Free Motion to Withdraw as Attorney - District Court of Connecticut - Connecticut


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Date: December 31, 1969
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State: Connecticut
Category: District Court of Connecticut
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n Case 3:03-cv-0-1016-WWE Document 189 Filed 01/31/2007 Page 1 of 3
UNITED STATES DISTRICT COURT
DISTRICT OF CONNECTICUT
JULIE DILLON RIPLEY MILLER, NO. 3:03 CV 1016 (WINE)
Plaintiff and Counterclairn
Defendant,
- against -
MERRILL LYNCH CREDIT CORPORATION, Jmmmy 30, 2007
Defendant and Counterclaimant.
MOTION TO WITHDRAW APPEARANCE
The undersigned, Matthew R. Paul, in accordance with Local Rule of Civil
Procedure 7(e), hereby moves to withdraw his appearance in this action. In support of this
motion, the undersigned states as follows:
1. The nmdersigned is presently co-counsel for the defendant, Merrill Lynch
Credit Corporation ("MLCC"), in this case.
· 2. The undersigned now seeks to withdraw his appearance for MLCC.
MLCC will continue to be represented by Jonathan S. Bowman and Ari I-Ioffinan of Cohen and
Wolf, who already have appeared in this case. The undersigned is advised that Theodore
Krebsbach and Barry Gold of Krebsbach & Snyder intend to appear in this case as co-counsel to
MLCC.
3. Allowing the undersigned to withdraw as counsel of record for MLCC
will not cause any prejudice to the parties and will not affect the administration of this case.
Plaintiffs counsel has consented to the withdrawal of Attorney Paul.

Case 3:03-cv—O1016-WWE Document 189 Filed O1/31/2007 Page 2 of 3
4. Counsel of record will receive a copy of this motion that the undersigned
attorney is seeking to withdraw his appearance.
Wherefore, Matthew R. Paul respectfully requests that the Court allow him to
withdraw his appearance in this case.
Respectfully submitted,
Matthew R. Paul (ct 21036) i`
PAUL, HASTINGS, JANOFSKY & WALKER LLP
1055 Washington Boulevard
Stamford, CT 06901
Telephone: (203) 961-7400
Fax: (203) 3596031
[email protected]
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Case 3:03-cv—O1016-WWE Document 189 Filed O1/31/2007 Page 3 of 3
CERTIFICATE OF SERVICE
This is to certify that on this 30th day of January 2007, a copy ofthe foregoing MOTION
TO WITHDRAW APPEARANCE was delivered via first class U.S. mail to:
Patrick W. Begos, Esq.
Christopher Brown, Esq.
BEGOS & HORGAN, LLP
327 Riverside Avenue
Westport, CT 06880
Jonathan Bowman, Esq.
Ari Hoffman, Esq.
COHEN & WOLF, P.C.
1115 Broad Street
Bridgeport, CT 06604
Matthew R. Paul [
LEGAELUSAE zz mosmoi
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