Tuesday, September 15, 2009

Request for due notice for purorted proceeding in purported case of Samaan v Zernik (SC087400)

RE: REQUEST FOR A DULY REQUIRED NOTICE FOR SEPTEMBER 23, 2009 PURPORTED
PROCEEDING IN PURPORTED CASE OF SAMAAN v ZERNIK (SC087400)

Timely response requested no later than Thursday, September 17, 2009, 5:00 pm.

TO JOHN A CLARKE, CLERK OF THE COURT, TO THE COURT, AND TO
PURPORTED PARTIES AND COUNSEL AS LISTED ABOVE:

In the online "Case Summaries", published online by the LA Superior Court,
albeit - with a disclaimer warning the public that such publication was not a court
record and should not be relied upon, I recently noticed a listing of a purported
"Future Proceeding" in purported case of Samaan v Zernik (SC087400).
I therefore wrote to the Executive Officer/Clerk of the Court, John A Clarke, and
requested that:

a) In case he held that the case was and is a valid,effectual case of the LA Superior
Court - that he take actions to ensure that it was duly noticed, in a timely manner,
by a Deputy Clerk, pursuant to his authority as Clerk of the Court.

b) In case he held that the case was NOT and is NOT a valid, effectual case of the
LA Superior Court - that he take actions to ensure:

i. That false and misleading information be removed from the online
publication titled "Case Summaries".

ii. That no Deputy Clerk be present in such purported proceeding on
September 23, 2009.

iii. That no Deputy Clerk enter any additional minute orders in such
purported file.

Clerk John A Clarke failed to respond at all.

I therefore write herein again a request addressed to the purported parties listed
above, to the Court, and to John A Clarke, Clerk of the Court:

a) Request is that each and every one of the parties and the Clerk of the Court
respond with a statement on the record, in re: the matter at hand, indicating their
standing in it, with the foundation in the law.

and/or

b) Request is that each and every one of the parties and the Clerk of the Court
respond in a statement on the record, indicating whether they considered Samaan
v Zernik (SC087400) was and is a valid, effectual case of the Superior Court of
California for the County of Los Angeles, or whether they considered it was and is
NOT such a valid, effectual case.

and/or

c) That one of the parties listed as recipients of this note, who may consider the
purported case was and is a valid, effectual case of the Superior Court of
California for the County of Los Angeles, please notice the Future Proceeding, as
duly required by law.

Timely response requested no later than Thursday, September 17, 2009, 5:00 pm.

Dated: September 15, 2009 Joseph H Zernik


BY:__/s/_Joseph H Zernik__
JOSEPH H ZERNIK
Purported Defendant and Cross-
Complainant
in pro se

List of Addressees:

Mohammad Keshavarzi, Esq.
Sheppard, Mullin. Richter & Hampton LLP
333 South Hope Street, 48th Floor
Los Angeles, CA 90071-1448
Facsimile: 213.620.1398
E-Mail: MKeshavarzi@sheppardmullin.com
(by fax and by email)

Purported Counsel for Plaintiff, Nivie Samaan
John W. Amberg, Esq.
Jenna Moldawsky, Esq..
Bryan Cave LLP
120 Broadway, Suite 300
Santa Monica, CA 90401-2386
Telephone: (310) 576-2100
Facsimile: (310) 576-2200
E-Mail: jwamberg@BryanCave.com
E-Mail: jenna.moldawsky@bryancave.com
Purported Outside-Counsel for Non-Party Countrywide Home Loans, Inc,
and/or
Countrywide Financial Corporation
and/or
Bank of America Corporation
(by fax and by email)

Sanford Shatz, Esq.
Todd A. Boock., Esq,
Legal Department
Countrywide Home Loans, Inc,
and/or
Countrywide Financial Corporation
and/or
Bank of America Corporation
Telephone: (818) 871-6045
Facsimile: (818) 871-4669
E-Mail: Todd_Boock@Countrywide.Com
E-Mail: sandy_shatz@countrywide.com
Purported Counsel for Non-Party Countrywide Home Loans, Inc,
and/or
Countrywide Financial Corporation
and/or
Bank of America Corporation
􀁺 Page 2/4 September 15, 2009
(by fax and by email)

Sandor Samuels
Associate General Counsel
Bank of America Corporation
E-Mail: sandor_samuels@countrywide.com
As Associate Counsel of Bank of America Corporation
Also in his capacity as: Purported Person in Interest
(by email)

Pasternak Pasternak & Patton
Pasternak, Pasternak & Patton
1875 Century Park East, Suite 2200
Los Angeles, CA 90067
Telephone: 310 553 1500
Facsimile: 310 553 1540
E-Mail: djp@paslaw.com
Purported Receiver
(by fax and by email)

Michael Wachtell, Esq.
Buchalter Nemer
1000 Wilshire Boulevard, Suite 500
Los Angeles, California 90017-2457
Telephone: (213) 891-0700
Facsimile: 213.630.5760
E-Mail: mwachtell@buchalter.com
Purported Counsel for Mara Escrow
(by fax and by email)

Kathryn E. DiCarlo, Esq.
Cummings, McClorcy, Davis, Acho & Associates, P.c.
3801 University Avenuev, Suite 560
Riverside. CA 92501
Telephone: 951.276.4420
Facsimile: 951.276.4405
E-Mail: kdicarlo@cmda-law.com
Purported Attorney for ADR Services, Inc.
(by fax and by email)

Robert Shulkin, Esq.
Legal Department
Coldwell Banker Residential Brokerage
11611 San Vicente Blvd, 9th Floor
Los Angeles, California 90049
Telephone: 310 820 6888
Facsimile: 310 447 1902
E-Mail: robert.shulkin@camoves.com
Purported Counsel for Cross-Defendants
Michael Libow and Coldwell Banker Residential Brokerage
(by fax and by email)

John A Clarke
As an Individual
And also in his capacity as
Executive Officer/Clerk of the Court
Superior Court of California
For the County of Los Angeles
Stanley Mosk Courthouse
111 North Hill Street
Los Angeles, CA 90012-3014
Telephone: 213 974 5050
Facsimile: 213 621 7952
E-Mail: jclarke@lasuperiorcourt.org
Clerk of the Superior Court of California
For the County of Los Angeles
(by fax and by email)

Copy of the complete communication can be viewed at:

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