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HomeMy WebLinkAbout2906 • + • 9s~zs IN THE CIRCUIT COURT OF THE NINETEEN~'H JUDICIAL CIRCUIT, IN AND FOR ST. LUCIE COUNTY, FLORIDA. CASE NO. 7T-100 CA JEROME E. BROWNLEE, Plaintiff, -VS- BOWEN BROTHERS, INC., a Florida corporation, Defendant. ` WRI2TEN MF.IrlORANDUM OF STIPULATION OF SiJBSITUTION OF COUNSEL THIS INSTRUMENT is a written memorandum of the proceedings before the Court ~?•heiein the undersigned attcrneys did stipulate and 4 agree to the subsitution of THEODORE W. HERZOG, Esquire, of the law d firm of GRALL AND HERZOG, P.A., as counsel for JOHN B. CULVERHOUSE. and BRAD CULVERHOUSE, Attorney at Law, Chartered, with respect to representation of JEROME E. BROWNLEE, in this cause. It was further F stipulated and agreed to between counsel before the Court that this subsitution would not prejudice in any way any claim that JOHN B. CULVERHOUSE and/or BRAD CULVERHOUSE, Attorney at Law, Chartered, have or may have against JEROME E. BROWNLER, for a charging lien. It was also further stipulated and agreed to with the approval of the Court that the Court in this case would retain jurisdiction over the Notice Of Intent To File Charging Lien and also would retain jurisdicticn in this cause to hear and determine the merits of a Motion For A Charging Lien. It is further agreed that the subsitution of counsel is with the consent of the Plaintiff. ~ c-- THEODORE W. HERZOG, squl Grall and Herzog, P.A. Post Cffice Box Vero Beach --FI" 960 Attorney for JEROME E. BROWNLEE _ t 6~;1X PAGE -1-