Sterling E. Norris, Esq. (SBN 00 Paul J. Orfanedes (Appearing Pro Hac Vice JUDICIAL WATCH, INC. 0 Huntington Drive, Suite 1 San Marino, CA 0 Tel.: ( -0 Fax: ( -0 Attorneys for Plaintiff HAROLD P. STURGEON, v. SUPERIOR COURT FOR THE STATE OF CALIFORNIA Plaintiff, LOS ANGELES COUNTY, et al., Defendants. COUNTY OF LOS ANGELES Case No. BC DECLARATION OF PAUL J. ORFANEDES IN SUPPORT OF PLAINTIFF S OPPOSITION TO DEFENDANTS MOTION FOR SUMMARY JUDGMENT OR, IN THE ALTERNATIVE, FOR SUMMARY ADJUDICATION DATE: November, 0 TIME: TBD PLACE: TBD JUDGE: Honorable James A. Richman ACTION FILED: April, 0 TRIAL DATE: None Set BC Motion for Summary Judgment or, in the Alternative, For Summary Adjudication
DECLARATION OF PAUL J. ORFANEDES I, Paul J. Orfanedes, declare as follows: 1. I am a member in good standing of the bar of the District of Columbia and the states of Illinois and Maryland. I am appearing in this matter pro hac vice. I am the Director of Litigation for Judicial Watch, Inc., counsel of record for the Plaintiff in this action. As one of the lawyers responsible for this litigation, I have personal knowledge of the facts set forth herein, except where such facts are stated on information and belief, and if called and sworn as a witness, I could and would testify competently thereto.. I make this declaration in support of Plaintiff s Memorandum of Points and Authorities in Opposition to Defendants Motion for Summary Judgment or, in the Alternative, for Summary Adjudication.. On August, 0, Plaintiff served Plaintiff s Form Interrogatories (Set I on Defendants. By agreement of the parties, Defendants served their responses thereto on October, 0. A true and correct copy of Defendants Responses to Plaintiff s First Set of Form Interrogatories is attached hereto as Exhibit A.. On August, 0, Plaintiff served Plaintiff s First Set of Requests to Defendants for the Production of Documents on Defendants. By agreement of the parties, Defendants served their responses thereto on October, 0. A true and correct copy of Defendants Responses to Plaintiff s First Set of Requests for Production of Documents is attached hereto as Exhibit B.. On August, 0, Plaintiff served Plaintiff s First Set of Requests for Admission on Defendants. By agreement of the parties, Defendants served their responses thereto on October, 0. A true and correct copy of Defendants Responses to Plaintiff s First Set of Requests for Admissions is attached hereto as Exhibit C.. On August, 0, Plaintiff served Plaintiff s Form Interrogatories (Set II on Defendants. By agreement of the parties, Defendants served their responses thereto on October BC Motion for Summary Judgment or, in the Alternative, For Summary Adjudication 1
, 0. A true and correct copy of Defendants Responses to Plaintiff s Second Set of Form Interrogatories is attached hereto as Exhibit D.. On August, 0, Plaintiff served Plaintiff s First Set of Special Interrogatories to Defendants on Defendants. By agreement of the parties, Defendants served their responses thereto on October, 0. A true and correct copy of Defendants Responses to Plaintiff s First Set of Special Interrogatories is attached hereto as Exhibit E.. On August, 0, Plaintiff served Plaintiff s Second Set of Requests to Defendants for the Production of Documents on Defendants. By agreement of the parties, Defendants served their responses thereto on October, 0. A true and correct copy of Defendants Responses to Plaintiff s Second Set of Requests for Production of Documents is attached hereto as Exhibit F.. On October, 0, Plaintiff served Plaintiff s Second Set of Special Interrogatories to Defendants on Defendants. Defendants served their responses thereto on October 0, 0. A true and correct copy of Defendants Responses to Plaintiff s Second Set of Special Interrogatories is attached hereto as Exhibit G.. In response to Plaintiff s discovery requests, Defendants have produced 0 pages of records. A true and correct of Defendants entire document production to Plaintiff is attached hereto as Exhibit H.. A true and correct copy of an article by Steve Berry and Tracy Weber entitled L.A. County Lets Judges Draw Duplicate Benefits and Perks that appeared in the August, 00 edition of The Los Angeles Times is attached hereto as Exhibit I.. To date, Defendants have not produced any evidence demonstrating that the Los Angeles County Board of Supervisors ( the Board specifically authorized, approved, considered, or deliberated on the payment of duplicate county benefits to trial judges in light of the passage of the Lockyer Isenberg Trial Court Funding Act of ( the Act. While Defendants have produced documents relating to the County of Los Angeles annual budget process referencing local judicial benefits in the context of the Act, these documents do not BC Motion for Summary Judgment or, in the Alternative, For Summary Adjudication
demonstrate that the Board of Supervisors specifically authorized, approved, considered, or deliberated on the payment of duplicate benefits or supplemental compensation to trial judges in light of the passage of the Act. Nor have Defendants produced any evidence demonstrating that the Board specifically authorized, approved, considered, or deliberated on the payment of duplicate county benefits to trial judges in order to attract and/or retain well-qualified judges to serve the public in the County of Los Angeles, or whether the payment of duplicate benefits or supplemental compensation to trial judges would provide an additional public benefit to taxpayers in light of the fact that the State already pays benefits to trial judges. I declare under penalty of perjury of the laws of the State of California that the foregoing is true and correct. Executed on November, 0 at Washington, D.C. Paul J. Orfanedes BC Motion for Summary Judgment or, in the Alternative, For Summary Adjudication
PROOF OF SERVICE BY MAIL I am employed in the County of Los Angeles, State of California. I am over the age of and not a party to the within action. My business address is 0 Huntington Drive, Suite 1, San Marino, California 0. On November, 0, I served the foregoing document described as: DECLARATION OF PAUL J. ORFANEDES IN SUPPORT OF PLAINTIFF S OPPOSITION TO DEFENDANTS MOTION FOR SUMMARY JUDGMENT OR, IN THE ALTERNATIVE, FOR SUMMARY ADJUDICATION by placing a true and correct copy thereof in a sealed envelope addressed as follows: Elwood Lui, Esq. Jason C. Murray, Esq. Erica L. Reilley, Esq. JONES DAY South Flower Street Fiftieth Floor Los Angeles, CA 001-00 I caused such envelope to be deposited in the U.S. mail, with postage thereon fully prepaid, at San Marino, California. I am readily familiar with the firm s practice of collecting and processing correspondence for mailing. Under that practice, it would be deposited with the U.S. Postal Service on that same day, with postage thereon fully prepaid, at San Marino, California in the ordinary course of business. I am aware that on motion of the party served, service is presumed invalid if postal cancellation date or postage meter date is more than one day after date of deposit for mailing affidavit. I declare that I am employed in the office of a member of the bar of this Court at whose direction the service was made. I declare under penalty of perjury of the laws of the State of California that the foregoing is true and correct and that this declaration was executed on November, 0 at San Marino, California. CONSTANCE S. RUFFLEY BC Motion for Summary Judgment or, in the Alternative, For Summary Adjudication