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Case 1:15-cv-00104-CG-N Document 34 Filed 03/24/15 Page 1 of 2

IN THE UNITED STATES DISTRICT COURT


FOR THE SOUTHERN DISTRICT OF ALABAMA
SOUTHERN DIVISION
CARI D. SEARCY,
Plaintiff,
v.
HONORABLE DON DAVIS,
Defendant.

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Case No. 15-00104-CG

MOTION TO DISMISS
COMES NOW the Plaintiff, by and through undersigned counsel, and files this Motion to
Dismiss, and states as follows:
1. Plaintiff avers that Defendant has removed the qualifying language and recused
himself.
2. Plaintiff avers there is no longer an impediment as previously set out by Defendants
previous qualified order.

WHEREFORE, Plaintiff prays this Honorable Court will grant this Motion to Dismiss
and for such other and different relief to which she may be entitled.
Respectfully submitted this 24th day of March, 2015.

/s/ Christine C. Hernandez


Christine C. Hernandez
ASB 8252I64H
The Hernandez Firm, LLC
Attorneys for Plaintiffs
P.O. Box 66174
Mobile, Alabama 36660-1174
251-479-1477
christine@hernandezlaw.comcastbiz.net

Case 1:15-cv-00104-CG-N Document 34 Filed 03/24/15 Page 2 of 2

/s/ David G. Kennedy


David G. Kennedy
ASB 1238I72K
The Kennedy Law Firm
Attorneys for Plaintiffs
P.O. Box 556
Mobile, Alabama 36601
251-338-9805
david@kennedylawyers.com
CERTIFICATE OF SERVICE
I hereby certify that I have on this 24th day of March, 2015, filed the foregoing using the
Efile system which will send notice to all counsel of record.

Harry V. Satterwhite, Esq.


harry@satterwhitelaw.com
Joseph Michael Druhan, Jr., Esquire
mike@satterwhitelaw.com
Lee L. Hale, Esquire
lee.hale@comcast.net
Mark S. Boardman, Esquire
mboardman@boardmancarr.com
Clay Richard Carr, Esquire
ccarr@boardmancarr.com
Teresa Bearden Petelos, Esquire
tpetelos@boardmancarr.com

/s/ Christine C. Hernandez


Christine C. Hernandez

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