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Elishah Sawyers, Pax Crate & Freight, Inc. and Robin Sawyers v. Marc Carter and Sally Carter
01-14-00870-CV
| Tex. App. | Feb 13, 2015
|
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Case Information

*0 FILED IN 1st COURT OF APPEALS HOUSTON, TEXAS 2/13/2015 1:21:32 PM CHRISTOPHER A. PRINE Clerk *1 ACCEPTED 01-14-00870-cv FIRST COURT OF APPEALS HOUSTON, TEXAS 2/13/2015 1:21:32 PM CHRISTOPHER PRINE CLERK No. 01-14-00870-CV In the Court of Appeals For the First District of Texas Houston, Texas Elishah Sawyers; Pax Freight & Crate, Inc.; and Robin Sawyers, Appellants vs.

Mark Carter and Sally Carter, Appellees Appeal from the 506 Judicial District Court of Waller County, Texas Trial Court Cause No. 14-07-22604 APPELLEES MARK CARTER AND SALLY CARTER’S FIRST OPPOSED MOTION FOR EXTENSION OF TIME TO

FILE BRIEF OF APPELLEES Mr. Bruce C. Tough State Bar No. 20151500 Tough Law Firm, PLLC 819 Crossbridge Drive Spring, Texas 77373 btough@toughlawfirm.net telephone: (281) 681-0808 telecopier: (281) 281-0809 Lead Counsel for Appellees Mark Carter and Sally Carter *2 No. 01-14-00870-CV In the Court of Appeals For the First District of Texas Houston, Texas Elishah Sawyers; Pax Freight & Crate, Inc.; and Robin Sawyers, Appellants vs.

Mark Carter and Sally Carter, Appellees Appeal from the 506 Judicial District Court of Waller County, Texas Trial Court Cause No. 14-07-22604 APPELLEES MARK CARTER AND SALLY CARTER’S FIRST OPPOSED MOTION FOR EXTENSION OF TIME TO FILE BRIEF OF APPELLEES TO THE HONORABLE FIRST COURT OF APPEALS:

NOW COME Appellees, Mark and Sally Carter, to file their first

motion for an extension of time to file their Brief of Appellees pursuant to

Rule 10.5 (b) of the Texas Rules of Appellate Procedure. In support

thereof, the Appellees would respectfully show the Court as follows:

1. The Court has noticed the deadline for filing the Brief of the

Appellees on or before March 9, 2015.

2. In accordance with Texas Rules of Appellate Procedure Rule

10.5 (b), Appellees Mark and Sally Carter request this first extension of

time of thirty (30) days to file the Brief of Appellees in reliance upon the

following reasonable facts to explain the need for an extension, shown as

follows:

2a. Appellees’ counsel intends to file the Appellees’ Brief on or

before March 9, 2015 and requests this extension out of an abundance of

caution in the event that demands on the time and resources of Appellees’

counsel become overwhelming.

2b. Appellees’ counsel is lead counsel on several trial matters for

which trial settings are scheduled in early to mid- March, 2015. Appellees’

counsel is scheduled for a trial on March 2, 2015 in the 418 th Judicial

District Court of Montgomery County, Texas. Appellees’ counsel is also

scheduled for two trial court settings in Harris County; one for the two-week

period starting March 9, 2015 in the 125 th Judicial District Court of Harris

County, Texas; and, the other for the two-week period starting March 16,

2015 in the 80 Judicial District Court of Harris County, Texas. Appellees’

counsel is also scheduled to participate in a mediation in San Antonio

Texas on February 24, 2015 in a different client matter. Two of these trial

matters presumably have been settled; however, because settlement

agreements have not been prepared or finalized, the possibility of the

matters going to trial remains a possibility. These foregoing matters will

potentially require extensive time and preparation.

2c. Appellees’ counsel was substituted in on this appellate matter

less than a month ago on January 15, 2015 and has been in the process of

familiarizing himself with the history and issues in this case.

2d. The Appellants’ Brief has presented complex issues with

extensive case law attached thereto that will require a substantial time to

review.

3. No previous extensions of time have been sought by Appellees.

4. On February 11, 2015, Counsel for Appellees conferred by

telephone with Counsel for Appellants, Scott Rothenberg, on his agreement

to this first request for extension of time. Mr. Rothenberg did not express

his agreement to this motion for extension.

5. Based on the foregoing, Appellees Mark and Sally Carter pray

that this Court will grant the extension of time to file the Brief of the

Appellees for thirty (30) days from March 9, 2015 until on or before April 8,

2015.

Respectfully submitted, TOUGH LAW FIRM, PLLC /s/ Bruce C. Tough Bruce C. Tough btough@toughlawfirm.net email State Bar No. 20151500 819 Crossbridge Drive Spring, Texas 77373 (281) 681-0808 telephone (281) 681-0809 telecopy Lead Counsel for Appellees Mark Carter and Sally Carter Certificate of Service I hereby certify that a true and correct copy of the foregoing document

has been forwarded by e-filing and e-service to all lead counsel of record,

on this 13 day of February, 2015, as follows:

Scott Rothenberg

LAW OFFICES OF SCOTT ROTHENBERG

2777 Allen Parkway, Suite 1000

Houston, Texas 77019-2165

(713) 667-0052 telecopier

scott@rothenberglaw.com email

Counsel for Appellants

Elishah Sawyers; Pax Freight &

Crate, Inc.; and Robin Sawyers

/s/ Bruce C. Tough Bruce C. Tough

Case Details

Case Name: Elishah Sawyers, Pax Crate & Freight, Inc. and Robin Sawyers v. Marc Carter and Sally Carter
Court Name: Court of Appeals of Texas
Date Published: Feb 13, 2015
Docket Number: 01-14-00870-CV
Court Abbreviation: Tex. App.
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