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Displaying 114-128 of 266 results

No. 144 NOTICE of Joint List of Stipulated Facts filed by Defendant United States of America

Document Alice Smithen v. United States of America et al, 2:09-cv-00414, No. 144 (C.D.Cal. Feb. 10, 2017)
Itkowitz had attended the academy at the Federal Law Enforcement Training Center in Glynco, Georgia.
Defendant United States of America concedes that Matthew Itkowitz was not in any capacity acting in self-defense (as defined by California law) when he shot Ryan Gonzalez on March 5, 2008.
At the time he shot Ryan Gonzalez with his Glock 27, Matthew Itkowitz was in possession of his United States Marshals Service badge and credentials.
The Los Angeles Police Department (LAPD) began an investigation of the shooting on the night of the incident.
This gun was found in the alley north of Melrose Avenue and was photographed by the LAPD with evidence cones 7-
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No. 145 JOINT Exhibit List filed by Defendant United States of America

Document Alice Smithen v. United States of America et al, 2:09-cv-00414, No. 145 (C.D.Cal. Feb. 10, 2017)
Grobaty Pitet LLP Plaintiff Alice Smithen and Defendants United States of America and Matthew Itkowitz hereby submit the following list of exhibits for trial in the above-entitled matter.
Response to objection(s) completeness of record per FRE 106 Relevant to evidentiary effect in this case of positions taken by the United States on the “acting under color of law” issue in the Itkowitz criminal trial.
Relevant Plaintiff Trial Transcript of statements Closing Argument of and US Attorney Lawrence admissions Middleton (USA v. by party Itkowitz-criminal Defendant case)
Pltf intends Plaintiff Transcript of only to use Interview of Maribel for Servin dated June 5, 2008 (Office of the refreshing Los Angeles District or
Defendant Selected portions of Los Angeles Police Department (LAPD) Homicide Report No: 08- 0609544 Public records exception per FRE 803.
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No. 146 NOTICE of Joint Objections to Deposition and Statement Designations filed by Defendant United ...

Document Alice Smithen v. United States of America et al, 2:09-cv-00414, No. 146 (C.D.Cal. Feb. 10, 2017)
Plaintiff objects to the entirety of Caroline Legal Grounds For Admitting Testimony Public records exception per FRE 803.
Plaintiff objects to the entirety of Caroline Legal Grounds For Admitting Testimony Public records exception per FRE 803.
40:10 34:1 Legal Grounds For Admitting Testimony used excessive and unreasonable force, violated US Marshal policy in so doing, and shot him in his capacity as a law enforcement officer.
Relevant to evidentiary effect in this case of positions taken by the United States on the “acting under color of law” issue in the Itkowitz criminal trial.
Relevant to evidentiary effect in this case of positions taken by the United States on the “acting under color of law” issue in the Itkowitz criminal trial.
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No. 143 Witness List filed by Defendant United States of America

Document Alice Smithen v. United States of America et al, 2:09-cv-00414, No. 143 (C.D.Cal. Feb. 10, 2017)
ITKOWITZ, an individual; and DOES Date: February 27, 2017 through 50, inclusive, Time: 8:30 a.m. CTRM: 9D – Hon.
Action Filed: January 16, 2009 Trial date: February 27, 2017
Grobaty Pitet LLP Plaintiff Alice Smithen and Defendants United States of America and Matthew Itkowitz hereby submit the following joint witness list for trial in the above-entitled matter.
Juan Carrillo LA County Medical Examiner’s Office 4.
Attorneys for Defendant United States of America
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No. 54 Notice of Appearance or Withdrawal of Counsel: for attorney Donald A Green counsel for Plaintiffs ...

Document John Doe et al v County of Los Angeles et al, 2:16-cv-05946, No. 54 (C.D.Cal. Feb. 6, 2017)
Name and address: Donald A. Green (SBN 225171) Adams & Pham, APC 575 Anton Boulevard, 3rd Floor Costa Mesa, California 92626
On ______________________, the attorney listed above was granted permission to appear in this case pro hac vice before the Bankruptcy Court, and L.Bankr.R.
Please select one of the following options: The attorney named above has already been relieved by the Court as counsel of record in this case and should have been removed from the docket.
(Note: if you are removing yourself from the docket of this case as a result of separating from a firm or agency, you should consult Local Rules 5-4.8.1 and 83-2.4 and Form G-06 (“Notice of Change of Attorney Business or Contact Information”), concerning your obligations to notify the Clerk and parties of changes in your business or contact information.)
I, DONALD A. GREEN, declare as follows: am over 18 years of age and not a party to this action; I am Of Counsel attorney with Adams & Pham, APC, located in the County of Orange, State of California.
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No. 49

Document John Doe et al v County of Los Angeles et al, 2:16-cv-05946, No. 49 (C.D.Cal. Jan. 20, 2017)

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No. 46

Document John Doe et al v County of Los Angeles et al, 2:16-cv-05946, No. 46 (C.D.Cal. Jan. 9, 2017)

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No. 47

Document John Doe et al v County of Los Angeles et al, 2:16-cv-05946, No. 47 (C.D.Cal. Jan. 9, 2017)

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No. 45

Document John Doe et al v County of Los Angeles et al, 2:16-cv-05946, No. 45 (C.D.Cal. Jan. 8, 2017)

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No. 43

Document John Doe et al v County of Los Angeles et al, 2:16-cv-05946, No. 43 (C.D.Cal. Jan. 4, 2017)

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No. 44

Document John Doe et al v County of Los Angeles et al, 2:16-cv-05946, No. 44 (C.D.Cal. Jan. 4, 2017)

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No. 41

Document John Doe et al v County of Los Angeles et al, 2:16-cv-05946, No. 41 (C.D.Cal. Nov. 28, 2016)

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No. 38

Document John Doe et al v County of Los Angeles et al, 2:16-cv-05946, No. 38 (C.D.Cal. Nov. 21, 2016)

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No. 36

Document John Doe et al v County of Los Angeles et al, 2:16-cv-05946, No. 36 (C.D.Cal. Nov. 11, 2016)

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No. 35

Document John Doe et al v County of Los Angeles et al, 2:16-cv-05946, No. 35 (C.D.Cal. Nov. 9, 2016)

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