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IN THE COURT OF COMMON PLEAS OF ALLEGHENY COUNTY, PENNSYLVANIA
`
`FREDERICK J. MATTILIO and ANNA
`MATTILIO, his wife,
`
`Plaintiffs,
`
`v.
`
`BLOOM ENGINEERING COMPANY,
`et al. (including Swindell Dressler
`International Company),
`
`Defendants.
`
`JURY TRIAL DEMANDED.
`
`CIVIL DIVISION - ASBESTOS
`
`No. GD 20-12746
`
`PRAECIPE FOR
`WITHDRAWAL/ENTRY OF
`APPEARANCE
`
`Filed on behalf of Defendant, Swindell-
`Dressler International Company
`
`Counsel of Record for This Party:
`
`Julie Nord Friedman, Esquire
`PA ID # 76126
`
`RAWLE & HENDERSON, LLP
`The Henry W. Oliver Building
`535 Smithfield Street, Suite 1000
`Pittsburgh, PA 15222
`
`412-261-5700
`
`15992608-1
`
`

`

`IN THE COURT OF COMMON PLEAS OF ALLEGHENY COUNTY, PENNSYLVANIA
`
`CIVIL DIVISION - ASBESTOS
`
`No. GD 20-12746
`
`FREDERICK J. MATTILIO and ANNA
`MATTILIO, his wife,
`
`Plaintiffs,
`
`v.
`
`BLOOM ENGINEERING COMPANY,
`et al. (including Swindell Dressler
`International Company),
`
`Defendants.
`
`PRAECIPE FOR WITHDRAWAL OF APPEARANCE
`Kindly withdraw the appearance of Matthew J. Doz, Esquire and Kelley Jasons
`McGowan Spinelli Hanna & Reber, LLP for the Defendant, Swindell-Dressler International
`Company in this action.
`
`Kelley Jasons McGowan Spinelli
`Hanna & Reber, LLP
`
`
`By: /s/Matthew J. Doz
` Matthew J. Doz, Esquire (#86135)
`
`ENTRY OF APPEARANCE
`Kindly enter the appearance of Julie Nord Friedman, Esquire and Rawle & Henderson
`LLP on behalf of the Defendant, Swindell-Dressler International Company in this action.
`RAWLE & HENDERSON LLP
`
`By: /s/Julie Nord Friedman
`
`Julie Nord Friedman (#76126)
`
`The Henry W. Oliver Building, Suite 1000
`535 Smithfield Street
`Pittsburgh, PA 15222
`(412) 261-5700
`Attorneys for Defendant, Swindell-Dressler
`International Company
`
`

`

`CERTIFICATION REGARDING
`CONFIDENTIAL INFORMATION
`
`I certify that this filing complies with the provisions of the Public Access Policy of the
`
`Unified Judicial System of Pennsylvania: case Records of the Appellate and Trial Courts that
`
`require filing confidential information and documents differently than non-confidential
`
`information and documents.
`
`/s/ Julie Nord Friedman
`By:
` Julie Nord Friedman, Esquire
`PA ID # 76126
`
`

`

`CERTIFICATE OF SERVICE
`
`I hereby certify that a true and correct copy of the within PRAECIPE FOR
`
`WITHDRAWAL/ ENTRY OF APPEARANCE was served on Plaintiffs’ counsel by
`
`electronic mail this 26th day of May, 2022. Defense counsel has been provided a copy by
`
`electronic mail.
`
`Janice M. Savinis, Esquire
`Savinis, Kane, & Gallucci, LLC
`436 7th Avenue
`Koppers Building Suite 322
`Pittsburgh, PA 15219
`Counsel for Plaintiffs
`
`RAWLE & HENDERSON LLP
`
`By: /s/Julie Nord Friedman
`
`Julie Nord Friedman (#76126)
`
`The Henry W. Oliver Building, Suite 1000
`535 Smithfield Street
`Pittsburgh, PA 15222
`(412) 261-5700
`Attorneys for Defendant, Swindell-Dressler
`International Company
`
`

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