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  • Darren J Hill, Sr. Plaintiff vs. Cleveland Clinic Weston Hospital Nonprofit Corporation Defendant 3 document preview
  • Darren J Hill, Sr. Plaintiff vs. Cleveland Clinic Weston Hospital Nonprofit Corporation Defendant 3 document preview
  • Darren J Hill, Sr. Plaintiff vs. Cleveland Clinic Weston Hospital Nonprofit Corporation Defendant 3 document preview
  • Darren J Hill, Sr. Plaintiff vs. Cleveland Clinic Weston Hospital Nonprofit Corporation Defendant 3 document preview
						
                                

Preview

Filing# 160686436 E-Filed 1 1/04/2022 04:26:19 PM IN THE CIRCUIT COURT OF THE 17TH JUDICIAL CIRCUIT, IN AND FOR BROWARD COUNTY, FLORIDA DARREN J. HILL, SR., GENERAL JURISDICTION DIVISION Plaintiff, File No.: CACE 21008882 Division: 18 VS. CLEVELAND CLINIC WESTON HOSPITAL, Non-profit Corporation, a Florida Corporation, Defendant. I MOTION TO WITHDRAW AS COUNSEL COMES NOW, the attorney, VINCENT T. BROWN, and respectfullyalleges: 1. The undersigned attorney requests this court to enter an order allowing him to withdraw as counsel for the Plaintiff, DARREN J. HILL, SR. 2. As grounds therefore,the undersigned attorney states that irreconcilable differences DARREN have emerged between himself and the Plaintiff, J. HILL, SR. 3. This issue precludesthe undersigned attorney from effectively continuingwith the of our representation client in any other further proceeding in this case. VINCENT T. BROWN, WHEREFORE, petitioner, requests that the ESQ., respectfully DARREN Court enter an Order grantingleave to withdraw as counsel of record for the Plaintiff, J. HILL, SR., herein and directingthat VINCENT T. BROWN, ESQ., shall have no further in responsibility this cause and directing that all pleadings,correspondence or orders of Court be directed to the Personal Representativeat the followingaddresses: Mr. Darren J. Hill, Sr., 18541 NW 43rd Avenue, Miami Gardens, Florida 33055, Telephone No.: (786)287-2237, or via email: PastorDHi1130@gmail.com. page l of 2 *** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 11/04/2022 04:26:19 PM.**** IN RE: ESTATE OF WILLIE LEE STRANGE, SR. MIAMI-DADE COURT CASE NO.: 20-4277 CP 04 Motion to Withdraw as Counsel th Signed on this 4? day ofNovember, 2022. /s/ Vincent T. Brown, Esq. VINCENT T. BROWN, ESQ. Florida Bar No.. 956279 The Brown Law Group, LLC Attorney for Petitioner 847 NW1 19th Street,Suite 202 North Miami, Florida 33168 Telephone: (305) 688-7500 Facsimile: (305) 688-7501 Email: Eservice: eservice@thebrownlawgroup.net CERTIFICATE OF SERVICE I HEREBY CERTIFY that a copy ofthe foregoingMOTION TO WITHDRAW AS COUNSEL, consistingoftwo pages, this being numbered Page 2 of 3, was electronically filed with the Broward County Clerk of the Courts using Florida Courts e-FilingPortal. I also certify that the foregoing document is being served this day on all counsel and partiesof record via transmission ofNotices of Electronic Filinggeneratedby the Florida Courts e-FilingPortal or in some other authorized manner for those counsel and parties who are not authorized to receive electronicallyfiled Notices of Electronic Filing,and was delivered via U. S. Certified Mail and via first class U.S. Mail with sufficient postage affixed to Darren J. Hill,Sr., 18541 NW 43rd Avenue, Miami Gardens, Florida th 33055 and via email at pastordhi1130@gmail.com on this 4? day ofNovember, 2022. /s/ Vincent T. Brown, Esq. VINCENT T. BROWN, ESQ. Florida Bar No.. 956279 The Brown Law Group, LLC Attorney for Petitioner 847 NW1 19th Street,Suite 202 North Miami, Florida 33168 Telephone: (305) 688-7500 Facsimile: (305) 688-7501 Email: Eservice: eservice@thebrownlawgroup.net page 2 of 2