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Gurshin v. Bank of America, National Association, 2:15-cv-00323-GMN-VCF. (2017)

Court: District Court, D. Nevada Number: infdco20170718617 Visitors: 4
Filed: Jun. 29, 2017
Latest Update: Jun. 29, 2017
Summary: PLAINTIFF'S MOTION FOR MS. SWIETLIKOWSKI'S WITHDRAWAL AS ATTORNEY FOR PLAINTIFF CAM FERENBACH , Magistrate Judge . Attorney Samantha J. Swietlikowski hereby moves to withdraw as one of the attorneys representing Plaintiff Alexis Gurshin. As an attorney with The Law Offices of Gary M. Gilbert, Ms Swietlikowski was admitted to this matter pro hac vice on April 14, 2017 (ECF No. 179) to represent Plaintiff Alexis Gurshin. Ms. Sweitlikowski now moves to withdraw as counsel due to change in he
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PLAINTIFF'S MOTION FOR MS. SWIETLIKOWSKI'S WITHDRAWAL AS ATTORNEY FOR PLAINTIFF

Attorney Samantha J. Swietlikowski hereby moves to withdraw as one of the attorneys representing Plaintiff Alexis Gurshin. As an attorney with The Law Offices of Gary M. Gilbert, Ms Swietlikowski was admitted to this matter pro hac vice on April 14, 2017 (ECF No. 179) to represent Plaintiff Alexis Gurshin. Ms. Sweitlikowski now moves to withdraw as counsel due to change in her employment.

This motion is based on Local Rule IA 11-6(b) and the Memorandum of Points and Authorities below.

Memorandum of Points and Authorities

Local Rule IA 11-6(b) permits an attorney to withdraw and Ms. Sweitlikowski is now seeking to do so. In accord with that local rule, withdrawing and undersigned attorney Ms. Sweitlikowski provides the following information:

1. The undersigned is withdrawing as counsel as she will be leaving her current employment with The Law Offices of Gary M. Gilbert & Associates, P.C. effective June 28, 2017. 2. Plaintiff Alexis Gurshin will continue to be represented the Gilbert & England Law Firm, and Ms. England, her long-time counsel, and co-counsel McLetchie Shell, i.e her previously designated attorneys. 3. On June 28, 2017, undersigned sent Ms. Gurshin a letter via first-class mail informing her of the withdrawal. 4. The filing of this Motion will serve as notice of Ms. Swietlikowski's withdrawal to Opposing Counsel. 5. A trial date has not been set and no delay will result from Ms. Swietlikowski's withdrawal.

Wherefore, for the above reasons, undersigned counsel respectfully requests that the Court allow her to withdraw and terminate her representation of Plaintiff Alexis Gurshin and that her email notification and service address (physical address: 1100 Wayne Ave, Ste. 900, Silver Spring, MD 20910; email: sswietlikowski@ggilbertlaw.com) may be deleted from the CM/ECF notice list in this matter.

IT IS SO ORDERED.

Source:  Leagle

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