DeclarationCal. Super. - 6th Dist.October 24, 2018Electronically Filed by Superior Court of CA, County of Santa Clara, on 4/2/2019 4:42 PM Reviewed By: F. Miller Case #18CV336922 Envelope: 2709417 F. Miller A \OWNQUI 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 MATTHEW A. CROSBY, CSB #070524 MICHAEL C. CROSBY, CSB #277849 CROSBY & CROSBY, A PROFESSIONAL LAW CORPORATION 1570 The Alameda, Suite 200 San Jose, CA 95126 e-mail: matt@crosbyplc.com Telephone: 408-370-7500 Facsimile: 408-984-5063 Attorneys for Defendant LISA GILLMOR IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA IN AND FOR THE COUNTY OF SANTA CLARA [Accompanying Documents: Reply Memorandum of Points & Authorities; and Objections to Evidence] BRIAN EXLINE, an individual, ) CASE NO. 18CV336922 ) Plaintiff, ) ) SUPPLEMENTAL DECLARATION ‘ vs. ) OF ATTORNEY MICHAEL C. H ) CROSBY IN SUPPORT 0F SPECIAL LISA GILLMOR, an individual, and DOES ) MOTION TO STRIKE PLAINTIFF’S 1 through 20, ) COMPLAINT ) Defendants. ) ) . ) Hearing Date: April 9, 2019 ) Hearing Time: 9:00 a.m. ) Dept. No.: 2 ) Judge: Hon. Mark Pierce ) Date Action Filed: October 24, 2018 ) Trial Date: N/A ) ) ) I, MICHAEL C. CROSBY, declare Nature of the Motion 1. I am an attorney at law duly admitted to practice before all the courts of the State of California and the attorney of record for defendant, LISA GILLMOR (“GILLMOR”). 2. This supplemental declaration is made in support 0f GILLMOR’S special motion to strike the Complaint For Damages, Declaratory And Injunctive Relieffiled herein on October 24, 2018 (the “Complaint”) by plaintiff, BRIAN EXLINE (“EXLINE”). DECLARATION OF MICHAEL C. CROSBY SUPPORTING SPECIAL MOTION TO STRIKE COMPLAINT PAGE 1 A \OOONQU‘I 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Impending Substitution of New Plaintiff 3. On March 20, 20 1 9, I received a telephone call from Tyler Atkinson, Esq., an attorney at McManis Faulkner, A Professional Corporation (“McMam's Faulkner”). Mr. Atkinson informed me that plaintiff, BRIAN EXLINE, is expected to move out of the City of Santa Clara, California, in the very near future. Mr. Atkinson also stated, “We [McManis Faulkner] may have another individual lined up to substitute in as plaintif .” Ihave personal knowledge 0fthe foregoing facts and, if called as a witness, can and will competently testify to them under oath. I declare under penalty 0f perjury under the laws of the State 0f California that the foregoing is true and correct and that this declaration was executed in San Jose, California on April 2, 20 1 9. MICHAEI: C. C AntiSlappMotion-DeclMCC-Suppl.wpd MAW ROSBY DECLARATION OF MICHAEL C. CROSBY SUPPORTING SPECIAL MOTION TO STRH