Case Information
*0 FILED IN 14th COURT OF APPEALS HOUSTON, TEXAS 6/5/2015 2:08:12 PM CHRISTOPHER A. PRINE Clerk *1 ACCEPTED 14-15-00191-CV FOURTEENTH COURT OF APPEALS HOUSTON, TEXAS 6/5/2015 2:08:12 PM CHRISTOPHER PRINE CLERK Cause No. 14-15-00191-CV IN THE
COURT OF APPEALS Fourteenth Judicial District Houston, Texas CYNTHIA STERNBERG, Appellant .
v.
LYDIA MARRERO LANGSTON TRUST, KATHERINE LANGSTON
STOETZEL, JAMES WRIGHT LANGSTON, JR., KENNETH LOUIS
LANGSTON, AND DR. JAMES WRIGHT LANGSTON, Appellees Appealed from the 190th Judicial District Court Harris County, Texas Cause No. 2013-67767 APPELLEES’ OBJECTION AND RESPONSE TO APPELLANT’S MOTION TO
EXTEND TIME TO FILE BRIEF D ARRYL V. P RATT Texas State Bar No. 24002789 2500 Legacy Drive, Suite 228 Frisco, Texas 75034 (972) 712-1515 Telephone (972) 712-2832 Facsimile courtfilings@prattlawgroup.com ATTORNEY FOR APPELLEES APPELLEES’ OBJECTION AND RESPONSE TO APPELLANT’S MOTION TO EXTEND TIME TO FILE BRIEF
APPELLEES’ OBJECTIONS AND RESPONSE TO APPELLANT’S REQUEST FOR EXTENSION OF TIME TO FILE BRIEF TO THE HONORABLE JUSTICES OF THE FOURTEENTH COURT OF APPEALS:
Appellees, LYDIA MARRERO LANGSTON TRUST, KATHERINE
LANGSTON STOETZEL, JAMES WRIGHT LANGSTON, JR., KENNETH LOUIS
LANGSTON, AND DR. JAMES WRIGHT LANGSTON, file this Objection and
Response to Appellant’s Request for Extension of Time in Which to File Brief, and in
support would show as follows:
1. On or about June 1, 2015, Appellant filed her “Appellant’s Firs [sic] Request for
Extension of Time in Which to File Brief (opposed)” (hereinafter “Request”). At
the outset, Appellees note and clarify that Appellant is seeking an extension of
time by which to file the trial court record, not Appellant’s brief as improperly
stated in the title of her Request.
2. The final judgment of the trial court was entered in this case on January 9, 2015.
Pursuant to Tex. R. App. P. 26.1(a), the original deadline for filing the appellate
record was May 11, 2015. See also Tex. R. App. P. 35.1(a) ( The appellate record
must be filed, within 120 days after the judgment is signed if governed by Tex. R.
App. P. 26.1(a)).
3. On or about April 29, 2015, Appellant filed an “Affidavit of Indigency”
(hereinafter “Affidavit”) . On May 5, 2015, the Harris County District Clerk filed *3 it’s “ District Clerk’s Contest of Affidavit of Indigence Texas Rule of Appellate
Procedure 20.1 .”
4. On May 12, 2015, the trial court entered its “Judgment and Order Sustaining
Contest to Pauper’s Oath , ” denying Appellant’s Affidavit and finding
specifically that Appellant “is able to pay all filing fees, or to give security
therefore, [and] that the affidavit was not filed in good faith.” As a result, the
district clerk was ordered not to proceed or process any further actions or settings
on the case until Appellant pays and/or deposits in full all costs of this appeal.
5. As of the date of filing of this Response, Appellant has made no payment
arrangements for the preparation of the record in this case.
6. Appellant alleges in her Request that the parties hereto “are engaged over these
identical issues in Mississippi.” To the contrary, on or about August 12, 2014, the
Mississippi court entered an order invalidating the last will and testament and
trust agreement at issue in this case to be invalid.
PRAYER WHEREFORE, PREMISES CONSIDERED, Appellees request that Appellant’s
Request be DENIED. *4 Respectfully submitted, /s/ Darryl V. Pratt Darryl V. Pratt Texas State Bar ID 24002789 PRATT LAW GROUP, PLLC 2500 Legacy Drive, Suite 228 Frisco, Texas 75034 (972) 712-1515 Telephone (972) 712-2832 Facsimile courtfilings@prattlawgroup.com ATTORNEY FOR APPELLEES CERTIFICATE OF SERVICE I certify that a copy of Appellees Objections and Response to Appellant’s Request
for Extension of Time in Which to File [Appellate Record] was served on each of the
following parties in accordance with the Texas Rules of Appellate Procedure on June 5,
2015.
Cynthia Sternberg 2727 Revere Street, #1069 Houston, Texas 75098 Langston7@aol.com /s/ Darryl V. Pratt Darryl V. Pratt
