Case Information
*0 FILED IN 12th COURT OF APPEALS TYLER, TEXAS 9/1/2015 4:43:20 PM PAM ESTES Clerk *1 ACCEPTED 12-15-00083-CV TWELFTH COURT OF APPEALS TYLER, TEXAS 9/1/2015 4:43:20 PM CATHY LUSK CLERK No. 12-15-00083 In the Twelfth District Court of Appeals Tyler, Texas ARRIZO O IL G AS NC ., Appellant, v.
B ARROW -S HAVER R ESOURCES OMPANY , Appellee.
On Appeal from the 7th Judicial District Court Smith County, Texas Cause No. 12-2565-A A PPELLANT ’ S U NOPPOSED F IRST M OTION FOR E XTENSION OF T IME
TO F ILE A PPELLANT ’ S B RIEF
Appellant Carrizo Oil & Gas, Inc. (“Carrizo”) respectfully files this
Unopposed First Motion for Extension of Time to File Appellant’s Brief. The
current deadline for filing Appellant’s Brief is September 23, 2015 . Appellant
requests a 30-day extension of time for a new deadline of October 23, 2015 .
The reasons for this request are as follows:
1. The reporter’s record in this case was filed on August 24, 2015, and it
contains 36 volumes of transcripts and exhibits from a two-week jury trial. Counsel
needs additional time to review this voluminous record to prepare the opening brief
for Carrizo.
2. In addition, the undersigned has several other briefing deadlines and
hearings that impact her ability to prepare the brief in this case, including an
accelerated, class-action appeal in Texas Law Shield LLP, et al. v. Crowley , No.
14-15-00705-CV, in the Fourteenth Court of Appeals at Houston, Texas, where the
appellants’ opening brief will be due September 22, 2015.
3. Counsel also will be attending and presenting argument at a discovery
hearing and a status conference in a multi-district litigation, styled In re New
England Compounding Pharmacy, Inc. Products Liability Litigation , MDL No.
13-2419, in the United States District Court District of Massachusetts. Both hearings
will be in Boston on September 9, 2015.
This extension is not sought for the purposes of delay. No prior extension has
been granted for this deadline.
As set forth in the Certificate of Conference below, this motion for extension
of time is Unopposed.
For these reasons, Appellant requests that the Unopposed First Motion for
Extension of Time be extended 30 days to October 23, 2015 .
Respectfully submitted, /s/ Marcy Hogan Greer Marcy Hogan Greer State Bar No. 08417650 mgreer@adjtlaw.com A LEXANDER D UBOSE J EFFERSON & T OWNSEND LLP 515 Congress Avenue, Suite 2350 Austin, Texas 78701-3562 Telephone: (512) 482-9300 Facsimile: (512) 482-9303 John M. Zukowski State Bar No. 22293400 jmz@zbsplaw.com Pascal Paul Piazza State Bar No. 15966850 ppp@zbsplaw.com Z UKOWSKI , B RESENHAN , S INEX & P ETRY , L.L.P.
1177 West Loop South, Suite 1100 Houston, Texas 77027 Telephone: (713) 965-7597 Facsimile: (713) 9639169 ATTORNEYS FOR A PPELLANT C ARRIZO O IL G AS NC . ERTIFICATE OF ONFERENCE I certify that on August 26, 2015, I conferred with Deborah Race, counsel for
Barrow-Shaver Oil & Gas Resources Company, and she stated that her client does
not oppose the relief sought in this motion for extension of time.
/s/ Marcy Hogan Greer Marcy Hogan Greer *4 ERTIFICATE OF S ERVICE On September 1, 2015, I electronically filed this motion with the Clerk of the
Court using the eFile.TXCourts.gov electronic filing system, which will send
notification of such filing to the following (unless otherwise noted below).
Otis Carroll
ocarroll@icklaw.com
Deborah Race
drace@icklaw.com
Collin M. Maloney
emaloney@icklaw.com RELAND ARROLL K ELLEY , P.C.
6101 S. Broadway, Suite 500
Tyler, Texas 75703
Telephone: (903) 561-1600
Facsimile: (903) 561-1071
R. Clay Hoblit
choblit@hfdlaw.com
H OBLIT F ERGUSON D ARLING L.L.P.
2000 Frost Bank Plaza
802 Carancahua
Corpus Christi, Texas 78401
Telephone: (361) 888-9392
Facsimile: (361) 888-9187
Counsel for Appellee
Barrow-Shaver Resources Company
/s/ Marcy Hogan Greer Marcy Hogan Greer
