`
`allo,
`SOeee
`eae
`(A a
`Subpoena issued by
`Ee Connecticut court
`
`L
`
`STATE OF CONNECTICUT
`
`JUDICIAL BRANCH &%
`SUPERIOR COURT \
`www.jud.ct.gov
`For Information on ADA
`accommodations, contact the
`Centralized ADA Office at 860-706-5310
`
`
`
`
`or go to: www.jud.ct.gow/ADAS
`DockalNumber (FerClerkuse083059blank)
`VAS (y 0 SOSSo
`
`CIVUHOUSING!mM
`SMALL CLAIMS/FAMILY
`JD-CL-167 Rev. 11-23
`C.G.S. §§ 52-1482, 52-655, 52-657, 52-858, 52-660:
`Sy
`
`Instructions:
`1. Completethis form for foreign subpoenasonly.
`2. Attach this form to the Apptication for Issuance of Foreign Subpoena (.{D-CL-166) with the accompanying original or true copy ofthe foreign subpoena.
`
`NameofCase(FullnameofapplicantVv.Fullnameofsubpognaedparty)
`Chase Cameron Gardella v. Matthew Batista
`
`Judicial —_
`Address af Gourl
`(Numbar, street, town and zip code)
`udicia
`ul
`Se
`5
`[x] District
`[] Sestion Danbury Judicial District, 146 White Street. Danbury, CT 06910
`To: (Name and address)
`Matthew Batista
`51 Hine Hill Rd.
`New Milford, CT 06776
`
`
`Date and time you must comply with this subpoena. Must be within 60 days ofissuance
`
`February 20, 2025
`
`Affidavit
`, being duly sworn, do deposeand say:
`|, (name) Margaret Murolo
`| am over the age of 18 and believe in the duties and obligations of an oath.
`| makethis Affidavit in support of an Application for issuance of a Foreign Subpoenafor a proceeding out of
`(Nameof Foreign Court) Superior CtCA, Los Angeles
`under (Foreign Docket Number)
`_24VECV00778
`and (Name of Foreign Case) Chase Cameron Gardella v. Jack Doherty. LLC,etal.
`| certify the following are all counsel of record in the praceeding, including any appearing party not represented. by counsel
`(self-represented):
`Name(s), address(es), and telephone number(s)ofall counsal of record in the proceeding to which the subpoena relates andof any party nol represented by counsel
`
`Greyson M. Goody, Esq., counsel for plaintiff, Chase Cameron Gardella
`Goody Law Group LLP
`58 Malaga Cove Plaza
`Palos Verdes Estates, CA 90274
`(310) 893-1983
`
`.
`.
`;
`See attached Service List for Opposing Counsel
`
`
`
`Date
`—eo— Print or ype name
`
`01/14/2024
`
`Margaret Murolo
`
`
`
`By Authority of the State of Connecticutyou are required to comply with the attached foreign subpoena by the date and time
`indicated, or onalater date (within 60 days of the date indicated above). You musttestify about what you know of the case.
`Youare further required to bring with you and produce anything that was ordered in the attached foreign subpoena.
`
`
`
`
`Return of Service
`
`
`| served this subpoena eighteen hours or more before the time
`designated for the person summonedto appear. | read this subpoenato
`the summoned person andleft a true and attested copy ofit in the hands/
`
`at the Jast usual place of abode of the summoned person asfollows:
`
`Endorsement
`Senice
`Travel
`
`
`
`
` Attest (Signature of proper officeror indifferent person)
`Titla (If applicable)
`
`
`
`efitEOF
`
`\p0.5?
`
`
`
`khWwWWN
`saHDAN
`
`10
`
`11
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`12
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`14
`
`15
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`16
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`17
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`18
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`28
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`GOODYLAWGROUP58Malaga
`
`
`
`CovePlaza
`
`PalosVerdes,CA90274
`
`
`
`
`
`
`
`Tel:(310)893-1983—Fax:(424)427-6811
`
`SERVICELIST
`
`
`
`Chase Cameron Gardella, v. Jack Doherty, LLC,etal.
