Uniloc USA, Inc. et al v. NATIONAL INSTRUMENTS CORP. et al
Filing
171
Unopposed MOTION to Substitute Attorney by Uniloc Singapore Private Limited, Uniloc USA, Inc.. (Attachments: # 1 Text of Proposed Order)(Nelson, Edward)
UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF TEXAS
TYLER DIVISION
UNILOC USA, INC., et al.
Plaintiffs,
Civ. Action No.: 6:10-cv-00472
NATIONAL INSTRUMENTS CORP., et al.
JURY TRIAL DEMANDED
v.
Defendants.
PLAINTIFFS’ UNOPPOSED MOTION TO
WITHDRAW AND SUBSTITUTE COUNSEL
Plaintiffs Uniloc USA, Inc. and Uniloc Singapore Private Limited (“Uniloc”) request that
their counsel of record, Paul J. Hayes and Dean G. Bostock of Hayes, Bostock & Cronin, LLC,
300 Brickstone Square, 9th Flr., Andover, MA 01810, be allowed to withdraw as counsel for
Uniloc in the above-captioned case and that Edward R. Nelson, III, Barry J. Bumgardner, and
Steven W. Hartsell of Nelson Bumgardner Casto, P.C., 3131 West 7th Street, Suite 300, Fort
Worth, Texas 76107, be substituted as counsel in their place.
Mr. Nelson shall assume
responsibly as lead counsel in this matter.
Mr. Hayes and Mr. Bostock also request that they be removed from the electronic service
list.
T. John Ward, Jr. and J. Wesley Hill of Ward & Smith Law Firm, 111 West Tyler St.,
Longview, Texas 75601, will continue to serve as counsel of record.
This substitution of counsel has been agreed to by all parties and is not sought for
purposes of delay.
WHEREFORE, PREMISES CONSIDERED, Uniloc respectfully requests that the Court
grant this Unopposed Motion to Withdraw and Substitute Counsel.
Dated: July 5, 2011.
Respectfully Submitted,
/s/ Dean G. Bostock (w/ permission)
Paul J. Hayes
Dean G. Bostock
HAYES, BOSTOCK & CRONIN, LLC
300 Brickstone Square, 9th Flr.
Andover, MA 01810
Tel: (978) 809-3850
Fax: (978) 809-3869
phayes@hbcllc.com
dbostock@hbcllc.com
/s/ Edward R. Nelson, III
Edward R. Nelson, III
Texas State Bar No. 00797142
Barry J. Bumgardner
Texas State Bar No. 24041918
Steven W. Hartsell
Texas State Bar No. 24040199
NELSON BUMGARDNER CASTO, P.C.
3131 West 7th Street, Suite 300
Fort Worth, Texas 76107
(817) 377-9111
(817) 377-3485 (fax)
enelson@nbclaw.net
barry@nbclaw.net
shartsell@nbclaw.net
T. John Ward, Jr.
Texas State Bar No. 00794818
J. Wesley Hill
Texas State Bar No. 24032294
WARD & SMITH LAW FIRM
111 West Tyler St.
Longview, Texas 75601
Tel: (903) 757-6400
Fax: (903) 757-2323
jw@wsfirm.com
wh@wsfirm.com
2
Certificate of Conference
I hereby certify that I contacted counsel for defendants regarding this motion and that the
motion is unopposed.
/s/ Edward R. Nelson, III
Edward R. Nelson, III
Certificate of Service
The undersigned certifies that on July 5, 2011, the foregoing document was filed
electronically in compliance with Local Rule CV-5(a). As such, this motion was served on all
counsel who have consented to electronic service. Local Rule CV-5(a)(3)(A).
/s/ Edward R. Nelson, III
Edward R. Nelson, III
3
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?