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  • BARCLAYS BANK DELAWARE vs. BRISKE, CHESTER S Matter Involving Claims more than $8000 but less than $15,000 document preview
  • BARCLAYS BANK DELAWARE vs. BRISKE, CHESTER S Matter Involving Claims more than $8000 but less than $15,000 document preview
  • BARCLAYS BANK DELAWARE vs. BRISKE, CHESTER S Matter Involving Claims more than $8000 but less than $15,000 document preview
  • BARCLAYS BANK DELAWARE vs. BRISKE, CHESTER S Matter Involving Claims more than $8000 but less than $15,000 document preview
						
                                

Preview

Filing # 97194292 E-Filed 10/14/2019 07:04:52 AM IN THE COUNTY COURT OF THE NINETEENTH JUDICIAL CIRCUIT, IN AND FOR INDIAN RIVER COUNTY, FLORIDA BARCLAYS BANK DELAWARE, CASE NO: 31-2019-CC-000506 Plaintiff, v. CHESTER S BRISKE, Defendant. MOTION TO WITHDRAW AS ATTORNEY OF RECORD FOR DEFENDANT COMES NOW, Andrew C. Steele, Attorney of Record for Defendant, and moves this Honorable Court for entry of an Order authorizing the undersigned counsel to Withdraw as Attorney of Record for Defendant, and as good grounds states: 1 Defendant has requested to no longer be represented by counsel. 2. Defendant has demonstrated ample capacity to either represent his interests in this cause or has the capability to pursue and retain new legal counsel should he choose to do so. 3 Undersigned has communicated with Opposing Counsel and Opposing Counsel has no objection to this Motion to Withdraw and to the undersigned release from representation. 4 Defendant’s last known contact information is: Name: CHESTER S BRISKE Address: 1195 54th Avenue, Vero Beach, FL 32966 E-mail: chesterbriske1956@gmail.com Phone: (772) 215-5317 WHEREFORE, the undersigned respectfully requests the Court grant the following relief: A Enter an Order allowing the undersigned to withdraw as attorney of record for Defendant and henceforth discharge the undersigned from any further legal representation and responsibilities related to Defendant in the above-captioned cause; and B Order that all further pleadings and correspondence related to the above-captioned cause be sep directly to Defendant’s last known addresses as stated above. No Obj Requested by: wl\ ZA /s/ Andrew C. Steele JASON RAGUTSKY FBN 0757551 ANDREW C. STEELE, ESQ. FBN 017475 DANA M. STERN, ESQ. FBN 0037092 ~ Attorney for Defendant Attorney for Plaintiff ANDREW C. STEELE, P.L. and Of Counsel Eservice address: EService(@HaytFla.co Attorney for GITMEID & Assoc., PLLC 7765 SW 87 Avenue, Ste 101, Miami, FL 33173 Eservice address: ASteel: ndre’ cLaw.com: 305.661.6660 Florid: tion@ llaw.com 1625 S. Washington ‘Ave, Suit fe D, Ti itusville, FL. 32780 321.269.2882 Date: October 11, 2019 Date: October 11, 2019 -lof2- Motion to Withdraw CERTIFICATE OF SERVICE I HEREBY CERTIFY that on October 11, 2019, a true and correct copy of the foregoing has been furnished to all parties listed in the Florida Courts E-Filing Portal, and to Defendant at the email address stated above. By: /s/ Andrew C. Steele ANDREW C. STEELE FBN: 017475 Eservice: ASteele@AndrewSteeleLaw.com: Florida.Litigation@gitmeidlaw.com Regular email: ASteele@AndrewSteeleLaw.com; Nadia@AndrewSteeleLaw.com -2o0f2- Motion to Withdraw