Opinion
3:21-cv-00238-HDM-CSD
07-24-2023
LYNN THOMPSON, Plaintiff, v. TESLA MOTORS, INC; ONQGLOBAL. INC.; DOES 1-15, Defendants.
LYNN THOMPSON KATHLEEN BLISS, ESQ. KATHLEEN BLISS LAW PLLC ATTORNEY FOR LYNN THOMPSON 3. I CONSENT TO THIS SUBSTITUTION: IS/S MILAN CHATTERJEE...... DATED: 07/21/2023, MILAN CHATTERJEE MILAN CHATTERJEE, ESQ. NEVADA BAR NO. 15159 MILAN'S LEGAL ATTORNEY FOR LYNN THOMPSON
LYNN THOMPSON
KATHLEEN BLISS, ESQ.
KATHLEEN BLISS LAW PLLC
ATTORNEY FOR LYNN THOMPSON
3. I CONSENT TO THIS SUBSTITUTION:
IS/S MILAN CHATTERJEE...... DATED: 07/21/2023, MILAN CHATTERJEE
MILAN CHATTERJEE, ESQ.
NEVADA BAR NO. 15159
MILAN'S LEGAL
ATTORNEY FOR LYNN THOMPSON
PLAINTIFF'S SUBSTITUTION OF ATTORNEYS
Plaintiff Lynn Thompson hereby notifies the Court and all interested parties that he has retained Milan Chatterjee and Kathleen Bliss to represent him in all matters related to this ease. Mr. Chatterjee and Ms. Bliss are hereby substituted for prior counsel, R. Samuel Ehlers, currently of the law firm of Aldridge-Phe, LLP, and formerly of Watkins and Letoftky, LLP, whose represemation terminated in 202 L AO court filings, papers and correspondence of any kind related to this ease shall forthwith be directed to the attention of Mr, Chatterjee and Ms. Bliss.
Upon the consent of Plaintiff and counsel, SUBSTITUTION IS HEREBY ORDERED: