Opinion
2:21-cv-01680-CDS-DJA
08-17-2023
Honesto De La Cruz, et al., Plaintiffs v. ASNY NY, LLC, et al., Defendants
Jorge L. Alvarez, Esq. Attorney for Plaintiffs Shelby A. Dahl, Esq. Jeffrey R. Hall, Esq. (9572) Shelby A. Dahl, Esq. (13856) HUTCHISON & STEFFEN, PLLC Attorneys for Defendants
Jorge L. Alvarez, Esq. Attorney for Plaintiffs
Shelby A. Dahl, Esq. Jeffrey R. Hall, Esq. (9572) Shelby A. Dahl, Esq. (13856) HUTCHISON & STEFFEN, PLLC Attorneys for Defendants
STIPULATION AND ORDER ALLOWING MR. ALVAREZ TO WITHDRAW
Cristinh D. Silva United States District Judge
Plaintiffs' counsel, Jorge L. Alvarez, Esq., and Defendants by and through their- respective attorneys of record, hereby enter into the following Stipulation and Order:
RECITALS
1. The undersigned, Jorge L. Alvarez, Esq left the Albright Stoddard firm on February 20, 2023.
2. While he was still employed by Albright Stoddard, Mr. Alvarez filed a motion to withdraw on behalf of himself and the Albright Stoddard firm (ECF No. 87), which was denied without prejudice. ECF No. 95.
3. Since then, Mr. Alvarez moved to San Antonio, Texas and became employed as an independent contractor for the DeSouza Injury Firm.
4. Mr. Alvarez no longer practices law in Nevada and has been residing in Texas since February 22, 2023.
5. Mr. Alvarez never personally entered into any contract(s) with the Plaintiffs to represent them in this case. His involvement in this case was merely as an employee of the Albright Stoddard firm.
6. The Court granted Albright Stoddard's motion to withdraw on August 10, 2023. ECF No. 95. However, the Court ordered Mr. Alvarez to file a separate stipulation to allow him to withdraw from the case. Id. The Court also noted that said stipulation would be processed expeditiously.
STIPULATION
7. Based thereon, Defendants hereby stipulate and agree to allow Mr. Alvarez to withdraw from this case
ORDER
IT IS SO ORDERED.