Filed: Nov. 27, 2017
Latest Update: Nov. 27, 2017
Summary: MOTION AND (PROPOSED) ORDER FOR WITHDRAWAL AND SUBSTITUTION OF COUNSEL ROBERT S. LASNIK , District Judge . I. RELIEF REQUESTED Pursuant to GR 2(g)(4), it is hereby requested that the Court grant leave for Dorsey & Whitney, LLP (and attorneys Nathan Alexander and Brian Janura), 701 5 th Avenue, Ste. 6100, Seattle, WA 98104, to appear as counsel for Plaintiff and Counterclaim Defendants Money Mailer LLC and Money Mailer Franchise Corp. ("Money Mailer"), and that Karr Tuttle Campbell (
Summary: MOTION AND (PROPOSED) ORDER FOR WITHDRAWAL AND SUBSTITUTION OF COUNSEL ROBERT S. LASNIK , District Judge . I. RELIEF REQUESTED Pursuant to GR 2(g)(4), it is hereby requested that the Court grant leave for Dorsey & Whitney, LLP (and attorneys Nathan Alexander and Brian Janura), 701 5 th Avenue, Ste. 6100, Seattle, WA 98104, to appear as counsel for Plaintiff and Counterclaim Defendants Money Mailer LLC and Money Mailer Franchise Corp. ("Money Mailer"), and that Karr Tuttle Campbell (a..
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MOTION AND (PROPOSED) ORDER FOR WITHDRAWAL AND SUBSTITUTION OF COUNSEL
ROBERT S. LASNIK, District Judge.
I. RELIEF REQUESTED
Pursuant to GR 2(g)(4), it is hereby requested that the Court grant leave for Dorsey & Whitney, LLP (and attorneys Nathan Alexander and Brian Janura), 701 5th Avenue, Ste. 6100, Seattle, WA 98104, to appear as counsel for Plaintiff and Counterclaim Defendants Money Mailer LLC and Money Mailer Franchise Corp. ("Money Mailer"), and that Karr Tuttle Campbell (and attorneys Erik R. Lied, and J. Derek Little), 701 5th Ave., Ste. 3300, Seattle, WA 98104, withdraw as counsel for Plaintiff and Counterclaim Defendants Money Mailer.
II. ISSUE GIVING RISE TO REQUEST
Plaintiff and Counterclaim Defendants Money Mailer has appointed new counsel to represent it in this lawsuit.
III. AUTHORITY AND CERTIFICATION
GR 2(g)(4) requires that a withdrawing attorney must move this court for permission to withdraw, and to certify that the motion was served on opposing counsel and on the client. The accompanying Certificate of Service verifies that opposing counsel will be served through the ECF system as well as by email, which opposing counsel has agreed to accept as effective service. Counsel further certifies that the motion has also been served on Plaintiff and Counterclaim Defendants Money Mailer
IV. CONCLUSION
The undersigned respectfully requests that the Court enter the proposed Order Granting Leave to Withdraw and Substitution of Counsel.
(Proposed) ORDER
This matter came before the Court on the Motion of Dorsey & Whitney LLP and Karr Tuttle Campbell, to substitute Dorsey & Whitney, LLP as counsel of record for Plaintiff and Counterclaim Defendants Money Mailer in place of Karr Tuttle Campbell in this matter pursuant to GR 2(g)(4)(A). The Court has considered the pleadings and papers filed in connection with said motion and all other matters before the Court.
Therefore, IT IS HEREBY ORDERED that the Motion is GRANTED.