Case Information
*0 FILED IN 14th COURT OF APPEALS HOUSTON, TEXAS 12/28/2015 5:02:14 PM CHRISTOPHER A. PRINE Clerk *1 ACCEPTED 14-15-00860-CV FOURTEENTH COURT OF APPEALS HOUSTON, TEXAS 12/28/2015 5:02:14 PM CHRISTOPHER PRINE CLERK NO. 14-15-00860-CV In the Court of Appeals for the Fourteenth District of Texas W.A. "ANDY" MEYERS, INDIVIDUALLY AND IN HIS CAPACITY AS FORT BEND COUNTY COMMISSIONER, Appellant, vs.
JDC/FIRETHORNE, LTD., A TEXAS LIMITED PARTNERSHIP,
Appellee. On Appeal from Cause No. 15-DCV-221725 In the 268th Judicial District Court of Fort Bend County, Texas ______________________ UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE REPLY BRIEF OF APPELLANT TO THE HONORABLE FOURTEENTH COURT OF APPEALS:
Pursuant to Rules 10.5(b) and 38.6(d) of the Texas Rules of Appellate
Procedure, Appellant W. A. "Andy" Meyers, in his capacity as Fort Bend County
Commissioner, files this unopposed motion requesting that the deadline for filing
the Reply Brief of Appellant be extended thirteen days, to Tuesday,
January 12, 2016. In support thereof, Appellant respectfully shows the Court the
following:
1. The Reply Brief of Appellant is currently due to be filed with the
Court on Wednesday, December 30, 2015. This is the first request for an extension
of the deadline for the filing of that brief.
2. Appellant requests that the deadline for the filing of the reply brief be
extended thirteen days, to January 12, 2016.
3. Since the filing of the Brief of Appellee, it has been necessary for
Appellant's counsel to devote attention to a number of other representations,
slowing the work on the reply brief. In particular, the counsel primarily
responsible for the drafting of the reply brief also has been working on another
brief in Appeal No. 04-15-00074-CV pending before the Fourth Court of Appeals.
The deadline for the filing of that brief originally was December 21, 2015, and has
recently been extended to January 5, 2016. As a result of these commitments, as
well as the intervening holiday, counsel will not be able to complete the
preparation of and file the reply brief in this proceeding by December 30, 2015.
4. As this appeal is already at issue, the requested extension of the
deadline for the filing of the reply brief will not meaningfully delay the submission
and disposition of the appeal.
5. This extension is not sought for purposes of delay, but so that justice
may be done. Granting the requested extension will ensure that the factual and
legal issues underlying this appeal are well briefed without creating an excessive
delay in the submission of the case.
6. The undersigned counsel has conferred with counsel for Appellee
regarding this motion. Counsel confirmed that the Appellee is not opposed to the
relief being sought.
Accordingly, W. A. "Andy" Meyers, in his capacity as Fort Bend County
Commissioner, respectfully prays that the Court grant this motion, extend the
deadline for the filing of the Reply Brief of Appellant to January 12, 2016, and
grant him such other and further relief to which he may be justly entitled.
Respectfully submitted,
By: /s/ J. Mark Breeding
Roy L. Cordes, Jr. J. Mark Breeding
State Bar No. 02942500 State Bar No. 04821000 Fort Bend County Attorney
Frederick D. Junkin Marcus D. Spencer
State Bar No. 11058030 First Assistant County Attorney
Andrews Kurth LLP State Bar No. 24033091
600 Travis, Suite 4200 Salvatore P. LoPiccolo, II
Houston, Texas 77002 Assistant County Attorney
(713) 220-4200 State Bar No. 12571000
(713) 220-4285 (Fax) Randall W. Morse
markbreeding@andrewskurth.com
fredjunkin@andrewskurth.com First Assistant County Attorney
State Bar No. 14549700 William H. Vidor Assistant County Attorney State Bar No. 20579200 401 Jackson Street, 3rd Floor Richmond, Texas 77469 (281) 341-4555 (281) 341-4557 (Fax) Roy.Cordes@fortbendcountytx.gov Marcus.Spencer@fortbendcountytx.gov Sal.LoPiccolo@fortbendcountytx.gov Randy.Morse@fortbendcountytx.gov Bill.Vidor@fortbendcountytx.gov ATTORNEYS FOR APPELLANT W. A. "ANDY" MEYERS, IN HIS CAPACITY AS FORT BEND COUNTY COMMISSIONER
CERTIFICATE OF CONFERENCE I hereby certify that I have conferred with counsel for the Appellee regarding
this motion. Counsel confirmed that the Appellee is not opposed to the relief being
sought.
/s/ J. Mark Breeding J. Mark Breeding
CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the foregoing Unopposed
Motion for Extension of Time to File Reply Brief of Appellant was forwarded to
all counsel of record by electronic service on this 28th day of December, 2015.
/s/ J. Mark Breeding J. Mark Breeding SERVICE LIST H. Dixon Montague
Don C. Griffin
Vinson & Elkins, LLP
1001 Fannin Street, Suite 2500
Houston, Texas 77002-6760
dmontague@velaw.com
dgriffin@velaw.com
