)
22 TO THE ABOVE ENTITLED COURT, ALL DEFENDANTS AND THEIR ATTORNEY
OF RECORD:
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24 Plaintiff Valerie A. Lopez requests the within Court take judicial notice of the following
25 documents and pleadings in Orange County Superior Court, Central Justice Center, Case No.
26 02CC12362, and request that the file (pursuant to California Rules of Court, Rule 3.1306(c)) in its
27 entirety be brought to this court for hearing herein on Plaintiff’s Application for Request for
28 Continuance of the Application to Dissolve the TRO related to the Wrongful Foreclosure and Title

issues:
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REQUEST FOR JUDICIAL NOTICE (EVIDENCE CODE §451)
1 1. Published Case of Terry Mabry, Citation: Court of Appeal 4th Appellate District, Div. 3

2 Opinion as to the Mabry Claim (Mabry v. The Superior court of Orange County

3 (2010) 185 Cal.App. 4th 208; 110 Cal.Rptr. 3d 201), a true and correct copy of which is

4 attached hereto as Exhibit “A”.

5 2. Temporary Restraining Order (TRO) with a [Proposed] 90 Day Stay: Stipulation and

6 order (Revised March 2011) for purposes of resolving this matter in a non-judicial

7 matter based on the Mabry claim, a true and correct copy of which is attached hereto as

8 Exhibit “B”.

9 3. US Federal District Order dated August 20, 2018 ordering Gary Vecchio Trustee of The

10 Sunningdale Trust #2328 to SETTLE with Valerie. This instruction was issued at

11 Defendant’s Motion to Dismiss hearing. Settlement Conference is September 11, 2018.

12 Exhibit “C”

13 4. Individuals who held the illegal auction are debt collectors and not creditors. The

14 individuals have and continue to violate 15 USC Code 1692 f (6):

15 15 USC 1692f: Unfair practices - A debt collector may not use unfair or unconscionable

16 means to collect or attempt to collect any debt. Without limiting the general application

17 of the foregoing, the following conduct is a violation of this section:

18 6) Taking or threatening to take any nonjudicial action to effect dispossession or

19 disablement of property if-(A) there is no present right to possession of the property

20 claimed as collateral through an enforceable security interest; (B) there is no present

21 intention to take possession of the property; or(C) the property is exempt by law from

22 such dispossession or disablement.

23 Exhibit “D”

24 5. Public Notation of Legal Abuse in the case 30-2018-00983668. When Defendant Valerie

25 Lopez established with Trial Court that she was to have a Trial by Jury, Judge forced

26 Defendant Valerie a Court Trial. Date was unknown until 8/13/2018. Judge announced

27 hearing would be following day 8/14/2018 which was not adequate time for Plaintiff to

28 secure subpoenas, support from witnesses, ADA representative based on sight handicap,

and too short of time also to secure attorney. Judge rescheduled hearing for 8/15/2018,

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REQUEST FOR JUDICIAL NOTICE (EVIDENCE CODE §451)
1 and Plaintiff ran into same problem of support team not able to come on short 1-day

2 notice. Plaintiff participated in an abusive trial setting against the bench and Steve

3 Silverstein while sleep deprived. Plaintiff was cognitively impaired due to sleep

4 deprivation as she spent the night of 13th, 14th and 15th morning hours researching trials as

5 she would need to conduct trial on her own due to short notice. The trial was an illegal

6 whipping session. US District Court FDCPA countered the efforts of the trial court and

7 Silverstein with MANDATORY SETTLEMENT from Gary Vecchio Trustee of The

8 Sunningdale Trust.

9 Exhibit “E”

10
11 Respectfully submitted,
12 Dated: August 18, 2018
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_________________________________
15 Plaintiff Valerie A. Lopez

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REQUEST FOR JUDICIAL NOTICE (EVIDENCE CODE §451)
1 PROOF OF SERVICE

2 STATE OF CALIFORNIA )
)ss.
3 COUNTY OF ORANGE )
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5 I am a citizen of the United States and a resident of the County of Orange, State of California. I am
over the age of eighteen (18) years and not a party to the within action; my business address is 7851
6 Southlake Dr., #7, Huntington Beach, California 92648.

7 On May 14, 2015, I caused to be served the following document(s): REQUEST FOR JUDICIAL
NOTICE (EVIDENCE CODE §§451, et Seq AND REQUEST PURSUANT TO CALIFORNIA
8 RULES OF COURT, RULE 323(c), FOR THE CLERK TO HAVE ENTIRE FILE IN
RELATED CASE IN COURT ROOM FOR HEARING ON DEFENDANTS MOTION
9 UNDER CODE OF CIVIL PROCEDURE §425.16.
10
RCO Legal Northwest Trustee Services
11 Attn: Jason A. Savloc, Esq. Attn: Charles Katz, Esq.
RCO No. 7443.50188 1241 E. Dyer Rd., Suite 250
12 1241 E. Dyer Rd., Suite 250 Santa Ana, California 92705
Santa Ana, California 92705
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14 (X) (MAIL) I caused such document, in a sealed addressed envelope, with postage thereon fully
prepaid, to be placed in the United States mail.
15 ( ) (BY PERSONAL DELIVERY) I personally delivered a copy of the document, in a sealed
addressed envelope, by hand to the offices of the addressee.
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( ) (BY FAX) I served such document by facsimile transmission from 16458 Bolsa Chica St.,
17 Huntington Beach, California 92649 on ______________to the above listed individuals.
18 ( ) (EXPRESS DELIVERY) I caused such document, in a sealed addressed envelope, with
postage thereon fully prepaid, to be delivered by overnight delivery by __________________, at
19 Fountain Valley, California.

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I am "readily familiar” with the firm's practice of collection and processing correspondence for
21 mailing. It is deposited with the United States Postal Service on that same day in the ordinary
course of business. I am aware that on motion of a party served, service is presumed invalid if
22 postal cancellation date or postage meter date is more than one (1) day after date of deposit for
mailing in affidavit.
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I declare under penalty of perjury of the laws of the State of California that the foregoing is true and
24 correct and that their declaration was executed on May 14, 2015, at Huntington Beach, California.
25
26 _______________________________

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PROOF OF SERVICE

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