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COMPLAINT FOR ___________ AND FOR PRELIMINARY INJUNCTION
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Your Name
Your Address
Your city, state, zip
Your phone number
Your Name
Plaintiff in Pro Per
SUPERIOR COURT OF THE STATE OF CALIFORNIA
FOR THE COUNTY OF SACRAMENTO
YOUR NAME
Plaintiff,
vs.
DEFENDANT(S) WHO HAS VEHICLE;
STATE OF CALIFORNIA
DEPARTMENT OF MOTOR
VEHICLES, CURRENT DMV
DIRECTOR IN HIS/HER CAPACITY OF
DIRECTOR OF STATE OF
CALIFORNIA DEPARTMENT OF
MOTOR VEHICLES ONLY, and DOES
1-25,
Defendants
Case No.: ______________________
COMPLAINT FOR CAUSE OR CAUSES
OF ACTION AND FOR PRELIMINARY
INJUNCTION
Plaintiff alleges:
GENERAL ALLEGATIONS APPLICABLE TO ALL CAUSES OF ACTION
- 2 -
COMPLAINT FOR ___________ AND FOR PRELIMINARY INJUNCTION
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1. Plaintiff your name is, and at all times herein mentioned was, a natural person residing in
county County, California.
2. Defendant Defendant who has vehicle is, and at all times herein mentioned was, a natural
person residing in County County, California.
3. Plaintiff is informed and believes, and thereon alleges, that defendant Current Director of
the DMV (“DMV Director”), in his/her official capacity only, is the Director of the California
Department of Motor Vehicles, and has official authority to accomplish all of the matters herein
requested of the Court.
4. Plaintiff is informed and believes, and thereon alleges, that defendant State of California
Department of Motor Vehicles (“DMV”) is the official and duly constituted governmental entity with
the exclusive authority and ability to record and effect the public record of transfers of title of motor
vehicles in the State of California.
5. Plaintiff is ignorant of the true names and capacities of defendants sued herein as DOES 1–
25, inclusive, and therefore sues these defendants by such fictitious names. Plaintiff will amend this
complaint to allege their true names and capacities when ascertained.
6. At all times herein mentioned, and in particular on or about date, plaintiff was, and still is,
the owner and was, and still is, entitled to the possession of the following personal property: a Year,
Make, and Model, license plate number License Plate No., Vehicle Identification Number (VIN) VIN
(“the Vehicle”). A true and correct copy of the registration certificate is attached as Exhibit “Ex.
Letter..”
7. On or about date, and at city, county County, California, the Vehicle had a value of dollar
value.
- 3 -
COMPLAINT FOR ___________ AND FOR PRELIMINARY INJUNCTION
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FIRST CAUSE OF ACTION AGAINST DEFENDANTS
DEFENDANT(S) WHO HAVE POSSESSION OF VEHICLE AND DOES 1-5 ONLY
(For Conversion)
11. The allegations in paragraphs 1-paragraph # above above are re-alleged and incorporated
herein by reference.
12. Describe how defendant obtained vehicle.
13. If the property was initially acquired lawfully from plaintiff, include the following
allegation On or about date, plaintiff name demanded the immediate return of the above-mentioned
property but defendant failed and refused, and continues to fail and refuse, to return the property to
plaintiff. If the return demand or refusal was in writing, say so, and include a copy of the written
demand or refusal as an exhibit..
14. Describe your efforts to get the vehicle back, and any expenses you incurred.
15. Describe what facts cause you to think the defendant may try to sell or transfer the
Vehicle.
16. Add additional numbered paragraphs and exhibits if necessary.
Add additional causes of action if desired, numbering each one.
NUMBER CAUSE OF ACTION AGAINST DEFENDANTS
CURRENT DIRECTOR OF DMV, DMV, AND DOES 6-25 ONLY
(For Preliminary Injunction)
11. The allegations in paragraphs 1- last paragraph # above above are re-alleged and
incorporated herein by reference.
12. Defendant(s) defendant(s) with possession of Vehicle may attempt to transfer the Vehicle
at any time. Unless an injunction is granted, the DMV’s routine transfer of title would be in violation
This sample language refers to the cause of
action for conversion. If conversion is not
appropriate in your case, delete the sample
language and insert the appropriate cause(s)
of action.
Delete this box before printing.
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COMPLAINT FOR ___________ AND FOR PRELIMINARY INJUNCTION
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of plaintiff’s rights as alleged above, tending to render a later judgment ineffectual, and would cause
him/her great or irreparable injury through the loss of possession and control of his/her personal
property, for which there is no adequate remedy at law.
13. By preventing such a transfer, the requested preliminary injunction will prevent the
multiplicity of suits which may be otherwise be required to determine rights, liabilities and damages
as between plaintiff, defendant, and any third-party purchaser(s).
PRAYER
WHEREFORE, plaintiff prays judgment as follows:
1. For a preliminary injunction enjoining defendants DMV and DMV Director, and their
agents, servants, and employees, and all persons acting under, in concert with, or for them, from
transferring any right, title, or interest in or to the Year Make and Model, license plate number
License Plate No., Vehicle Identification Number (VIN) Vehicle ID No. (“the Vehicle”);
2. For possession of the Vehicle or, if the Vehicle cannot be delivered, for its value according
to proof, against defendant(s) Defendant(s) who has Vehicle;
3. For damages according to proof, against defendant(s) Defendant(s) who has Vehicle;
4. [Erase this paragraph unless alleging conduct that merits punitive damage, e.g., fraud.] For
exemplary and punitive damages against defendants Defendant(s) who has Vehicle;
