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I. See Cal. Bst Assn. Form. Op. 1984-77; See Considine Co., Inc. v. Shadle, Hunt & Hager (1986) 187 Cal.App.3d 760
II. Refer to March 06, 2006 Written Complaint, Page(s) 13-15, 18; including Exhibits: A1-A22, B1-B22, J1-J9, N - N8
III. PLEASE NOTE: Refer to labeled EXHIBITS (Q1-Q4),( S1-S6),(T1-T5),(W1-W4) that identify 1.) August 29, 2004 Property Request letter re: Dear Lawyer failed to return property in a reasonable amount of time; and 2.) Dear Lawyer failed to answer client’s requests re: Dear Lawyer's, August 08, 2004, Letter of Disposition to Wisconsin Department of Instruction. Due to the fact I ran short of labels when I sent my complaint to you March 06, 2006, for my own records, these exhibits are unlabeled. I may have included (1) and (2) as one Exhibit, or I could have marked them as separate exhibits. I apologize for this inconvenience.
IV. California Rules of Professional Conduct Rule 3-500 and State Bar Act of 2006, Chapter 4, Article 1, 6068 (m)(n).
V. See California Rules of Professional Conduct, Rule 5-220.
VI. April 01, 2005 - Deposition Subpoenas and Privacy Rights: Exhibits A8 to A1.
VII. Please note, these tapes are unmarked Exhibits, but I attached a handwritten note on them indicating that Dear Lawyer never reviewed those tapes with me.
VIII. Refer to Exhibit A4, Page 6 of 6, Question No. 12.4 and all other questions regarding Surveillance, Videotapes, etc.”
IX. See Harris v. State Bar (1990) 51 Cal.3d 1082, 275 Cal. Rptr. 428, 800 P.2d 906 See Calvert v. State Bar (1991) 54 Cal.3d 765, 773-775, 1 Cal.Rptr.2d 684, 819 P.2d 424; Hartford v. State Bar (1990) 50 Cal.3d 1139, 1149-1150, 270 Cal.Rptr. 12, 791 P.2d 598, Cal. R. Prof. Conduct 3-110 (a)(b)(1)(2)(3).
X. Refer to March 06, 2006 Attorney Complaint, Pages 9-12 including Exhibits J1-J19.
XI. Refer to: Exhibit J9, and March 06, 2006 - Attorney Complaint Pages 9-12; See Cal. R. Prof. Conduct 3-700(D)(1); Cal. R. Prof. Conduct 4-100(B)(4).
XII See Exhibit J8, Discovery - 17(b), Page 4 of 4.
XIII. Refer to March 06, 2006 - Attorney Complaint Pages 9-12; See Exhibit J2.
XIV. See Datig, 73 Cal. App. 4th at 981.
XV. See Cal. R. Prof. Conduct 5-220; See California State Bar Act, Article 7 Unlawful Practice of Law, Section 6128 (a)(b).
XVI. See California Code of Civil Procedure, Section 1775(b)(c)(d).
XVII. See California Civil Code of Procedure, Section 2023.010 ( c )(d)(f)(g)(i); Refer to Exhibits G1-G9.
XVIII. Refer to: Exhibits C1 – C26, and March 06, 2006 Attorney Complaint, Pages 1, 16-19. See Cal. R. Prof. Conduct 3-110 (A)(B)(1)(2)(3); Cal. R. Prof. and State Bar Act, Chapter 4, ARTICLE I, Section 6068(f)(h); Guzzetta v. State Bar (1987) 43 Cal.3d 962, 979, 239 Cal.Rptr. 675, 741 P.2d 172; see also Davis v. State Bar (1983) 33 Cal.3d 231, 188 Cal. Rptr. 441, 655 P.2d 1276.
XIX. Being an Alumnus of the university, all campus resources and services is available to all Cardinal Stritch University Alumni.
XX. See Los Angeles County Bar Association Professional Responsibility and Ethics Committee: Formal Ethics Opinion No. 504, May 15, 2000.
XXI. Oh, and for the record, and before I forget to mention it, please note, I DID NOT hire Attorney Olmos to prosecute a Sexual Harassment case as the State Bar had indicated in the May 18, 2006 letter. I hired him to prosecute a wrongful termination, retaliation, gender discrimination case.
XXII. See California Code of Civil Procedure, Section 2024.030; California Constitution, Article I, Declaration of Rights SEC. 7 (a); U.S. Constitution, Amendment V; U.S. Constitution Amendment XIV- Section.1.
XXIII. See Harris v. State Bar (1990) 51 Cal.3d 1082, 275 Cal. Rptr. 428, 800 P.2d 906 See Calvert v. State Bar (1991) 54 Cal.3d 765, 773-775, 1 Cal.Rptr.2d 684, 819 P.2d 424; Hartford v. State Bar (1990) 50 Cal.3d 1139, 1149-1150, 270 Cal.Rptr. 12, 791 P.2d 598, Cal. R. Prof. Conduct 3-110 (A)(B)(1)(2)(3).
XXIV. See California Code of Civil Procedure, Section 2024.030; California Constitution, Article I, Declaration of Rights SEC. 7 (a); U.S. Constitution, Amendment V; U.S. Constitution Amendment XIV- Section.1.
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