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18D1Ee00 2023.11.27 Ltr To S. Zeeman Re Consent To Withdraw 2

Field Value
Category Correspondence > Notices
Confidence high
Reason [sonnet] Formal notice of attorney withdrawal requiring client consent signature
Original File 18d1ee00_2023.11.27_ltr_to_s._zeeman_re_consent_to_withdraw_2.pdf
File Type PDF
Source gmail-export
18d1ee00_2023.11.27_ltr_to_s._zeeman_re_consent_to_withdraw_2.pdf

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swift /Cwrvue

ATLANTA / BIRMINGHAM

November 27, 2023 Via E-Mail:

jeffsbanks@hotmail.com

Sarah Zeeman c/o Jeff Banks P.O. Box 2719 Kennesaw, Georgia 30156

Re:

Jonathan Sweatman v. Sarah Zeeman Superior Court of DeKalb County, Georgia Civil Action File No.:

21CV9795

Travelers Claim No.: INC7585 Dear Ms. Zeeman:

As you will recall, the law firm of Swift Currie McGhee & Hiers was retained by The Travelers Home and Marine Insurance Company (“Travelers”) as your defense counsel in

the above-referenced matter.

Our engagement as counsel was limited to defense of the

lawsuit filed against you by Jonathan Sweatman and we did not handle the counterclaim you filed against Mr. Sweatman.

We have acted as co-counsel along with Brett Michael-Schiff

Ledermeier and, most recently, Jeff Banks.

Mr. Banks has advised that he will be lead

counsel should this case go to trial. I recently discussed the defense of this matter with Mr. Banks, and he has requested that we withdraw as co-counsel.

I am therefore writing to confirm that you consent to my

withdrawal as your counsel of record and that you are withdrawing any requests that Travelers provide you with a defense in this matter.

Please date and sign your name in the

Space on the next page confirming your consent and return a signed copy of this letter to me by e-mail or regular mail.

We will then file a formal notice of withdrawal with the Court.

Should you have any questions regarding any coverage issue or the withdrawal of your request for a defense, please contact the Travelers Claim Professional assigned to this matter, Theresa Ward, at 678-317-8513 or tward5@travelers.com.

Should you have a

question regarding the case, please do not hesitate to contact me. With best regards. Very truly yours,

An —

David M. Atkinson DMA1:aec

CC:

Theresa Ward TWARD5@travelers.com

DAVID M. ATKINSON

P: 404.888.6166 / F: 470.600.5990 david.atkinson@swiftcurrie.com

ATLANTA /

1420 Peachtree St, NE

/

Suite 800

/ Atlanta, GA 30309

I CONSENT to the withdrawal of David Atkinson and Swift Currie McGhee & Hiers as defense counsel of record in Jonathan Sweatman v. Sarah Zeeman, Superior Court of DeKalb County, Georgia, Civil Action File No. 21CV9795.

This

day of

Sarah Zeeman

, 2023.