`Superior Court of the State of California
`County of Los Angeles
`Case No.: 24VECV00778
`
`Keith G. Bremer, Esq.
`Courtney M. Serrato, Esq.
`Olivia Zorayan, Esq.
`BREMER WHYTE BROWN & O’MEARA LLP
`20320 S.W.Birch Street
`Second Floor
`Newport Beach, CA 92660
`
`kbremer@bremerwhyte.com
`
`cserrato@bremerwhyte.com
`ozorayan@bremerwhyte.com
`
`Attorneys for Defendants
`JACK DOHERTY, LLC, BANGER
`OFFICIAL, LLC, and JACK DOHERTY
`
`Barry J. Reagan, Esq.
`Michael B. Lebow,Esq.
`Claudia Mellring, Esq.
`SLAUGHTER, REAGAN & COLE, LLP
`625 East Santa Clara Street, Suite 101
`Ventura, CA 93001
`
`
`mlebow@srllplaw.com
`cmellring@srllplaw.com
`sonia@srllplaw.com
`sreyes@srllplaw.com
`
`Attorneys for Defendants
`JACK DOHERTY
`
`
`
`SERVICE LIST
`
`
`
`True Copyof the Foreign Subpoena
`
`
`
`
`
`
`
`ATTORNEY OR PARTY WITHOUT ATTORNEY(Name,stale bar number, and address):
`GREYSONM. GOODY,ESQ., SBN 292527
`JACOB ARMSTRONG,ESQ., SBN 339480
`Goody Law Group LLP
`58 Malaga Cove Plaza
`Palos Verdes Estates, CA 90274
`TELEPHONENO,: (310) 893-1983—FAX NO (optional): (424) 427-6811
`E-MAIL ADDRESS: greyson@goodylawgroup.com
`ATTORNEYFOR (Name): CHASE CAMERON GARDELLA
`
`
`FOR COURT USE ONLY
`
`SUBP-010
`
`
`
`
`SUPERIOR COURT OF CALIFORNIA, COUNTY OF LOS ANGELES
`STREET appress: 111 N. Hill Street
`CITY AND zip cope: Los Angeles, CA 90012
`
`BRANCH NAME: Stanley Mosk Courthouse
`PLAINTIFF/
`CHASE CAMERON GARDELLA
`PETITIONER:
`
`JACK DOHERTY, LLC; BANGER OFFICIAL, LLC; KONGG,INC.; JACK DOHERTY,an Individual; JUSTIN
`DEFENDANT/
`RESPONDENT: GOSLEE aka “KANE KONGG”,an individual; and DOES1 through 50, inclusive,
`
`DEPOSITION SUBPOENA
`FOR PRODUCTION OF BUSINESS RECORDS
`THE PEOPLE OF THE STATE OF CALIFORNIA,TO (name,address, and telephone numberof deponent, if known):
`Custodian of Records for: MATTHEW BATISTA, 51 Hine Hill Rd., New Milford, CT 06776.
`
`24VECV00778
`
`CASE NUMBER:
`
`
`1. YOU ARE ORDERED TO PRODUCE THE BUSINESSRECORDSdescribedin item 3, as follows: _
`To (nameof deposition officer): On
`First Legal Records c/o Connecticut Process Serving, LLC
`(date):
`February 20, 2025
`At (time):
`10:00 AM
`
`Location (address): 67 Burnside Avenue, East Hartford, CT 06108
`
`Do not release the requested records to the deposition officer prior to the date and time stated above.
`|
`by delivering a true, legible and durable copy of the business records described in item 3, enclosed in a sealed inner wrapper
`a. |XX!
`with the title and number of the action, name of witness, and date of subpoena clearly written on it. The inner wrapper shall
`then be enclosedin an outer envelope or wrapper, sealed, and mailed to the deposition officer at the addressin item 1.
`by delivering a true, legible and durable copy of the business records described in item 3 to the deposition officer at the
`witness's address, on receipt of paymentin cash or by check of the reasonable costs of preparing the copy, as determined
`under Evidence Code Section 1563(b).
