Motion For Reconsideration Of The Court's November 24, 2025 Amended Order (transaction Id # 77909652) Filed By Plaintiff Greenspan, Aaron , An Individual Hearing Set For Jan-13-2026 At 09:00 Am In Dept 302
This document and its attachments indicate that at least three San Francisco Superior Court judges have been using "artificial intelligence" software for months, producing court orders with false quotations, false citations, and false statements regarding law with and without justification, and strange repeated-but-re-worded sentences. In this case, one such order affected the outcome of a dispositive motion with mandatory fee-shifting implications under the California Anti-SLAPP Statute.
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Aaron Greenspan (Pro Se)
440 N. Barranca Avenue #6720
Covina, CA 91723
Phone: +1 415 670 9350 x101
E-Mail: aaron.greenspan@plainsite.org
ELECTRONICALLY
FILED
Superior Court of California,
County of San Francisco
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12/03/2025
Clerk of the Court
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BY: RONNIE OTERO
Deputy Clerk
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SUPERIOR COURT OF CALIFORNIA
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COUNTY OF SAN FRANCISCO
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Case No. CGC-24-615352
AARON GREENSPAN, an individual,
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Plaintiff,
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v.
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ELON MUSK, an individual, TESLA, INC., a
Delaware corporation, X CORP., a Nevada
corporation formerly known as TWITTER,
INC., EXCESSION, LLC, a Texas Limited
Liability Company, JARED BIRCHALL, an
individual, MORGAN
an individual,
STANLEY &
COMPANY, LLC, a Delaware Limited
Liability Company, OMAR QAZI, an
individual, SMICK ENTERPRISES, INC., a
Delaware corporation, SINGER CASHMAN,
LLP, a California partnership, ADAM S.
CASHMAN, an individual, ALLISON
HUEBERT, an individual, ADAM G. MEHES,
an individual, and ALEX SPIRO, an individual,
and DOES 1-10, inclusive,
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25
Defendants.
26
[Remanded From Northern District
of California Case No. 3:24-cv04647-MMC]
PLAINTIFF’S NOTICE OF
MOTION AND MOTION FOR
RECONSIDERATION OF THE
COURT’S NOVEMBER 24, 2025
AMENDED ORDER
Hearing:
Time:
Dept.:
January 13, 2026
9:00 A.M.
302
Filed Concurrently With:
Memorandum of Points and
Authorities; Declaration of Aaron
Greenspan; and [Proposed] Order
Complaint Filed: June 12, 2024
FAC Filed: August 28, 2024
Removed: July 31, 2024
Remanded: July 17, 2025
Remand Received: July 28, 2025
Trial Date: None Set
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PLAINTIFF’S NOTICE OF MOTION AND MOTION FOR
RECONSIDERATION OF THE COURT’S NOVEMBER 24,
2025 AMENDED ORDER
Case No. CGC-24-615352Page 2 1
TO ALL PARTIES HEREIN AND TO THEIR ATTORNEYS OF RECORD:
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PLEASE TAKE NOTICE that on January 13, 2026, at 9:00 A.M., or as soon thereafter
3
as the matter may be heard, in Department 302 of this court, located at 400 McAllister Street,
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San Francisco, California 94102, Plaintiff Aaron Greenspan will and hereby does move the
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Court for an order declaring void both its November 24, 2025 Amended Order styled as an
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“Amended Order Granting Defendants Elon Musk, Tesla, Inc., The Elon Musk Revocable Trust,
7
Excession, LLC, Jared Birchall, Singer Cashman, LLP, Allison Huebert, Adam S. Cashman,
8
Adam G. Mehes, and Alex Spiro’s Special Motion To Strike” (the “Amended Order”) and the
9
preceding November 13, 2025 Order (the “Order”) pursuant to California Code of Civil
10
Procedure §§ 473(d), 1008, Le Francois v. Goel (2005) 35 Cal.4th 1094, and Shayan v. Shakib
11
(December 1, 2025) Cal. Ct. App. Case Nos. B337559, B339376.
