CSI v. Gerald
Armstrong, Robert Minton, Lisa McPherson Trust
Marin
Superior Court No. CV 021632
(Breach of Contract, Intentional Interference with Relations,
Conspiracy)
Complaint
04-02-2002 [ .pdf
]
Breaches List
Abelson
Letter to Prof. Stephen Kent 06-05-2002
Wilson
Letter to Judge Vernon F. Smith 07-01-2002
Defendant Robert Minton
and the Lisa McPherson Trust Answer to Plaintiff's Complaint for Damages
Filed 08-21-2002 [ .pdf
]
Armstrong
Letter to Wilson 09-02-2002
Status
Conference Order 10-01-2002
Rajkowski
Letter to Armstrong 10-11-2002
Armstrong
Letter to Rajkowski 10-21-2002
Armstrong
Answer 11-05-2002
Case
Management Conference/Minute Order 12-02-2002
Defendant's
First Request for Production 04-19-2003
Defendant's
First Special Interrogatory 04-19-2003
Status
Conference 05-30-2003
E-mail
to Scientology Attorney Wilson 07-22-2003
a.r.s.: Bob Minton and
LMT dismissed from the Marin County litigation
E-mail
to Attorney Wilson 08-28-2003
Case
Management/ADR Conference 08-29-2003 [ Proof of Service
10-01-2003 ]
Armstrong
Letter to Wilson 09-03-2003
Armstrong
Letter to Wilson 09-05-2003
Armstrong
Letter to Wilson 09-09-2003
Armstrong
Letter to Wilson 09-17-2003
Declaration
of Professor Stephen A. Kent 09-23-2003
Armstrong
Letter to Wilson 09-30-2003
Plaintiff's Motion for
Summary Judgment 11-17-2003
Plaintiff's
Separate Statement in Support of Motion for Summary Judgment
11-17-2003
Declaration of Andrew H.
Wilson 11-17-2003
Proof of
Service 11-17-2003
Armstrong
Letter to Wilson 11-24-2003
Armstrong
Letter to Wilson 11-26-2003
Defendant's
Request for Extension of Time to File Opposition to Motion for Summary
Judgment 01-23-2004
Plaintiff's
Response to Defendant Gerald Armstrong's Request for Extension of Time
to File Opposition to Motion for Summary Judgment 02-03-2004
Wilson
Letter to Armstrong 01-23-2004
Wilson
Letter to Armstrong 02-09-2004
Defendant's
Request for Extension of Time to File Opposition to Motion for Summary
Judgment 02-11-2004
Armstrong
Letter to Wilson 02-11-2004
Armstrong
Letter to Wilson 02-19-2004
Armstrong
Letter to Wilson 02-20-2004
Clerk
Letter to Armstrong 02-23-2004
Opposition
to Motion for Summary Judgment 03-02-2004
Armstrong's Declaration in
Support of Opposition 03-02-2004
Armstrong's Separate
Statement in Support of Opposition 03-02-2004
Armstrong
Letter to Clerk and Wilson 03-03-2004
Plaintiff's
Response to Defendant Gerald Armstrong's Request for Extension of Time
to File Opposition to Motion for Summary Judgment 03-03-2004
Wilson/Armstrong
Correspondence re: Plaintiff Ex Parte Application to File Reply Brief
03-10/13-2004
Plaintiff's
Ex Parte Application to File Response to Defendant's Opposition to
Motion for Summary Judgment 03-11-2004
Order
Granting Ex Parte Application to File Response 03-12-2004
Plaintiff's
Reply to Armstrong's Opposition to Motion for Summary Judgment
03-15-2004
Armstrong
Letter to Wilson 03-16-2004
Wilson
Letter to Armstrong 03-17-2004
Plaintiff's
Motion to Strike Armstrong's Evidence 03-17-2004
Armstrong
Media Statement 03-21-2004
Tentative
Ruling on Motion for Summary Judgment 03-22-2004
a.r.s.: Armstrong
Comment on Ruling 03-23-2004
Hearing held on Motion for Summary Judgment
03-23-2004
a.r.s.: Armstrong
Comment on Hearing 03-23-2004
Defendant's
Settlement Conference Statement 03-25-2004
Armstrong
Letter to Wilson 03-25-2004
Armstrong
Letter to Angela Parker (of Wilson Campilongo LLP) 03-29-2004
Parker
Letter to Armstrong 03-29-2004
Plaintiff's
Settlement Conference Statement 03-19-2004
[first rec'd by e-mail
on 03-29-2004]
Settlement Conference [Set for
03-29-2004]:
There was supposed to be a settlement
conference March 29, 2004, but due to the fact that I'm in Canada the
case didn't settle. I pray that the judge doesn't ding me beyond
recognition. I advised her via her clerk that it was my sincere desire
and intention to be in court on April 9th, which, of course, is Good
