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Anthony Moore and Joann Moore v. David Subia
04-16-00786-CV
| Tex. App. | Sep 25, 2017
|
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Case Information

*0 FILED IN 4th COURT OF APPEALS SAN ANTONIO, TEXAS 09/25/2017 2:27:41 PM KEITH E. HOTTLE CLERK *1 ACCEPTED 04-16-00786-CV FOURTH COURT OF APPEALS SAN ANTONIO, TEXAS 9/25/2017 2:27 PM NO. 04-16-00786

IN THE

FOURTH COURT OF APPEALS SAN ANTONIO, TEXAS ANTHONY MOORE AND JOANN MOORE,

Appellant v.

DAVID SUBIA,

Appellee __________________________________________________________________

On Appeal from the County Court at Law, Bexar County, Texas APPELLEE’S OPPOSED MOTION FOR EXTENSION OF TIME

TO FILE HIS BRIEF TO THE HONORABLE FOURTH COURT OF APPEALS:

APPELLEE, DAVID SUBIA (“Appellee”), respectfully present his Motion

for Extension of Time to file His Brief, and would respectfully show the Court as

follows:

I.

On August 21, 2017, Appellants filed their Amended Brief. Appellee’s

Brief was due on September 20, 2017. Appellees request an extension of time to

file their brief for the following reasons:

 The undersigned attended numerous hearings during the week of August 21,

2017 to August 25, 2017 in child custody and real estate matters;

 The undersigned participated in a two-day mediation on August 30, 2017

and September 1, 2017;

 The undersigned worked on a petition for review to the Texas Supreme

Court during the week of September 5, 2017 to September 8, 2017;

 The undersigned’s office was closed for Labor Day on September 4, 2017;

and

 The length of Appellants’ Brief requires additional time to respond.

II.

Appellee asks this Court to extend the time to file their Brief for thirty days

up to and including October 20, 2017. Appellants have been granted numerous

extensions of time in the past.

III.

This motion is not brought for purposes of delay but solely that justice may

be served.

WHEREFORE, PREMISES CONSIDERED, APPELLEE prays that he be

given an additional thirty (30) days to respond to Appellants’ Brief. Appellee

prays for such other relief to which he may be entitled consistent with this Court’s

ruling.

Respectfully submitted, /s/ Christopher J. Deeves CHRISTOPHER J. DEEVES State Bar No. 00790575 THE LAW OFFICE OF CHRISTOPHER DEEVES, P.C. 1370 Pantheon Way, Suite 110 San Antonio, Texas 78232 (210) 445-8807 (210) 501-0915 (fax) e-mail: chrisdeeves@att.net ATTORNEY FOR APPELLEE DAVID SUBIA CERTIFICATE OF CONFERENCE

On September 20, 2017, Appellee’s counsel called pro se Appellant,

Anthony Moore, who refused to discuss this matter without a submission in

writing. A proposed motion was sent to him. Pro se Appellant then filed an

opposition to this motion without ever receiving the proposed motion or discussing

it. This motion is therefore opposed.

/ s/ Christopher J. Deeves CHRISTOPHER J. DEEVES *4 CERTIFICATE OF SERVICE This will certify that a true and correct copy of the above and foregoing

document was served as indicated to the following counsel of record listed below

on September 25, 2017:

Via Priority Mail

Anthony Moore

Joann Moore

P.O. Box 340096

San Antonio, Texas 78234

/ s/ Christopher J. Deeves CHRISTOPHER J. DEEVES

Case Details

Case Name: Anthony Moore and Joann Moore v. David Subia
Court Name: Court of Appeals of Texas
Date Published: Sep 25, 2017
Docket Number: 04-16-00786-CV
Court Abbreviation: Tex. App.
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