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the City of Luling v. Guadalupe Blanco River Authority
03-16-00552-CV
| Tex. App. | Nov 8, 2016
|
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Case Information

*0 FILED IN 3rd COURT OF APPEALS AUSTIN, TEXAS 11/8/2016 9:31:13 AM JEFFREY D. KYLE Clerk NO. 03-16-00552-CV THIRD COURT OF APPEALS 11/8/2016 9:31:13 AM JEFFREY D. KYLE AUSTIN, TEXAS 03-16-00552-CV *1 ACCEPTED [13673413] CLERK

__________________________________________________________________

IN THE THIRD DISTRICT COURT OF APPEALS

AUSTIN, TEXAS

__________________________________________________________________

THE CITY OF LULING,

Appellant

v.

GUADALUPE-BLANCO RIVER AUTHORITY,

Appellee

__________________________________________________________________

Appealed from the 421st Judicial District Court

Caldwell County, Texas

The Honorable Todd Blomerth, Presiding

Trial Court Cause No. 15-O-544

__________________________________________________________________

UNOPPOSED SECOND MOTION FOR EXTENSION OF TIME TO FILE

APPELLANT’S BRIEF

__________________________________________________________________

TO THE HONORABLE THIRD DISTRICT COURT OF APPEALS:

Appellant the City of Luling files this Unopposed Second Motion for Extension of

Time to File Appellant’s Brief.

As reported in the First Motion for Extension of Time, the parties in this matter

have engaged in settlement discussions. Those discussions have been productive and are

ongoing. Appellant believes that time for additional discussions will prove useful and

may resolve the dispute at issue here. Appellant, therefore, seeks an extension of time to

continue and hopefully finalize such settlement discussions. A thirty-day extension of

time should provide enough time to determine whether a settlement may be possible.

This is Appellants’ second request for an extension of time for this filing.

Appellees are not opposed to the request.

PRAYER

For these reasons, Appellant, the City of Luling, prays that this Court grant a

thirty-day extension of time to file its Appellants’ Brief to and including December 14,

2016. Appellant also asks for any other relief to which it may be entitled.

Date: November 8, 2016

Respectfully submitted,

T HE AL L AW G ROUP , PLLC

/ s/ David Tuckfield _____________

David Tuckfield

State Bar Number: 00795996

12400 West Hwy 71, Suite 350-150

Austin, TX 78738

Telephone: (512) 576-2481

Facsimile: (512) 366-9949

Eric B. Storm

State Bar No. 24033244

11610 Bee Caves Rd., Suite 220

Austin, TX 78738

Telephone: (512) 593-1881

Facsimile: (512) 276-6677

ATTORNEYS FOR APPELLANT THE

CITY OF LULING

CERTIFICATE OF CONFERENCE

I certify that I have conferred with Joseph R. Knight, counsel for Appellee,

regarding this motion and Appellee is not opposed to the relief sought in this motion.

/s/ David Tuckfield

David Tuckfield

CERTIFICATE OF SERVICE

I hereby certify that a true and correct copy of the foregoing document has been

served on this 8 th day of November 2016 by e-file and/or electronic mail in accordance

with the Texas Rules of Civil Procedure to the following:

Joseph R. Knight

State Bar. No. 11601275

jknight@ebbklaw.com

111 Congress Ave., Suite 2800

Austin, Texas 78701

512.770.4010

512.684.7681 (facsimile)

Attorneys for Defendant Guadalupe Blanco River Authority

/s/ David Tuckfield

David Tuckfield

Case Details

Case Name: the City of Luling v. Guadalupe Blanco River Authority
Court Name: Court of Appeals of Texas
Date Published: Nov 8, 2016
Docket Number: 03-16-00552-CV
Court Abbreviation: Tex. App.
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