Friday. What a beautiful season now in Marin County, I would think, a
great day for a trial.— ga
Armstrong
Letter to Parker 03-30-2004
Order
After Hearing [ .pdf
] 04-02-2004
Plaintiff's
Motion In Limine 04-02-2004
Plaintiff's
Issue Conference Statement 04-02-2004
Wilson
Letter to Armstrong 04-06-2004
Wilson
Letter to Armstrong 04-07-2004
Substitution of Attorney [ .pdf ] 04-08-2004
Defendant's
Opposition to Motion in Limine 04-08-2004
Plaintiff's
Objection to Armstrong's Evidence [ .pdf ]
04-08-2004
Plaintiff's
Reply and Motion to Strike Defendant's Opposition to Motion in Limine
[ .pdf
] 04-09-2004
Reporter's
Transcript of Proceedings 04-09-2004
Definition of Unconscionable
[Black's Law Dictionary]
Notice
of Case Reassignment 04-12-2004
Order
Granting Motion for Judgment 05-20-2004
Order
re Sentences for Contempt 05-20-2004
Substitution of Attorney [ .pdf ] Filed 08-24-2004
Notice
of Change of Address of Defendant Gerry Armstrong 07-24-2006
Appeal
Motion
To Reinstate Sentences For Contempt; Motion For Issuance Of Warrant For
Defendant's Arrest 07-26-2007
Plaintiff's Revised Motion And Notice Of Motion to Reinstate Sentences
for
Contempt; and Motion For Issuance Of Warrant For Defendant's Arrest
08-06-2007
Request
For
Extension Of Time To File Opposition To Motion To Reinstate Sentences
And For Warrants, And To Continue Hearing Date; Declaration Of Gerry
Armstrong In Support
08-13-2007
E-mail
Correspondence with Moxon re: Extension 08-2007
Defendant's
Opposition to Plaintiff Scientology's Motion to Reinstate Jail
Sentences Against Him and to Issue Warrants for His Arrest
08-31-2007
Defendant's
Notice
of Motion and Motion to Set an Evidentiary Hearing Pursuant to C.C.C.
§ 1670.5 on the Unconscionability of Plaintiff Scientology's
Contract; to Stay Scientology's Motion to Reinstate Jail Sentences
Against Armstrong and Issue Warrant for His Arrest; and to Stay All
Other Actions Against Defendant Until After This Court's Determination
of Unconscionability Following Such Hearing
08-31-2007
Declaration
of Gerry
Armstrong in Support of Opposition to Plaintiff Scientology's Motion to
Reinstate Jail Sentences Against Him and to Issue Warrants for His
Arrest; and in Support of Armstrong's Motion to Set an Evidentiary
Hearing Pursuant to C.C.C. § 1670.5 on the Unconscionability
of
Plaintiff Scientology's Contract; to Stay Scientology's Motion to
Reinstate Jail Sentences Against Armstrong and Issue Warrant for His
Arrest; and to Stay All Other Actions Against Defendant Until After
This Court's Determination of Unconscionability Following Such Hearing
08-31-2007
Plaintiff's
reply memorandum in support of of motion to reinstate sentences for
contempt; and motion for issuance of warrant for defendant's arrest
09-01-007 (Received by e-mail on 09-18-2007)
Armstrong's
opposition to Scientology's ex parte application to strike motion to
set evidentiary hearing 09-05-2007
E-mail
correspondence with Moxon re Scientology's Ex parte application
09-05-2007
E-mail
correspondence to Moxon re Scientology's Ex parte application
09-07-2007
E-mails
re: Service of Reply
09-19-2007
Source: Recorded
tentative ruling, Marin Superior Court
Scientology v.
Armstrong Case No. CIV021632
20 September 2007
Church of
Scientology International vs. Armstrong
Law and Motion Matter set for September 21st 2007 at 9:00 a.m.
Marin County Superior Court Department L
Honorable Lynn Duryee presiding
To the extent Plaintiff is requesting this court to issue an order
consistent with the directions in the First District Court of Appeal
decision in this matter filed October 19th 2005 A107095 remittitur
issued January 18th, 2006; that is, to reinstate the sentences
previously imposed on Armstrong for
the contempt citations of June 5th 1997 and February 20th 1998 and
reinstate the fine on the third contempt citation and to issue a new
bench warrant for Defendant Armstrong's arrest, the motion is granted.
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