# Jennifer L. Thurston

> Federal judicial disclosures.

URL: https://www.frixlaw.com/law-library/disclosures/4833

## Record

- **Judge:** Jennifer L. Thurston
- **Year:** 2011
- **Report type:** Annual
- **Pages:** 7

## Text

Bank of America Account — Interest
Morgan Stanley Account (Cash Equivalency) — Interest
WW Sycamore Farms LP — istnibution
Sunrise Terrace Madera Aparments LP — Distribution
Beechwood LP — Distribution
GSF Summer Place Investors LP — Distribution
GSF Springs Investors LP — istrnibution
VV Apts. LLC — Distribution
1951 Golden State LLC — None
BOQ Investors — None
GSF Edgewater Investors LP See Part VIII — Distribution
Morgan Stanley SEP IRA
Bank Deposit Program, Citibank NA South Dakota — Interest
AMCAP Fund Class C — None
Capital Income Builder Fund Class C — Int/Div
Capital World Growth & Income Fund Class C — Int/Div
Ewropacific Growth Fund Class C — Int/Div
Franklin Gold & Precious Metals Fund Class C — Int/Div
Fundamental Investors Fund Class ( — Int/Div
Prudential Jennison Natural Resources Fund Class C — None
US Treasury Notes Ser B - 2018 — Interest
Bank Hapoalim BM. « NY (CDs) — Interest — Matured
Bank of China NY - (CD) — None — Buy
Co-Trustee, Trust #1 (See Part VIII)
Agreement — 2009 — Continuing participation in Kern County Deferred Compensation (457 plan) (former employer), no income
Reimbursement — Association of Business Trial Lawyers — 1002/11 - 114/11 — Santa Barbara, CA — Speaker at the the Annual Seminar — Lodging, registration fee
Spouse's income — 2011 — Self-employed real estate agent
Spouse's income — 2011 — Vaughn Water Company, Board of Directors fee
1. The Trust #1, identified in Part |, consists of personal assets that are not otherwise reportable (i.e. home, cars, etc.) and items that are reportable. The items in

Trust #1 that are reportable, are listed in Part VII, lines | through 2 and 4 through 12. (Line 12 is made up of the investmens detailed in lines 13-21, 23, so these ae

part of the trust also),

2. GSF Edgewater Investors LP was previously listed as "Limited Partnership #10"1t owns rental property.

3. 1 had previously listed 2009 and 2010 as the dates for the “agreement” in Part II. However, there is not 4 new agreement cach year. Instead, | have continued

to participate in the deferred compensation program. Thus, this year, rather than listing 2010 and 2011, | have listed only 2009 which was the date that | began

participating int he program despite no Jonger being employed by the County of Kern.

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Source: Frix Law Library, https://www.frixlaw.com/law-library/disclosures/4833. Public record. Not legal advice.
