Summary of CaseCal. Super. - 6th Dist.May 4, 2021\OWQQUIhMNH NNNNNNNNNHHHHHHHHHH WQONUIhbJNH©©WQONUIhMNHG 21 CV381494 Santa Clara - Civil PERKINS LEGAL MATTHEW PERKINS, SBN 272500 2255 SHERIDAN BOULEVARD, UNIT C262 EDGEWATER, COLORADO 80214 Telephone: (9 1 6) 5 1 7-99 1 9 Attorneys for Plaintiff LQ. DATA INTERNATIONAL, INC. S.l Electronically Filed by Superior Court of CA, County of Santa Clara, on 1/31/2022 12:00 AM Reviewed By: S. Uy Case #21 CV381494 Envelope: 8171075 SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF SANTA CLARA LQ. DATA INTERNATIONAL, INC., Plaintiff, vs. PEDRAM BIGDELI, PARHAM BIGDELI, et a1., ) ) ) ) ) ) ) ) ) Defendants. g ) ) ) ) ) ) ) ) ) ) ) Case N0. 21CV381494 SUMMARY 0F CASE, CLAIMS AND PARTIES (C.R.C. 3.1800(a)(1)) Complaint filed: 5/04/2021 Civil Limited Case Plaintiff LQ. DATA INTERNATIONAL, INC., hereby submits this brief summary of the case pursuant to California Rules ofCourt, Rule 3.1800(a)(1). SUMMARY OF CASE, CLAIMS AND PARTIES Jy PERKINS LEGAL 2255 SHERIDAN BOULEVARD UNIT C262 EDGEWATER, COLORADO 802 14 TELEPHONE (916) 517-9919 \OWQQUIhMNH NNNNNNNNNHHHHHHHHHH WQONUIhbJNH©©WQONUIhMNHG Defendants Pedram Bigdeli and Parham Bigdeli are the former tenants of an apartment building located at Centerra Apartments, (the “Residence”) pursuant t0 a written lease agreement, Which provides for recovery of attorney’s fees and costs. (Exhibit “A” to C.C.P. § 585 Declaration.) After termination of the tenancy, and application of the Defendant’s security deposit, there remains outstanding $17,267.60 as the costs of unpaid rent and repairs, and for attorney’s fees and costs incurred evicting (See C.C.P. § 585 Declaration, Paragraph 5 andm fl through Exhibit “G” thereto.) Plaintiff I.Q. Data International, Inc. has been assigned the landlord’s claims. (See Exhibit “H” to C.C.P. § 585 Declaration.) Plaintiff therefore filed the above-entitled lawsuit to pursue its claim against Defendants for Breach of the Written Lease Agreement. Prior to filing the present lawsuit, Plaintiff provided notice and made demand pursuant t0 Code 0f Civil Procedure § 1033. (Exhibit “I” to C.C.P. § 585 Declaration.) Plaintiffnow seeks entry ofjudgment. WHEREFORE, Plaintiff prays for the entry ofjudgment against the Defendants as follows: (1) On the First Cause 0f Action for the principal sum of $17,267.60. (2) For interest which continues to accrue 0n the principal sum of $3,542.77, at the rate of 10.00% per annum from 01/09/2020, until judgment is entered, pursuant to § 3289 0f the Civil Code ofCalifomia; (3) For the sum of $771.36 as and for attorney’s fees in this matter pursuant t0 the fee schedule set forth in this Court’s local rules, Which limits Plaintiff’s right to recover attorney’s fees and costs under the lease agreement in the event this matter proceeds as a default; and \ \ \ \ \ \ \ \ \ SUMMARY OF CASE, CLAIMS AND PARTIES 2 PERKINS LEGAL 2255 SHERIDAN BOULEVARD UNIT C262 EDGEWATER, COLORADO 802 14 TELEPHONE (916) 517-9919 \OWQQUIhMNH NNNNNNNNNHHHHHHHHHH WQONUIhbJNH©©WQONUIhMNHG (4) For all costs 0f suit and such other and further relief as to the Court deems just and proper. Dated: 29th day of January, 2022 PERKINS LEGAL _MATTHEW PERKINS Attorneys for Plaintiff 1Q DATA INTERNATIONAL, INC. SUMMARY OF CASE, CLAIMS AND PARTIES 3