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Full title: Motion to Withdraw as Attorney. Objections/Request for Hearing Due in 21 days. Filed by Debtor CBL & Associates Properties, Inc. (Attachments: # (1) Proposed Order) (Klein, Buffey)

Document posted on Oct 27, 2021 in the bankruptcy, 2 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

UNOPPOSED MOTION TO WITHDRAW AS COUNSEL Marshall C. Turner of Husch Blackwell LLP, hereby moves the Court to withdraw as special counsel for the Debtors; and respectfully shows the Court as follows: 1. On October 18, 2021, the Court entered three orders admitting Caleb T. Holzaepfel, Mark T. Benedict and Marshall C. Turner of Husch Blackwell LLP, pro hac vice in the above-captioned case to represent the Debtors as special counsel.Caleb T. Holzaepfel and Mark T. Benedict of Husch Blackwell LLP will continue to represent Debtors as special counsel in the above-captioned case.For the foregoing reasons, Marshall C. Turner respectfully requests that the Court permit him to withdraw as special counsel for the Debtors in this matter, and for such other and further relief to which it is entitled.WHEREFORE, it is respectfully requested that the Court issue an order permitting only Marshall C. Turner to withdraw as attorney of record for Debtors. Dated: October 28, 2021

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION In re: § Chapter 11 § CBL & ASSOCIATES PROPERTIES, § Case No. 20-35226 (DRJ) INC., et al., § § (Jointly Administered) Debtors. § [Related to Docket No. 1497 UNOPPOSED MOTION TO WITHDRAW AS COUNSEL Marshall C. Turner of Husch Blackwell LLP, hereby moves the Court to withdraw as special counsel for the Debtors; and respectfully shows the Court as follows: 1. On October 18, 2021, the Court entered three orders admitting Caleb T. Holzaepfel, Mark T. Benedict and Marshall C. Turner of Husch Blackwell LLP, pro hac vice in the above-captioned case to represent the Debtors as special counsel. (Dkt. Nos. 1495-1497). 2. Caleb T. Holzaepfel and Mark T. Benedict of Husch Blackwell LLP will continue to represent Debtors as special counsel in the above-captioned case. 3. This withdrawal is not sought for the purposes of delay. This request is unopposed. 4. For the foregoing reasons, Marshall C. Turner respectfully requests that the Court permit him to withdraw as special counsel for the Debtors in this matter, and for such other and further relief to which it is entitled. WHEREFORE, it is respectfully requested that the Court issue an order permitting only Marshall C. Turner to withdraw as attorney of record for Debtors.

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Dated: October 28, 2021 Respectfully submitted, HUSCH BLACKWELL LLP By: /s/ Caleb T. Holzaepfel Caleb T. Holzaepfel (admitted pro hac vice) 736 Georgia Avenue, Suite 300 Chattanooga, TN 37402 Telephone: (423) 266-5500 Facsimile: (423) 266-5499 caleb.holzaepfel@huschblackwell.com Buffey Klein (TX Bar No. 24032515) 1900 N Pearl Street, Suite 1800 Dallas, Texas 75201 Telephone: (214) 999-6100 Facsimile: (214) 999-6170 buffey.klein@huschblackwell.com Mark T. Benedict (admitted pro hac vice) 4801 Main Street, Suite 1000 Kansas City, Missouri 64112 Telephone: (816) 983-8000 Facsimile: (816) 983-8080 mark.benedict@huschblackwell.com CERTIFICATE OF SERVICE The undersigned certifies that a true and correct copy of the foregoing was served electronically on all creditors, parties in interest or their attorneys of record, according to the Court’s notice of electronic filing on October 28, 2021. /s/ Caleb T. Holzaepfel Caleb T. Holzaepfel

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