[PROPOSED] JUDGMENT GRANTING PEREMPTORY WRIT OF MANDATE

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0 JOHN G. McCLENDON (State Bar No. 0 A Professional Corporation Mill Creek Drive Suite 0 Laguna Hills, California Telephone: ( -00 Facsimile: ( -0 email: john@ceqa.com Attorneys for Petitioner FOOTHILL COMMUNITIES COALITION SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF ORANGE COMPLEX CIVIL COURTROOM A PROFESSIONAL CORPORATION 0 FOOTHILL COMMUNITIES COALITION, an unincorporated association Petitioner, COUNTY OF ORANGE, ORANGE COUNTY BOARD OF SUPERVISORS, DOES through 0, inclusive, Respondents, ROMAN CATHOLIC DIOCESE OF ORANGE, KISCO SENIOR LIVING, LLC, and DOES through, inclusive, v. Real Parties in Interest. Case No. 0-0-00-CU-WM-CXC Reassigned to the Honorable Judge Gail A. Andler Department CX 0 [PROPOSED] JUDGMENT GRANTING [Action Filed: April, 0] This matter was tried in Department CX0 of this Court before the Honorable Judge Judge Gail A. Andler on January, 0. John G. McClendon of Leibold McClendon & Mann appeared for petitioner Foothill Communities Coalition; Deputy County Counsel Nicole M. Walsh [and? ] appeared for respondents County of Orange and Orange County Board of Supervisors; and Jack S. Yeh, Keli N. Osaki, and Susan K. Hori of Manatt Phelps -- JUDGMENT GRANTING

0 &Phillips, LLP, appeared for real parties in interest Roman Catholic Diocese of Orange and Kisco Senior Living, LLC. After considering the pleadings, certified Administrative Record, and file in this matter, including post-trial supplemental briefs from all parties and a sur-reply from respondents and real parties in interest, IT IS HEREBY ORDERED THAT:. Petitioner shall have judgment against respondents County of Orange and Orange County Board of Supervisors, and real parties in interest Roman Catholic Diocese of Orange and Kisco Senior Living, LLC, as set forth below, setting aside and vacating all approvals related to Planning Application PA 0000 ( The Springs at Bethsaida project.. A peremptory writ of mandate shall issue under seal of this Court in the form attached hereto as Exhibit A.. In accordance with Code of Civil Procedure section 0, and Rule.00 of the A PROFESSIONAL CORPORATION 0 California Rules of Court, petitioner may claim its trial court costs, and respondents County of Orange and Orange County Board of Supervisors, and real parties in interest Roman Catholic Diocese of Orange and Kisco Senior Living, LLC, may contest such costs.. Petitioner may seek, pursuant to appropriate noticed motion, an award of its attorneys fees, and this Court reserves and retains jurisdiction to determine the amount of such fees, if any.. This Court shall reserve and retain jurisdiction over this action until such time as respondent the Orange County Board of Supervisors files a return evidencing that it has complied with the attached Peremptory Writ of Mandate. DATED: Judge of the Superior Court -- JUDGMENT GRANTING

EXHIBIT A

0 0 SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF ORANGE COMPLEX CIVIL COURTROOM FOOTHILL COMMUNITIES COALITION, an unincorporated association Petitioner, COUNTY OF ORANGE, ORANGE COUNTY BOARD OF SUPERVISORS, DOES through 0, inclusive, Respondents, ROMAN CATHOLIC DIOCESE OF ORANGE, KISCO SENIOR LIVING, LLC, and DOES through, inclusive, To: v. Real Parties in Interest. Case No. 0-0-00-CU-WM-CXC Reassigned to the Honorable Judge Gail A. Andler Department CX 0 RESPONDENTS COUNTY OF ORANGE AND ORANGE COUNTY and BOARD OF SUPERVISORS AND TO THEIR ATTORNEYS OF RECORD: After a determination by this Court that your approval, on March, 0, of real parties in interest s The Springs at Bethsaida project (the Project was arbitrary and/or capricious, and judgment having been entered in this proceeding in favor of petitioner Foothill Communities Coalition ordering that a peremptory writ of mandate issue under seal of this Court, --

0 0 IT IS SO ORDERED that, immediately upon service of this writ respondents County of Orange and Orange County Board of Supervisors (collectively, Respondent shall:. Set aside and vacate its adoption of Ordinance No. -00, amending the North Tustin Specific Plan to add a new senior residential housing (SRH land use district and to change the land use district for 0 Newport Avenue from residential single family (00-RSF to SRH.. Set aside and vacate all related Project approvals, including (without limitation Resolution No. -0, pertaining to CEQA, and Resolution No. -0 approving a Use Permit and Site Development Permit for the Project.. This Court will retain jurisdiction over Respondent proceedings by way of a return to this peremptory writ of mandate until the Court has determined that Respondent has complied with the foregoing order. Respondent shall file a return to this writ no later than ninety (0 days from the date this writ is issued setting forth what Respondent has done to comply with the writ set forth herein. LET THE WRIT OF MANDATE ISSUE. DATED: JUDGE OF THE SUPERIOR COURT --

PROOF OF SERVICE [Code Civ. Pro. 0a; revised. //] STATE OF CALIFORNIA ss. COUNTY OF ORANGE I am employed in the County of Orange, State of California. I am over the age of and not a party to the within action. My business address is Mill Creek Drive, Suite 0, Laguna Hills, California. On March 0, 0, I served, in the manner indicated below, the foregoing document described as [PROPOSED] JUDGMENT GRANTING on interested parties in this action by placing true copies thereof enclosed in sealed envelopes addressed as follows (or otherwise delivered in the manner acknowledged below: A PROFESSIONAL CORPORATION 0 0 Attorneys for Respondents: Nicole M. Walsh, Deputy County Counsel Nicholas S. Chrisos, County Counsel West Santa Ana Boulevard, Suite 0 Santa Ana, California 0- Telephone: ( - Facsimile: ( - E-mail: nicole.walsh@coco.ocgov.com Attorneys for Real Parties in Interest: Keli N. Osaki / Jack Shi-Jei Yeh Manatt, Phelps & Phillips, LLP Town Center Drive, th Floor Costa Mesa, California Direct Dial: ( - Facsimile: ( - E-mail: kosaki@manatt.com (By Mail I caused such envelope with postage thereon fully prepaid to be placed in the United States mail at Laguna Hills, California. I am readily familiar with the firm's practice of processing correspondence for mailing. Under that practice it would be deposited with U.S. postal service on that same day with postage thereon fully prepaid at Laguna Hills, 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 in affidavit. (By Overnite Express I caused such envelope(s to be placed in the OVERNITE EXPRESS drop box located in Laguna Hills, California, for overnight delivery to the above addressee. (By E-Mail Transmission By electronic mail transmission in *.pdf format a copy of such document(s to each such person at the e-mail addresses listed below their addresses. I personally sent the document(s using my email program, and within a reasonable time thereafter I did not receive any indication or message that the email bounced back or did not go through. (By Fax I caused such document to be transmitted to. A transmission report was properly issued by the fax machine and the transmission was reported as complete and without error to the number listed herein. By OneLegal e-service Executed on March 0, 0, in Laguna Hills, California. I declare under penalty under the laws of the State of California that the foregoing is true and correct. Carmen Ortiz