Atlas Dental, LP Irma Cantu-Thompson, DDS, PC and Irma Cantu-Thompson Dr. Richard F. Herrscher Victor M. Zurita, DDS MAN & CFN Ortho, PLLC Navarro Orthodontix of Irving, PC Navarro Orthodontix of Ft. Worth, PLLC Navarro Orthodontix of McAllen, PLLC v. State
ACCEPTED
03-14-00614-CV
3754801
THIRD COURT OF APPEALS
AUSTIN, TEXAS
1/13/2015 4:04:45 PM
JEFFREY D. KYLE
CLERK
NO. 03-14-00614-CV
IN THE FILED IN
3rd COURT OF APPEALS
THIRD COURT OF APPEALS AUSTIN, TEXAS
OF TEXAS 1/13/2015 4:04:45 PM
JEFFREY D. KYLE
Clerk
ATLAS DENTAL, LP, ET AL
Appellant,
v.
ACS STATE HEALTHCARE, LLC AND THE STATE OF TEXAS
Appellees.
On appeal from the 53rd District Court, Travis County, Texas
Cause No. NO. D-1-GV-14-000581
FIRST UNOPPOSED MOTION TO EXTEND TIME TO FILE BRIEF
Appellant asks the Court to extend the time to file Appellant’s Brief.
A. Introduction
1. Appellants are Atlas Dental, LP and Dr. Hieu Huynh; Irma Cantu-
Thompson, DDS, PC and Irma Cantu-Thompson; Dr. Stephen Chu; Dr. Richard
F. Herrscher; MAN & CFN Ortho, PLLC, Navarro Orthodontix of Irving, PC,
Navarro Orthodontix of Ft. Worth, PLLC, Navarro Orthodontix of Mcallen,
PLLC, Navarro Orthodontix of Edinburg, PLLC, Navarro Orthodontix, PC, and
Dr. Carlos F. Navarro; RGV Smiles by Rocky L. