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


File Size: 16.2 kB
Pages: 3
Date: October 10, 2006
File Format: PDF
State: Colorado
Category: District Court of Colorado
Author: unknown
Word Count: 455 Words, 3,039 Characters
Page Size: Letter (8 1/2" x 11")
URL

https://www.findforms.com/pdf_files/cod/18329/255-1.pdf

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Case 1:03-cv-00097-WDM-MJW

Document 255

Filed 10/10/2006

Page 1 of 3

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Case No. 03-cv-00097-WDM-MJW ______________________________________________________________________________ PRAIRIELAND PROCESSORS, INC., a Colorado corporation, Plaintiff and Counterclaim Defendant v. RIDGEFIELD FARMS, LLC, a Connecticut limited liability company, et al., Defendants RIDGEFIELD FARMS, LLC, a Connecticut limited liability company, Counterclaim Plaintiff v. ELDON ROTH, et al., Additional Counterclaim Defendants. ______________________________________________________________________________ MOTION TO WITHDRAW AS COUNSEL ______________________________________________________________________________ Frank W. Visciano and Luis A. Toro pursuant to D.C.COLO.LCivR 83.D, respectfully move the Court for an order permitting them to withdraw as counsel for Defendant Ridgefield Farms, LLC ("Ridgefield"), Richard A. Greenfield and West-Conn Meat Co. ("West-Conn"). In support of this motion Messrs. Visciano and Toro state: 1. Undersigned counsel wish to withdraw because the matters for which they were

retained have been concluded and they have been advised that Ridgefield, Greenfield and WestConn do not wish to retain them in connection with any further proceedings in this matter.

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Case 1:03-cv-00097-WDM-MJW

Document 255

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2.

On October 10, 2006, undersigned counsel served Notices of Withdrawal on

Ridgefield, Greenfield, and West-Conn. Those Notices are attached hereto respectively as Exhibits 1, 2 and 3 and are incorporated herein by reference. 3. Undersigned counsel respectfully submits that they have complied with

D.C.COLO.LCivR 83.D and have demonstrated good cause for leave to withdraw. WHEREFORE, Frank W. Visciano and Luis A. Toro respectfully request that the Court enter an order permitting them to withdraw as counsel for Ridgefield Farms, LLC, Richard Greenfield and West-Conn Meat Co. A proposed Order is attached. Dated: October 10, 2006.

s/ Frank W. Visciano SENN VISCIANO KIRSCHENBAUM P.C.

s/ Luis A. Toro S E N N V I S C I A N O KIRSCHENBAUM P.C.

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Case 1:03-cv-00097-WDM-MJW

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CERTIFICATE OF SERVICE I hereby certify that on October 10, 2006 a true and correct copy of the above and foregoing was served using the CM/ECF system on the following: Marcus L. Squarrell, Esq. David Stacy, Esq. Ducker, Montgomery Aronstein & Bess, P.C. 1560 Broadway, #1400 Denver, Colorado 80202 and via United States mail, postage prepaid and addressed as follows: Ridgefield Farms, LLC Attn: Mr. Phil Friend 222 Peaceable Street Ridgefield, CT 06877 Mr. Richard Greenfield c/o West-Conn Meat Co., Inc. F-16 Hunts Point Co-Op Market Bronx, NY 10474 West-Conn Meat Co., Inc. Attn: Mr. Richard Greenfield F-16 Hunts Point Co-Op Market Bronx, NY 10474

/s Luis A. Toro

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