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John Lawton v. David W. Lawton, Individually, as Former Independent of the Estate of Joseph G. Lawton, and as Former Agent for Joseph G. Lawton Under a Power of Attorney
01-15-00193-CV
| Tex. App. | Sep 23, 2015
|
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Case Information

*0 FILED IN 1st COURT OF APPEALS HOUSTON, TEXAS 9/23/2015 2:43:56 PM CHRISTOPHER A. PRINE Clerk *1 ACCEPTED 01-15-00193-CV FIRST COURT OF APPEALS HOUSTON, TEXAS 9/23/2015 2:43:56 PM CHRISTOPHER PRINE CLERK No. 01-15-00193-CV I N T HE OURT O F A PPEALS F OR T HE F IRST D ISTRICT O F T EXAS A T H OUSTON J OHN L AWTON , Appellant , v.

D AVID W. L AWTON , I NDIVIDUALLY , AS I NDEPENDENT E XECUTOR

OF THE E STATE OF J OSEPH G. L AWTON D ECEASED AND AS F ORMER

A GENT FOR J OSEPH G. L AWTON U NDER A P OWER OF A TTORNEY ,

Appellee . On Appeal from the County Court at Law No. 1, Fort Bend County, Texas,

Trial Court Cause No. 14-CCV-053769 U NOPPOSED M OTION FOR E XTENSION OF T IME TO F ILE EPLY B RIEF OF A PPELLANT TO THE HONORABLE COURT OF APPEALS:

Appellant John Lawton respectfully files this unopposed motion for

extension of time to file his appellant’s reply brief.

1. The present deadline for filing the appellant’s reply brief is September

24, 2015.

2. Appellant seeks a thirty-day extension, creating a new brief deadline

of October 26, 2015, in which to file his brief. This is Appellant’s first request for an extension of time to file his

reply brief.

1640.002/567671

4. This motion is unopposed.

5. Appellant needs the additional time to file his appellant’s reply brief

with this Court for the following reasons:

Lead appellate counsel for Appellant, Connie Pfeiffer, is responsible for

preparation of the appellant’s reply brief. In addition to her work on the brief in

this case, Ms. Pfeiffer has been engaged in other litigation with imminent deadlines

that have prevented her from completing the brief before the deadline, including,

but not limited to, the following:

 Preparation of appellants’ motion for en banc reconsideration in

No. 01-13-01068-CV, Diamond Offshore Services Limited and

Diamond Offshore Services Company v. Willie David Williams , In

the Houston First Court of Appeals. Appellants’ motion for en

banc reconsideration was filed on September 4, 2015, after one

extension.

 Preparation of reply in support of petition for mandamus in No. 03-

15-00401-CV, In re Xerox Corporation and Xerox State

Healthcare, LLC f/k/a ACS State Healthcare, LLC , In the Austin

Third Court of Appeals. The reply was filed on September 16,

 Preparation for trial, joint pre-trial order and preparation of jury

charge in Case No. 4:13-cv-02532, The City of Houston, Texas v.

Xerox State and Local Solutions, Inc. a/k/a and f/k/a ACS State and

Local Solutions, Inc. , In the United States District Court for the

Southern District of Texas. Trial is scheduled to begin on October

5, 2015.

 Attendance as Course Director at CLE in Austin on September 9-

11th.

Appellate counsel for Appellant, William Peterson has been engaged in

other litigation with imminent deadlines that have prevented him from completing

the appellant’s reply brief before the present deadline, including, but not limited to,

the following:

 Preparation of a petition for writ of mandamus in No. 01-15-

00774-CV, In re Wagner , In the Houston First Court of Appeals.

The petition was filed on September 8, 2015.

 Preparation of a jury charge in No. 11-03-21722-CV, Renger v.

Crown Case , In the District Court of Lavaca County. The draft

jury charge was filed on September 9, 2015.

 Assistance in preparation of brief of appellee in No. 15-20030,

Environment Texas Citizen Lobby, Inc., et al. v. ExxonMobil

Corporation, et al. , In the United States Court of Appeals for the

Fifth Circuit. The brief was filed on September 10, 2015, after two

extensions.

 Assistance in preparation of a reply in support of petition for

mandamus in No. 03-15-00401-CV, In re Xerox Corporation and

Xerox State Healthcare, LLC f/k/a ACS State Healthcare, LLC , In

the Austin Third Court of Appeals. The reply was filed on

September 16, 2015.

 Assistance in preparation of petition for rehearing en banc in No.

14-20420, Robert Ludlow, et al. v. BP, P.L.C., et al. , In the United

States Court of Appeals for the Fifth Circuit. The rehearing

motion was filed on September 22, 2015.

 Assistance in preparation for oral argument in No. 15-0146, Doris

Forte, O.D., et al. v. Wal-Mart Stores, Incorporated , In the Texas

Supreme Court. The argument was held on September 23, 2015.

 Assistance in preparation of respondent’s brief on the merits in No.

14-0767, Chris Linegar v. DLA Piper LLP (US) , In the Texas

Supreme Court. The brief is due to be filed on or before October

21, 2015 after two extensions. *4 This motion is not filed for the purpose of delay, but to allow counsel

adequate time to prepare the appellant’s reply brief.

For these reasons, Appellant respectfully requests that this Court grant him

an extension of time to file his appellant’s reply brief until October 26, 2015.

Respectfully submitted, B ECK EDDEN LLP By: /s/ William Peterson Constance H. Pfeiffer State Bar No. 24046627 cpfeiffer@beckredden.com William Peterson State Bar No. 24065901 wpeterson@beckredden.com 1221 McKinney, Suite 4500 Houston, TX 77010-2010 (713) 951-3700 (713) 951-3720 (Fax) Esther Anderson State Bar No. 00792332 esther@probateguardianship.com A NDERSON P FEIFFER PC 845 FM 517 West, Suite 200 Dickinson, TX 77539 (281) 488-6535 (281) 614-5205 (Fax) OUNSEL FOR A PPELLANT *5 C ERTIFICATE OF C ONFERENCE I certify that I conferred with Kimberly Hoesl, counsel for Appellee, and

Appellee does not oppose the requested extension.

/s/ William Peterson William Peterson ERTIFICATE OF S ERVICE I hereby certify that on September 23, 2015, a true and correct copy of the above

and foregoing Unopposed Motion for Extension of Time to File Reply Brief of Appellant

was forwarded to all counsel of record by the Electronic Filing Service Provider, if

registered, otherwise by email, as follows:

N. Kimberly Hoesl J. B. (Trey) Henderson III D OYLE ESTREPO , H ARVIN & R OBBINS , L.L.P. 440 Louisiana Street, Suite 2300 Houston, TX 77002 khoesl@drhrlaw.com thenderson@drhrlaw.com Counsel for David W. Lawton, Individually and As Independent Executor /s/ William Peterson William Peterson

Case Details

Case Name: John Lawton v. David W. Lawton, Individually, as Former Independent of the Estate of Joseph G. Lawton, and as Former Agent for Joseph G. Lawton Under a Power of Attorney
Court Name: Court of Appeals of Texas
Date Published: Sep 23, 2015
Docket Number: 01-15-00193-CV
Court Abbreviation: Tex. App.
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