`by making the original business records described in item 3 available for inspection at your business address by the
`attorney's representative and permitting copying at your business address under reasonable conditions during normal
`business hours.
`
`Cc.
`
`|
`
`|
`
`b. |_|
`
`2. The records are to be produced by the date and time shownin item 1 (bul not sooner than 20 daysafter the issuance of the
`deposition subpoena, or 15 days after service, whichever date is later). Reasonable costs of locating records, making them available
`or copying them, and postage, if any, are recoverable as set forth in Evidence Code Section 1563(b). The records shall be
`accompaniedby an affidavit of the custodian or other qualified witness pursuant to Evidence Code Section 1567.
`3. The records to be produced are described as follows(if electronically stored information is demanded,the form or
`forms in which eachtype of information is to be produced may be specified):
`SEE ATTACHMENT3
`
`4.
`
` XX Continued on Attachment3.
`IF YOU HAVE BEEN SERVEDWITH THIS SUBPOENA AS A CUSTODIAN OF CONSUMER OR EMPLOYEE RECORDS UNDER CODE OF
`CIVIL PROCEDURE SECTION 1985.3 OR 1985.6 AND A MOTION TO QUASH OR AN OBJECTION HAS BEEN SERVED ON YOU, A COURT
`ORDER OR AGREEMENTOFTHE PARTIES, WITNESSES, AND CONSUMER OR EMPLOYEE AFFECTED MUST BE OBTAINED BEFORE
`YOU ARE REQUIRED TO PRODUCE CONSUMEROR EMPLOYEE RECORDS.
` ¢
`
`DISOBEDIENCE OF THIS SUBPOENA MAYBE PUNISHED AS CONTEMPTBY THIS COURT. YOU WILL ALSO BE LIABLE
`FOR THE SUM OF FIVE HUNDRED DOLLARS AND ALL DAMAGES RESULTING FROM YOUR FAILURE TO OBEY.
`
`
`Date issued:
`
`December 17, 2024
`
`GREYSON M. GOODY, ESQ.
`I
`ls| GREYSON M. GOODY, ESQ.
`(TYPE OR PRINT NAME)
`(SIGNATURE OF PERSON ISSUING SUBPOENA)
`
`Attorney for: PLAINTIFF
`(TITLE)
`
`
`(Proof of service on page two)
`Page 1 of 2
`DEPOSITION SUBPOENA FOR PRODUCTION “ovPocoue682041002040
`OF BUSINESS RECORDS
`www. courts.ca.gov
`0S609141-01/CPROOF105
`
`FonpieMande
`SUBP-010 [Rev. January 1, 2012]
`
`
`
`
`
`| PLAINTIFF/PETITIONER: CHASE CAMERON GARDELLA
`DEFENDANT/RESPONDENT:JACK DOHERTY, LLC; BANGER OFFICIAL, LLC; KONGG, INC,; JACK DOHERTY,anindividuaf;
`JUSTIN GOSLEE aka “KANE KONGG”, an individual; and DOES 1 through 50, inclusive,
`
`CASE NUMBER:
`24VECV00778
`
`_____ SUBP-010
`
`PROOFOF SERVICE OF DEPOSITION SUBPOENA FOR
`PRODUCTION OF BUSINESS RECORDS
`
`1.
`
`| served this Deposition Subpoena for Production of Business Records by personally delivering a copy to the person served as
`follows:
`
`a. Person served (name):
`
`b. Address where served:
`
`c. Date of delivery:
`
`d. Time of delivery:
`
`e. (1)
`
`Witness fees were paid.
`Amount:...........
`(2) || Copying fees were paid.
`Amount: ...........
`
`f. Fee for service: .... 0.02.0 -a es
`
`$
`
`$
`
`$
`
` .00
`
` .00
`
` .00
`
`2.
`
`| received this subpoena for service on (date):
`
`3.
`
`
`
`Person serving:
`_| Not a registered California process server.
`California sheriff, marshall, or constable.
`|__| Registered California process server.
`| Employee or independent contractor of a registered California process server.
`[| Exempt from registration under Bus. & Prof. Code section 22350(b).
`[| Registered professional photocopier.
