| Case | County / Judge | Motion | Ruling | Indexed | Hearing |
|---|
Motion to Compel Arbitration
LAW AND MOTION CALENDAR MARCH 27, 2026
3. SULLIVAN & ASSOCIATES, INC. v. DIV 15 TECH, INC., ET AL., 25CV1991
Motion to Compel Arbitration
On January 14, 2026, pursuant to Code of Civil Procedure section 1281.2, defendant
DIV 15 Tech, Inc. (“defendant”) filed the instant motion to compel arbitration and stay
the action.
On March 16, 2026, plaintiff Kevin M. Sullivan & Associates, Inc. (“plaintiff”) filed a
timely opposition. On March 20, 2026, defendant filed a timely reply.
1. Notice Issues It is unclear from defendant’s moving papers whether defendant moves to compel
all parties to arbitration, or just the plaintiff. Based on the notice of motion, which is
directed “to each party and their counsel of record,” as well as defendant’s reply brief,
which presents new argument of why certain other defendants should be compelled to
arbitrate, it appears that defendant seeks to compel all parties to arbitration.
A motion to compel must be accompanied by a notice of hearing. (Code Civ. Proc.,
§ 1290.2) Where, as here, “the arbitration agreement does not provide the manner in
which service shall be made and the person on whom service is to be made ... has
previously been served in accordance with subdivision (b) of this section, service shall be
made in the manner provided in Chapter 5 (commencing with Section 1010) of Title 14
of Part 2 of this code.” (Code Civ. Proc., § 1290.4, subd. (c).)
To date, there is no proof of service of the instant motion upon defendant Harco National Insurance Company, which made a general appearance in this case on
October 6, 2025.
TENTATIVE RULING # 3: APPEARANCES ARE REQUIRED AT 1:30 P.M., FRIDAY,
MARCH 27, 2026, IN DEPARTMENT FOUR, AT WHICH TIME, THE COURT WILL ASK
Looking for case law or statutes not cited here? Search published authorities
Examples: “Why did the court rule this way?” · “What were the procedural grounds?” · “Is appearance required?”
DEFENDANT DIV 15 TECH, INC., FOR CLARIFICATION ON THE NOTICE ISSUES OUTLINED HEREIN AND THE SCOPE OF ITS MOTION.