Case Information
*0 FILED IN 15th COURT OF APPEALS AUSTIN, TEXAS 7/10/2025 11:52:44 AM CHRISTOPHER A. PRINE Clerk *1 ACCEPTED 15-25-00115-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 7/10/2025 11:52 AM NO. 15-25-00115-CV CHRISTOPHER A. PRINE CLERK I N T HE F IFTEENTH C OURT O F A PPEALS A USTIN , T EXAS
T EXAS A SSOCIATION OF S CHOOL B OARDS R ISK M ANAGEMENT F UND
A PPELLANT ,
V. S OUTHWEST T EXAS J UNIOR C OLLEGE A PPELLEE .
On Appeal from Val Verde County 83 rd Judicial District, Judge Robert E. Cadena Presiding, Cause No. 2023-0279-CIV
APPELLEE’S UNOPPOSED MOTION FOR 14-DAY EXTENSION TO FILE APPELLEE’S BRIEF
TO THE HONORABLE FIFTEENTH COURT OF APPEALS:
Appellee, Southwest Texas Junior College (“Appellee”) respectfully requests a
14-day extension of time to file Appellee’s Brief and respectfully states as follows:
1. This is an appeal from the trial court’s Denial of Appellant’s Motion for Partial
Plea to the Jurisdiction. Appellee’s Brief is currently due on July 14, 2025. Under Rule 10.5(b) and Rule 38.6(d) of the Texas Rules of Appellate Procedure,
this Court may extend time for filing a brief of appellee. By this motion, Appellee seeks
a 14-day extension of time to file its brief, making it due Monday, July 28, 2025. The undersigned counsel Vincent Circelli has been preparing the brief, but will
not be able to complete the brief by July 14, 2025, for the following reasons:
a. On June 27, 2025, this case was transferred from the Fourth Court of
Appeals to the Fifteenth Court of appeals. In light of this recent transfer, counsel for Southwest Texas Junior College requires additional time to review and ensure full compliance with the Fifteenth Court’s local rules and procedures prior to filing.
b. Counsel for Appellee also has many obligations related to other ongoing
cases with important litigation deadlines and activities in the days leading up to the current deadline to file Appellee’s Brief that required or will require significant attention from Appellee’s counsel, Vincent Circelli, including:
i. June 30, 2025, full-day mediation in Cause No. 5:24-cv-00038;
Landmark American Insurance Company v. Gargoyle Management, Inc. ; In the United States District Court for the Northern District of Texas, Lubbock Division;
ii. July 7, 2025, Roy Young deposition in Cause No. 4:24-cv-00949-P;
First Baptist Church Mineral Wells v. Brotherhood Mutual Insurance Company ; In the United States District Court for the Northern District of Texas, Fort Worth Division;
iii. July 7, 2025, Justin Long deposition in Cause No. 4:24-cv-00949-P;
First Baptist Church Mineral Wells v. Brotherhood Mutual Insurance Company ; In the United States District Court for the Northern District of Texas, Fort Worth Division;
iv. July 9, 2025, Patrick Snowden deposition in Cause No. 4:24-cv-00949-
P; First Baptist Church Mineral Wells v. Brotherhood Mutual Insurance Company ; In the United States District Court for the Northern District of Texas, Fort Worth Division; v. July 10, 2025, Brad Mahon deposition in Cause No. 4:25-cv-00114-O;
707 FWY Investments, LLC v. Ategrity Specialty Insurance Company ; In the United States District Court for the Northern District of Texas, Fort Worth Division;
vi. July 11, 2025, JJ Johnson deposition in Cause No. 4:24-cv-00949-P;
First Baptist Church Mineral Wells v. Brotherhood Mutual Insurance Company ; In the United States District Court for the Northern District of Texas, Fort Worth Division;
vii. July 14, 2025 Response to Motion for Summary Judgment filing in
Civil Action No. 4:24-CV-00707; Connecting Point Church v. Church Mutual Insurance Company ; In the United States District Court for the Southern District of Texas, Houston Division; viii. July 14, 2025 Response to Motion to Exclude filing in Civil Action No.
