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Graphic Packaging Corporation v. Glenn Hegar, Comptroller of Public Accounts of the State of Texas And Ken Paxton, Attorney General of the State of Texas
03-14-00197-CV
| Tex. App. | Aug 21, 2015
|
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Case Information

*0 FILED IN 3rd COURT OF APPEALS AUSTIN, TEXAS 8/21/2015 4:02:52 PM JEFFREY D. KYLE Clerk THIRD COURT OF APPEALS 8/21/2015 4:02:52 PM JEFFREY D. KYLE AUSTIN, TEXAS 03-14-00197-CV *1 ACCEPTED [6607201] CLERK No. 03-14-00197-CV _______________________________________________

IN THE COURT OF APPEALS THIRD JUDICIAL DISTRICT OF TEXAS AT AUSTIN _______________________________________________

GRAPHIC PACKAGING CORPORATION, Appellant v.

GLENN HEGAR, COMPTROLLER OF PUBLIC ACCOUNTS OF THE STATE OF TEXAS; AND KEN PAXTON, ATTORNEY GENERAL

OF THE STATE OF TEXAS, Appellees.

UNOPPOSED MOTION TO CHANGE DESIGNATION OF LEAD COUNSEL, AND TO WITHDRAW AND SUBSTITUTE COUNSEL FOR APPELLANT TO THE HONORABLE THIRD COURT OF APPEALS:

Pursuant to Texas Rules of Appellate Procedure 6.5, 9.5, and 10, and

Local Practices No. 8, 11, and 14, James (“Jimmy”) Martens, Lacy Leonard,

Amanda Taylor, and Danielle Ahlrich and the law firm of Martens, Todd,

Leonard, Taylor & Ahlrich (“MTLT&A Counsel”), who currently represent

Appellant Graphic Packaging Corporation (“the Client”), file this Unopposed

Motion to Change the Designation of Lead Counsel and to Withdraw and

Substitute Counsel for Appellant. In support of this Motion, MTLT&A

Counsel respectfully submit the following:

I. Background: 1. For purposes of this appeal, MTLT&A Counsel have served as

local counsel supporting the pro hac vice appearance and representation by

Client’s primary counsel, California-based attorneys Amy Silverstein and

Edwin Antolin.

2. Because Jimmy Martens signed the Notice of Appeal, he was

designated as Lead Counsel for Client. See Tex. R. App. P. 6.1; Local

Practice No. 8. This designation was not officially changed despite Ms.

Silverstein serving in lead counsel capacity.

3. Upon the withdrawal of MTLT&A Counsel, Silverstein and

Antolin will remain as the primary counsel for Client in this appeal. This

Motion provides written notice to change the designation of Lead Counsel

from Mr. Martens to Ms. Silverstein. Tex. R. App. P. 9.5 ; Local Practice No.

11.

4. Upon the withdrawal of MTLT&A Counsel, the Honorable

Wallace B. Jefferson will substitute in as local counsel. His contact

information is:

The Honorable Wallace B. Jefferson A LEXANDER , D UBOSE , J EFFERSON & T OWNSEND , LLP 515 Congress Ave., Suite 2350 Austin, Texas 78701-3562 Phone: (512) 482-9300

Fax: (512) 482-9303

Email: wjefferson@adjtlaw.com SBOT No.: 00000019

II. Argument & Authorities: 1. This Court may permit counsel to withdraw from representing an

appellate party “on appropriate terms and conditions” pursuant to Texas

Rule of Appellate Procedure 6.5. When another attorney is substituting in

for the withdrawing counsel, Rule 6.5 requires that that Motion be delivered

to the party at the party’s last known address via both certified and first class

mail, or in person, and that the Motion state all required information for the

substituting attorney. Tex. R. App. P. 6.5(b), (d). As shown by the

Certificate of Service below and the information provided in Section I above,

this Motion satisfies the requirements of Rule 6.5.

2. MTLT&A Counsel seek to withdraw from representing the Client

in this proceeding for good cause and not for purposes of delay. Especially

given the contemporaneous substitution of alternative local counsel and the

current status of the appeal (an Opinion having issued on July 28, 2015),

MTLT&A Counsel’s withdrawal can be accomplished without material

adverse effect on the interests of Client. See Tex. Disciplinary Rules of Prof.

Conduct 1.15(b).

3. The Client and co-counsel (Silverstein and Antolin) have been

informed of MTLT&A’s desire to withdraw as Appellant’s counsel from this

case. Neither the Client nor co-counsel oppose this Motion. Additionally,

MTLT&A Counsel have conferred with opposing counsel (Mr. Rance Craft)

about this Motion, and he does not oppose it.

