Sanadco Inc. a Texas Corporation Mahmoud Ahmed Isba Broadway Grocery,inc. Shariz, Inc. Ruby & Sons Store, Inc. And Rubina Noorani v. Glenn Hegar, Individually and in His Official Capacity as Comptroller of Public Accounts Office of Comptroller of Public Accounts for the State of Texas And Ken Paxton, in His Official Capacity as Attorney General of the State of Texas
ACCEPTED
03-15-00430-CV
12535834
THIRD COURT OF APPEALS
AUSTIN, TEXAS
9/6/2016 10:34:11 AM
JEFFREY D. KYLE
CLERK
NO. 03-15-00430-CV
FILED IN
3rd COURT OF APPEALS
In The AUSTIN, TEXAS
9/6/2016 10:34:11 AM
Third Court of Appeals JEFFREY D. KYLE
Clerk
AT AUSTIN, TEXAS
Sanadco Inc., Mahmoud A. Isba, Broadway Grocery, Inc., Shariz,
Inc., Ruby & Sons Store, Inc., and Rubina Noorani,
APPELLANTS
VS.
The Office of the Comptroller of Public Accounts; Glenn Hegar, in his
individual and official capacities as Comptroller of Public Accounts for
the State of Texas; and Ken Paxton in his official capacity as Attorney
General of the State of Texas,
APPELLEES
Appeal From Cause No D-1-GN-13-004352
250th District Court Of Travis County, Texas
The Honorable Karin Crump, Presiding
APPELLANT’S FOURTH ABATEMENT STATUS REPORT
AND REQUEST FOR FURTHER EXTENSION OF TIME
_
TO THE HON0RABLE THIRD COURT OF APPEALS:
NOW COME SANADCO INC, MAHMOUD AHMED ISBA, BROADWAY
GROCERY, INC., SHARIZ, INC., RUBY & SONS STORE, INC., AND RUBINA NOORANI,
Appellants in the above-referenced cause, and submit the following status report
as ordered by the court in its letter dated August 24, 2016, and report the following:
1. Since the filing of the Third Abatement Status Report on May 5, 2016,
Appellants filed their Motion for Summary Judgment on July 27, 2016, to which
there has been no response.
2. The cause has been tentatively set for trial on the merits on October 12,
2016.
3. Appellants would therefore respectfully request the court to extend the
abatement of this appeal for an additional 90 days to allow for rendition of a final
judgment and filing and resolution of post judgment motions, if necessary.
ALL PREMISES CONSIDERED, Appellants respectfully request this Court to extend
the abatement of this appeal for an additional 90 days to December 5, 2016 to permit
conclusion of trial on the merits and post-trial motions in this cause.
Respectfully submitted,
By: /s/ Samuel T Jackson
Law Office of Samuel T. Jackson
Texas Bar No. 10495700
PO Box 907
Round Rock, TX 78680-0907
Mob. (512) 924-5794
Tel. (512) 692-6260
Fax. (866) 722-9685
FOR APPELLANTS
Email:
jacksonlaw@hotmail.com
CERTIFICATE OF SERVICE
I hereby certify by my signature above that a true and correct copy of the above
and foregoing instrument was served on the parties or their attorneys via
facsimile, certified mail, return receipt requested, and/or hand delivery on
September 5, 2016, in accordance with the Texas Rules of Appellate Procedure, to
the following:
JACK HOHENGARTEN
Assistant Attorney General
State Bar No. 09812200
Office of the Attorney General
Financial Litigation, Tax, and Charitable Trusts Division
P.O. Box 12548
Austin, Texas 78711-2548
Tel: (512) 475-3503
Fax: (512) 477-2348
jack.hohengarten@texasattorneygeneral.gov
Attorney for Appellees