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Michelle Bubnis v. Leander Independent School District
03-13-00196-CV
| Tex. App. | Apr 9, 2015
|
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Case Information

*0 FILED IN 3rd COURT OF APPEALS AUSTIN, TEXAS 4/9/2015 5:42:41 PM JEFFREY D. KYLE Clerk THIRD COURT OF APPEALS 4/9/2015 5:42:41 PM JEFFREY D. KYLE 03-13-00196-CV AUSTIN, TEXAS *1 ACCEPTED [4835220] CLERK

No. 03-13-00196-CV THIRD COURT OF APPEALS A USTIN , T EXAS MICHELLE BUBNIS, Appellant V.

LEANDER I.S.D., Appellee On Review from the 126 th District Court of Travis County Cause No. D-1-GV-09-001868, the Honorable Tim Sulak Presiding APPELLANT'S UNOPPOSED MOTION TO EXTEND TIME TO FILE A MOTION FOR REHEARING TO THE HONORABLE JUSTICES OF THE THIRD COURT OF APPEALS:

Appellant, Michelle Bubnis, respectfully asks this Honorable Court to extend the time to file Appellant’s Motion for Rehearing.

A. Introduction 1. The Appellant is Michelle Bubnis, an injured school teacher and former citizen

of Texas who resided in the Travis County, Texas at the time of her accident;

and the Respondent is the Leander Independent School District, a political

subdivision treated as a workers’ compensation insurance carrier in Texas.

2. This Court issued its decision on March 25, 2015.

*2 3. This motion is filed on April 9, 2015, the current due date and within the

time to file a motion to extend time, as required by Texas Rules of Appellate

Procedure including Rule 49.8

4. Lead counsel for Respondent is unopposed to this motion.

B. Argument & Authorities 5. This Court has authority under Rule 49.8 to grant Appellant additional

time to file Appellant’s Motion for Rehearing

6. This matter is a pro bono appeal.

7. This Court issued its decision on March 25, 2015, and this makes the

rehearing due on April 9, 2015.

8. Appellant requests an additional 30 days from April 9, 2015 to file the

Appellant’s Brief, extending the time until Saturday, May 9, 2015, which would

extend the due date until Monday May 11, 2015.

9. One previous unopposed extension has been granted to extend time to

file the Appellant’s Brief, and Appellee is unopposed to this extensions.

10. Appellant needs additional time to file the Appellant’s Brief because:

a. Counsel for Appellant has been involved with other judicial and

administrative proceedings in the last month and continuing into the next.

Appellant’s counsel has also had previously set family and children’s

*3 educational and extracurricular commitments in the last month and extending

into this month. Appellant’s counsel is of counsel to a very small law firm, and

counsel has had an extremely heavy workload with prior deadlines and

hearings. Included in the previous and future commitments of Appellant’s

counsel, counsel had oral argument before this Court on March 25, 2015 in

Case No. 03-14-00012-CV. Counsel had oral argument before the Texas

Supreme Court on March 26, 2015 in Case No. 14-0272. Counsel file a Reply

Brief before the 5 th Court of Appeals on April 2, 2015. Counsel has a Motion

for Rehearing due on April 13, 2015, in Case 14-0256. Counsel has an

Appellant’s Brief due on April 23, 2015 in Case No. 05-15-00195-CV before the

5 th Court of Appeals. Appellant’s counsel is also currently lead counsel of

record in District Court matters in Travis County, Harris County, Edinburgh

County, Rockwall County, Martin County and other counties.

b. Because the Appellant’s Motion for Rehearing is currently due on April

9, 2015, and for the reasons contained herein, Appellant is filing this Motion to

Extend Time to File the Appellant’s Motion for Rehearing.

c. To be able to file the succinctly and adequately file the Appellant’s

Motion for Rehearing in this significant workers’ compensation matter an

additional 30 days is requested, and not additional extensions are anticipated.

C. Conclusion This unopposed motion to extend time to file Appellant’s Motion for

Rehearing is not for the purposes of delay but for time for adequate and

succinct briefing and more time to review the record and this Court’s opininon

and to address properly this critical workers’ compensation matter.

D. Prayer

12. For these reasons, Appellant respectfully prays and asks the Court to

grant an extension of time of 30 days, plus one two day, until Monday, May 11,

2015, to file the Appellant’s Brief.

Respectfully, /s/ Brad McClellan Bradley Dean McClellan State Bar No. 13395980 1701 Directors Blvd., Suite 110 Austin, Texas 78744 (512) 327-6884 telephone (512) 327-8354 facsimile Brad.McClellan@yahoo.com Attorney for Appellant, Michelle Bubnis CERTIFICATE OF CONFERENCE I certify that I have conferred with Michael Donovan, lead counsel for Appellee by

email, and he is unopposed to the Appellant’s Motion to Extend Time to file a

Motion for Rehearing.

/s/ Brad McClellan Bradley Dean McClellan *5 CERTIFICATE OF SERVICE I certify that a copy of the foregoing Appellant’s Motion to Extend Time to File was served on the through counsel of record by the method indicated below on

April 9, 2015:

Michael J. Donovan VIA efiling

mdonovan@bajb.com

Burns Anderson Jury & Brenner, L.L.P.

P.O. Box 26300

Austin, Texas 78755-6300

512-338-5322

512-338-5363 fax

/s/ Brad McClellan Brad McClellan

Case Details

Case Name: Michelle Bubnis v. Leander Independent School District
Court Name: Court of Appeals of Texas
Date Published: Apr 9, 2015
Docket Number: 03-13-00196-CV
Court Abbreviation: Tex. App.
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