PRAYER James (“Jimmy”) Martens, Lacy Leonard, Amanda Taylor, and

Danielle Ahlrich and the law firm of Martens, Todd, Leonard, Taylor &

Ahlrich (“MTLT&A Counsel”) respectfully request that this Court grant this

Unopposed Motion to Change the Designation of Lead Counsel, and to

Withdraw and Substitute Counsel for Appellant in this matter. MTLT&A

Counsel pray that this Court will enter an order stating that MTLT&A

Counsel are hereby withdrawn from any further representation of Client in

this proceeding, and that the Honorable Wallace B. Jefferson of Alexander,

Dubose, Jefferson & Townsend LLP is substituted in their place.

Respectfully submitted, M ARTENS , T ODD , L EONARD , T AYLOR & A HLRICH 301 Congress Ave., Suite 1950 Austin, Texas 78701 Telephone: (512) 542-9898 Telecopier: (512) 542-9899 By: /s/ James Martens __________ James F. Martens jmartens@textaxlaw.com State Bar No. 13050720 Lacy L. Leonard lleonard@textaxlaw.com State Bar No. 24040561 Amanda Taylor ataylor@textaxlaw.com State Bar No. 24045921 Danielle V. Ahlrich dahlrich@textaxlaw.com State Bar No. 24059215 CERTIFICATE OF CONFERENCE I certify that the attorneys of MTLT&A have conferred with the Client

(Graphic Packaging) and co-counsel (Amy Silverstein and Edwin Antolin)

about the merits of this Motion, and they do not oppose this Motion.

I further certify that the attorneys of MTLT&A have conferred with

counsel for Appellees, Mr. Rance Craft about the merits of this Motion, and

he does not oppose this Motion.

/s/ James Martens___ James Martens *6 CERTIFICATE OF COMPLIANCE I hereby certify that this Motion complies with the typeface

requirements of Tex. R. App. P. 9.4(e) because it has been prepared in a

conventional typeface no smaller than 14-point for text and 12-point for

footnotes.

/s/ James Martens___ James Martens CERTIFICATE OF SERVICE I hereby certify that, in compliance with Tex. R. App. P. 9.5, a true and

correct copy of this Motion was served on the following counsel via e-service ,

on August 21, 2015.

Rance Craft

Assistant Solicitor General

OFFICE OF THE ATTORNEY GENERAL

P.O. Box 12548 (MC 059)

Austin, Texas 78711-2548

(512) 936-2872

(512) 474-2697 [fax]

rance.craft@texasattorneygeneral.gov

Cynthia A. Morales

Assistant Attorney General

OFFICE OF THE ATTORNEY GENERAL,

FINANCIAL AND TAX LITIGATION DIVISION,

P.O. Box 12548

Austin, Texas 78711

(512) 463-8897

(512) 477-2348 [fax]

cynthia.morales@texasattorneygeneral.gov

Amy L. Silverstein

Edwin Antolin

S ILVERSTEIN & P OMERANTZ , LLP

12 Gough Street, 2nd Floor

San Francisco, California 94103

(415) 593-3502

(415) 593-3501 (Facsimile)

Asilverstein@sptaxlaw.com

Eantolin@sptaxlaw.com

The Honorable Wallace B. Jefferson

A LEXANDER , D UBOSE , J EFFERSON & T OWNSEND , LLP

515 Congress Ave., Suite 2350

Austin, Texas 78701-3562

(512) 482-9300

(512) 482-9303 (Facsimile)

wjefferson@adjtlaw.com

I further certify that, in compliance with Tex. R. App. P. 6.5(b), a true

and correct copy of this Motion was served on the following party of record

via Certified Mail, Return Receipt Requested , and 1 st Class US Mail, on

August 21, 2015.

Graphic Packaging Corporation

c/o Lauren Tashma

Senior VP, General Counsel, & Secretary

1500 Riveredge Parkway NW

Suite 100, 9 th Floor

Atlanta, Georgia 30328

/s/ James Martens___ James Martens

Case Details

Case Name: Graphic Packaging Corporation v. Glenn Hegar, Comptroller of Public Accounts of the State of Texas And Ken Paxton, Attorney General of the State of Texas
Court Name: Court of Appeals of Texas
Date Published: Aug 21, 2015
Docket Number: 03-14-00197-CV
Court Abbreviation: Tex. App.
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