NOTE: Any hypertext links to other documents contained within this
web page were added by Fredric L. Rice.
8 Jan 2003
martinottmann@yahoo.com
(Martin Ottmann)
I, JON J. GAW, hereby declare and state:
1. I am a private investigator, licensed to practice in the State of
California. I have personal knowledge of the matters set forth herein
and, if called upon to do so, could and would competently testify
thereto.
2. I have my own private investigative firm, J. J. Gaw Investigations,
Inc. For the past several years I have done private investigative work
for the law firm of Bowles & Moxon. In this capacity, I was recently
requested to assist on the service on Theodore Heisig of the complaint
encaptioned, Bowles & Moxon v. Ted Heisig, Jr..
3. During this last week, I went to the home of Mr. Heisig, at 3603
Park Balboa, Orange, California. When I could not locate Mr. Heisig, I
spoke with one of his neighbors, a Mr. Stanley. Mr. Stanley informed
me that Mr. Heisig has not been living at his residence for the last
several weeks and that, to Mr. Stanley's knowledge, Heisig had moved
out of his house, to an unknown residence.
4. On Wednesday, February 24, 1993, in a further attempt to locate Mr.
Heisig, I called his answering service and left a message for him
requesting that he contact me and make himself available for service
of the Bowles & Moxon v. Heisig complaint.
5. At approximately 4:30 P.M. on Thursday, February 25, 1993, Mr.
Heisig returned my call. He told me that he was aware of the lawsuit
as his sister had discovered the complaint in a "court check" which
she had done. He said that he was aware that private investigator Bill
Socha, had been to his former residence to attempt service of the
complaint on him as his former roommate had advised him of those
facts. He told me that he did not plan to return to his former
residence and said that if I wanted to serve him, I would have to
locate him first. He gave me no indication of his whereabouts, his
current residence, nor of how I could get in touch with him. He said
that he intended to make it difficult for "them" (i. e., for Bowles &
Moxon and/or its agents) to accomplish the service of the complaint.
He also said that "they will have to spend a lot of time and money to
find me and serve me."
I declare under penalty of perjury of the United States and of the
State of California that the foregoing is true and correct.
Executed this 26th day of February, 1993, at Riverside County,
California.
Dated: February 26, 1993
[Signature]
Declaration of Jon J. Gaw - February 26th, 1993
JON J. GAW
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