5. For costs of suit herein incurred; and
6. For such other and further relief as the court may deem proper.
DATED: Signature date
Plaintiff name
In Pro Per

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sbs-DMV-complaint-template (1) real.pdf

  • 1. - 1 - COMPLAINT FOR ___________ AND FOR PRELIMINARY INJUNCTION 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Your Name Your Address Your city, state, zip Your phone number Your Name Plaintiff in Pro Per SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF SACRAMENTO YOUR NAME Plaintiff, vs. DEFENDANT(S) WHO HAS VEHICLE; STATE OF CALIFORNIA DEPARTMENT OF MOTOR VEHICLES, CURRENT DMV DIRECTOR IN HIS/HER CAPACITY OF DIRECTOR OF STATE OF CALIFORNIA DEPARTMENT OF MOTOR VEHICLES ONLY, and DOES 1-25, Defendants Case No.: ______________________ COMPLAINT FOR CAUSE OR CAUSES OF ACTION AND FOR PRELIMINARY INJUNCTION Plaintiff alleges: GENERAL ALLEGATIONS APPLICABLE TO ALL CAUSES OF ACTION
  • 2. - 2 - COMPLAINT FOR ___________ AND FOR PRELIMINARY INJUNCTION 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 1. Plaintiff your name is, and at all times herein mentioned was, a natural person residing in county County, California. 2. Defendant Defendant who has vehicle is, and at all times herein mentioned was, a natural person residing in County County, California. 3. Plaintiff is informed and believes, and thereon alleges, that defendant Current Director of the DMV (“DMV Director”), in his/her official capacity only, is the Director of the California Department of Motor Vehicles, and has official authority to accomplish all of the matters herein requested of the Court. 4. Plaintiff is informed and believes, and thereon alleges, that defendant State of California Department of Motor Vehicles (“DMV”) is the official and duly constituted governmental entity with the exclusive authority and ability to record and effect the public record of transfers of title of motor vehicles in the State of California. 5. Plaintiff is ignorant of the true names and capacities of defendants sued herein as DOES 1– 25, inclusive, and therefore sues these defendants by such fictitious names. Plaintiff will amend this complaint to allege their true names and capacities when ascertained. 6. At all times herein mentioned, and in particular on or about date, plaintiff was, and still is, the owner and was, and still is, entitled to the possession of the following personal property: a Year, Make, and Model, license plate number License Plate No., Vehicle Identification Number (VIN) VIN (“the Vehicle”). A true and correct copy of the registration certificate is attached as Exhibit “Ex. Letter..” 7. On or about date, and at city, county County, California, the Vehicle had a value of dollar value.
  • 3. - 3 - COMPLAINT FOR ___________ AND FOR PRELIMINARY INJUNCTION 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 FIRST CAUSE OF ACTION AGAINST DEFENDANTS DEFENDANT(S) WHO HAVE POSSESSION OF VEHICLE AND DOES 1-5 ONLY (For Conversion) 11. The allegations in paragraphs 1-paragraph # above above are re-alleged and incorporated herein by reference. 12. Describe how defendant obtained vehicle. 13. If the property was initially acquired lawfully from plaintiff, include the following allegation On or about date, plaintiff name demanded the immediate return of the above-mentioned property but defendant failed and refused, and continues to fail and refuse, to return the property to plaintiff. If the return demand or refusal was in writing, say so, and include a copy of the written demand or refusal as an exhibit.. 14. Describe your efforts to get the vehicle back, and any expenses you incurred. 15. Describe what facts cause you to think the defendant may try to sell or transfer the Vehicle. 16. Add additional numbered paragraphs and exhibits if necessary. Add additional causes of action if desired, numbering each one. NUMBER CAUSE OF ACTION AGAINST DEFENDANTS CURRENT DIRECTOR OF DMV, DMV, AND DOES 6-25 ONLY (For Preliminary Injunction) 11. The allegations in paragraphs 1- last paragraph # above above are re-alleged and incorporated herein by reference. 12. Defendant(s) defendant(s) with possession of Vehicle may attempt to transfer the Vehicle at any time. Unless an injunction is granted, the DMV’s routine transfer of title would be in violation This sample language refers to the cause of action for conversion. If conversion is not appropriate in your case, delete the sample language and insert the appropriate cause(s) of action. Delete this box before printing.
  • 4. - 4 - COMPLAINT FOR ___________ AND FOR PRELIMINARY INJUNCTION 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 of plaintiff’s rights as alleged above, tending to render a later judgment ineffectual, and would cause him/her great or irreparable injury through the loss of possession and control of his/her personal property, for which there is no adequate remedy at law. 13. By preventing such a transfer, the requested preliminary injunction will prevent the multiplicity of suits which may be otherwise be required to determine rights, liabilities and damages as between plaintiff, defendant, and any third-party purchaser(s). PRAYER WHEREFORE, plaintiff prays judgment as follows: 1. For a preliminary injunction enjoining defendants DMV and DMV Director, and their agents, servants, and employees, and all persons acting under, in concert with, or for them, from transferring any right, title, or interest in or to the Year Make and Model, license plate number License Plate No., Vehicle Identification Number (VIN) Vehicle ID No. (“the Vehicle”); 2. For possession of the Vehicle or, if the Vehicle cannot be delivered, for its value according to proof, against defendant(s) Defendant(s) who has Vehicle; 3. For damages according to proof, against defendant(s) Defendant(s) who has Vehicle; 4. [Erase this paragraph unless alleging conduct that merits punitive damage, e.g., fraud.] For exemplary and punitive damages against defendants Defendant(s) who has Vehicle; 5. For costs of suit herein incurred; and 6. For such other and further relief as the court may deem proper. DATED: Signature date Plaintiff name In Pro Per