On May 27, 2021 a
NOTICE OF INTENTION TO ARGUE OR PRESENT TESTIMONY PB 11-18(a)(2)
was filed
involving a dispute between
Ironhorse Auto, Llc, D B A Central Hyundai,
and
Brent Mattson,
for T90 - Torts - All other
in the District Court of Windham County.
Preview
DOCKET NO.: WWM-CV21-6022016-S SUPERIOR COURT
IRONHORSE AUTO, LLC d/b/a J.D, OF WINDHAM
CENTRAL HYUNDAI
VS. AT PUTNAM
BRENT MATTSON JANUARY 4, 2024
SECTION 11-18 NOTICE (REQUEST FOR ORAL ARGUMENT)
In accordance with Section 11-18 of the Practice Book, the Plaintiff, Ironhorse Auto,
LLC d/b/a Central Hyundai, respectfully gives notice that it seeks oral argument on Defendant
Brent Mattson’s Motion for Attorneys’ Fees dated December 21, 2024 [Entry No.: 164], which is
currently on Short Calendar No. 10, Position No. 007 for January 8, 2024.
In order to aid in judicial economy, the Plaintiff, Ironhorse Auto, LLC d/b/a Central
Hyundai, respectfully requests oral argument on the above-referenced motion.
THE PLAINTIFF -
IRONHORSE AUTO, LLC d/b/a
CENTRAL HYUNDAI
By 103001
John M. Wolfson
FEINER WOLFSON LLC
1 Constitution Plaza — Ste 900
Hartford, CT 06103
Juris No. 415049
Tel. (860) 713-8900
jwolfson@feinerwolfson.com
CERTIFICATION
This is to certify, in accordance with the provisions of Practice Book Section 4-4 and the
procedure established by the Office of the Chief Court Administrator, the undersigned hereby
certifies that the foregoing Request for Oral Argument is a true copy of the document that was
electronically filed with the clerk’s office and mailed, postage prepaid, on this 4th day of
January, 2024, to the following:
William J. O’Sullivan, Esq.
O’SULLIVAN McCORMACK JENSEN & BLISS, PC
180 Glastonbury Boulevard, Suite 210
Glastonbury, CT 06033
Phone: (860) 258-1993
Fax: (860) 258-1991
wosullivan@omjblaw.com (Via Email)
103001
John M. Wolfson
Document Filed Date
January 04, 2024
Case Filing Date
May 27, 2021
Category
T90 - Torts - All other
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