Case 1:98-cv-08272-RPP-JCF Document 845 Filed 10/03/12 Page 1 of 2 Case 1:98-cv-08272-RPP-JCF Document 841 Filed

09/26/12 Page 1 of 2

VANDENBERG & FELIU, LLP 60 E. 42 nd Street, 51 8t Floor New York, N.Y. 10165 (212) 763-6800 Monica P. McCabe mmccabe@vanfeliu.com UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK ----------------------------------- X ROWE ENTERTAINMENT, et aL,

USDCSDNY DOCUMENT
ELECfRONICALLY FlLr·
DOC#:
DATE FILED: /0 .:t

98 CIV. 8272 (RPP) (JCF) Plaintiffs, v. THE WILLIAM MORRIS AGENCY, et al., D efcnd ants.

DECLARATION OF MONICA P. MCCABE FOR WITHDRAWAL OF ATTORNEY

----------------------------------- X
I, MONICA P. McCABE, an attorney admitted to practicc in this Court, affirms under penalty of perjury:

1.

I am a member of Vandenberg & Feliu, LLP, and currently listed as the

lead attorney for Deftmdant Jam Productions Ltd. ("Jam Productions") in this action. 2. 3. I have bcen a member of Vandenberg & Feliu, LLP since May of2009. I became involved in this action through a partner at DLA Piper US LLP

when I was at that firm. I no longer represent Jam Productions. 4. 2008. I have not had any contact or involvement with Jam Productions since

Case 1:98-cv-08272-RPP-JCF Document 845
Case 1:98-cv-08272-RPP-JCF Document 841

Filed 10/03/12 Page 2 of 2
Filed 09/26/12 Page 2 of 2

WHEREFORE, I respectfully request to be removed from the distribution list tor ECF notifications in this action. 'also respectfully request to he withdrawn as counsel for Defendant Jam Productions in this action.

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MONICA P. MeCABE

Dated: New York, New York
September 24, 2012

2

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