Case 2:12-cv-08333-ODW-JC Document 166 Filed 05/21/13 Page1of4 Page ID #:3236 any aD 20 Brett L. Gibbs, Esq. (SBN 251000) 38 Miller Avenue, #263 Mill Valley, CA 94941 415-381-3104 _ brett.gibbs@gmail.com Withdrawing Attorney for Plaintiff IN THE UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT OF CALIFORNIA INGENUITY 13 LLC, No. 2:12-cv-08333-ODW(JCx) Plaintiff, MOTION FOR WITHDRAWAL V. OF COUNSEL; PROPOSED ORDER JOHN DOE, Defendant. MOTION FOR WITHDRAWAL Brett L. Gibbs, counsel for Plaintiff Ingenuity13 LLC (“Plaintiff”), hereby moves the Court for an order permitting him to withdraw as counsel of record for Plaintiff in this action. As grounds for this motion, I, Brett L. Gibbs, declare as follows: 1. I, Brett L. Gibbs, have been counsel for Plaintiff in this action. This case was closed in late January of 2013. Ze On May 21, 2013, the Cour made the following request to me: “Finally, as a housekeeping matter, the Court requests Brett Gibbs to file requests for withdrawal of attorney in this and the related cases. Brett Gibbs Case 2:12-cv-08333-ODW-JC Document 166 Filed 05/21/13 Page 2 of 4 Page ID #:3237 Ww dN Nn WwW - a a appears to have withdrawn from these cases. (OSC Hr’g Tr. 87-18, Mar. 11, 2013 (‘Iam no longer employed by Prenda or any other corporation or LLC that is involved in these cases.’).) Given the circumstances and the relationship between Gibbs and his clients, the Court will approve his request for withdrawal.” (Doc. #164). The Court is correct. I am no longer employed by Prenda Law, Inc. or any other corporation or LLC that is involved in these types of cases. A copy of above-referenced order, and notice of my withdrawal, was sent to Mark Lutz, who is purportedly the CEO of Plaintiff's company. I wish to withdraw as counsel for Plaintiff for all of the reasons above. I pray that the Court understands my reasoning for this request, and grants it. I declare under penalty of perjury that the foregoing is true and correct based on my own personal knowledge, except for those matters stated on information and belief, and those matters I believe to be true. If called upon to testify, I can and will competently testify as set forth above. 2 MOTION FOR WITHDRAWAL AS COUNSEL; PROPOSED ORDER Case 2:12-cv-08333-ODW-JC Document 166 Filed 05/21/13 Page 3of4 Page ID #:3238 l WHEREFORE, Brett L. Gibbs’ respectfully requests that the Court grant his 2 Motion for Withdrawal. 3 4 || DATED: May 21, 2013. Nn Respectfully Submitted, 9 |I By: /s/_ Brett L. Gibbs, Esq. Brett L. Gibbs, Esq. (SBN 251000) 11 38 Miller Avenue, #263 Mill Valley, CA 94941 12 Brett.gibbs@gmail.com Tel: 415-381-3104 Withdrawing Attorney for Plaintiff [PROPOSED] ORDER IT ISSO ORDERED. OTIS D. WRIGHT, I 20 UNITED STATES DISTRICT JUDGE 3 MOTION FOR WITHDRAWAL AS COUNSEL; PROPOSED ORDER Case 2:12-cv-08333-ODW-JC Document 166 Filed 05/21/13 Page 4of4 Page ID #:3239 Ww dN Nn CERTIFICATE OF SERVICE The undersigned hereby certify that on May 21, 2013, all individuals of record who are deemed to have consented to electronic service are being served a true and correct copy of the foregoing document, and all attachments and related documents, using the Court’s ECF system. /s/_ Brett L. Gibbs Brett L. Gibbs, Esq. 4 MOTION FOR WITHDRAWAL AS COUNSEL; PROPOSED ORDER