Case 1:04-cv-01102-RPM-BNB
Document 48
Filed 07/26/2005
Page 1 of 3
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO
Civil Action No. 04 M 1102 (BNB) MINTECH STAFFING, LLC, Plaintiff, v. GLOBAL WIRELESS, INC., GREGORY CASSIDY, MELISSA CASSIDY and F. COOPER WARD, Defendants. ____________________________________________________________________________ NOTIFICATION TO CLIENT OF INTENT TO WITHDRAW ____________________________________________________________________________ To: Mintech Staffing LLC/Mintech Group Sylvia Whitley and Todd Whitley 206 Longview Court Keller TX 76248
The law firm of ZODROW et al. P.C. at 1050 Seventeenth Street, Suite 1940, Denver, Colorado 80265, and counsel of record for Plaintiff, are requesting permission to withdraw as your representative. You are notified as follows: 1. Undersigned counsel desires to withdraw from their representation of you due to on-going irreconcilable differences in strategies to proceed with this litigation; 2. The Court in which this action is pending retains jurisdiction over you and over the subject matter of the action upon our withdrawal from representation of you; 3. You have the burden of keeping the Court informed where notices, pleadings, or other papers may be served on you;
Case 1:04-cv-01102-RPM-BNB
Document 48
Filed 07/26/2005
Page 2 of 3
4. You cannot represent yourself in this matter and you are required to appear with counsel admitted to practice before this Court, and absent prompt appearance of substitute counsel, pleadings, motions and other papers may be stricken, and default judgment on other sanctions may be imposed against you pursuant to D.C.Colo.L.Civ.R. 83.3.D.; 5. Pending matters before the Court are as follows: proceedings on writ of garnishment served on Gregory Casady. The Court will issue orders setting other deadlines not addressed therein. Other deadlines appear in the Federal Rules of Civil Procedure and by statute. The holding of any proceedings scheduled in the future will not be affected by our withdrawal. 7. Service upon you may be accomplished at your last known address: 206 Longview Court Keller TX 76248 Your last known telephone number is 817-431-1322. 8. You have the right to object to this law firm's requested withdrawal within fifteen days of the date of this notice.
Respectfully submitted July 26, 2005. ZODROW et al. P.C.
__________________________________________ John J. Zodrow John F. McBride ZODROW et al P.C. 1050 17th Street, Suite 1940 Denver, CO 80265 (303) 572-0700
2
Case 1:04-cv-01102-RPM-BNB
Document 48
Filed 07/26/2005
Page 3 of 3
CERTIFICATE OF SERVICE I certify that on the 26th day of July, 2005, a copy of the foregoing MOTION FOR PERMISSION TO WITHDRAW was served by posting in the U.S. mail, first class postage prepaid, addressed to: Dana M. Arvin, Esq. Underhill & Underhill, PC 5340 S. Quebec St., #306 Greenwood Village, CO 80112 Mintech Staffing LLC/Mintech Group Sylvia Whitley and Todd Whitley 206 Longview Court Keller TX 76248
__________________________________
3