Sundby v. San Diego County Sheriff

CourtDistrict Court, S.D. California
DecidedJune 2, 2025
Docket3:24-cv-01535
StatusUnknown

This text of Sundby v. San Diego County Sheriff (Sundby v. San Diego County Sheriff) is published on Counsel Stack Legal Research, covering District Court, S.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Sundby v. San Diego County Sheriff, (S.D. Cal. 2025).

Opinion

1 2 3 4 5 6 7 8 UNITED STATES DISTRICT COURT 9 SOUTHERN DISTRICT OF CALIFORNIA 10 11 DALE SUNDBY, Trustee, Case No.: 3:24-cv-1535-WQH-MSB

Plaintiff, 12 ORDER v. 13 14 SAN DIEGO COUNTY SHERIFF’S DEPARTMENT, 15 DEPUTY B. PALMER, in her 16 official sheriff capacity, DEPUTY R. BERNARDINO, in 17 his official sheriff capacity, 18 SERGEANT C. MCCOY, in his official sheriff capacity, and 19 DOES 1 through X, 20 Defendants. 21 HAYES, Judge: 22 The matters before the Court are (1) the Ex Parte Motion for Legal Determination 23 of Threshold Issue (ECF No. 9) filed by Plaintiff Dale Sundby as Trustee (“Plaintiff”); 24 (2) the Motion to Strike Plaintiff’s First Amended Complaint, and to Dismiss Plaintiff’s 25 First Amended Complaint (ECF No. 17) filed by Defendant San Diego County Sheriff’s 26 Department (the “Sheriff’s Department”); (3) the Motion to Strike and to Dismiss 27 Plaintiff’s First Amended Complaint (ECF No. 20) filed by Defendant Sergeant Corey 28 1 McCoy (“McCoy”); (4) the Ex Parte Request for Oral Argument (ECF No. 24) filed by 2 Plaintiff; (5) the Motion to Strike and Dismiss Plaintiff’s First Amended Complaint (ECF 3 No. 32) filed by Defendants Deputy Brittany Palmer (“Palmer”) and Deputy Romeo 4 Bernardino (“Bernardino”); (6) the Request for Court to Enter Order as to ECF No. 9 5 Motion for Legal Determination of Threshold Issue (ECF No. 34) filed by Plaintiff; and 6 (7) the Renewed Request for Court to Enter Order as to ECF No. 9 Motion for Legal 7 Determination of Threshold Issue (ECF No. 35) filed by Plaintiff. 8 I. BACKGROUND 9 On August 29, 2024, Plaintiff initiated this action by filing a Complaint asserting 10 claims arising from Defendants’1 alleged execution of “a writ of possession at a property” 11 (the “Property”) that “was held in a family trust” (the “Trust”). (ECF No. 1, Compl. at 3.) 12 The Complaint identified Plaintiff as “Dale Sundby, Trustee” and alleged that Plaintiff, 13 who is proceeding pro se in this action, “is trustee of the Trust.” Id. ¶¶ 1, 10. 14 A. The Court’s Order to Show Cause and Plaintiff’s Motions Regarding 15 Plaintiff’s Pro Se Representation of a Trust 16 On September 19, 2024, the Court issued an Order to Show Cause (the “Order to 17 Show Cause”). (ECF No. 4.) In the Order to Show Cause, the Court observed that Plaintiff, 18 who is proceeding pro se, was purporting to assert claims on behalf of a trust. The Court 19 stated: “To the extent the Complaint asserts claims on behalf of the Trust, Plaintiff cannot 20 proceed pro se in this action.” Id. at 2 (citing Simon v. Hartford Life, Inc., 546 F.3d 661, 21 667 (9th Cir. 2008); C.E. Pope Equity Tr. v. United States, 818 F.2d 696, 698 (9th Cir. 22 1987)). The Court accordingly instructed Plaintiff to: 23 (1) retain an attorney and instruct the attorney to enter a notice of appearance in this action; 24 25 (2) file an amended complaint that clearly alleges claims solely on Plaintiff’s own behalf as an individual; or 26

