Vous êtes sur la page 1sur 2
|| SHANNON LISS-RIORDAN (State Bar No. 310719) sliss@lrlaw.com Paine ciee LICHTEN & LISS-RIORDAN, P.C. FILED 729 Boylston Street, Suite 2000 “County or an Prenctace Boston, MA 02116 12/19/2016 Telephone: (617) 994-5800 Clerk of the Court Facsimile: (617) 994-5801 ee eee MATTHEW D. CARLSON (State Bar No. 273242) mearlson@llrlaw.com LICHTEN & LI RIORDAN, P.C. 466 Geary St., Suite 201 San Francisco, CA 94102 Telephone: (415) 630-2651 Facsimile: (617) 995-5801 Attorneys for Plaintiff DAKOTA QUIGLEY, SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF SAN FRANCISCO, Case No.: CGC-16-550805 DAKOTA QUIGLEY, on behalf of himself and | Hon. Mary E. Wiss all others similarly situated, Dept. 305 Plaintiff | DECLARATION OF KOSTA MARTIKAS : | INSUPPORT OF PLAINTIFF'S MOTION | RE: SCOPE OF DISCOVERY v. Date: February 1, 2017 Time: 1:30 p.m. Dept: 305 SOLUTIONS, INt Defendant, Case No. CGC-16-550805 DECLARATION OF KOSTA MARTIKAS IN SUPPORT OF PLAINTIFI°S MOTION RE: SCOPE OF DISCOVERY DECLARATION OF KOSTA MARTIKAS IN SUPPORT OF PLAINTIFF'S MOTION RE: SCOPE OF DISCOVERY 1, Kosta Martikas, declare as follows: 1, From on or about September 1, 2016 until on or about December 1, 2016, I worked as an Eaze driver in the San Diego, California area. { contracted with a dispensary called “Torrey Holisties,” which I understand is one of Baze’s dispensary-pariners. | was hired as an independent contractor, 2. During my time working as an Eaze driver, I saw that Eaze personnel were regularly involved in my work. For example, an Eaze employee performed my orientation, including reviewing my paperwork and ensuring that my vehicle met Eaze’s standards, Eaze also sent me paperwork and multiple emails relating to my work. Additionally, an Baze employee told me to take printed advertisements with me when | would make deliveries, and Eaze personnel were regularly on the premises at Torrey Holisties. I declare under penalty of perjury under the laws of the State of Ca foregoing is true and correct. Executed on December | 5.2016 at San D 5C California i Case No, CGC-16-550805 DECLARATION OF KOSTA MARTIKAS IN SUPPORT OF PLAINTIFF'S MOTION RE: SCOPE OF DISCOVERY,

Vous aimerez peut-être aussi