These are the attorney appearance notices for the parties.
These are the notices of appearance for the attorneys involved for Spamhaus.
Spamhaus' current attorneys are:
IN THE UNITED STATES DISTRICT COURT
FOR THE NORTHERN DISTRICT OF ILLINOIS- EASTERN DIVISION
e360 INSIGHT, LLC, an Illinois Limited
Liability Company, and DAVID LINHARDT,
an Individual,
Plaintiff,
v.
THE SPAMHAUS PROJECT, a company
limited by guarantee and organized under the
laws of England, a/k/a THE SPAMHAUS
PROJECT, LTD.,
Defendant.
Case No.: 06-C-3958
Judge: Kocoras
NOTICE OF MOTION
TO: Joseph L. Kish, Esq.
SNERGY LAW GROUP, L.L.C.
730 W. Randolph, 6th Floor
Chicago, IL 60661
PLEASE TAKE NOTICE that on August 23, 2006, at 9:30 a.m., or as soon thereafter as
counsel may be heard, I shall appear before the Honorable Judge Kocoras, or any judge sitting in
her stead in Courtroom 2541 in the Dirksen Federal Building, 219 South Dearborn Street,
Chicago, Illinois, 60604, and shall then and there present Defendant’s Motion to Withdraw as
Counsel, a copy of which is attached hereto and herewith served upon you.
Respectfully submitted,
HINSHAW & CULBERTSON LLP
By: /s/Andrew B. Cripe
Andrew B. Cripe
Andrew B. Cripe
Evan D. Brown
Hinshaw & Culbertson LLP
222 N. LaSalle, Suite 300
Chicago, IL 60601 / Firm No.: 90384
CERTIFICATE OF SERVICE
I, being first duly sworn on oath, depose and state that I filed via electronic mail the
foregoing Notice to counsel noted above on August 21, 2006.
/s/ Andrew B. Cripe
Andrew B. Cripe
These are the notices of appearance for e360insight LLC, and David Linhardt.
Current attorneys are:
of the Synergy Law Group
NOTE: Kristen M. Lehner and Daniel J Peters have withdrawn as attorneys in this case.
This is a fairly routine motion. Basically, Kristen Lehner has moved on to greener pastures or something. So, since she's not an attorney with the Synergy Law Group anymore, she's moving to withdraw as an attorney in this case.
===========================================
IN THE UNITED STATES DISTRICT COURT FOR THE
NORTHERN DISTRICT OF ILLINOIS
EASTERN DIVISION
E360INSIGHT, LLC,
an Illinois Limited Liability Company, and
DAVID LINHARDT, an individual
Plaintiffs,
v.
THE SPAMHAUS PROJECT,
a company limited by guarantee and
organized under the laws of England, aka
THE SPAMHAUS PROJECT LTD,
Defendant.
MOTION TO WITHDRAW AS COUNSEL FOR PLAINTIFFS
NOW COMES Kristen M. Lehner (“Movant”) and for her Motion to Withdraw as Counsel for Plaintiffs states as follows:
1. Synergy Law Group, L.L.C. represents Plaintiffs in this case.
2. Movant, formerly an attorney with Synergy Law Group, L.L.C., filed her appearance on behalf of Plaintiffs on August 8, 2006.
3. Movant is no longer an attorney with Synergy Law Group, L.L.C.
4. Synergy Law Group, L.L.C. continues to represent Plaintiffs through Synergy Law Group, L.L.C.’s attorneys Bartly J. Loethen, Joseph L. Kish, and Daniel J. Peters.
5. Permitting Movant to withdraw as counsel for Plaintiffs will not jeopardize Plaintiffs’ case or otherwise negatively impact their legal representation in this case, nor will it result in any delay or other circumstances causing prejudice to any other party.
WHEREFORE, Kristen M. Lehner respectfully requests that she hereby be granted leave to withdraw her appearance on behalf of Plaintiffs E360Insight, LLC and David Linhardt.
