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Randy Coleman and Jim Coleman Company v. Ralph Dean
04-14-00811-CV
Tex. App.
Sep 17, 2015
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Case Information

*1 No. 04-14-00811-CV

__________________________________________________________________

______

In the Fourth Court of Appeals San Antonio, Texas __________________________________________________________________

______ RANDY COLEMAN Appellant

v. RALPH DEAN Appellee

__________________________________________________________________

APPEAL FROM CAUSE NO. 11-04-49987-CV

79 DISTRICT COURT, JIM WELLS COUNTY, TEXAS HON. JUDGE RICHARD C. TERRELL

__________________________________________________________________ APPELLANT’S MOTION FOR EXTENSION OF TIME TO FILE MOTION

FOR REHEARING

__________________________________________________________________

State Bar No. 12050000 (713) 864-8000 (713) 864-0179 (fax) Counsel for Appellant Randy Coleman *2

TO THE HONORABLE JUSTICES OF SAID COURT OF APPEALS:

COMES NOW, RANDY COLEMAN, Appellant, in the above named and numbered cause, and respectfully submit this his MOTION FOR EXTENSION OF TIME TO FILE MOTION FOR REHEARING.

I.

1. On September 2, 2015, this Court issued its Opinion; affirming and modifying the Trial Court’s Final Judgment. Counsel for Appellant Randy Coleman did not receive and review the Ruling until September 8, 2015. The deadline for filing a Motion for Rehearing is September 17, 2015.

2. Counsel has diligently reviewed the Ruling and the Record. The Motion for Rehearing has been begun. The issues have been identified. Counsel has insufficient time to complete the work necessary. There are two.

3. Appellant requests that Appellant be given an additional 15 days or until October 2, 2015.

4. No other extensions have been granted regarding the issue in question. This Extension of Time is sought not for purposes of delay , but so that justice may be accomplished for all involved.

WHEREFORE PREMISES CONSIDERED, Appellant prays that this Motion for Extension of Time to File Motion for Rehearing be granted. Appellant *3 also prays for all such other and further relief to which they may be justly entitled at law or in equity.

RESPECTFULLY SUBMITTED: LAWRENCE AND BACA, PLLC ____ _/s/ Paul R. Lawrence __________ State Bar No. 12050000 Telephone: (713) 864-8000 Fax: (713) 864-0179 Counsel for Appellant CERTIFICATE OF SERVICE I, Paul R. Lawrence, in compliance with Texas Rule of Appellate Procedure, hereby certify that a true and correct copy of the foregoing Appellant’s Motion for Extension of Time to File Motion for Rehearing was sent to all other parties to the trial court’s judgment by facsimile transmission or certified mail on this the 17 day of September, 2015, as listed below:

Charles C. Webb

Charlie@wcctxlaw.com

Frank Weathered

Dunn Weathered Coffey Rivera & Kasperitis, PC

611 South Upper Broadway

Corpus Christi, Texas 78401

fweathered@swbell.net

*4 Parker Webb

parker@wcctxlaw.com

J. Michael Guerra

Law Office of J. Michael Guerra

1600 E. Main, Suite 227

P.O. Box 1968

Alice, Texas 78333

Jmguerra14@gmail.com

Living Modular

16221 Koester

__/s/ Paul R. Lawrence

Case Details

Case Name: Randy Coleman and Jim Coleman Company v. Ralph Dean
Court Name: Court of Appeals of Texas
Date Published: Sep 17, 2015
Docket Number: 04-14-00811-CV
Court Abbreviation: Tex. App.
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