Quiet The Title Complaint

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1 (Name, Address Of Party or attorney)

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3 Blake Hutton ________________________
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5 2180 Village Way______________________
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7 Signal Hill , California 90755____
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9 State Bar No: In Pro Per________________
10 (_760___) _980 -6556
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12 Attorney for In Pro Per _______ (Or "In Pro Per")
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15 SUPERIOR COURT OF THE STATE OF CALIFORNIA
16 COUNTY OF _Los Angeles _______
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19 PLAINTIFF(S) NAMES ) CASE NO.: _______
20 Plaintiffs Blake Hutton )
21 )
22 v )
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24 )
25 DEFENDANT(S) NAMES )
26 Defendants Eduardo Carrera,
27 Elvira Ramirez, Juliana Teran ,
28 Rene Jurado , John Does 1-100 )
)
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COMPLAINT TO QUIET TITLE TO REAL PROPERTY

Plaintiff complains and for causes of action alleges as follows:

FIRST CAUSE OF ACTION


(For _____________ Against ________)
I.
Defendant ____, _____ is ____, and at all times herein mentioned was ____, a
resident____ of the City of ________, County of ______________, State of California.
II.
Defendant ____, _____, is ____, and at all times herein mentioned, was ____ a
Corporation organized and existing under the laws of the State of California with principle offices
located at _____, in the City of ______________, County of ________.
III.
Plaintiff____ is ____ ignorant of the true names and capacities of defendants sued herein
as DOES I through X, inclusive, and therefore sues____ these defendants by such
fictitious names. Plaintiff____ will amend this complaint to allege their true names and capacities
when ascertained.
1 Plaintiff____ is ____ informed and believes____ and thereon alleges____ that, at all times
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3 herein mentioned, each of the defendants sued herein was the agent and employee of each of the
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5 remaining defendants and was at all times acting within the purpose and scope of such agency and
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7 employment.
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10 V.
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12 Plaintiff_____ is _____ not and at all times herein mentioned the owner and/or entitled to
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14 possession of the property located at ________.
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18 VI.
19 Plaintiff_____ is _____ informed and believe_____ and thereupon allege_____ that
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21 ____________, and each of them, claim_____ an interest in the property adverse to plaintiff
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23 herein. However, the claim of said Defendant _____ is _____ without any right whatsoever, and
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25 said Defendant _____ have_____ not legal or equitable right, claim, or interest in said property.
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28 VII.
Plaintiff_____ therefore seek_____ a declaration that the title to the subject property is
vested in plaintiff_____ alone and that the Defendant _____ herein, and each of them, be declared
to have no estate, right, title or interest in the subject property and that said Defendant _____, and
each of them, be forever enjoined from asserting any estate, right, title or interest in the subject
property adverse to Plaintiff herein.

WHEREFORE, Plaintiff____ pray____ judgment against Defendant ____ and each of


them, as follows:

For an order compelling said Defendant _____, and each of them, to transfer legal title and
possession of the subject property to Plaintiff____ herein;

For a declaration and determination that Plaintiff____ is _____ the rightful holder of title
to the property and that Defendant _____ herein, and each of them, be declared to have no estate,
right, title or interest in said property;

For a judgment forever enjoining said defendants, and each of them, from claiming any
estate, right, title or interest in the subject property;

For costs of suit herein incurred;


1 DATE: ____________________
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3 ____________________
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5 (Signature)
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7 VERIFICATION
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10 I, _____, am a _____in the above-entitled action. I have read the foregoing
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12 _____________and know the contents thereof. The same is true of my own knowledge, except as
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14 to those matters which are therein alleged on information and belief, and as to those matters, I
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16 believe it to be true.
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18 I declare under penalty of perjury that the foregoing is true and correct and that this
19 declaration was executed at , California.
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21 DATE: ____________________
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23 ____________________
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25 (Signature)
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