V. Quicken Loans, Inc.

Western District of Texas, txwd-5:2019-cv-00697

Unopposed MOTION to Withdraw as Attorney and Substitute Attorney by Quicken Loans, Inc.

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IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF TEXAS SAN ANTONIO DIVISION PABLO E. GAY and ANNA J. SUBIA § aka ANNA J. SUBIA-GAY, § § Plaintiffs, § § v. § Case No. 5:19-cv-00697-OLG § QUICKEN LOANS INC., § § Defendant. § § DEFENDANT QUICKEN LOANS INC.'S UNOPPOSED MOTION TO WITHDRAW AND SUBSTITUTE COUNSEL Defendant Quicken Loans Inc. ("Quicken Loans") requests that Robert L. Negrin of the law firm Aldridge Pite, LLP, 701 North Post Oak Road, Suite 205, Houston, Texas 77024, be allowed to withdraw as counsel of record for Quicken Loans in the above-captioned case, that Mr. Negrin be removed from the electronic service list in this case, and that Jacob Sparks of the law firm Spencer Fane LLP, 5700 Granite Parkway, Suite 650, Plano, Texas 75024, be substituted as lead counsel for Quicken Loans. Mr. Sparks has entered an appearance for Quicken Loans in this case. This plaintiffs are not opposed to the withdrawal and substitution of counsel, and the withdrawal and substitution is not sought for purposes of delay. WHEREFORE, PREMISES CONSIDERED, Quicken Loans respectfully requests that the Court grant this Unopposed Motion to Withdraw and Substitute Counsel, and for such other and further relief to which Quicken Loans may be justly entitled. Respectfully submitted, By: /s/ Jacob Sparks Jacob Sparks Texas Bar No. 24066126 SPENCER FANE LLP 5700 Granite Parkway, Suite 650 Plano, Texas 75024 Tel: (214) 750-3624 Fax: (214) 750-3612 Email: JSparks@SpencerFane.com Attorneys for Quicken Loans Inc. By: __________________________ Robert L. Negrin Texas Bar No. 14865550 ALDRIDGE PITE, LLP 701 N. Post Oak Road, Ste. 205 Houston, Texas 77024 (713) 293-3650 (phone) (858) 412-2798 (fax) rnegrin@aldridgepite.com Withdrawing Attorney CERTIFICATE OF CONFERENCE I certify that I conferred with plaintiffs' counsel before filing this Unopposed Motion to Withdraw and Substitute Counsel, and the plaintiffs are not opposed to the relief requested. By: /s/ Jacob Sparks Jacob Sparks Defendant Quicken Loans Inc.'s Unopposed Motion to Withdraw and Substitute Counsel Page 2 CERTIFICATE OF SERVICE I certify that on the ___th 13 day of August 2019, I electronically filed the foregoing with the Clerk of Court using the CM/ECF system which will send notification of such filing to the following: Robert Clarence Newark, III Newark Law Offices 1341 W. Mockingbird Lane Ste 600W Dallas, TX 75246 866-230-7236 Fax: 888-316-3398 Email: office@newarkfirm.com By: /s/ Jacob Sparks Jacob Sparks Defendant Quicken Loans Inc.'s Unopposed Motion to Withdraw and Substitute Counsel Page 3