4:24-CV-00707; Connecting Point Church v. Church Mutual Insurance Company ; In the United States District Court for the Southern District of Texas, Houston Division;
ix. July 14, 2025, Travis Pechacek deposition in Cause No. 4:24-cv-00949-
P; First Baptist Church Mineral Wells v. Brotherhood Mutual Insurance Company ; In the United States District Court for the Northern District of Texas, Fort Worth Division; x. July 14, 2025, Seth Fisher deposition in arbitration proceeding Case
Number 01-24-0000-0917; Longboat Energy, LLC, Cottonwood Minerals, LLC, And Melissa Nolley Adams, as Beneficiary and as Personal Representative of the Estate of Gary Clark Adams ; in Tulsa, Oklahoma.
4. In addition, for those lawsuits already filed of which the undersigned counsel is
also lead counsel, counsel must still prepare initial disclosures, expert disclosures,
respond to discovery, and prepare for upcoming trial settings. Therefore, the
undersigned will have even less time to review, research, draft, and edit Appellee’s
brief.
5. This request is not made for purposes of delay but so that the issues may be
properly presented and fully briefed. This is Southwest Texas Junior College’s first request for an extension of time to
file its Appellee’s Brief. *5 Counsel for Southwest Texas Junior College has conferred with Texas
Association of School Boards Risk Management Fund’s counsel who does not oppose
the requested 14-day extension.
PRAYER
For the foregoing reasons, Appellee Southwest Texas Junior College respectfully
requests the Court grant this motion for an additional 14 days in which to file its
Appellant’s Brief, up to and including Monday, July 28, 2025.
Respectfully submitted, /s/ Vincent P. Circelli Preston J. Dugas III
State Bar No. 24050189 pdugas@dcclawfirm.com Vincent P. Circelli
State Bar No. 24058804 vcircelli@dcclawfirm.com Andrew D. Spadoni
State Bar No. 24109198 aspadoni@dcclawfirm.com D UGAS & C IRCELLI , PLLC 4800 Bryant Irvin Ct., Fort Worth, Texas 76107 Telephone: (817) 817-7000 Facsimile: (682) 219-0761 C OUNSEL F OR A PPELLEE *6 CERTIFICATE OF CONFERENCE I hereby certify that I have conferred with counsel for Appellants regarding the
substance of this Motion via email on July 10, 2025. Counsel for Appellants indicated
Appellant is unopposed to the requested relief.
CERTIFICATE OF SERVICE I certify that a true and correct copy of the foregoing instrument was e- served
to the following counsel on July 10, 2025, through the electronic case filing system:
Jack W. Higdon
Jack.higdon@blankrome.com
Gregory J. Moore
Greg.moore@blankrome.com
Christopher W. Caudill
Christopher.caudill@blankrome.com
B LANK R OME LLP
717 Texas Avenue, Suite 1400
Houston, Texas 77002-2727
Telephone: (713) 228-6601
F i il (713) 228 6605
C OUNSEL F OR A PPELLANT
/s/ Vincent P. Circelli Vincent P. Circelli
Automated Certificate of eService This automated certificate of service was created by the efiling system.
The filer served this document via email generated by the efiling system
on the date and to the persons listed below. The rules governing
certificates of service have not changed. Filers must still provide a
certificate of service that complies with all applicable rules.
Jen Saenz on behalf of Vincent Circelli
Bar No. 24058804
jen@pjdlawfirm.com
Envelope ID: 102973802
Filing Code Description: Motion
Filing Description: Appellee's Unopposed Motion for 14-Day Extension to
File Appellee's Brief
Status as of 7/10/2025 11:56 AM CST
Case Contacts
Name BarNumber Email TimestampSubmitted Status
Gregory Moore 24055999 greg.moore@blankrome.com 7/10/2025 11:52:44 AM NOT SENT
Jack Higdon 24007360 JHigdon@BlankRome.com 7/10/2025 11:52:44 AM NOT SENT
Christopher Caudill 24104717 christopher.caudill@blankrome.com 7/10/2025 11:52:44 AM NOT SENT
Amy Easley aeasley@dcclawfirm.com 7/10/2025 11:52:44 AM NOT SENT
Andrew Spadoni aspadoni@dcclawfirm.com 7/10/2025 11:52:44 AM NOT SENT
Jennifer Saenz jsaenz@dcclawfirm.com 7/10/2025 11:52:44 AM NOT SENT
Preston Dugas III pdugas@dcclawfirm.com 7/10/2025 11:52:44 AM NOT SENT
Vincent PCircelli vcircelli@dcclawfirm.com 7/10/2025 11:52:44 AM NOT SENT
Sarah Arroyo sarroyo@dcclawfirm.com 7/10/2025 11:52:44 AM NOT SENT