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This motion is made on the grounds that the Amended Order and Order are void as the
13
motion they purports to rule on was taken off-calendar by the Clerk of Court on October 1, 2025;
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that Plaintiff had no notice of the Court’s decision to rule on a different motion and thus was
15
denied due process; that the Amended Order and Order contain numerous errors of fact and of
16
law, including but not limited to multiple false citations, at least one separate mis-applied
17
citation, and multiple false quotations; that the Amended Order and Order lack legal authority for
18
their decisions, especially with regard to the commercial speech exemption to the California
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Anti-SLAPP Statute; that the Amended Order and Order are unclear due to handwritten changes;
20
that the Amended Order and Order fail to accurately take into account and misstate the record of
21
this case; that the Amended Order and Order exceed this Court’s jurisdiction; that the Amended
22
Order and Order are based upon errors made by the Clerk of Court and by the Judicial Council of
23
California’s form designers; that the Amended Order and Order repeatedly ignore controlling
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California Supreme Court precedent; that the Amended Order and Order misapply other aspects
25
of the law; and that the Amended Order and Order wrongly impugn Plaintiff’s ethical integrity
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based on all of the above.
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This Motion is based upon this Notice; the accompanying Memorandum of Law in
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PLAINTIFF’S NOTICE OF MOTION AND MOTION FOR
RECONSIDERATION OF THE COURT’S NOVEMBER 24,
2025 AMENDED ORDER
1
Case No. CGC-24-615352Page 3 1
support of this Motion; the Declaration of Aaron Greenspan; and all papers, records, and
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pleadings on file herein, and such other oral and/or documentary evidence as may be presented at
3
the hearing on this motion.
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Dated: December 3, 2025
Respectfully submitted,
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Aaron Greenspan
440 N. Barranca Avenue #6720
Covina, CA 91723
Phone: +1 415 670 9350 x101
E-Mail: aaron.greenspan@plainsite.org
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PLAINTIFF’S NOTICE OF MOTION AND MOTION FOR
RECONSIDERATION OF THE COURT’S NOVEMBER 24,
2025 AMENDED ORDER
2
Case No. CGC-24-615352
PDF Page 1
PlainSite Cover Page
PDF Page 2
1
2
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Aaron Greenspan (Pro Se)
440 N. Barranca Avenue #6720
Covina, CA 91723
Phone: +1 415 670 9350 x101
E-Mail: aaron.greenspan@plainsite.org
ELECTRONICALLY
FILED
Superior Court of California,
County of San Francisco
4
12/03/2025
Clerk of the Court
5
BY: RONNIE OTERO
Deputy Clerk
6
7
8
SUPERIOR COURT OF CALIFORNIA
9
COUNTY OF SAN FRANCISCO
10
11
12
Case No. CGC-24-615352
AARON GREENSPAN, an individual,
13
Plaintiff,
14
v.
15
16
17
18
19
20
21
22
23
ELON MUSK, an individual, TESLA, INC., a
Delaware corporation, X CORP., a Nevada
corporation formerly known as TWITTER,
INC., EXCESSION, LLC, a Texas Limited
Liability Company, JARED BIRCHALL, an
individual, MORGAN
an individual,
STANLEY &
COMPANY, LLC, a Delaware Limited
Liability Company, OMAR QAZI, an
individual, SMICK ENTERPRISES, INC., a
Delaware corporation, SINGER CASHMAN,
LLP, a California partnership, ADAM S.
CASHMAN, an individual, ALLISON
HUEBERT, an individual, ADAM G. MEHES,
an individual, and ALEX SPIRO, an individual,
and DOES 1-10, inclusive,
24
25
Defendants.
26
[Remanded From Northern District
of California Case No. 3:24-cv04647-MMC]
PLAINTIFF’S NOTICE OF
MOTION AND MOTION FOR
RECONSIDERATION OF THE
COURT’S NOVEMBER 24, 2025
AMENDED ORDER
Hearing:
Time:
Dept.:
January 13, 2026
9:00 A.M.