`| Exemptfrom registration under Bus. & Prof. Code section 22451.
`. Name, address, and telephone numberand, if applicable, county of registration and number:
`
`
`
`samoaogD
`
`Registration No.:
`Exp. Date:
`County:
`
`| declare under penalty of perjury under the laws of the State of
`California that the foregoing is true and correct.
`Date:
`
`(For California sheriff or marshal use only)
`I certify that the foregoing is true and correct.
`Date:
`
`SUBP-010 [Rev. January 1, 2012)
`
`PROOF OF SERVICE
`DEPOSITION SUBPOENA FOR PRODUCTION
`OF BUSINESS RECORDS
`
`Page 2 of 2
`0©S609141-01/CPROOF106
`
`
`
`
`
`
`
`
`CASE NUMBER:
`24VECV00778
`PLAINTIFF/PETITIONER: Chase Cameron Gardella
`DEFENDANT/RESPONDENT:Jack Doherty, LLC, etal.
`
`ATTACHMENT3
`
`This request specifically pertains to all unedited video footage and photos captured or created while filming for Jack
`Doherty in the scope of your work for him. The term "filming for Jack Doherty" includes anyactivities undertaken at his
`direction, during any collaborations, or in association with content intended for his platforms, channels, or projects. The
`requested materials include but are notlimited to the following
`
`1.
`
`All UNEDITEDvideo footage from the date of the INCIDENT.
`
`"UNEDITED"as used herein means the original footage or photos that have not been altered, modified, cropped,
`cut, rearranged, or enhancedin any way from the form in which they wereinitially recorded or captured.
`
`2.
`
`All UNEDITED video footage from all videos where Jack Doherty speaks with Antonio Brown.
`
`3.
`On Me!"
`
`All UNEDITED video footage from the day of filming which led to the YouTube videotitled "Crazy Old Man Flips Out
`
`All UNEDITED videofootage from the dayof filming which led to the YouTubevideotitled "I Crashed My
`4.
`Lamborghini!"
`
`5.
`
`All UNEDITEDvideo footage from the dayof filming which led to the YouTubevideotitled "im going broke.”
`
`All UNEDITED video footage from the day of filming which led to the YouTubevideotitled "Island Boys Tried to
`6.
`FIGHT MeIn My House...”
`
`7.
`Tjay!”
`
`All UNEDITEDvideo footage from the day offilming which led to the YouTubevideotitled “I Got PRESSED ByLil
`
`All UNEDITED video footage from the day of filming which led to the YouTube videotitled "| Got Banned From
`8.
`Disney..."
`
`9.
`Hater..."
`
`10.
`Boys..."
`
`All UNEDITEDvideo footage from the day of filming which led to the YouTubevideotitled "I Got Pressed By A
`
`All UNEDITED video footage from the dayoffilming which led to the YouTubevideotitled “I Confronted The Island
`
`All UNEDITEDvideo footage from the day offilming which led to the YouTubevideotitled "My NEW $50,000,000
`11.
`House Tour!"
`
`All UNEDITEDvideo footage from the day of filming which led to the YouTube videotitled "| Got Pressed By A
`12.
`Famous Rapper..."
`
`All UNEDITED videofootage from the day of filming which led to the YouTubevideotitled "Sneaking In Coachella...
`13.
`(CAUGHT)".
`
`14.
`Guard!"
`
`All UNEDITED video footage from the day of filming which led to the YouTubevideotitled "Meet My New Security
`
`All UNEDITEDvideo footage from the dayof filming which led to the YouTube videotitled "I Bought A $10 Million
`15.
`Dollar LA Mansion!"
`
`All UNEDITED video footage from the dayoffilming which led to the YouTubevideotitled "Lil Pump Calls Out The
`16.
`Island Boys."
`
`All UNEDITED video footage from the day offilming which led to the YouTubevideo titled "I Broke Into a High
`17.
`School."
`
`All UNEDITED video footage from the dayof filming which led to the YouTube videotitled "He Got Us KICKED Out
`18.
`ForThis...
