San Francisco Technology, Inc. v. Aero Products International, Inc et al
Filing
390
AMENDED ORDER GRANTING MOTION TO WITHDRAW. Signed by Judge Jeremy Fogel on December 3, 2010.
San Francisco Technology, Inc. v. Aero Products International, Inc et al
Doc. 390
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Terence J. O'Hara SBN 144235 BUSTAMANTE O'HARA GAGLIASSO 333 W. San Carlos Street, 8th Floor San Jose, California 95110 Telephone: (408) 977-1911 Facsimile: (408) 977-0746 Attorneys for Defendant, VITAMIN POWER, INC.
UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN JOSE DIVISION SAN FRANCISCO TECHNOLOGY, INC., ) ) ) ) ) ) ) ) ) ) ) ) ) ) Case No.: CV 10-02994-HRL ------------------- [AMENDED] ORDER [PROPOSED] GRANTING MOTION TO WITHDRAW BY TERENCE J. O'HARA, ESQ. OF BUSTAMANTE O'HARA GAGLIASSO AS COUNSEL FOR DEFENDANT VITAMIN POWER, INC. Date: Time: Dept.: Judge: December 3, 2010 9:00am 3, 5th Floor Honorable Jeremy Fogel
12 Plaintiff, 13 vs. 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 AERO PRODUCTS INTERNATIONAL, INC., et al. Defendants.
THIS MATTER came before the Court upon the Motion to Withdraw by Terence J. O'Hara, Esq. and the law offices of Bustamante O'Hara Gagliasso as counsel for Defendant Vitamin Power, Inc. and after considering the Motion to Withdraw, including the conditional opposition filed by Plaintiff, and otherwise being duly advised in the premises and for good cause shown, IT IS HEREBY ORDERED that 1. 2. The Motion to Withdraw if GRANTED. Terence J. O'Hara, Esq., and the law firm of Bustamante O'Hara Gagliasso, are hereby
withdrawn as counsel of record for Defendant Vitamin Power, Inc. 3. Terence J. O'Hara, Esq., and the law firm of Bustamante O'Hara Gagliasso, are hereby
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relieved of any and all further obligations on behalf of Defendant Vitamin Power, Inc. in this action. --------------- [AMENDED] ORDER GRANTING MOTION TO WITHDRAW BY TERENCE J. O'HARA, ESQ. OF [PROPOSED]
BUSTAMANTE O'HARA GAGLIASSO AS COUNSEL FOR DEFENDANT VITAMIN POWER, INC.
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4.
Defendant Vitamin Power, Inc. is hereby granted thirty (30) days to retain successor
counsel before any additional pretrial deadlines or judgments are imposed upon them. 5. All future pleadings, motions, discovery, and any and all other communications
concerning this matter shall be deemed served on the defendant as follows: David Friedlander Vitamin Power, Inc. 39 St. Mary's Place Freeport Industrial Park Freeport, NY 11520 E-mail: david@vitaminpower.com 6. Mr. Friedlander is authorized to receive service of documents related to discovery on
behalf of Vitamin Power, Inc. in this case until such time a successor counsel enters an appearance. DONE and ORDERED in Chambers at San Jose, California this 3rd day of December, 2010. _ Jeremy Fogel UNITED STATES DISTRICT JUDGE
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[PROPOSED] [AMENDED] ORDER GRANTING MOTION TO WITHDRAW BY TERENCE J. O'HARA, ESQ. OF --------------BUSTAMANTE O'HARA GAGLIASSO AS COUNSEL FOR DEFENDANT VITAMIN POWER, INC.
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