On March 18, 2019 a
Motion,Ex Parte
was filed
involving a dispute between
Gonzalez, Amabelly,
Rodriguez, Alexis,
and
Sanchez, Cesar Humberto,
for Contract - Consumer/Commercial/Debt (OCA)
in the District Court of Hidalgo County.
Preview
Electronically Filed
3/25/2024 4:48 PM
Hidalgo County District Clerks
Reviewed By: Denise Garcia
CAUSE NO. C-1266-19-C
ALEXIS RODRIQUEZ AND AMABELLY § IN THE DISTRICT COURT
GONZALEZ §
§
VS. § 139 JUDICIAL DISTRICT
§
CESAR HUMBERTO SANCHEZ, §
INDIVIDUALLY AND D/B/A SANCHEZ §
BUILD § OF HIDALGO COUNTY, TEXAS
MOTION FOR LEAVE TO WITHDRAW AS COUNSEL
Edward P. Sanchez, Movant herein, files this Motion for Leave to Withdraw as
Counsel and respectfully shows the Court as follows:
1. Movant requests leave of Court to withdraw as attorney of record for Cesar
Humberto Sanchez, Individually and D/B/A Sanchez Build in this cause.
2. As provided in Rule 10, Texas Rules of Civil Procedure, Movant states the
following facts which establish good cause for this request:
a. Continued representation of Cesar Humberto Sanchez, Individually and
D/B/A Sanchez Build will result in an unreasonable financial burden on the
Movant or has been rendered unreasonably difficult by the Cesar Humberto
Sanchez, Individually and D/B/A Sanchez Build.
b. Cesar Humberto Sanchez, Individually and D/B/A Sanchez Build has failed to
stay in contact and has failed to provide Movant with agreed upon information.
3. A copy of this Motion has been delivered to Cesar Humberto Sanchez,
Individually and D/B/A Sanchez Build.
4. Cesar Humberto Sanchez, Individually and D/B/A Sanchez Build has been
notified in writing of the right to object to this Motion.
5. The last known address for Cesar Humberto Sanchez, Individually and D/B/A
Sanchez Build is: 2509 Girasol St., Mission, Texas 78572.
6. Cesar Humberto Sanchez, Individually and D/B/A Sanchez Build does not agree
to this Motion.
Page 1 of 2
Electronically Filed
3/25/2024 4:48 PM
Hidalgo County District Clerks
Reviewed By: Denise Garcia
7. The following are all of the pending settings and deadlines in this cause: NONE
8. This Motion is not filed for delay only.
PRAYER: Movant prays that the Court grant this Motion and grant Edward P.
Sanchez leave to withdraw as attorney of record in this cause. Movant further requests
such other and further relief as may be determined by the Court to be appropriate.
Respectfully submitted,
Barrera, Sanchez & Associates, PC
10113 N 10th Street, Suite A
McAllen, TX 78504
/s/ Edward P. Sanchez
Edward P. Sanchez
Attorney for Cesar Humberto Sanchez,
Individually and D/B/A Sanchez Build
Bar No: 00791598
Office Phone: (956) 287-7555
Fax: (956) 287-7711
Email: edward@bsmlawyers.com
Certificate of Service
I certify that a true copy of this document was served in accordance with Rule 21a of
the Texas Rules of Civil Procedure on the following on March 25, 2024.
/s/ Edward P. Sanchez
Edward P. Sanchez
Attorney for Cesar Humberto Sanchez,
Individually and D/B/A Sanchez Build
Page 2 of 2
Automated Certificate of eService
This automated certificate of service was created by the efiling system.
The filer served this document via email generated by the efiling system
on the date and to the persons listed below. The rules governing
certificates of service have not changed. Filers must still provide a
certificate of service that complies with all applicable rules.
Ana Marmolejo on behalf of Edward Sanchez
Bar No. 00791598
alice@bsmlawyers.com
Envelope ID: 85940217
Filing Code Description: Motion (No Fee)
Filing Description: Motion to Withdraw
Status as of 3/26/2024 8:11 AM CST
Case Contacts
Name BarNumber Email TimestampSubmitted Status
TIM DAVIS TIMM@TDAVISLAWPC.COM 3/25/2024 4:48:50 PM SENT
Edward Sanchez edward@bsmlawyers.com 3/25/2024 4:48:50 PM SENT
Document Filed Date
March 25, 2024
Case Filing Date
March 18, 2019
Category
Contract - Consumer/Commercial/Debt (OCA)
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