In January 2022, Connecticut attorney Nickola J. Cunha was disbarred after a judge found she made unsupported allegations of judicial bias and misrepresented facts in a heated divorce case. In 2024, Connecticut’s Appellate Court upheld the disbarment and other related orders. The case has since become a touchstone in discussions about courtroom advocacy, professional ethics, and free speech limits for attorneys.
Ambrose v. Ambrose, 223 Conn. App. 609, 309 A.3d 305 (2024)
In re Cunha, 230 Conn. App. 265 (2024)
ABA Journal & Connecticut judicial opinions on disbarment proceedings
The controversy began in Ambrose v. Ambrose, a contentious marriage dissolution. During the proceedings, Cunha sought to disqualify the presiding judge, alleging religious bias and other serious misconduct. When pressed for evidence, she pointed primarily to unfavorable rulings rather than concrete proof.
Judge Thomas G. Moukawsher found these accusations unsupported, misleading, and disruptive to the court process. This triggered a separate disciplinary hearing.
In the January 25, 2022 memorandum, Judge Moukawsher concluded that Cunha’s conduct violated seven Connecticut Rules of Professional Conduct.
Court identified misconduct and scheduled a separate discipline hearing, Disbarment ordered with a five year minimum before reinstatement could be requested.
Trustee appointed to handle client matters. Cunha was later found in contempt for withdrawing $30,000 from her IOLTA account, prompting a court-ordered audit.
In 2024, the Appellate Court affirmed the disbarment, rejecting due process and First Amendment challenges.Later in 2024, the court imposed an extra 30-month suspension to run after any reinstatement.
This case shows how in court misconduct can lead to immediate discipline by a presiding judge, it also clarifies the limits of attorney speech in court under ethical rules.
Back up allegations with clear, record based evidence
Withdraw claims if evidence cannot be substantiated
Maintain courtroom decorum at all times
Manage IOLTA accounts with absolute transparency especially during disciplinary proceedings.
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