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In The United States Bankruptcy Court For The District of Colorado

The motion seeks to admit Vincent J. Marriott III pro hac vice to represent Alpine Bank in the bankruptcy case of Cordillera Golf Club LLC. Mr. Marriott is a licensed attorney in good standing in Pennsylvania and Georgia. He is associated with the law firm Ballard Spahr LLP which represents Alpine Bank in this matter. The motion provides details of Mr. Marriott's qualifications and requests the court allow his admission pro hac vice.
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0% found this document useful (0 votes)
81 views5 pages

In The United States Bankruptcy Court For The District of Colorado

The motion seeks to admit Vincent J. Marriott III pro hac vice to represent Alpine Bank in the bankruptcy case of Cordillera Golf Club LLC. Mr. Marriott is a licensed attorney in good standing in Pennsylvania and Georgia. He is associated with the law firm Ballard Spahr LLP which represents Alpine Bank in this matter. The motion provides details of Mr. Marriott's qualifications and requests the court allow his admission pro hac vice.
Copyright
© Attribution Non-Commercial (BY-NC)
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as PDF, TXT or read online on Scribd

Case:12-24882-ABC Doc#:244 Filed:07/25/12

Entered:07/25/12 [Link] Page1 of 2

IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF COLORADO


In re: CORDILLERA GOLF CLUB, LLC, ) ) ) ) ) ) Case No 12-24882 ABC Chapter 11

EIN: 27-0331317
Debtor.

______________________________________________________________________________ MOTION FOR ADMISSION OF VINCENT J. MARRIOTT, III PRO HAC VICE ______________________________________________________________________________ Pursuant to Local Bankruptcy Rule 9010(b), Carl A. Eklund of the law firm of Ballard Spahr LLP moves for the admission, pro hac vice, of Vincent J. Marriott, III, to participate in the conduct of these cases and related proceedings as an attorney for Alpine Bank. The following is stated in support of this Motion: 1. Alpine Bank is creditor in the above-referenced adversary proceeding.

2. Vincent J. Marriott, III is a attorney and partner with Ballard Spahr LLP and practices in the firms Philadelphia office located at 1735 Market Street, 51st Floor, Philadelphia, PA 19103-7599. The firm is counsel for Alpine Bank. 3. Mr. Marriott is a duly licensed, qualified and practicing attorney admitted to practice law in the State of Pennsylvania and the State of Georgia and in good standing as a member of the bar of the state courts in Pennsylvania and Georgia, as well as the United States District Court for the Eastern District of Pennsylvania, the Northern District of Georgia and the United States Court of Appeals for the Third Circuit 4. Mr. Marriott is admitted to practice in the following courts on the dates shown, and his admission to said courts has not terminated: Pennsylvania, 1984 Georgia, 1982 U.S. District Court for the Northern District of Georgia, 1982 U.S. District Court for the Eastern District of Pennsylvania, 1984 United States Court of Appeals for the Third Circuit, 1995 5. Attached is the Declaration of Mr. Marriott in Support of this Motion for Admission Pro Hac Vice. 6. Mr. Marriott has associated with the undersigned counsel in connection with this matter. The undersigned counsel is a member in good standing of the Bar of the United States District Court for the District of Colorado and shall participate meaningfully in all aspects of these cases.

Case:12-24882-ABC Doc#:244 Filed:07/25/12

Entered:07/25/12 [Link] Page2 of 2

WHEREFORE, the undersigned requests that the Court allow the admission of Vincent J. Marriott, III, pro hac vice, to participate in these cases and related proceedings. DATED this 25th day of July, 2012. BALLARD SPAHR LLP

By:

\s\ Carl A. Eklund Carl A. Eklund, No. 2299 1225 17th Street, Suite 2300 Denver, Colorado 80202-5596 Tel: (303) 292-2400 Fax: (303) 296-3956 eklundc@[Link]

Attorneys for Alpine Bank

DMWEST #9164432 v1

Case:12-24882-ABC Doc#:244-1 Filed:07/25/12

Entered:07/25/12 [Link] Page1 of 2

IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF COLORADO


In re: CORDILLERA GOLF CLUB, LLC, EIN: 27-0331317 Debtor. )
)

Case No 12-24882 ABC Chapter 11

)
) ) )

DECLARATION OF VINCENT J. MARRIOTT, III IN SUPPORT OF "MOTION FOR ADMISSION OF VINCENT .J. MARRIOTT, III PRO HAC VICE'' I, Vincent J. Marriott, III, hereby state as follows: 1. I am an attorney at law admitted and in good standing to practice in the State of Pennsylvania and the State of Georgia. I am in good standing as a member of the bar of state courts in Pennsylvania and Georgia, as well as the United States District Court for the Eastern District of Pennsylvania, the Northern District of Georgia and the United States Court of Appeals for the Third Circuit 2. I am an attorney and partner with Ballard Spahr LLP ("Ballard Spahr") and practice in the firm's Philadelphia office located at 1735 Market Street, 51st Floor, Philadelphia, PA 19103-7599 3. I am admitted to practice in the following courts on the dates shown, and his admission to said courts has not terminated: Pennsylvania, 1984 Georgia, 1982 U.S. District Court for the Northern District of Georgia, 19 82 U.S. District Court for the Eastern District of Pennsylvania, 1984 United States Court of Appeals for the Third Circuit, 1995 4. I do not have a conflict in this representation.

5. Subject to the following, Ballard Spahr does not a have conflict in this representation. The Debtor asserted a possible conflict in connection with Ballard Spahr's representation of 32Winds, LLC, an entity directly or indirectly owned by David Wilhelm. This representation concluded in 2008. While not believing that such representation gives rise to a conflict, Ballard Spahr has agreed to exclude the attorney involved in such representation from this matter, and no files or other information from such representation shall be shared with the attorneys working on this matter. I declare under the penalty of perjury under the laws of the United States of America that the foregoing is true and correct.

Case:12-24882-ABC Doc#:244-1 Filed:07/25/12

Entered:07/25/12 [Link] Page2 of 2

Case:12-24882-ABC Doc#:244-2 Filed:07/25/12

Entered:07/25/12 [Link] Page1 of 1

IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF COLORADO


In re: CORDILLERA GOLF CLUB, LLC, ) ) ) ) ) ) Case No 12-24882 ABC Chapter 11

EIN: 27-0331317
Debtor.

______________________________________________________________________________ ORDER ADMITTING VINCENT J. MARRIOTT, III PRO HAC VICE ______________________________________________________________________________ THIS MATTER comes before the Court upon the Motion for Admission of Vincent J. Marriott, III Pro Hac Vice. It appearing that Mr. Marriott is duly licensed to practice in the State of Pennsylvania and the State of Georgia and is in good standing as a member of the bar of state courts in Pennsylvania and Georgia, as well as the United States District Court for the Eastern District of Pennsylvania, the Northern District of Georgia and the United States Court of Appeals for the Third Circuit, and who shall participate meaningfully in all aspects of these cases, NOW THEREFORE, IT IS ORDERED, pursuant to Local Bankruptcy Rule 9010(b), that Vincent J. Marriott, III be and he is hereby admitted, pro hac vice, to participate in these cases and related proceedings. Dated: ______________, 2012. BY THE COURT:

_______________________________________ United States Bankruptcy Judge

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