Case Information
*0 FILED IN 3rd COURT OF APPEALS AUSTIN, TEXAS 2/13/2015 10:07:30 AM JEFFREY D. KYLE Clerk No. 03-14-00416-CV THIRD COURT OF APPEALS 2/13/2015 10:07:30 AM JEFFREY D. KYLE 03-14-00416-CV AUSTIN, TEXAS *1 ACCEPTED [4139454] CLERK
I N THE C OURT OF A PPEALS F OR THE T HIRD J UDICIAL D ISTRICT OF T EXAS
AT A USTIN ______________________________________
B RADLEY B. W ARE , Appellant , v.
T EXAS C OMMISSION ON E NVIRONMENTAL Q UALITY ,
Appellee . ______________________________________
Appeal from the 53rd Judicial District Court
Travis County, Texas Cause No. D-1-GN-10-002342
______________________________________
U NOPPOSED M OTION FOR E XTENSION OF T IME FOR
A PPELLEE T EXAS C OMMISSION ON E NVIRONMENTAL Q UALITY
TO F ILE B RIEF ______________________________________
T O THE H ONORABLE C OURT OF A PPEALS :
Texas Commission on Environmental Quality, Appellee, requests, pursuant to
Rules 10.5(b) and 38.6(d) of the Texas Rules of Appellate Procedure, that this Court
grant the Commission a fifty-nine (59) day extension of time in which to file its
Appellee’s Brief.
I. Background Information
The Commission’s Brief is due February 17, 2015. The Commission seeks an
extension of fifty-nine days, which will create a new due date of April 17, 2015, for
filing its brief. This is the first request for extension sought by the Commission.
There is no objection to this motion.
II. Basis for the Motion Lead Counsel for the Commission is unable to devote the time necessary to
adequately prepare a response to the Appellant’s Brief filed by Bradley B. Ware.
Lead Counsel suffered a broken ankle that required surgery in early January 2015.
This injury has prevented, and continues to prevent, her from working either in her
office or full-time. Counsel recognizes that the requested extension is for an
unusually long period of time, being in excess of a thirty-day extension that would
normally be requested. But Lead Counsel does not expect to return to work full time
before March 15, 2015.
Lead Counsel appeared and argued this case in the district court on behalf of
the Commission, having at that time taken over the case from another Assistant
Attorney General. She has become familiar with the facts and issues in the case.
Therefore, it is appropriate for the Lead Counsel to be the Assistant Attorney General
predominantly responsible for the drafting of the Commission’s brief on the merits.
Due to her injury, she has been unable to devote substantial time to working on this
appeal to date, and for this reason, the Commission is requesting an extension of time
in which to file its response brief.
Accordingly, and in order to provide a full and helpful response to the Court,
counsel for the State requests a fifty-nine day extension.
This extension is not sought for delay and no party’s rights will be prejudiced
by the requested delay. The case has not yet been set for argument, so granting this
extension should not delay submission of the case.
III. Certificate of Conference
Counsel for the Commission has conferred with counsel for the Appellant and
is authorized to represent that the Commission’s request for an extension of time up
to sixty days in which to file its brief is not opposed.
PRAYER FOR RELIEF The Commission requests that this Court grant its motion for extension of time
until April 17, 2015, to file its brief.
Respectfully submitted, KEN PAXTON Attorney General of Texas CHARLES E. ROY First Assistant Attorney General *4 JAMES E. DAVIS Deputy Attorney General for Civil Litigation JON NIERMANN Chief, Environmental Protection Division /s/Linda B. Secord LINDA B. SECORD Assistant Attorney General State Bar No. 17973400 Linda.Secord@TexasAttorneyGeneral.gov PRISCILLA M. HUBENAK Assistant Attorney General State Bar No. 10144690 Priscilla.Hubenak@TexasAttorneyGeneral.gov OFFICE OF THE ATTORNEY GENERAL Environmental Protection Division P. O. Box 12548, MC 066 Austin, Texas 78711-2548 Tel: (512) 463-2012 Fax: (512) 320-0911 ATTORNEYS FOR APPELLEE, TEXAS COMMISSION ON ENVIRONMENTAL QUALITY *5 Certificate of Service On February 13, 2015, a true and correct copy of the foregoing Unopposed
Motion for Extension of Time for Appellee Texas Commission on Environmental
Quality to File Brief was served on the following counsel electronically through an
electronic service provider and by email:
Stephen P. Webb Attorneys for Appellant,
s.p.webb@webbwebblaw.com Bradley B. Ware
Gwendolyn Hill Webb
g.hill.webb@webbwebblaw.com
Webb & Webb
211 East Seventh Street
Austin, Texas 78701
Tel: (512) 472-9990
Fax: (512) 472-3183
/s/Priscilla M. Hubenak