`Page 1 of 3
`
`
`
`
`
`PLAINTIFF/PETITIONER: Chase Cameron Gardella
`CASE NUMBER:
` DEFENDANT/RESPONDENT:Jack Doherty, LLC,et al.. 24VECVO0778
`
`
`ATTACHMENT3 (continued)
`
`20.
`All UNEDITEDvideo footage from the dayoffilming which led to the YouTubevideotitled "20 Girls Vs. Jack Doherty."
`21. .
`All UNEDITEDvideo footage from the dayoffilming which led to the YouTubevideotitled "He Flew 4000 Miles to FIGHT
`22 4 All UNEDITEDvideofootagefrom the dayoffilming which led tothe YouTube videotitled "I Got Pressed Bya Security
`
`All UNEDITED video footage from the dayoffilming which led to the YouTubevideotitled “The Island Boys Tried To Fight
`
`uard!"
`All UNEDITEDvideo footage from the day offilming which led to the YouTubevideotitled "We Almost Got Arrested! (2/
`23.
`N3on $NLE Choppa).”
`24.
`All UNEDITEDvideo footage from the day offilming which led to the YouTubevideotitled "He Tried To Fight Me!"
`25.
`All UNEDITEDvideo footage from the dayoffilming which led to the YouTube videotitled "1 Got Arrested On A Private
`Jet... @mckinleyrichardsonnn."
`‘
`26.
`All UNEDITED video footage from the dayoffilming which led to the YouTubevideotitled "We Got JUMPEDAt Denny's...”
`27.
`All UNEDITEDvideo footage from the dayof filming which led to the YouTubevideotitled "I Got Arrested At the Mall...
`@ClaireLizzyy @ClairaLizzyx".
`28.
`All UNEDITED video footage from the dayoffilming which led to the YouTubevideotitled "I Got BANNED From EVERY
`Mall..."
`All UNEDITED video footage from the dayof filming which led to the YouTube videotitled "I Flipped A Golf Cart On My
`29.
`Girlfriend! Ft. Antonio Brown @mckinleyrichardsonnn".
`30.
`All UNEDITEDvideo footage from the dayof filming which led to the YouTubevideotitled "I Got Into a FIGHT with Rich
`The Kid..."
`31.
`All UNEDITEDvideo footage from the day of filming which led to the YouTube videotitled “I Got KICKED OUTof the Club
`on MyBirthday..."
`32.
`All UNEDITED video footage from the dayoffilming which led to the YouTube videotitled “Island Boys Tried to FIGHT Me
`In My House..."
`33.
`All UNEDITED video footage from the dayoffilming which led to the YouTubevideotitled "The Island Boys ATTACKED
`Me In My House!"
`34.
`All UNEDITED video footage from the dayoffilming which led to the YouTube videotitled "Zherka & Prime Attacked Me in
`My House"
`35.
`All UNEDITED video footage from the dayof filming which led to the YouTubevideotitled “I Got Slapped By Prime... Ft.
`Zherka.”
`All UNEDITEDvideo footage from the dayof filming which led to the YouTubevideotitled "My Girlfriend FIGHTS My Ex
`36.
`Girlfriend... Ft. N3on & Zherka"
`37.
`All UNEDITED video footage from the dayoffilming which led to the YouTubevideotitled "The Island Boys ATTACKED
`Me on a Yacht."
`38.
`All UNEDITEDvideo footage from the dayof filming which led to the YouTubevideotitled "The Cops ARRESTED Mefor
`This...”
`All UNEDITED video footage from the dayof filming which led to the YouTubevideotitled "Fousey Made Me Get a NEW
`39.
`Security Guard!"
`40.
`All UNEDITED video footage from the dayof filming which led to the YouTubevideotitled "I Got ARRESTED ForThis..."
`4.
`All UNEDITED video footage from the dayoffilming which led to the YouTube videotitled "We Got Into A Fight..."
`42.
`All UNEDITED video footage from the dayof filming which led to the YouTube videotitled “The Island Boys Fought Meat
`My New House..."
`43.
`All UNEDITED video footage from the dayoffilming which led to the YouTubevideotitled “The Island Boys FOUGHT Each
`Other!"
