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MOTION FOR ISSUANCE OF SUBPOENA – 1
David A. Green
8533 Glendora Ave.
Hesperia, CA 92344
(760) 713-1867
Email
Plaintiff in pro per

IN THE SUPERIOR COURT OF CALIFORNIA
FOR THE COUNTY OF SAN BERNARDINO

DAVID A. GREEN,
Plaintiff,

vs.
WESTRUX INTERNATIONAL,
Defendant

Case No.: Number

MOTION FOR ISSUANCE OF
SUBPOENA

NOTICE OF MOTION FOR ISSUANCE OF SUBPOENA

You are notified that on ____________ (Date), at _________ (am/pm), or as soon thereafter as
the Plaintiff may be heard, in Courtroom ___ of the Superior Court of California for the County
of San Bernardino, the Plaintiff will bring on for hearing his Motion for Issuance of Subpoena
for the reasons stated in the attached Motion.

Dated this ___ day of August, 2022.

Respectfully Submitted,
___________________________________
David A. Green,
Plaintiff in pro per

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MOTION FOR ISSUANCE OF SUBPOENA – 2
David A. Green
8533 Glendora Ave.
Hesperia, CA 92344
(760) 713-1867
Email
Plaintiff in pro per

IN THE SUPERIOR COURT OF CALIFORNIA
FOR THE COUNTY OF SAN BERNARDINO

DAVID A. GREEN,
Plaintiff,

vs.
WESTRUX INTERNATIONAL,
Defendant

Case No.: Number

MOTION FOR ISSUANCE OF
SUBPOENA

NOW COMES David A. Green, Plaintiff, and files this Motion for Issuance of Subpoena, and
hereby avers as follows:
1. Plaintiff moves this court for an Order directing that a subpoena be issued to Defendant,
and that Defendant be required to provide all evidence, documents and reports that state
any information about the condition, status, plan pertaining to the subject vehicle that are
in possession of Defendant in Fontana, California, in order to allow Plaintiff sufficient
time to review the information and prepare for trial.
2. All the documents and/or materials Plaintiff seeks to obtain from Defendant are relevant.
They will help Plaintiff prove the following elements of negligence: Defendant’s
obligation to conform to a certain standard of conduct for the protection of others against
unreasonable risk, (2) failure to conform to that standard, (3) a reasonably close

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MOTION FOR ISSUANCE OF SUBPOENA – 3
connection between Defendant’s conduct and resulting injuries, and (4) actual loss.
3. The documents and/or information sought from Defendant are admissible at trial. The
process of availing the documents and/or information is straightforward and would not
require significant time or effort.
4. Plaintiff will be prejudiced if this Court does not grant this Motion because he will be
forced to proceed to trial without evidence to prove his claims.
REASONS WHEREFORE, PREMISES CONSIDERED, Plaintiff respectfully requests this
Honorable Court to GRANT this Motion for Issuance of Subpoena and subsequently ORDER
the issuance of the attached subpoena.

Dated this ____ day of August, 2022.

Respectfully Submitted,

___________________________________
David A. Green,
Plaintiff in pro per

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