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NO. A05D-CR11-0144942-S STATE OF CONNECTICUT VS.

WILLIAM LAROVERA

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SUPERIOR COURT GEOGRAPHIC AREA FIVE February 27, 2012

MOTION FOR DISQUALIFICATION/REQUEST FOR RECUSAL Pursuant to Connecticut Practice Book sec. 1-23, the defendant, William LaRovera, through his undersigned counsel, requests that this court disqualify or recuse itself from the above referenced matter. The reason for this request is the fact there is the potential that a conflict of interest to arise. In support of this request and in compliance with the requirements as outlined in sec. 1-23, the undersigned has attached a supporting affidavit as Exhibit 1 and Certificate of Good Faith as Exhibit 2. WHEREFORE, the defendant, William LaRovera, respectfully requests this Motion For Disqualification/Request for Recusal be granted for the reasons stated therein and for such other grounds as may be asserted at a full hearing on the merits thereof.

THE DEFENDANT 1

William LaRovera,

BY _______________________________________ Rob Serafinowicz (423695) The Law Offices of Rob Serafinowicz, LLC 52 Holmes Avenue Waterbury, CT 06702 Telephone Number: (203) 755-0267 Fax: (203) 528-4302 RS9907@gmail.com His Attorney

ORDER The foregoing motion having been heard, it is hereby ORDERED: GRANTED / DENIED

THE COURT

BY__________________________, J.

CERTIFICATION This is to certify that service has been made upon the following counsel pursuant to the Connecticut Rules of Practice: Office of the States Attorney Geographic Area 5 106 Elizabeth Street Derby, CT 06411

______________________________________ Rob Serafinowicz, Esquire

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