Home/Source documents/Motion to Withdraw as Counsel for Plaintiff James D. Wines, M.D
Motion to Withdraw as Counsel for Plaintiff James D. Wines, M.D
Date
2022-06-20
Full text
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UNITED STATES DISTRICT COURT
DISTRICT OF MASSACHUSETTS
ROBERT LANCIONE, et al.
Plaintiffs
v.
MASS GENERAL BRIGHAM
INCORPORATED
Defendant
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Civil Action No. 1:21-cv-11686
MOTION TO WITHDRAW AS COUNSEL FOR PLAINTIFF JAMES D. WINES, M.D.
The undersigned Atty. David F. Kiah respectfully requests permission to withdraw as
counsel for Plaintiff James D. Wines, M.D. Dr. Wines wishes to proceed pro se.
As a final matter, Dr. Wines has outstanding discovery matters. He wishes to file a
motion in that regard which is a motion for a protective order on the Defendant’s request for
medical information and for disclosure of the identity of certain people. He also wishes to file a
separate motion to conduct his own independent discovery related to his claims.
WHEREFORE, the undersigned counsel for Dr. Wines requests that the Court grant him
permission to withdraw as his counsel.
Dated: June 20, 2022
Respectfully submitted,
Atty. David F. Kiah; BBO# 699623
P.O. Box 35844
Brighton, Ma. 02135
781-530-6688
dkiah@live.com
(Certificate of service on next page)
Case 1:21-cv-11686-FDS Document 103 Filed 06/20/22 Page 1 of 2
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CERTIFICATE OF SERVICE
I certify that a true copy of the above document was served on June 13, 2022 upon
attorneys for the Defendant via email attachment at the following addresses:
Lynn A. Kappelman, Esq.
Katherine E. Perrelli, Esq.
Kristin McGurn, Esq.
Dawn Reddy Solowey, Esq.
SEYFARTH SHAW LLP
Seaport East
Two Seaport Lane, Suite 1200
Boston, MA 02210-2028
kperrelli@seyfarth.com
lkappelman@seyfarth.com
kmcgurn@seyfarth.com
dsolowey@seyfarth.com
TEL: (617) 946-4800
FAX: (617) 946-4801
Atty. David F. Kiah; BBO# 699623
Case 1:21-cv-11686-FDS Document 103 Filed 06/20/22 Page 2 of 2