Shepler.Plaintiff Letter to Attorney Michael Ira Braverman .pdf
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MATTHEW STEPHEN SHEPLER
90 Church Street (Church Street Station)
P.O. Box # 1188
New York, NY 10008-1188, U.S.
Telephone: (857) 600-2448/(347) 367-9974
E-mail: mshepler@gmx.us
ATTORNEY, MICHAEL IRA BRAVERMAN
GETZ & BRAVERMAN, P.C.
172 East 161st Street
Bronx, NY 10451, U.S.
Telephone: (718) 993-3000
E-mail: mibraverman@aol.com
UNITED STATES DISTRICT COURT
FOR THE SOUTHERN DISTRICT OF NEW YORK
MATTHEW STEPHEN SHEPLER,
Plaintiff,
-againstMICHAEL COLLURA,
Case No. 1:17-cv-10254
Complaint Filed: December 28, 2017
PLAINTIFF LETTER TO ATTORNEY
MICHAEL IRA BRAVERMAN
IN REGARDS TO A REQUEST FOR
CONTINGENT FEE ATTORNEY
Defendant.
Date: May 25, 2018
Time: 02:41 p.m.
PLAINTIFF LETTER TO ATTORNEY MICHAEL IRA BRAVERMAN IN REGARDS
TO A REQUEST FOR CONTINGENT FEE ATTORNEY
TO: ATTORNEY MICHAEL IRA BRAVERMAN, GETZ & BRAVERMAN, P.C. 172 East
161st Street, Bronx, New York 10451, U.S.
YOU ARE HEREBY NOTIFIED THAT at 02:41 p.m. on the date of May 25, 2018
PLAINTIFF, MATTHEW STEPHEN SHEPLER provides a letter to Attorney, Michael Ira
Braverman, Getz & Braverman, P.C. that relates toward the direction of a request for a
contingent fee attorney, engagement letter, and representation in the above caption.
MATTHEW STEPHEN SHEPLER informs Attorney, Michael Ira Braverman, Getz &
Braverman, P.C. that Plaintiff is a self-represented litigant seeking the appointment of Counsel in
civil actions for an “indigent civil litigant.” Plaintiff informs Attorney, Michael Ira Braverman,
Getz & Braverman, P.C. more that pro bono services were sought.
The following documents are attached to this letter: Second Amended Complaint annexed with
Exhibits, address of defendant, and affidavit.
Thank you for your concerns that relate toward this matter.
Dated: May 25, 2018.
New York, New York
_________________________________
MATTHEW STEPHEN SHEPLER
90 Church Street (Church Street Station)
P.O. Box # 1188
New York, NY 10008-1188, U.S.
(857) 600-2448
mshepler@gmx.us
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
MATTHEW STEPHEN SHEPLER,
Plaintiff,
-against-
Case No. 1:17-cv-10254
AFFIDAVIT
MICHAEL COLLURA,
Defendant.
State of New York
County of New York
I, the undersigned, a self-represented litigant in civil actions for an “indigent civil
litigant,” state under penalty of perjury that in the within action; I have read the foregoing
LETTER TO ATTORNEY MICHAEL IRA BRAVERMAN IN REGARDS TO A
REQUEST FOR CONTINGENT FEE ATTORNEY and know the contents thereof; the same
is true to my knowledge, except as to the matters I believe to be true. The grounds of my belief
as to all matters stated upon my own knowledge are the materials in my file and the
investigation(s) therein—civil action for the deprivation of rights.
Dated: May 25, 2018.
New York, New York
_________________________________
MATTHEW STEPHEN SHEPLER
90 Church Street (Church Street Station)
P.O. Box # 1188
New York, NY 10008-1188, U.S.
(857) 600-2448
mshepler@gmx.us



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