Case Information
*0 FILED IN 1st COURT OF APPEALS HOUSTON, TEXAS 10/13/2015 5:34:29 PM CHRISTOPHER A. PRINE Clerk *1 ACCEPTED 01-15-00681-CV FIRST COURT OF APPEALS HOUSTON, TEXAS 10/13/2015 5:34:29 PM CHRISTOPHER PRINE CLERK CASE NO. 01-15-00681-CV
IN THE FIRST COURT OF APPEALS
AT HOUSTON, TEXAS CHI TRUC HOANG Appellant vs.
TREVOR GILBERT AND JORJA GILBERT
Appellees APPELLANT CHI TRUC HOANG’S
MOTION FOR EXTENSION OF TIME TO FILE BRIEF
COME NOW Appellant Chi Truc Hoang (“Hoang”) and files this Motion for
Extension of Time to File Brief and in support thereof show as follows:
INTRODUCTION 1. Appellant is Chi Truc Hoang.
2. There is no specific deadline to file this motion to extend time. See Tex.
R. App. P. 38.6(d).
ARGUMENT AND AUTHORITIES
3. The Court has the authority under Texas Rule of Appellate Procedure
38.6(d) to extend the time to file a brief.
4. Appellant’s Brief is currently due on October 23, 2015.
5. Appellant Hoang requests an additional thirty-three (33) days to file his
brief extending the time until November 25, 2015.
6. No extension has been granted to extend the time to file Appellant
Hoang’s brief.
7. Appellant Hoang needs additional time to file his brief because his lead
attorney Mynde S. Eisen (“Eisen” has the following conflicts:
a. Eisen is lead appellate counsel in Case No. 07-15-00358-CV;
Terry T. Blevins v. Vincent Ali a/k/a James Vincent Houston and
Martha Houston pending in the Seventh Court of Appeals,
Amarillo, Texas. Her brief is due in that case on October 29,
2015.
b. Eisen is set for trial on November 20, 2015 in Adversary No. 15-
3128; Tondi Whitfield vs Harandi Corporation, et al ; pending in
the United States Bankruptcy Court for the Southern District of
Texas. This case is still has on-going discovery and is set for a
mediation on October 23, 2015. If the mediation is not successful,
counsel will have to complete numerous depositions and
discovery and prepare for trial.
c. Eisen also has numerous other cases with on-going discovery
which have discovery cutoff deadlines in the middle of November
and mediation set through the end of November.
8. Eisen is a sole practitioner and requests this extension in order to
properly represent her client. Eisen was not trial counsel so she is having to review
all of the issues that occurred at the trial in this case.
9. Eisen has emailed Dana LaJune, attorney for Appellants, who has not
yet responded to her any of her two emails to see if he opposes this Motion, so she
is cannot represent whether he opposes this Motion or not.
WHEREFORE PREMISES CONSIDERED Appellant Chi Truc Hoang’s
request that this Court grant an extension of time to file his brief until November 25,
2015 and for such other and further relief to which he may be entitled.
Respectfully submitted, LAW OFFICE OF MYNDE S. EISEN, P.C. By /s/ Mynde S. Eisen Mynde S. Eisen State Bar No. 06503950 P. O. Box 630749 Houston, Texas 77263 (713) 266-2955 (281) 343-1089 wyndeeisen@sbcglobal.net and Gary Cerasuolo State Bar No. 00789927 Smith & Cerasuolo, LLP 7500 San Felipe, Suite 410 Houston, Texas 77063 (713) 787-0003 (713) 782-6785 (fax) gary.cerasuolo@sbcglobal.net ATTORNEYS FOR APPELLANT CHI TRUC HOANG *4 CERTIFICATE OF CONFERENCE
Appellants counsel has attempted to conferred with Dana LaJune, attorney for
Appellees by email, but has had no response to her emails, so no representation can
be made as to whether he opposes or doesn’t oppose the email.
/s/ Mynde S. Eisen Mynde S. Eisen CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of this Response has been served
on all parties in interest as listed below by ecf transmission and/or by facsimile and/or
by depositing the same in the U.S. mail, certified mail, return receipt requested on this
13 th day of October 2015.
/s/ Mynde S. Eisen Dana LeJune
Dana LeJune & Associates
6526 Washington Avenue, Suite 300
Houston, Texas 77007
