fan-HI ?Ix-nu.? TIMOTHY P. MURPHY, ESQ. 120920) NANCY A. ESQ. 129464) EDRINGTON, SCHIRMER MURPHY 2300 Contra Costa Blvd, Suite 450 Pleasant Hill, CA 94523 Telephone: (925) 827?3300 A2316 Facsin?le: (925) 8273320 age. it eLEt?ix 0% THE count 31: - uh? oFFlgE Attorney for Plaintiff B. HOUSING AUTHORITY OF THE CITY OF RICHMOND SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF CONTRA COSTA RICHMOND JUDICIAL DISTRICT LIMITED CIVIL JURISDICTION HOUSING AUTHORITY OF THE CITY OF Case No. RS 16?0259 RICHMOND, APPLICATION FOR ORDER ALLOWING Plaintiff, SERVICE OF SUMMONS AND COMPLAINT BY POSTING AND [Proposed] ORDER MARCUS MOORE, et a1? (C.C.P. Section 415.45) Defendants. Plaintiff, HOUSING AUTHORITY OF THE CITY OF RICHMOND, hereby applies to this court, pursuant to C.C.P. Section 415.45, for an Order Allowing Service of the Summons and Complaint in this unlawful detainer proceeding by posting and mailing. This Application is based upon the following facts: The Complaint in this matter was ?led on March 30, 2016. The Complaint alleges that the defendant/tenant, MARCUS MOORE, has violated the terms of his lease, thereby making eviction proper. A 30-day notice terminating defendant?s tenancy for failure to vacate the unit was served by posting and mailing on February 23, 2016 and expired on March 29, 2016. Application For Order Allowing Service of Summons And Complaint by Posting And Mailing; [Proposed] Order After the Complaint was filed, the services of One Hour Delivery Service were retained to complete service of process. I Attached hereto as Exhibit and incorporated herein by reference is an original Declaration signed by Gilberto Ceja, of One Hour Delivery Service, documenting his attempts to complete serviCe of process between March 30, 2016 and April 6, 2016. All efforts at service were made at the tenant?s residence address, which is the subject of the within unlawful detainer action. This was also defendant?s work address before his services were terminated by the Housing Authority. No other work address is known.- Attempts at service were made a various times, ranging between 8:05 am. and 3:30 pm. Five attempts at service have been made. Based upon the process server?s repeated, Unsuccessful attempts at servi-Ce, it appears that defendant MARCUS MOORE cannot with reasonable diligence be served in any manner other than that requested herein or publication. The requirements of C.C.P. Section 415.45 are met in that a cause of action exists against MARCUS MOORE and he is a necessary party to this action as he is the signatory on the lease pursuant to which this. unlawful detainer action is ?led. Additionally, Mr. MOORE, the defendant, ?has or claims an interest in real property in this state that subject to the jurisdiction of the court? and ?the relief demanded in the action consists wholly or in party in excluding such party from any interest in such property.? Based on the foregoing, it is respectfully requested that the court permit plaintiff to serve the Summons and Complairrt. in this. action by posting same on the front door of the premises and mailing copies of the-Summons and Complaint, via certified mail, to MARCUS MOORE at his last known address, which is the address of the premises at'issue in this proceeding. I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct and that this Declaration was executed on April 12, 2016. Nancy wfci?h?e'rson, Esq. 2 Application For Order Allowing'Serviee of Summons And Complaint by Posting And, Mailing; [Proposed] Order