Respectfully submitted,
E360Insight, LLC. and David Linhardt
By: /s/ Joseph L. Kish
On behalf of Kristen Lehner
Bartly J. Loethen
Joseph L. Kish
Daniel J. Peters
Synergy Law Group, L.L.C.
730 West Randolph, 6th Floor
Chicago, Illinois 60661
Telephone: (312) 454-0015
Facsimile: (312) 454-0261
CERTIFICATE OF SERVICE
The undersigned certifies that a copy of the foregoing Motion to Withdraw as Counsel for Plaintiffs was served upon the attorneys listed below electronically through CM/ECF on May 4, 2007.
Carrie A Fino cfino@jenner.com Stephen M Geissler sgeissler@jenner.com, Joseph L Kish jkish@synergylawgroup.com Daniel J. Peters dpeters@synergylawgroup.com Craig Christopher Martin cmartin@jenner.com, docketing@jenner.com Matthew M. Neumeier mneumeier@jenner.com
And I hereby certify that I have mailed by the United States Postal Service the document to the following non CM/ECF participants:
Bartly J. Loethen
Synergy Law Group, LLC
730 West Randolph, 6th Floor
Chicago, Illinois 60661
By: /s/ Joseph L. Kish
One of Their Attorneys
Bartly J. Loethen
Joseph L. Kish
Daniel J. Peters
Synergy Law Group, LLC
730 West Randolph, 6th Floor
Chicago, Illinois 60661
Telephone: (312) 454-0015
Facsimile: (312) 454-0261
06C3958 e360 Insight et al vs. The Spamhaus Project
Order Form (01/2005)
United States District Court, Northern District of Illinois
Name of Assigned Judge or Magistrate Judge if Other than Assigned Judge
Charles P. Kocoras Sitting Judge
CASE NUMBER 06 C 3958 DATE 5/10/2007
CASE TITLE e360 Insight et al vs. The Spamhaus Project
DOCKET ENTRY TEXT
Kristen Lehner’s motion [88] to withdraw as counsel for plaintiffs is granted. Hearing on said motion, set for 5/10/2007, is stricken.
Docketing to mail notices.
Courtroom Deputy
Initials:
SCT
IN THE UNITED STATES DISTRICT COURT FOR THE
NORTHERN DISTRICT OF ILLINOIS
EASTERN DIVISION
E360INSIGHT, LLC,
an Illinois Limited Liability Company, and
DAVID LINHARDT, an individual
Plaintiffs,
v.
THE SPAMHAUS PROJECT,
a company limited by guarantee and
organized under the laws of England, aka
THE SPAMHAUS PROJECT LTD,
Defendant.
MOTION TO WITHDRAW AS COUNSEL FOR PLAINTIFFS
NOW COMES Daniel J. Peters (“Movant”) and for his Uncontested Motion to Withdraw as Counsel for Plaintiffs states as follows:
1. Synergy Law Group, L.L.C. represents Plaintiffs in this case.
2. Movant filed his appearance on behalf of Plaintiffs on February 14, 2007.
3. Movant seeks to withdraw his appearance.
4. Synergy Law Group, L.L.C. continues to represent Plaintiffs through Synergy Law Group, L.L.C.’s attorneys Joseph L. Kish and Bartly J. Loethen.
5. Permitting Movant to withdraw as counsel for Plaintiffs will not jeopardize Plaintiffs’ case or otherwise negatively impact their legal representation in this case, nor will it result in any delay or other circumstances causing prejudice to any other party.
6. Counsel for Defendants indicated that they do not contest this Motion.
-2-
WHEREFORE, Daniel J. Peters respectfully requests that he hereby be granted leave to withdraw his appearance on behalf of Plaintiffs E360Insight, LLC and David Linhardt.
Respectfully submitted,
E360Insight, LLC. and David Linhardt
By: /s/ Daniel J. Peters
One of Their Attorneys
Bartly J. Loethen (6225484)
Joseph L. Kish (6197916)
Daniel J. Peters (6272859)
Synergy Law Group, LLC
730 West Randolph, 6th Floor
Chicago, Illinois 60661
Telephone: (312) 454-0015
Facsimile: (312) 454-0261