NoticeCal. Super. - 6th Dist.April 29, 2021I Henry.l. Yandeil, Esq. SBN: 321114 Kambrie L. Keith, Esq. SBN: 303847 2 I,ina M. Michael. Lsq. SBN: 237g42 MICHAEl. dk ASSOCIATES, PC 555 St. Charles Drive, Suite 204 Thousand Oaks, California 91360 4 Telephone: (805) 379-8505 I acsimile: (805) 379-8525 Attorneys for Plaintiff, 6 American Express National Bank Our File Number: 20126738 7 13 14 Plaintiff, 15 Christopher Aubuchon, aka Christophe 16 Aubuchon. aka Christopher M Aubuchon, an individual., Does I to 20. 17 111 Defendants. 19 10 11 American Express National Bank, Successor 12 by Merger to American Express Hanl', FSB, Case Number: 21CV3g1090 PI.AINTIFF'S NOTICE OF TRIAI. Complaint Filed: April 29, 2021 DATE: May 9, 2022 TIME: 8:46 a.m. DEPT: JUDGE: Honorable Sunil R. Kulkarni TO ALL INTERESTED PARTIFS: PLEASE TAKE NOTICE that the Coun has set a Trial for May 9, 2022 at 8:46 a.m. in Department I of the Santa Clara County Superior Court, located at 191 N. First Street, 22 San Jose, CA 95113. 3 PLAINTIFF, American Express National Bank. Successor by Merger to American 24 Express Hank. FSB, to give notice. o5 DATE: February )0 . 2022 MICHAEL k. ASSOCIATES, PC Henr'v J. Yandell, Attorney for Plaintiff Electronically Filed by Superior Court of CA, County of Santa Clara, on 2/10/2022 3:02 PM Reviewed By: Y. Chavez Case #21CV381090 Envelope: 8266949 21CV381090 Santa Clara - Civil Y. Chavez PROOF OF SERVICE I, the undersigned, declare: I am a citizen of the United States of America. am over the age of eighteen (18) years, and not a party to the within action. I am an empioyee of Michael 2 Associates, PC. and my business address is 555 St. Charles Drive. Suite 204. Thousand Oaks. California 91360. On I'ebruary I+ „2022, I caused to be served the follov ing document(s): on the parties involved addresses as follotvs: Christopher M. Aubuchon 835 Mesa Court Palo Alto. CA 94306-3711 Tel: 650-269-6466 De/hndanr in Pro Per X BY MAIL: I served the above-listed documems by enclosing them in an envelope and placing the envelope for collection and mailing following our ordinary business practices. I am readily familiar with this business's practice for collecting and processing correspondence for mailing. On the same day that correspondence is placed for collection and mailing, it is 15 deposited in the ordinary course of business wi!h the United States Postal Service in Thousand Oaks, California, in a sealed envelope with postage fully prepaid. I understand that service shall be presumed invalid upon motion of a party served if the postal cancellation date or postage meter date on the envelope is more than one day after the date of deposit for mailing 17 contained on this declaration. 18 BY UPS OVERNIGHT DELIVERY: I am readily familiar with the firm's practice of 19 collection and processing correspondence f'r United Parcel Service. Under that practice. it v ould be picked up by a represemative on that same day, in the ordinary course of business and v'ould be delivered the next business day.70 71 22 I declare under penalty of perjury under the lav s of the State of California that the foregoing is true and correct. 25 26 EXECUTED: February , 2022 at Thousand Oaks, California. / ~-'ONICA UBUNGEN