Johnson v. Umbarger LLC

CourtDistrict Court, N.D. California
DecidedJanuary 28, 2021
Docket5:20-cv-06542
StatusUnknown

This text of Johnson v. Umbarger LLC (Johnson v. Umbarger LLC) is published on Counsel Stack Legal Research, covering District Court, N.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Johnson v. Umbarger LLC, (N.D. Cal. 2021).

Opinion

8 UNITED STATES DISTRICT COURT

9 NORTHERN DISTRICT OF CALIFORNIA 10 SAN JOSE DIVISION 11

12 SCOTT JOHNSON, Case No. 20-CV-06542-LHK

13 Plaintiff, ORDER GRANTING PLAINTIFF’S EX PARTE APPLICATION FOR A COURT 14 v. ORDER AUTHORIZING SERVICE BY DELIVERY BY HAND TO THE 15 UMBARGER LLC, et al., CALIFORNIA SECRETARY OF STATE 16 Defendants.

17 18 Plaintiff Scott Johnson (“Plaintiff”) filed this action alleging violations of the Americans 19 with Disabilities Act (“ADA”) and Unruh Civil Rights Act against Defendants Umbarger LLC 20 (“Umbarger”) and Does 1-10. ECF No. 1 (“Compl.”). Before the Court is Plaintiff’s motion for 21 an ex parte application for a court order authorizing service to Defendant Umbarger by delivery by 22 hand to the California Secretary of State. ECF No. 13 (“Mot.”).1 For the reasons discussed 23 below, the Court GRANTS Plaintiff’s motion for service via the California Secretary of State. 24 25 1 Plaintiff’s motion for alternative service contains a notice of motion paginated separately from 26 the points and authorities in support of the motion. ECF No. 13 at 1–2. Civil Local Rule 7-2(b) provides that the notice of motion and points and authorities must be contained in one document 27 with the same pagination. 1 I. FACTUAL AND PROCEDURAL BACKGROUND 1 Plaintiff is a resident of California. Compl. at ¶ 1. Defendant Umbarger is a California 2 Limited Liability Company. Id. at 1. Umbarger’s Statement of Information, filed with the 3 California Secretary of State, lists Daniel H. Smith Jr. as Umbarger’s agent for service of process. 4 ECF No. 13-3, at 2 (“Ex. 1”). Umbarger’s Statement of Information does not identify any other 5 officer or person authorized to accept service on behalf of Umbarger. Id. In the Statement of 6 Information, the address listed for service of process on Umbarger is the same address provided 7 for Umbarger’s entity address and mailing address: 4208 Chaboya Rd., San Jose, CA 95148. Id. 8 Plaintiff filed the instant case on September 18, 2020. See Compl. During September, 9 October, November, and December of 2020, Plaintiff’s process server made twelve attempts at 10 different times of the day and on different days of the week to serve Umbarger at the address listed 11 on Umbarger’s Statement of Information. See ECF No. 13-4, at 2, 5 (“Ex. 2”). The process server 12 also mailed a copy of the complaint, summons, and notices and acknowledgements to Umbarger at 13 the address provided on the Statement of Information, but no response has been returned. See 14 Mot. at 3; ECF No. 13-5 (“Ex. 3.”). Plaintiff’s process server next made service attempts at two 15 further addresses that Plaintiff’s research indicated were associated with Umbarger: 11621 16 Clayton Road, San Jose, CA 95127 and 6000 Hellyer Ave., Ste. 150, San Jose, CA 95138. Mot. at 17 3. In October and November of 2020, Plaintiff’s process server made five attempts at different 18 times of the day and on different days of the week to serve Umbarger at 11621 Clayton Road, San 19 Jose, CA 95127, but was unsuccessful. See Ex. 3 at 7. In November of 2020, Plaintiff’s process 20 server made one attempt to serve Umbarger at 6000 Hellyer Ave., Ste. 150, San Jose, CA 95138, 21 but Daniel H. Smith III told the process server that “Jr. is never around and is not apart of his 22 company.” Ex. 3 at 3. Finally, Plaintiff tried to call Umbarger at 15 different phone numbers 23 associated with Umbarger’s agent, but did not receive a response. See ECF No. 13-6, at 2. 24 On November 17, 2020, Plaintiff filed an administrative motion requesting an extension of 25 time to complete service on Defendant. ECF No. 11. On November 18, 2020, the Court granted 26 that motion and extended the deadline to complete service by 90 days. ECF No. 12. On 27 2 1 December 30, 2020, following Plaintiff’s unsuccessful attempts to serve Umbarger, Plaintiff filed 2 the instant motion. ECF No. 13. 3 II. DISCUSSION 4 In the instant motion, Plaintiff moves the Court to authorize alternative service on 5 Umbarger via the California Secretary of State under California Corporations Code section 6 1702(a). Id. at 4. Service of a complaint in federal court is governed by Federal Rule of Civil 7 Procedure 4. Rule 4(h)(1)(A) provides that service on domestic corporations may be effectuated 8 “in the manner prescribed by Rule 4(e)(1) for serving an individual.” Rule 4(e)(1) itself permits 9 service “following state law for serving a summons in an action brought in courts of general 10 jurisdiction in the state where the district court is located or where service is made.” 11 The California Code of Civil Procedure provides for service on a domestic corporation to 12 an agent designated for service of process by the corporation, or to an officer of the company. See 13 Cal. Code Civ. Proc. § 416.10(a), (b). If a corporation’s designated agent “cannot with reasonable 14 diligence be found at the address designated for personally delivering the process,” a “court may 15 make an order that the service be made upon the corporation by delivering by hand to 16 the Secretary of State . . . one copy of the process for each defendant to be served, together with a 17 copy of the order authorizing such service.” Cal. Corp. Code § 1702(a); Floyd v. Saratoga 18 Diagnostics, Inc., 2020 WL 4505547, at *4 (N.D. Cal. Aug. 5, 2020) (finding service under 19 section 1702(a) appropriate after plaintiff exhausted alternative methods to effectuate service). 20 Before issuing an order of this kind, the Court must be “shown by affidavit to the 21 satisfaction of the court that process against a domestic corporation cannot be served with 22 reasonable diligence” on the corporation’s agent according to California Code of Civil Procedure 23 sections 415.10(a), 415.20(a), or 415.30(a) or upon the corporation according to sections 24 416.10(a)–(c) and 416.20(a). Cal. Corp. Code § 1702(a). See, e.g., Freshko Produce Servs., Inc. v. 25 ILA Prods., Inc., 2020 WL 2039049, at *3 (E.D. Cal. Apr. 28, 2020) (assessing whether plaintiff’s 26 declarations show that service was not possible with reasonable diligence by each of the listed 27 3 1 methods); Gambord v. Westside Gas, Inc., 2017 WL 2774408, at *2–4 (N.D. Cal. June 26, 2 2017) (same). Accordingly, the Court considers in turn whether Plaintiff has “shown by affidavit” 3 that Umbarger “cannot be served with reasonable diligence” pursuant to California Code of Civil 4 Procedure sections 415.10(a), 415.20(a), 415.30(a), 416.10(a), and 416.10(b). See Cal. Corp. 5 Code § 1702(a). Sections 416.10(c) and 416.20(a) do not apply because Umbarger is not a bank, 6 and Plaintiff does not allege that Umbarger has forfeited its charter or dissolved. Cal. Code Civ. 7 Proc. §§ 416.10(c), 416.20(a). Thus, the Court need not reach those two sections. 8 First, section 415.10(a) allows service by “personal delivery . . . to the person to be 9 served.” Cal. Code Civ. Proc. § 415.10(a). The twelve attempts at service that Plaintiff has shown 10 in the declaration of Plaintiff’s counsel and attached exhibits are sufficient to show that process 11 cannot be accomplished with reasonable diligence by personal delivery to Smith Jr., Umbarger’s 12 designated agent, at the address provided on Umbarger’s Statement of Information. Mot. at 3–4; 13 ECF No. 13-2, at 3 (“Faythe Gutierrez Decl.”); Ex. 2 at 2, 5; see also Bein v. Brechtel-Jochim 14 Grp., Inc., 6 Cal. App. 4th 1387, 1392 (1992) (finding that three attempts at service to defendant’s 15 residence was sufficient to allow substitute service of process).

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Related

Bein v. Brechtel-Jochim Group, Inc.
6 Cal. App. 4th 1387 (California Court of Appeal, 1992)

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Bluebook (online)
Johnson v. Umbarger LLC, Counsel Stack Legal Research, https://law.counselstack.com/opinion/johnson-v-umbarger-llc-cand-2021.