Case 1:04-cv-00931-LTB-MJW
Document 44
Filed 07/27/2005
Page 1 of 2
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. 2004-CV-931-LTB-MJW ERNEST STANTON Plaintiff, v. YANCEY'S FOOD SERVICE CORPORATION, Defendant.
MOTION TO WITHDRAW MOTION TO COMPEL
Defendant, Yancey's Food Service Corporation, by and through its attorneys, Bruce Anderson and Stettner, Miller and Cohn, P.C., moves to withdraw the Motion to Compel previously filed and in support of its Motion, states: 1. Defendant and Plaintiff have resolved the issues
raised in Defendant's Motion to Compel. 2. Defendant has agreed to withdraw its Motion to Compel
with each party to be responsible for its own attorney fees and costs. WHEREFORE, Defendant, Yancey's Food Service Corporation, moves to withdraw its Motion to Compel. DATED July 27, 2005
Case 1:04-cv-00931-LTB-MJW
Document 44
Filed 07/27/2005
Page 2 of 2
Respectfully submitted, Stettner, Miller and Cohn, P.C.
s/Bruce Anderson Bruce Anderson 1050 17th Street Suite 700 Denver, Colorado 80265-2008 303.534.0273 303.534.5036(facsimile) e-mail: [email protected] CERTIFICATE OF SERVICE I certify that on July 27, 2005, I electronically filed the foregoing MOTION TO WITHDRAW MOTION TO COMPEL with the Clerk of Court using the CM/ECF system which will send notification of such filing to the following e-mail addresses: [email protected] s/Judy Romano Judy Romano Stettner, Miller and Cohn, P.C. 1050 Seventeenth Street Suite 700 Denver, Colorado 80265-2008 303.534.0273 303.534.5036(facsimile) e-mail: [email protected]
H:\BRUCE\YANCEY\STANTON\PLDS\motion to withdraw 1.doc