2
s |1 4 O pa ^ 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Gary Kurtz, Esq. SEN 128295 LAW OFFICE OF GARY KURTZ A Professional Law Corporation 20335 Ventura Boulevard, Suite 200 Woodland Hills, California 91364 Telephone: 818-884-8400 Telefax: 818-884-8404 E-Mail: [email protected] Attorney in pro per GARY KURTZ, Plaintiff, SUPERIOR COURT OF CALIFORNIA COUNTY OF LOS ANGELES ) Case No.: LC084486 vs. ) Assigned to Hon. James Kaddo ) Complaint filed: February 20, 2009 ) ) [Proposed] JUDGMENT FOR MONETARY A. J. WEBERMAN also known as, ALAN ) AND INJUNCTIVE RELIEF JULES WEBERMAN, DANIEL BEN-TZION ) and BENTZION DANIEL; and DOES 1 to ) Dept: NWT 50, inclusive. ) Defendants. ) For good cause shown, and based on the evidence and information presented in the file in this matter, Judgment is entered for Plaintiff Gary Kurtz ("Plaintiff" or "Kurtz") and against Defendant A. J. Weberman, who is also known as Alan Jules Weberman, Daniel Ben- Tzion, and Bentzion Daniel ("Defendant" or "Weberman") as follows: Judgment for Damages and Equitable Relief -1-

GARY ALAN KURTZ ASKS FOR AN ORDER OF PRIOR RESTRAINT AGAINST WEBERMAN

Embed Size (px)

DESCRIPTION

Judge James Kaddo of Superior Court in California is being asked to forbid me or anyone I know from writing about Gary Kurtz of Steve Rombom by Gary Kurtz.

Citation preview

Page 1: GARY ALAN KURTZ ASKS FOR AN ORDER OF PRIOR RESTRAINT AGAINST WEBERMAN

s

|1 4O pa ^

1

2

3

4

5

6

7

8

9

10

11

12

13

14

15

16

17

18

19

20

21

22

23

24

25

26

27

28

Gary Kurtz, Esq. SEN 128295LAW OFFICE OF GARY KURTZ

A Professional Law Corporation20335 Ventura Boulevard, Suite 200Woodland Hills, California 91364

Telephone: 818-884-8400Telefax: 818-884-8404E-Mail: [email protected]

Attorney in pro per

GARY KURTZ,

Plaintiff,

SUPERIOR COURT OF CALIFORNIA

COUNTY OF LOS ANGELES

) Case No.: LC 084486

vs.

) Assigned to Hon. James Kaddo) Complaint filed: February 20, 2009)) [Proposed] JUDGMENT FOR MONETARY

A. J. WEBERMAN also known as, ALAN ) AND INJUNCTIVE RELIEFJULES WEBERMAN, DANIEL BEN-TZION )and BENTZION DANIEL; and DOES 1 to ) Dept: NWT50, inclusive. )

Defendants. )

For good cause shown, and based on the evidence and information presented in the

file in this matter, Judgment is entered for Plaintiff Gary Kurtz ("Plaintiff" or "Kurtz") and

against Defendant A. J. Weberman, who is also known as Alan Jules Weberman, Daniel Ben-

Tzion, and Bentzion Daniel ("Defendant" or "Weberman") as follows:

Judgment for Damages and Equitable Relief-1-

Page 2: GARY ALAN KURTZ ASKS FOR AN ORDER OF PRIOR RESTRAINT AGAINST WEBERMAN

3 « «2

&3 ura OO PQ M

"8 g§fll ^3

1

2

3

4

5

6

7

8

9

10

11

12

13

14

15

16

17

18

19

20

21

22

23

24

25

26

27

28

1. Damages in the amount of $_

2. Costs in the amount of $445.00;

3. Injunctive relief.

3.1 Defendant, and his agents, investigators, servants, employees,

confederates, attorneys, accountants and any person acting in concert or participation with

him, directly or indirectly, are permanently enjoined and restrained from publishing or

posting on any cite on the Internet the statements in the pages attached hereto.

3.2 Defendant, and his agents, investigators, servants, employees,

confederates, attorneys, accountants and any person acting in concert or participation with

him, directly or indirectly, are permanently enjoined and restrained from publishing or

posting on any cite on the Internet any statement, comment or words that mention or refer

to, directly or indirectly, Gary Kurtz and agents, investigators, servants, employees,

confederates, attorneys, accountants and any other person acting in concert or

participation with him.

Dated: . 2010

Hon. James Kaddo

Judgment for Damages and Equitable Relief- 2 -