`44,
`Mel"
`45.
`
`All UNEDITEDvideo footage from the day offilming which led to the YouTubevideotitled "Lil Pump Confronted the Island
`
`o All UNEDITEDvideo footage from the dayoffilming which led to the YouTubevideotitled "School TeacherTried to FIGHT
`a7
`All DHECIMIED video footage from the dayoffilming which led to the YouTubevideotitled "He Pulled A GUN On MeIn
`ie eTIGHEDITED video footage from the day offilming which led to the YouTube videotitled "CRAZY KAREN THREATENED
`ME IN WALMART!"
`49.
`All UNEDITEDvideo footage from the day offilming which led to the YouTube videotitled "CRAZY KAREN FREAKS OUT
`50. m All UNEDITEDvideo footage from the day offilming which led to the YouTubevideotitled "CRAZY GUYS TRIED TO FIGHT
`ie
`AllUNEDITED video footage from the dayoffilming which led to the YouTubevideotitled "THE ISLAND BOYS WANTTO
`s2. ‘al UNEDITEDvideofootagefrom the dayoffilming which led to theYouTube videotitled "He Pulled a GUN On MeIn
`
`almart!"
`
`Page 1 of 3
`
`Opposing MacPro(attach-03)
`
`
`
`Job # 739280-18
`PLAINTIFF/PETITIONER: Chase Cameron Gardella
`Sreevaeren
`DEFENDANT/RESPONDENT:Jack Doherty, LLC, et al..
`
`
`ATTACHMENT3 (continued)
`
`All UNEDITED video footage from the dayof filming which led to the YouTube videotitled "Why| Left LA..."
`53.
`eo footage from the dayoffilming which led to the YouTubevideotitled "School Teacher Tried to FIGHT Me!"
`54,
`All UNEDITED video footage from the day of filming which led to the YouTube videotitled "I'M GETTING SUED BY MY
`NEIGHBOR..."
`55.
`All UNEDITED videofootage from the day of filming which led to the YouTube videotitled "MY LANDLORD CONFRONTED
`MEI"
`All UNEDITED video footage from the day of filming which led to the YouTubevideotitled "HE THREATENED TO GET US
`56.
`EVICTED"
`57.
`All UNEDITED video footage from the dayof filming which led to the YouTubevideo titled "KARENS HUSBAND BROKE
`INTO MY HOUSE!"
`58.
`All UNEDITED video footage from the day offilming which led to the YouTubevideotitled "Telling Kids Santa isn't Real!"
`59.
`All UNEDITED video footage from the day of filming which led to the YouTubevideotitled "Crazy Guy Calls the Cops on us
`at the Gym!"
`60.
`All UNEDITED video footage from the day of filming which led to the YouTubevideotitled "Karens Husband YELLS At My
`Mom!"
`All UNEDITED video footage from the dayof filming which led to the YouTubevideotitled "The Karens Husband Came To
`61.
`My House!”
`62.
`All UNEDITED video footage from the dayof filming which led to the YouTube videotitled "He Attacked MeFor This...”
`63.
`All UNEDITED video footage from the day of filming which led to the YouTubevideo titled "Karen Neighbor Threatens to
`SUE Me.”
`64..
`All UNEDITED video footage from the dayof filming which led to the YouTubevideotitled "Ex Girlfriend Confronted My
`Karen Neighbor."
`65.
`All UNEDITED video footage from the dayof filming which led to the YouTubevideotitled "We Messed With The Wrong
`Person.”
`66.
`All UNEDITED video footage from the day of filming which led to the YouTubevideotitled "Using INAPPROPRIATEPick
`Up Lines On Girls!"
`67.
`All UNEDITED video footage from the day offilming which led to the YouTubevideotitled “He Tried To Fight Me!"
`68.
`All UNEDITED video footage from the day of filming which led to the YouTubevideotitled "KAREN NEIGHBOR Confronts
`Me At My House..."
`69.
`All UNEDITED video footage from the day offilming which led to the YouTubevideotitled "This Got Me BANNED From The
`Gym..."
