`
`IN THE UNITED STATES DISTRICT COURT
`IN THE UNITED STATES DISTRICT COURT
`FOR THE DISTRICT OF COLORADO
`FOR THE DISTRICT OF COLORADO
`
`REALTIME ADAPTIVE STREAMING LLC,
`REALTIME ADAPTIVE STREAMING LLC,
`Plaintiff,
`Plaintiff,
`
`v.
`v.
`SLING TV, L.L.C.,
`SLING TV, L.L.C.,
`SLING MEDIA, INC.,
`SLING MEDIA, INC.,
`SLING MEDIA, L.L.C.,
`SLING MEDIA, L.L.C.,
`ECHOSTAR TECHNOLOGIES L.L.C.,
`ECHOSTAR TECHNOLOGIES L.L.C.,
`DISH NETWORK L.L.C., and
`DISH NETWORK L.L.C., and
`ARRIS GROUP, INC.,
`ARRIS GROUP, INC.,
`Defendants.
`Defendants.
`
`REALTIME ADAPTIVE STREAMING LLC,
`REALTIME ADAPTIVE STREAMING LLC,
`Plaintiff,
`Plaintiff,
`
`v.
`v.
`APPLE INC.,
`APPLE INC.,
`Defendant.
`Defendant.
`
`Civil Action No. 1:17-cv-02097-RBJ
`Civil Action No. 1:17-cv-02097-RBJ
`LEAD CASE
`LEAD CASE
`
`Civil Action No. 1:17-cv-02869-RBJ
`Civil Action No. 1:17-cv-02869-RBJ
`CONSOLIDATED CASE
`CONSOLIDATED CASE
`
`MOTION FOR LEAVE TO WITHDRAW APPEARANCE OF SRECKO “LUCKY”
`MOTION FOR LEAVE TO WITHDRAW APPEARANCE OF SRECKO "LUCKY"
`VIDMAR PURSUANT TO D.C.COLO. L.R. 5(B)
`VIDMAR PURSUANT TO D.C.COLO. L.R. 5(B)
`
`Clayton C. James of the law firm Hogan Lovells US LLP hereby moves for leave to
`Clayton C. James of the law firm Hogan Lovells US LLP hereby moves for leave to
`
`withdraw Srecko “Lucky” Vidmar as attorney of record for Defendant Apple Inc. (“Apple”) by
`withdraw Srecko "Lucky" Vidmar as attorney of record for Defendant Apple Inc. ("Apple") by
`
`submitting this Motion for Leave to Withdraw Pursuant to L.R. 5(b), and in support thereof,
`submitting this Motion for Leave to Withdraw Pursuant to L.R. 5(b), and in support thereof,
`
`states as follows.
`states as follows.
`
`1 1
`
`
`
`Case 1:17-cv-02097-RBJ Document 152 Filed 01/29/19 USDC Colorado Page 2 of 4
`
`[CERTIFICATE OF CONFERRAL NOT NECESSARY PURSUANT TO
`[CERTIFICATE OF CONFERRAL NOT NECESSARY PURSUANT TO
`D.C.COLO. L.R. 7.1(b)(4)]
`D.C.COLO. L.R. 7.1(b)(4)1
`
`REQUEST FOR RELIEF
`REQUEST FOR RELIEF
`
`1.
`1.
`
`D.C. Colo. L.R. 5(b) permits an attorney to withdraw, with approval of the Court,
`D.C. Colo. L.R. 5(b) permits an attorney to withdraw, with approval of the Court,
`
`upon a motion showing good cause.
`upon a motion showing good cause.
`
`2.
`2.
`
`3.
`3.
`
`Good cause exists for the requested withdrawal.
`Good cause exists for the requested withdrawal.
`
`Here, the undersigned counsel seeks to withdraw Srecko “Lucky” Vidmar as
`Here, the undersigned counsel seeks to withdraw Srecko "Lucky" Vidmar as
`
`counsel of record for Apple in this action as Mr. Vidmar is no longer employed at Hogan Lovells
`counsel of record for Apple in this action as Mr. Vidmar is no longer employed at Hogan Lovells
`
`US LLP.
`US LLP.
`
`4.
`4.
`
`Clayton C. James and Aaron S. Oakley of Hogan Lovells US LLP will continue to
`Clayton C. James and Aaron S. Oakley of Hogan Lovells US LLP will continue to
`
`represent Apple in the above-referenced proceeding.
`represent Apple in the above-referenced proceeding.
`
`5.
`5.
`
`6.
`6.
`
`The undersigned has notified Apple of Mr. Vidmar’s intent to withdraw.
`The undersigned has notified Apple of Mr. Vidmar's intent to withdraw.
`
`Undersigned counsel requests that all Notices of Electronic Filing issued in this
`Undersigned counsel requests that all Notices of Electronic Filing issued in this
`
`matter be terminated with respect to Srecko “Lucky” Vidmar.
`matter be terminated with respect to Srecko "Lucky" Vidmar.
`
`WHEREFORE, undersigned counsel respectfully requests that the Court grant this
`WHEREFORE, undersigned counsel respectfully requests that the Court grant this
`
`motion for leave to withdraw Srecko “Lucky” Vidmar from representation of Defendant Apple
`motion for leave to withdraw Srecko "Lucky" Vidmar from representation of Defendant Apple
`
`Inc. pursuant to D.C. Colo. L.R. 5(b).
`Inc. pursuant to D.C. Colo. L.R. 5(b).
`
`2 2
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`
`
`Case 1:17-cv-02097-RBJ Document 152 Filed 01/29/19 USDC Colorado Page 3 of 4
`
`Dated: January 29, 2019
`Dated: January 29, 2019
`
`
`
`Respectfully submitted,
`Respectfully submitted,
`
`/s/ Clayton C. James
`Is! Clayton C. James
`Clayton C. James
`Clayton C. James
`Aaron S. Oakley
`Aaron S. Oakley
`HOGAN LOVELLS US LLP
`HOGAN LOVELLS US LLP
`1601 Wewatta Street, Suite 900
`1601 Wewatta Street, Suite 900
`Denver, CO 80202
`Denver, CO 80202
`(303) 899-7300
`(303) 899-7300
`clay.james@hoganlovells.com
`clay.james@hoganlovells.com
`aaron.oakley@hoganlovells.com
`aaron.oaldey@hoganlovells.com
`
`Attorneys for Defendant
`Attorneys for Defendant
`Apple Inc.
`Apple Inc.
`
`3
`
`
`
`Case 1:17-cv-02097-RBJ Document 152 Filed 01/29/19 USDC Colorado Page 4 of 4
`
`CERTIFICATE OF SERVICE
`CERTIFICATE OF SERVICE
`
`I hereby certify that on this 29th day of January, 2019, I electronically filed the foregoing
`I hereby certify that on this 29th day of January, 2019, I electronically filed the foregoing
`
`with the Clerk of the Court using the CM/ECF system which will send notification of such filing
`with the Clerk of the Court using the CM/ECF system which will send notification of such filing
`
`to all counsel of record.
`to all counsel of record.
`
`/s/Clayton C. James
`/s/Clayton C. James
`Clayton C. James
`Clayton C. James
`
`
`
`
`4 4
`
`