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  • ANDERSON, CHARLES A 3 vs. NICHOLLS, KENNETH ELTON AUTO NEGLIGENCE document preview
  • ANDERSON, CHARLES A 3 vs. NICHOLLS, KENNETH ELTON AUTO NEGLIGENCE document preview
  • ANDERSON, CHARLES A 3 vs. NICHOLLS, KENNETH ELTON AUTO NEGLIGENCE document preview
  • ANDERSON, CHARLES A 3 vs. NICHOLLS, KENNETH ELTON AUTO NEGLIGENCE document preview
						
                                

Preview

Filing # 198154655 E-Filed 05/13/2024 11:30:54 AM IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT IN AND FOR OSCEOLA COUNTY, FLORIDA CIVIL DIVISION CHARLES A. ANDERSON, III, Plaintiff, CASE NO.: 2021-CA-3164-AN vs. DIVISION: 20 THE ESTATE OF KENNETH ELTON NICHOLLS, SCI SHARED RESOURCES, LLC. a Foreign Corporation, and S. E. CEMETERIES OF FLORIDA, LLC a Florida Limited Liability Company d/b/a GLEN HAVEN MEMORIAL PARK, Defendants. / AMENDED MOTION TO WITHDRAW COMES NOW, the undersigned attorney, WALTER L. GRANTHAM, JR., ESQ., and moves this Honorable court to allow the Law Offices of Darrigo & Diaz, P.A. to withdraw from representation of the Plaintiff, CHARLES A. ANDERSON, III, and as good grounds would show the following; 1. This is a cause of action stemming from an accident that occurred on or about January 30, 2019. 2. The Plaintiff was the passenger in a vehicle driven by Heather Grant. They are not married. 3. Heather Granth was also injured in the instant accident and has filed her own cause of action for her injuries. Case No.: 2022-CA-1762-AN, Circuit Court, Osceola County, FL. The undersigned attorney, as well as the Law Offices of Darrigo & Diaz, P.A. are also representing Heather Grant. 4. Since the filing of the instant action, and Heather Grant’s action, a conflict of interest has arisen between the two Plaintiffs. 5. In addition to the conflict that has now arisen, irreconcilable differences have arisen between the undersigned, and Plaintiff, CHARLES A. ANDERSON, III. 6. As a result of the conflict and irreconcilable differences, the undersigned is unable to ethically continue to represent the Plaintiff in the instant action. WHEREFORE, counsel respectfully requests that this Honorable Court allow Walter L. Grantham, Jr., of the Law Offices of Darrigo & Diaz, P.A., to withdraw from the instant case in all matters regarding the above-styled case. CERTIFICATE OF SERVICE WE HEREBY CERTIFY that a true and correct copy of the foregoing has been Furnished to Matthew T. Gomes, Esq., 3350 Virginia Street, Suite 500, Miami, FL 33133, Charles Anderson, 1581 Edgehill Ave., SE, Warren, OH 44484, mkromer53@yahoo.com on May 13, 2024. Respectfully Submitted, DARRIGO & DIAZ, P.A. ________________________________ WALTER L. GRANTHAM, JR., ESQ. Florida Bar No. 0705322 4504 North Armenia Avenue Tampa, Florida 33603 (813) 877-5548 (813) 877-8829 (fax) mail@ddlawtampa.com Attorney for Plaintiff MAIN OFFICE TAMPA: 4504 NORTH ARMENIA AVE. TAMPA, FLORIDA 33603 TELEPHONE (813) 877-5548 • FAX (813) 877-8829