`All UNEDITED video footage from the day offilming which led to the YouTubevideotitled "CRAZY KIDS FIGHT ME AT MY
`70.
`HOUSE! * INSANE *"
`71,
`All UNEDITED video footage from the dayoffilming which led to the YouTube videotitled "Jack got arrested...”
`72.
`All UNEDITED video footage from the dayoffilming which led to the YouTube videotitled "I GOT ARRESTED...”
`73.
`All UNEDITED video footage from the day offilming which led to the YouTube videotitled "Angry Waiter Tries to Fight
`Me!"
`All UNEDITED video footage from the day offilming which led to the YouTubevideotitled "KAREN GOT US THROWN OFF
`74,
`HOLLYWOOD TOUR BUS!"
`75.
`All UNEDITED video footage from the day offilming which led to the YouTube videotitled "I Shouldn't Have Said This...”
`76.
`All UNEDITED video footage from the dayoffilming which led to the YouTubevideotitled "this video could get me sued..."
`77.
`All UNEDITEDvideo footage from the dayoffilming which led to the YouTubevideotitled "Trampoline Park Employee
`Tries to FIGHT ME!"
`78.
`All UNEDITED video footage from the dayoffilming which led to the YouTube videotitled "Famous YouTuber Tries To
`Fight Mel"
`79.
`All UNEDITED video footage from the dayoffilming which led to the YouTubevideo titled "CONFRONTING THE
`WALMART EMPLOYEE THAT PUNCHEDME...”
`80.
`All DOCUMENTSrelated to correspondence between YOU and DOHERTYrelated to the INCIDENT.
`"YOU"includes YOU and/or your agents, representatives, or employees.
`"The INCIDENT" as used herein means the facts and circumstances surrounding the incident when Jack Doherty's security guard,
`Kane Kongg, punched Chase Cameron Gardella in the face on or around October 28th or October 29th, 2023.
`"DOHERTY" meansthe individual Jack ‘Doherty, the Defendantin this matter.
`All DOCUMENTSrelated to correspondence between YOU and DOHERTYrelated to KANE KONGG.
`"KANE KONGG"meansJack Doherty's security guard who punched Chase Gardella on the night of the INCIDENT.
`
`81.
`
`82.
`
`All DOCUMENTSrelated to correspondence between YOU and DOHERTYrelated to CHASE GARDELLA.
`"CHASE GARDELLA" means Chase Cameron Gardella, Plaintiff in this matter.
`All UNEDITED video footage from the dayoffilming which Jed to the YouTube videotitled "CONFRONTING THE
`83.
`WALMART EMPLOYEE THAT PUNCHED ME...”
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`SERVICELIST
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`Chase Cameron Gardella, v. Jack Doherty, LLC,et al.
`Superior Court of the State of California
`County of Los Angeles
`Case No.: 24VECV00778
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`GOODYLAWGROUP58Malaga
`
`
`
`CovePlaza
`
`PalosVerdes,CA90274
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`
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`Tel:(310)893-1983—Fax:(424)427-6811
`
`
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`
`
`Keith G. Bremer, Esq.
`Courtney M. Serrato, Esq.
`Olivia Zorayan, Esq.
`BREMER WHYTE BROWN &O’MEARA LLP
`20320 S.W.Birch Street
`Second Floor
`Newport Beach, CA 92660
`
`kbremer@bremerwhyte.com
`cserrato@bremerwhyte.com
`ozorayan@bremerwhyte.com
`
`Attorneys for Defendants
`JACK DOHERTY, LLC, BANGER
`OFFICIAL, LLC, and JACK DOHERTY
`
`Barry J. Reagan, Esq.
`Michael B. Lebow,Esq.
`Claudia Mellring, Esq.
`SLAUGHTER, REAGAN & COLE, LLP
`625 East Santa Clara Street, Suite 101
`Ventura, CA 93001
`
`mlebow@srllplaw.com
`
`cmellring@srllplaw.com
`sonia@srllplaw.com
`sreves(@erllclaw.com
`Attorneys for Defendants
`JACK DOHERTY
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