Court filing
MOTION to Withdraw Attorney as to Stuart… — Federal Reserve Bank of San Francisco v. Benworth Capital… (Dkt. 211)
No. 3:23-cv-01034-GMM · Doc. 211 · Docket on CourtListener
Summary
A Motion for Withdrawal of Counsel, Document 211, filed February 20, 2025 in Oto Analytics, LLC v. Benworth Capital Partners PR, LLC, Civil No. 23-01034 (GMM), consolidated with Civil No. 24-01313 (GMM), in the U.S. District Court for the District of Puerto Rico. The Federal Reserve Bank of San Francisco appears in the caption as plaintiff-intervenor and consolidated plaintiff. Under Local Civil Rule 83D(b), Stuart R. Lombardi of Willkie Farr & Gallagher LLP, counsel for defendant in intervention Oto Analytics, LLC (f/k/a Oto Analytics, Inc. d/b/a Womply), asks to withdraw. The motion states that he appeared for Womply on February 14, 2023 (ECF No. 14) and that all claims by and against Womply were dismissed by orders of January 2, 2025 (ECF No. 196) and February 4, 2025 (ECF No. 205), so Womply is no longer a party.
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Case 3:23-cv-01034-GMM Document 211 Filed 02/20/25 Page 1 of 2
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF PUERTO RICO
OTO ANALYTICS, LLC,
Plaintiff,
v. Civil No. 23-01034 (GMM) cons.
Civil No. 24-01313 (GMM)
BENWORTH CAPITAL PARTNERS PR,
LLC; BENWORTH CAPITAL PARTNERS,
LLC; BERNARDO NAVARRO and CLAUDIA
NAVARRO,
Defendants.
FEDERAL RESERVE BANK OF SAN
FRANCISCO,
Plaintiff-Intervenor,
v.
OTO ANALYTICS, LLC; BENWORTH
CAPITAL PARTNERS PR, LLC;
BENWORTH CAPITAL PARTNERS, LLC;
BERNARDO NAVARRO and CLAUDIA
NAVARRO,
Defendants in Intervention.
FEDERAL RESERVE BANK OF SAN
FRANCISCO,
Consolidated Plaintiff,
v.
BENWORTH CAPITAL PARTNERS PR,
LLC; BENWORTH CAPITAL PARTNERS,
LLC; BERNARDO NAVARRO and CLAUDIA
NAVARRO,
Consolidated Defendants.
Case 3:23-cv-01034-GMM Document 211 Filed 02/20/25 Page 2 of 2
MOTION FOR WITHDRAWAL OF COUNSEL
Pursuant to Local Civil Rule 83D(b) of the United States District Court for the District of
Puerto Rico, Stuart R. Lombardi, attorney for Defendant in Intervention Oto Analytics, LLC (f/k/a
Oto Analytics, Inc. d/b/a Womply) (“Womply”), respectfully moves to withdraw as counsel for
Plaintiff.
WHEREFORE, Mr. Lombardi entered an appearance on behalf of Womply on February
14, 2023 (ECF No. 14).
WHEREFORE, all claims asserted by and against Womply have been dismissed pursuant
to this Court’s orders on January 2, 2025 (ECF No. 196) and February 4, 2025 (ECF No. 205).
Thus, Womply is no longer a party to the above-captioned action.
NOW THEREFORE, attorney Stuart R. Lombardi respectfully requests that this Court
grant this motion and permit him to withdraw as counsel for Womply in the above-captioned
action.
Dated: February 20, 2025
Respectfully submitted,
/s/ Stuart R. Lombardi
Stuart R. Lombardi (admitted pro hac
vice)
Willkie Farr & Gallagher LLP
787 Seventh Avenue
New York, NY 10019-6099
212-728-8000
slombardi@willkie.com
Counsel for Defendant in Intervention
Oto Analytics, LLC
1
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