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  • ROQUE LARIOS, JR. VS COUNTY OF LOS ANGELES, ET AL Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • ROQUE LARIOS, JR. VS COUNTY OF LOS ANGELES, ET AL Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
						
                                

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e - ATTORNEY OR PARTY WITHOUT ATTORNEY (Nome, stale bar number, and adress) Reseectrart® Ilo XSUFFU | FOR COURT USE ONLY. MC-052 MICHAEL H. SILVERS, ESQ. SBN 64609 }~ MICHABL H. SILVERS, A LAW CORP SUPERIQ neg 11500 WEST OLYMPIC BIVD., SUITE 322 nore Avi ALU ¥ oO1 FLOSA! GE CA 90064 SEP Oy 2016 iOS ANGELES, TeterHoneno: 310-551-0551 raxno: 310-445-9623 ATTORNEY FOR (fame): Plaintiff ROQUE LARIOS, JR. NAME OF COURT: Superior Court, County of Los Angeles HEEL. Cte realve Guuscery Clerk ‘STREET ADDRESS: 42011 4th St. We By, MAILING ADDRESS: P.O. Box 958 reORae Deputy CITY AND ZIP CODE: Lancaster, CA 93534 BRANCH NAME: 7 #3 CASENAME: Larios v. County of LA, et al. ‘CASE NUMBER: MCO26319 HeaRINGDaTE. October 25, 2016 DECLARATION IN SUPPORT OF ATTORNEY’ oept: A-11 ume. 8:30 A.m. BEFOREHON: HON, RANDOLPH A. ROGERS MOTION TO BE RELIEVED AS COUNSEL—CIVIL DATE ACTION FILED: May 18, 2016 ‘TRIAL DATE: July 21, 2017 Attorney and Represented Party. Attorney (name): MICHAEL H, SILVERS, ESQ. SBN 64609 is presently counsel of record for (name of party): Plaintiff ROQUE LARIOS, JR. in the above-captioned action or proceeding. Reasons for Metion, Attorney makes this motion to be relieved as counsel under Code of Civil Procedure section 284(2) instead of filing a consent under section 284(1) for the following reasons (describe): There has been a serious breakdown in communication between client and attorney. Conflicts and irreconcilable differences have arisen between the attorney and the client that makes it impossible for Michael H. Silvers ALC to continue to represent client. There are several instances of irreconcilable differences, but it would be a violation of attorney-client privilege, and/or potentially prejudicial to Plaintiff's case if disclosed in this declaration. A further disclosure of the details of the conflicts and irreconcilable differences can be made in privacy, iff the Court so requests. C_] Continued on Attachment 2. Service a. Attorney has (1) [X’] personally served the client with copies of the motion papers filed with this declaration. A copy of the proof of service will be filed with the court at least 5 days before the hearing. (2) [1 served the client by mail at the client's last known address with copies of the mation papers served with this declaration b. Ifthe client has been served by mail at the client's last known address, atlorney has (1) (—_} confirmed within the past 30 days that the address is current (a) (__] by mail, return receipt requested, {b) [_] by telephone. (c} {_] by conversation. (d) (_] by other means (specify): a le (Continues on reverse) Page i of2 Form Adopled for Mandalory Use DECLARATION IN SUPPORT OF ATTORNEY'S Code of Civil Procedura, § 264; Judicial Council of California Ss Gal. Rules of Cour, m'e 3,496 MC.052 [Rav, January 5, 2007] MOTION TO BE RELIEVED AS COUNSEL—CIVIL Us.