Maplevale Farms, Inc. v. Koch Foods, Inc. et alMOTIONN.D. Ill.July 16, 2019UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS IN RE: BROILER CHICKEN ANTITRUST LITIGATION Case No. 1:16-CV-08637 THIS DOCUMENT RELATES TO: ALL ACTIONS MOTION FOR WITHDRAWAL OF COUNSEL TO THE COURT, CLERK OF COURT, ALL PARTIES AND THEIR ATTORNEYS OF RECORD: Pursuant to Local Rule 83.17, Erin C. Burns hereby requests leave of court to withdraw as counsel of record for Plaintiffs Fargo Stopping Center LLC and Sargent’s Restaurant and Lounge, in the above referenced matter. Attorneys at NastLaw LLC will continue to represent Plaintiffs Fargo Stopping Center LLC and Sargent’s Restaurant and Lounge in this action. WHEREFORE, Erin C. Burns requests that her Motion for Withdrawal be granted and that she be removed from the docket and all service lists and no longer receive electronic notice in this case. Case: 1:16-cv-08637 Document #: 2329 Filed: 07/16/19 Page 1 of 2 PageID #:107273 Dated: July 16, 2019 Respectfully Submitted, /s/ Erin C. Burns Erin C. Burns NastLaw LLC 1101 Market Street Suite 2801 Philadelphia, Pennsylvania 19107 215-923-9300 215-923-9302 (facsimile) eburns@nastlaw.com Counsel for Plaintiffs Fargo Stopping Center LLC and Sargent’s Restaurant and Lounge Case: 1:16-cv-08637 Document #: 2329 Filed: 07/16/19 Page 2 of 2 PageID #:107273