Free Certificate of Interested Entities - District Court of California - California


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Case 3:08-cv-02675-EDL

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Filed 07/02/2008

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BARRY VOGEL, STATE BAR NO. 108640 LARRY THORNTON, STATE BAR NO. 232265 LA FOLLETTE, JOHNSON, DE HAAS, FESLER & AMES 655 University Avenue, Suite 119 Sacramento, California 95825 Phone: (916) 563-3100 Facsimile: (916) 565-3704 E-mail: [email protected] Attorneys for Defendant, SUTTER M EDICAL CENTER OF SANTA ROSA

UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Pursuant to Civil L.R. 3­16, the undersigned certifies that the following listed persons, associations of persons, firms, partnerships, corporations (including parent corporations) or other
1 CERTIFICATION OF INTERESTED ENTITIES OR PERSONS 3:08-cv-02675-EDL

VALERIE GEORGE, as Administrator and) Personal Representative of THE ESTATE ) OF RYAN GEORGE; VALERIE GEORGE ) and TAJMAH BEAUCHAMP, as Legal ) Representatives for Jaida George and Ryan ) Geo rge, J r. ; V A L E R IE G E O R G E, ) Individually; DONALD GEORGE; and ) TAJMAH BEAUCHAMP, Individually, ) ) ) Plaintiffs, ) ) v. ) ) S O N O M A C O U N T Y S H E R I F F ' S) D E P A R T M E N T ; BILL CO GB IL L ;) COUNTY OF SONOMA; CALIFORNIA ) FORENSIC MEDICAL GROUP, INC.; ) MICHAEL E. DAGEY, R.N.; ELIZABETH ) KAISER; JAMES LUDERS , M .D.;) L A U R A R O D R I G U E Z ; S U T T E R) HEALTH; SUTTER MEDICAL CENTER ) OF SANTA ROSA; and DOES 1 through ) ) 25, inclusive, ) ) ) Defendants. ) __________________________________ )

CASE NO.: 3:08-cv-02675-EDL CERTIFICATION OF INTERESTED ENTITIES OR PERSONS

Case 3:08-cv-02675-EDL

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entities (i) have a financial interest in the subject matter in controversy or in a party to the proceeding, or (ii) have a non-financial interest in that subject matter or in a party that could be substantially affected by the outcome of this proceeding: 1. Joseph N. Matel, M.D. Dr. Matel is a physician who was involved in the care of decedent Ryan K. George while Mr. George was a patient at Sutter Medical Center of Santa Rosa. Physicians are not employees of Sutter Medical Center of Santa Rosa, but are independent contractors with hospital privileges. 2. Edward W. Hard, M.D. Dr. Hard is a physician who was involved in the care of decedent Ryan K. George, while Mr. George was a patient at Sutter Medical Center of Santa Rosa. Physicians are not employees of Sutter Medical Center of Santa Rosa, but are independent contractors with hospital privileges. 3. Angus Matheson, M.D. Dr. Matheson is a physician who was involved in the care of decedent Ryan K. George while Mr. George was a patient at Sutter Medical Center of Santa Rosa. Physicians are not employees of Sutter Medical Center of Santa Rosa, but are independent contractors with hospital privileges. 4. Alvaris Duffis, Jr., M.D. Dr. Duffis is a physician who was involved in the care of decedent Ryan K. George while Mr. George was a patient at Sutter Medical Center of Santa Rosa. Physicians are not employees of Sutter Medical Center of Santa Rosa, but are independent contractors with hospital privileges. 5. Norick Janian, M.D. Dr. Janian is a physician who was involved in the care of decedent Ryan K. George while Mr. George was a patient at Sutter Medical Center of Santa Rosa. Physicians are not employees of Sutter Medical Center of Santa Rosa, but are independent contractors with hospital privileges.

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Case 3:08-cv-02675-EDL

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6.

Richard Flinders, M.D. Dr. Flinders is a physician who was involved in the care of decedent Ryan K. George while Mr. George was a patient at Sutter Medical Center of Santa Rosa. Physicians are not employees of Sutter Medical Center of Santa Rosa, but are independent contractors with hospital privileges.

Dated: July 2, 2008

LA FOLLETTE, JOHNSON, DE HAAS, FESLER & AMES

By:__________/s/_______________________ LARRY THORNTON Attorney for Defendant, SUTTER MEDICAL CENTER OF SANTA ROSA

3 CERTIFICATION OF INTERESTED ENTITIES OR PERSONS

3:08-cv-02675-EDL

Case 3:08-cv-02675-EDL

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Re:

GEORGE v. SUTTER MEDICAL CENTER OF SANTA ROSA, ET AL. United States District Court Case No.: CV 08 2675 EDL PROOF OF SERVICE

3 4 5 6 7 8 [x] 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 Executed July 2, 2008, at Sacramento, California. 25 26 27 28 _________/s/__________________________ Kathryn A. DeLisle I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. Counsel for Defendants Sonoma County Sheriff's Dept., Bill Cogbill and County of Sonoma Steven L. Wittels, Esq. SANFORD WITTELS & HEISLER, LLP 950 Third Avenue, 10th Floor New York, NY 10022 646-723-2947 646-723-2948 Fax E-mail: [email protected] Lead Counsel for Plaintiffs Terry S. Sterling, Esq. SPAULDING, McCULLOUGH & TANSIL LLP 90 South E Street, Suite 200 P.O. Box 1867 Santa Rosa, CA 95402 (707) 524-1900 (707) 524-1906 Fax E-mail: [email protected] Tanya Brannan, Esq. LAW OFFICE OF TANYA BRANNAN 419 Orchard Street P. O. Box 3064 Santa Rosa, CA 95402 707-887-0865 E-mail: [email protected] Co-Counsel for Plaintiffs BY ELECTRONIC FILING USING THE COURT'S ELECTRONIC FILING SYSTEM which constitutes service of the filed document on the addressee(s) listed below: On July 2, 2008, following ordinary business practice, I served a true copy of the foregoing document(s) described as: CERTIFICATION OF INTERESTED ENTITIES OR PERSONS I am a citizen of the United States. My business address is 655 University Avenue, Suite 119, Sacramento, California 95825. I am employed in the City and County of Sacramento where this service occurs. I am over the age of 18 years and not a party to the within action.