Requesting Reservation Number to File Motion for Terminating Sanction

ABDUL-JALIL al-HAKIM
7633 Sunkist Drive
Oakland, CA 94605
Tel: (510) 394-4501
Defendant

SUPERIOR COURT OF CALIFORNIA
COUNTY OF ALAMEDA

Alliance Credit/Bank One, T. Miller, Plaintiff,
vs.
Abdul-Jalil al-Hakim, Defendant

Case No.:OCV0574030
Requesting Reservation Number to File Motion for Terminating Sanction
Hearing Date: February 22, 2017
Time: 9:15 a.m.
Location: Hayward Hall of Justice
24405 Amador Street
Hayward, CA 94544
Department 511

Judge Kim Colwell                                      Mark E. Ellis
Judge Jennifer Madden                             Ellis Law Group
Superior Court of Alameda County          740 University Avenue, Suite 100
Departments 511 and 507                         Sacramento, CA 95825
Hayward Hall of Justice                             Fax: (916)283-8821
24405 Amador Street
Hayward, CA 94544
FAX #: 510-690-2824
cc: Irwin Eskanos; bcc

Faxed and Emailed
FROM: Abdul-Jalil al-Hakim
DATE: January 27, 2017
NO PAGES: 2
RE: Requesting Reservation Number to File Motion for Terminating Sanction, MILLER VS HAKIM, Case: #OCV0574030

Dear Judges Colwell and Madden:

I am sending you both as well as plaintiff’s this fax and email to to request a reservation number to file a Motion for Terminating Sanctions in this matter.

On Wednesday, January 25, 2017, the court again delayed and continued the hearing in this matter to February 22, 2017 at 9:15 A.M. because the plaintiff again failed and refused to provide the ordered “first (original) filing” documents from 1996.

These documents were requested at hearing in September 2016 and ordered to be produced at hearing in October 2016.

I made the same request October 7, 2017, via the DEBT BUYER DEMAND LETTER per Federal and State law, including but not limited to the Fair Debt Collection Practices Act (15 U.S.C. § 1692, et seq.) and the Rosenthal Act (Civil Code § 1788, et seq.).

November 21, 2017, served Plaintiff’s Notice of their failure and refusal to comply with the noticed demand for the written responses to the request of October 7, 2016 were due no later than October 23, 2016, Pursuant to California Civil Code § 1788.52.

Please reply with the requested reservation information so that we can serve the plaintiff ASAP.

I am unavailable to appear in court on Tuesdays and Fridays all day and Thursdays before noon. Any time on Mondays and Wednesdays are fine as well as Thursdays after 2:00 pm.
I understand that plaintiff’s counsel has a new address but it was not provided to me in any form so I assume that was their intent. Therefore, I am sending a copy of this request to their email and fax on file as well as co-counsel Irwin Eskanos.

Additionally, we have very serious concerns about the courtroom impropriety of Ms. Madden’s “Trump-esque” conduct complete with “alternate facts and alternate reality” and this matter can not be heard or ruled on in anyway by Judge Colwell as it is clear her finger prints are all over this case while she has been involved in a previous matter that is still outstanding and has an irreparable conflict. These concerns will be addressed!

Call me if you have any questions, and “Thank you” for your consideration.

Respectfully,

Abdul-Jalil al-Hakim
510-394-4501

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