Rysewyk v. Mont. Opticom, LLC
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The Supreme Court affirmed the order issued by the district court denying Montana Opticom, LLC's motion to disqualify counsel for Scott Rysewyk, holding that the district court did not abuse its discretion by denying the motion to disqualify Rysewyk's counsel.
Rysewyk, represented by Rabb Law Firm (RLF), filed a complaint alleging trespass, ejectment, negligent civil conspiracy, and inverse condemnation by Opticom and Jim Dolan, Jr., a partial owner of Opticom. Opticom filed a motion to disqualify Rysewyk's counsel, arguing that Rysewyk's counsel of record was disqualified from representing him because of the firm's earlier representation of Dolan. The district court denied the motion on the grounds that Opticom offered "no proof of any actual prejudice flowing from the alleged conflict of interest." The Supreme Court affirmed, holding that because the district court was presented with no evidence that Opticom was actually prejudiced, the court did not act arbitrarily or exceed the bounds of reason by denying Opticom's motion to disqualify.
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