302
Filed Concurrently With:
Memorandum of Points and
Authorities; Declaration of Aaron
Greenspan; and [Proposed] Order
Complaint Filed: June 12, 2024
FAC Filed: August 28, 2024
Removed: July 31, 2024
Remanded: July 17, 2025
Remand Received: July 28, 2025
Trial Date: None Set
27
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PLAINTIFF’S NOTICE OF MOTION AND MOTION FOR
RECONSIDERATION OF THE COURT’S NOVEMBER 24,
2025 AMENDED ORDER
Case No. CGC-24-615352
PDF Page 3
1
TO ALL PARTIES HEREIN AND TO THEIR ATTORNEYS OF RECORD:
2
PLEASE TAKE NOTICE that on January 13, 2026, at 9:00 A.M., or as soon thereafter
3
as the matter may be heard, in Department 302 of this court, located at 400 McAllister Street,
4
San Francisco, California 94102, Plaintiff Aaron Greenspan will and hereby does move the
5
Court for an order declaring void both its November 24, 2025 Amended Order styled as an
6
“Amended Order Granting Defendants Elon Musk, Tesla, Inc., The Elon Musk Revocable Trust,
7
Excession, LLC, Jared Birchall, Singer Cashman, LLP, Allison Huebert, Adam S. Cashman,
8
Adam G. Mehes, and Alex Spiro’s Special Motion To Strike” (the “Amended Order”) and the
9
preceding November 13, 2025 Order (the “Order”) pursuant to California Code of Civil
10
Procedure §§ 473(d), 1008, Le Francois v. Goel (2005) 35 Cal.4th 1094, and Shayan v. Shakib
11
(December 1, 2025) Cal. Ct. App. Case Nos. B337559, B339376.
12
This motion is made on the grounds that the Amended Order and Order are void as the
13
motion they purports to rule on was taken off-calendar by the Clerk of Court on October 1, 2025;
14
that Plaintiff had no notice of the Court’s decision to rule on a different motion and thus was
15
denied due process; that the Amended Order and Order contain numerous errors of fact and of
16
law, including but not limited to multiple false citations, at least one separate mis-applied
17
citation, and multiple false quotations; that the Amended Order and Order lack legal authority for
18
their decisions, especially with regard to the commercial speech exemption to the California
19
Anti-SLAPP Statute; that the Amended Order and Order are unclear due to handwritten changes;
20
that the Amended Order and Order fail to accurately take into account and misstate the record of
21
this case; that the Amended Order and Order exceed this Court’s jurisdiction; that the Amended
22
Order and Order are based upon errors made by the Clerk of Court and by the Judicial Council of
23
California’s form designers; that the Amended Order and Order repeatedly ignore controlling
24
California Supreme Court precedent; that the Amended Order and Order misapply other aspects
25
of the law; and that the Amended Order and Order wrongly impugn Plaintiff’s ethical integrity
26
based on all of the above.
27
This Motion is based upon this Notice; the accompanying Memorandum of Law in
28
28
PLAINTIFF’S NOTICE OF MOTION AND MOTION FOR
RECONSIDERATION OF THE COURT’S NOVEMBER 24,
2025 AMENDED ORDER
1
Case No. CGC-24-615352
PDF Page 4
1
support of this Motion; the Declaration of Aaron Greenspan; and all papers, records, and
2
pleadings on file herein, and such other oral and/or documentary evidence as may be presented at
3
the hearing on this motion.
4
5
Dated: December 3, 2025
Respectfully submitted,
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7
8
9
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Aaron Greenspan
440 N. Barranca Avenue #6720
Covina, CA 91723
Phone: +1 415 670 9350 x101
E-Mail: aaron.greenspan@plainsite.org
11
12
13
14
15
16
17
18
19
20
21
22
23
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PLAINTIFF’S NOTICE OF MOTION AND MOTION FOR
RECONSIDERATION OF THE COURT’S NOVEMBER 24,
2025 AMENDED ORDER
2
Case No. CGC-24-615352