27 1 The Sheriff’s Department, McCoy, Palmer, and Bernardino are collectively referred to as “Defendants” 28 1 (3) otherwise show cause why this case should not be dismissed pursuant to the rule articulated in Simon, 546 F.3d at 667. 2 3 Id. at 3. The Court stayed the case pending Plaintiff’s response to the Order to Show Cause. 4 Id. 5 The same day, Plaintiff filed a Response to ECF No. 4 Order to Show Cause. (ECF 6 No. 5.) Plaintiff asserted that he may proceed pro se in this action because he is “a sole 7 trustee of a revocable living trust who is also the sole settl[o]r and beneficiary of the trust 8 assets he is charged to protect.” Id. at 3. 9 On September 25, 2024, the Court issued an Order finding that, “at this stage of the 10 proceedings, Plaintiff ha[d] adequately shown cause that this action should not be 11 dismissed and that the stay should be lifted.” (ECF No. 6 at 4.) The Court noted, however, 12 that it was “unclear from the record before the Court whether Plaintiff is the sole 13 beneficiary of the Trust.” Id. at 3. The Court observed that “the Complaint appears to 14 contradict Plaintiff’s assertion in his Response that he possesses the ‘sole beneficial interest 15 in the trust,’” as the Complaint alleges that “[f]rom 2001 to September 2, 2022, multiple 16 Trust beneficiaries were occupants of the Property.” Id. (quoting Compl. ¶ 11 (emphasis 17 added)). The Court accordingly “[made] no ruling as to the issue of Plaintiff’s ability to 18 represent the Trust pro se.” Id. at 4. The Court found that the issue of Plaintiff’s pro se 19 representation was “better reserved for full briefing following the appearance of all parties” 20 and “accordingly defer[red] resolution of this issue pending Defendants’ appearance in this 21 action.” Id. 22 On October 1, 2024, Plaintiff filed an Ex Parte Motion for Legal Determination of 23 Threshold Issue (the “Ex Parte Motion”) (ECF No. 9), wherein Plaintiff requests that “the 24 Court make a final determination at the earliest date as to the threshold question of whether 25 Plaintiff in his sole trustee capacity is lawfully representing his sole beneficial interest in 26 the trust.” Id. at 2. On October 4, 2024, the Sheriff’s Department filed a Response in 27 28 1 opposition to Plaintiff’s Ex Parte Motion. (ECF No. 11.) On the same day, Plaintiff filed a 2 Reply in support of the Ex Parte Motion. (ECF No. 12.) 3 On October 11, 2024, the Court issued an Order noting that it would address 4 Plaintiff’s Ex Parte Motion “after a response to the First Amended Complaint is filed.” 5 (ECF No. 15 at 2 n.1.) 6 On January 3, 2025, Plaintiff filed a Request for Court to Enter Order as to ECF No. 7 9 Motion for Legal Determination of Threshold Issue. (ECF No. 34.) 8 On January 21, 2025, Plaintiff filed a Renewed Request for Court to Enter Order as 9 to ECF No. 9 Motion for Legal Determination of Threshold Issue. (ECF No. 35.) 10 B. The Defendants’ Motions to Strike and to Dismiss and Plaintiff’s Objections 11 On September 25, 2024, the Sheriff’s Department filed a Motion to Strike Plaintiff’s 12 Complaint, and to Dismiss Plaintiff’s Complaint (“Motion to Strike and Dismiss Plaintiff’s 13 Complaint”). (ECF No. 8.) 14 On October 6, 2024, Plaintiff filed the operative First Amended Complaint (“FAC”) 15 as a matter of course, pursuant to Federal Rule of Civil Procedure 15(a)(1)(B). (ECF No. 16 13, “FAC.”) 17 On October 11, 2024, the Court denied the Sheriff’s Department’s Motion to Strike 18 and Dismiss Plaintiff’s Complaint as moot in light of Plaintiff’s filing of the FAC. (ECF 19 No. 15.) 20 On October 21, 2024, the Sheriff’s Department filed a Motion to Strike Plaintiff’s 21 First Amended Complaint, and to Dismiss Plaintiff’s First Amended Complaint (the 22 “Sheriff’s Department’s Motion”). (ECF No. 17.) On October 25, 2024, Plaintiff filed a 23 Response in opposition to the Sheriff’s Department’s Motion. (ECF No. 18.) On November 24 18, 2024, the Sheriff’s Department filed a Reply in support of its Motion. (ECF No. 23.) 25 On November 20, 2024, Plaintiff filed an Ex Parte Request for Oral Argument (“Ex 26 Parte Request”), wherein he sought oral argument on the Sheriff’s Department’s Motion, 27 or in the alternative, for the Court to consider the arguments in his Ex Parte Request. (ECF 28 1 No. 24.) On November 22, 2024, the Sheriff’s Department and McCoy filed a Notice of 2 Intent to file a Response to Plaintiff’s Ex Parte Motion. (ECF No. 25.) On the same day, 3 Plaintiff filed an Objection to Defendants’ ECF No. 25 Notice. (ECF No. 26.) On 4 November 25, 2024, the Sheriff’s Department and McCoy filed a Response to Plaintiff’s 5 Ex Parte Motion, Including Objection to Plaintiff’s Sur-Reply.

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Related

Asvesta v. Petroutsas
580 F.3d 1000 (Ninth Circuit, 2009)
Simon v. Hartford Life, Inc.
546 F.3d 661 (Ninth Circuit, 2008)
Aulisio v. Bancroft
230 Cal. App. 4th 1516 (California Court of Appeal, 2014)

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Bluebook (online)
Sundby v. San Diego County Sheriff, Counsel Stack Legal Research, https://law.counselstack.com/opinion/sundby-v-san-diego-county-sheriff-casd-2025.