4 minute read
China Shipping
from RLn 03-16-23
it narrowly — before 2021, “But,” NRDC countered, “what is ‘reasonable’ must be evaluated in the context of the project: the continued operation of the terminal until 2045.”
Independent Monitoring
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NRDC argues that POLA “improperly ignored requests to appoint an independent third party to monitor compliance with mitigation measures.” requested’ were not required under CEQA,” which NRDC argues is not true, because of the project’s troubled history.
This request, in light of POLA’s long history of compliance failures at China Shipping, was made in comments three times.
Moreover, “CEQA requires a ‘good faith, reasoned analysis’ in response to comments. ... ‘Conclusory statements unsupported by factual information will not suffice,’” NRDC argued.
Business Name Statement must be accompanied by the Affidavit of Identity form. The filing of this statement does not of itself authorize the use in this state of a Fictitious Business Name in violation of the rights of another under Federal, State, or common law (See Section 14411 et seq., Business and Professions Code). 03/16/23, 03/30/23, 04/13/23, 04/27/23 dissolution of the PCAC [Port Community Advisory Committee],” Dr. John Miller said at the time. “If that group were still in existence we would have been discussing the present problem collaboratively years ago and working collaboratively to resolve it.”
In response, “The Port tersely stated that the ‘comment is noted’ and that the ‘elements
In fact, the lack of independent monitoring was directly implicated in POLA’s failure to implement the original measures, as Random Lengths noted in 2015 when that failure first came to light.
“This is a direct result of the
The PCAC was created by Mayor James Hahn in 2001, and its responsibilities were expanded by the settlement in the first China Shipping lawsuit, but it was first disabled, then disbanded under Mayor Antonio Villiaragosa’s administration. In light of what’s occurred since, Mayor Karen Bass would be well advised to revive it, and not wait for the appeals court to rule.
3/02/23, 03/16/23, 03/30/23, 04/13/23
NOTICE-In accordance with Subdivision (a) of Section 17920, a Fictitious Name Statement generally expires at the end of five years from the date on which it was filed in the office of the County Clerk, except, as provided in Subdivision (b) of Section 17920, where it expires 40 days after any change in the facts set forth in the statement pursuant to Section 17913 other than a change in the residence address of a registered owner. A new Fictitious Business Name Statement must be filed before the expiration. Effective January 1, 2014, the Fictitious Business Name Statement must be accompanied by the Affidavit of Identity form. The filing of this statement does not of itself authorize the use in this state of a Fictitious Business Name in violation of the rights of another under Federal, State, or common law (See Section 14411 et seq., Business and Professions Code).
FICTITIOUS BUSINESS NAME
STATEMENT
File No. 2023-031715
The following person(s) is (are) doing business as: Cryptospace, 1379 Park Western Dr., San Pedro, CA 90732, County of Los Angeles,
2.) Cryptospace
Registered owner(s):Huerta Consulting Services LLC, 1379 Park Western Dr., San Pedro, CA 90732; California. This business is conducted by: a Limited Liability Company
The registrant commenced to transact business under the fictitious business name or names listed above on 01/2010 I declare that all information in this statement is true and correct. (A registrant who declares as true any material matter pursuant to Section 17913 of the Business and Professions code that the registrant knows to be false is guilty of a misdemeanor punishable by a fine not to exceed one thousand dollars ($1,000)). S/ Princess Nava, Manager This statement was filed with the County Clerk of Los Angeles on February 10, 2023
NOTICE-In accordance with Subdivision (a) of Section 17920, a
Fictitious Name Statement generally
I declare that all information in this statement is true and correct. (A registrant who declares as true any material matter pursuant to Section 17913 of the Business and Professions code that the registrant knows to be false is guilty of a misdemeanor punishable by a fine not to exceed one thousand dollars ($1,000)).
S/ RONALD J BENNETT, OWNER
This statement was filed with the County Clerk of Los Angeles County on 03/03/2023.
NOTICE-In accordance with Subdivision (a) of Section 17920, a Fictitious Name Statement generally expires at the end of five years from the date on which it was filed in the office of the County Clerk, except, as provided in Subdivision (b) of Section 17920, where it expires 40 days after any change in the facts set forth in the statement pursuant to Section 17913 other than a change in the residence address of a registered owner. A new Fictitious Business Name Statement must be filed before the expiration. Effective January 1, 2014, the Fictitious Business Name Statement must be accompanied by the Affidavit of Identity form. The filing of this statement does not of itself authorize the use in this state of a Fictitious Business Name in violation of the rights of another under Federal, State, or common law (See Section 14411 et seq., Business and Professions Code). 03/16/23, 03/30/23, 04/13/23, 04/27/23
FICTITIOUS BUSINESS NAME STATEMENT
File No. 2023053778
The following person(s) is (are) doing business as: Engineer Makers Project, 830 W 29th St APT D, SAN PEDRO, CA 90731, County of LOS ANGELES
Registered owner(s): Shurhonda Bradley, 830 W 29th St APT D, SAN PEDRO, CA 90731; State of Incorporation: CA This business is conducted by an Individual
The registrant(s) started doing business on 01/2021.
I declare that all information in this statement is true and correct. (A registrant who declares as true any material matter pursuant to Section 17913 of the Business and Professions code that the registrant knows to be false is guilty of a misdemeanor punishable by a fine not to exceed one thousand dollars