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


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Date: December 31, 1969
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State: California
Category: District Court of California
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Preview Certificate of Interested Entities - District Court of California
ase 3:07—cv—03114—SI Document 11 Filed 11/08/2007 Page 1 of 3
I SEYFARTH SHAW LLP
Dana L. Peterson (SBN 178499) [email protected]
2 Jonathan D. Martin (SBN 188744) [email protected]
560 Mission Street, Suite 3100
3 San Francisco, California 94105
Telephone: (415) 397-2823
4 Facsimile: (415) 397-8549
5 Attorneys for Defendant
KAISER FOUNDATION HEALTH PLAN, INC.
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9 UNITED STATES DISTRICT COURT
I0 IN AND FOR THE NORTHERN DISTRICT OF CALIFORNIA
11 FERNANDO DAROSA, ) Case No. C07—03 I 14 SI
)
12 Plaintiff, ) DEFENDANT'S CERTIFICATION OF
) INTERESTED ENTITIES OR
13 v. ) PERSONS
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14 KAISER FOUNDATION HEALTH PLAN, ) [Civ. L. R. 3-16]
INC., )
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Defendant. )
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13 Defendant KAISER FOUNDATION HEALTH PLAN, INC. ("Defendant") hereby
19 submits the foregoing Certification of Interested Entities or Persons.
20 Pursuant to Civil L.R. 3-16, the undersigned certifies that the following listed persons,
2] associations of persons, firms, partnerships, corporations (including parent corporations) or other
22 entities (i) have a financial interest in the subject matter in controversy or in a party to the
23 proceeding, or (ii) have a non-financial interest in that subject matter or in a party that could be
24 substantially affected by the outcome of this proceeding:
25 Defendant is part of the Kaiser Permanente healthcare system. Other entities are
26 associated with Defendant in that they are also part of the Kaiser Permanente healthcare system.
27 However, neither the named defendant, nor any of the other associated entities, are publicly-held
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DEFENDANT’S CERTIFICATION OF INTERESTED ENTITIES OR PERSONS — CASE
NO. C07-03114 SI

ase 3:07—cv—03114—SI Document 11 Filed 11/08/2007 Page 2 of 3
I companies. N0 entity other than an entity that is part ofthe Kaiser Permanente healthcare
2 system has any tinancial interest in the outcome of this litigation.
3 DATED: November 8, 2007 SEYFARTH SHAW LLP
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6 l Jonathan D. Martin
Attorneys for Defendant
7 KAISER FOUNDATION HEALTH PLAN,
8 INC.
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DEFENDANT’S CERTIFICATION OF INTERESTED ENTITIES OR PERSONS ~ CASE
NO. C07—03114 SI

ase 3:07—cv—03114—SI Document 11 Filed 11/08/2007 Page 3 of 3
1 PROOF OF SERVICE
2 I am a resident of the State of California, over the age of eighteen years, and not a party
to the within action. My business address is Seyfarth Shaw LLP, 560 Mission Street, Suite 3100,
3 San Francisco, California 94105. On November 8, 2007, I served the within documents:
4 DEFENDANT’S CERTIFICATION OF INTERESTED ENTITIES OR PERSONS
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I sent such document from facsimile machine (415) 397-8549 on November 8, 2007.
6 U I certify that said transmission was completed and that all pages were received and
that a report was generated by facsimile machine (415) 397-8549 which confirms said
7 transmission and receipt. I, thereafter, mailed a copy to the interested party(ies) in this
action by placing a true copy thereof enclosed in sealed envelope(s) addressed to the
8 parties listed below.
9 by placing the document(s) listed above in a sealed envelope with postage thereon
X fully prepaid, in the United States mail at San Francisco, California addressed as set
10 forth below.
1 1 by personally delivering the document(s) listed above to the person(s) at the
U address(es) set forth below.
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13 by placing the document(s) listed above, together with an unsigned copy of this
declaration, in a sealed Federal Express envelope with postage aid on account and
. . . P
14 deposrted with Federal Express at San Francisco, California, addressed as set forth
below.
I5 by transmitting the document(s) listed above, electronically, via the e—mail addresses
16 E set forth below.
17 Jeremy L. Friedman
Attorney at Law
18 2801 Sylhowe Road
Oakland, California 94602
19 rereprme; (510) 520-9060
20 Facsimile: (510) 530-9087
I am readily familiar with the fim1’s practice of collection and processing correspondence
21 for mailing. Under that practice it would be deposited with the U.S. Postal Service on that same
day with postage thereon fully prepaid in the ordinary course of business. I am aware that on
22 motion of the party served, service is presumed invalid if postal cancellation date or postage
2_ meter date is more than on day after the date of deposit for mailing in affidavit.
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I declare that I am employed in the office ofa member of the bar ofthis court whose
24 direction the service was made.
25 Executed on November 8, 2007, at San Francis * , Californi
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27 Denis . Quintana
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