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


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Date: June 7, 2005
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State: Connecticut
Category: District Court of Connecticut
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U J Case 3:03-cv-00968-WIG Document 139 Filed 06/O3/2005 Page 1 of 4
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unrrso STATES msrmcr count ll ,;.¢;l1=1 gsi; T 1
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THOMAS MATYASOVSZKY, ET AL ; o1v1L ACTION No. l
Plaintiffs, :
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or BRIDGEPORT, ET AL, ; ms 3, zoos 1
Defendants. : 1
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Morton ro WITHDRAW APPEARANCE 1
Pursuant t0 Rule 7(e) 0f the Local Rules 0f Civil Procedure for the 1
District of Connecticut, the undersigned moves to withdraw her appearance i
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as counsel for the plaintiff class. On May 13, 2005, the undersigned began
work as a Consulting Fellow on Youth Matters with CT Voices for
Children. Due to the time sensitive nature of that work, the undersigned
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requests permission from the Court to withdraw from this case. I
Attached hereto is a copy ofthe notice sent by certified mail to
each of the named plaintiffs in this action, advising them that Alan Rosner l
will remain as class counsel in the event that this motion is granted.
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Case 3:03-cv-00968-WIG Document 139 Filed 06/O3/2005 Page 2 of 4

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- Respectfully su mitted,
By f/ l
Jenni ickery T24089) _ l
New Haven, CT 06505 g
Email: [email protected] I
Tel: (203) 809-0223 _
Fax: (203) 498-8223
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3 Case 3:03-cv-00968-WIG Document 139 Filed 06/O3/2005 Page 3 of 4
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CERTIFICATION
This is to certify that a copy of the foregoing has been delivered by 3
facsimile transmission on this 3rd day of June, 2005 to: 3
Michael Ryan and James Mahar 3
Ryan, Ryan, Johnson & Deluca, LLP 3
80 Fourth Street, P.O. Box 3057 3
Stamford, CT 06905-3057 3
Fax (203) 357-7915 3
Alan Rosner
1115 Main Street, Suite 415
Bridgeport, CT 06604
Fax (203) 384-1246
Commissioner of Su erior Co t
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I ‘ Case 3:03-cv-00968-WIG Document 139 Filed 06/O3/2005 Page 4 of 4 I
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I Jennifer C.Vicl I I
[PLAINTIFF’S NAME AND ADDRESS]
June 3, 2005
Re: Matyasovszky, et al, v. Housing Authority of the City of Bridgeport, et al, 3:03-CV-
968 (WIG) · . - - 1
Dear , I
I am writing to update you on the status of your case against the Bridgeport Housing I
Authority, and to advise you that I am asking Judge Gariinkel to relieve me of my duties
on your case.
As you know, the case has been in settlement negotiations for the past six months. We
have asked that you be awarded $9,000 in money damages. The lawyers for the
Bridgeport Housing Authority have not rejected this amount, but they have not yet
accepted it, either. We should know something definite about the amount of money
damages by June 10. However, even after an agreement is reached, there is likely to be a
delay of three to six months before you would receive any money that may be owed to
you.
I have a new job that is taking up a great deal of my time. For that reason, I am asking the
Judge to remove my name from the case. If the Judge grants my Motion to Withdraw,
you will still have Alan Rosner as your lawyer on this case. His telephone number is
(203) 384-1245. -
I hope this letter iinds you in good spirits. Please do not hesitate to call me at (203) 809-
0223 if you have any questions about this letter. Or, if you have an opinion about my
Motion to Withdraw, you may communicate it to the Court using the contact information
below:
Mary Mann Smith, Clerk to Judge William Gariinkel
Tel:
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Address:
Regards,
Jennifer Vickery
Paons 203 sos 0223
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