DeclarationCal. Super. - 6th Dist.March 22, 202110 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 21 CV380887 Santa Clara - Civil Sarah Shapero (Bar N0. 281748) SHAPERO LAW FIRM One Market, Spear Tower, 36th Floor San Francisco, California 94105 Telephone: (4 1 5) 293-7995 Facsimile: (415) 358-41 16 Attorney for Plaintiff, SHOUSHAN P. TASHJIAN R. Nguye Electronically Filed by Superior Court of CA, County of Santa Clara, on 6/1 0/2021 9:54 AM Reviewed By: R. Nguyen Case #21 CV380887 Envelope: 6622066 SUPERIOR COURT FOR THE STATE OF CALIFORNIA COUNTY OF SANTA CLARA SHOUSHAN P. TASHJIAN, Trustee Under the Tashjian Trust Agreement Dated September 10, 1996, Plaintiff, V. AHMAD JAVID, TRUSTEE OF THE JAVID FAMILY TRUST DATED JUNE 24, 1981; SAFOORA JAVID, TRUSTEE OF THE JAVID FAMILY TRUST DATED JUNE 24, 1981; AND EELA JAVID Defendants Case No.1 21CV380887 DECLARATION OF SARAH SHAPERO REGARDING NOTICE OF EX PARTE APPLICATION FOR A TEMPORARY RESTRAINING ORDER Date: Time: Dept: 7 1 DECLARATION OF SARAH SHAPERO IN SUPPORT OF EX PARTE APPLICATION 3 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 I, SARAH SHAPERO, d0 declare and state: 1. I am the managing partner 0f the Shapero Law Firm, counsel for Plaintiff herein. Ihave personal knowledge 0f the following facts and, if called as a Witness I could, and could, competently testify as t0 their veracity. 2. On June 9, 2021 at approximately 12:00 pm, I emailed counsel for Defendants, Harry Price, at harry@priceslaw.com, and informed him that Plaintiff in the above mentioned matter, TASHJIAN V. JAVID, (Santa Clara County Superior Court Case N0. -21CV380887) Will be appearing EX Parte for a Temporary Restraining Order t0 enjoin the foreclosure sale of the property located at 2713 Ramos Court, Mountain View, CA 94040. I informed Mr. Price of the following as well: Please take notice that Plaintiff Will be applying ex part6 to Department 7 0f the Santa Clara Superior Court. The application Will be heard remotely in the Santa Clara Superior Court. The COVID19 emergency rules provide: “EX parte applications for case management departments are now being accepted Via E-filing 0r drop box. The matters are only heard remotely and may take up t0 24-48 hours for processing.” As such, I d0 not currently have a date 0r time t0 provide you, butI Will provide the aforementioned information once it becomes available. Iwill also provide you the moving papers as soon as they are available. Please let me know if you intend 0n contesting the EX Part6 application. 3. On June 9, 2021 at approximately 12:00 pm, I called counsel for Defendant, Harry Price, and he confirmed receipt 0fmy email. He indicated that he would be appearing to contest the request for a Temporary Restraining Order. I declare under penalty of perjury that the foregoing is true and correct. Executed June 9, 2021 in San Francisco, California. 2 DECLARATION OF SARAH SHAPERO IN SUPPORT OF EX PARTE APPLICATION