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Assented to Motion to Withdraw Motion to Compel — Adams v. Mass General Brigham Incorporated (D. Mass.)

Date
2024-01-23

Summary

An assented-to motion filed January 15, 2024 as Document 193 in Tyler Adams, et al. v. Mass General Brigham Incorporated, Civil Action No. 1:21-cv-11686-FDS, in the U.S. District Court for the District of Massachusetts. Plaintiff Michelle Orfanos, through attorney Richard C. Chambers Jr., asks to withdraw her pro se Motion to Compel Production of Discovery Materials and her request for leave to file an amended complaint, which were set for hearing on January 23, 2024. The motion states that the pro se motion was filed on or about December 18, 2023 and that counsel filed a notice of appearance on or about January 13, 2024. It states that attorney Ryan McLane and counsel for the defendant assent and that no party would be prejudiced. A certificate of service dated January 15, 2024 is included.

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Full text

        Case 1:21-cv-11686-FDS Document 193 Filed 01/15/24 Page 1 of 2




                          UNITED STATES DISTRICT COURT
                       FOR THE DISTRICT OF MASSACHUSETTS


TYLER ADAMS, et al.,

                  Plaintiffs,

       v.                                          Civil Action No. 1:21-cv-11686-FDS

MASS GENERAL BRIGHAM
INCORPORATED,

                  Defendant.



    ASSENTED TO MOTION TO WITHDRAW MICHELLE ORFANOS’
  MOTION TO COMPEL PRODUCTION OF DISCOVERY MATERIALS AND
     HER REQUEST FOR LEAVE TO FILE AMENDED COMPLAINT

       NOW comes one of the Plaintiffs, Michelle Orfanos, in the above captioned
matter, by and through her attorney, Richard C. Chambers Jr., and hereby moves this
Honorable Court to allow her to withdraw her Motion to Compel Production of
Discovery, and her Request for Leave to File an Amended Complaint, which is
scheduled for a Hearing on January 23, 2024, at 2pm.
       As grounds and reasons therefore, counsel states:


   1. On or about December 18, 2023, Plaintiff, Michelle Orfanos, filed a Pro Se
      Motion to Compel Production of Discovery Materials and for Leave to File
      Amended Complaint;

   2. A Motion to Compel Hearing for Plaintiff, Michelle Orfanos, is scheduled on
      January 23, 2024, at 2pm;

   3. On or about January 13, 2024, undersigned Counsel filed his Notice of
      Appearance in the above captioned matter;

   4. Counsel has had the opportunity to review Plaintiff, Michelle Orfanos’ Pro Se
      filings and wishes to withdraw her Motion to Compel and request for Leave to
      File an Amended Complaint;
         Case 1:21-cv-11686-FDS Document 193 Filed 01/15/24 Page 2 of 2




   5. Attorney Ryan McLane has been consulted and assents to this Motion;

   6. Counsel for the Defendant has been consulted and assents to this Motion;

   7. No parties would be prejudiced by the allowance of the foregoing.

       Wherefore, Counsel respectfully prays this Honorable Court allow this Motion to
Withdraw Plaintiff, Michelle Orfanos’ Motion to Compel Production of Discovery
Materials and Motion to File an Amended Complaint in the interest of judicial economy
and justice.



                                                          Richard C. Chambers, Jr., Esq.
                                                          BBO#: 651251
                                                          Chambers Law Office
                                                          220 Broadway, Suite 404
                                                          Lynnfield, MA 01940
                                                          Office: (781) 581-2031
DATED: January 15, 2024                                   Cell: (781) 363-1773
                                                          Fax: (781) 581-8449
                                                          Email: Richard@chamberslawoffice.com

                                                          /s/ Richard C. Chambers, Jr., Esq.
                                                          Richard C. Chambers, Jr., Esq.




                                   CERTIFICATE OF SERVICE


        I hereby certify that this document was filed through the ECF system and will therefore
be sent electronically to the registered participants as identified on the Notice of Electric Filing
(NEF) and paper copies will be sent this day to those participants indicated as non-registered
participants.



DATED: January 15, 2024                                /s/ Richard C. Chambers, Jr., Esq.
                                                       Richard C. Chambers, Jr., Esq.


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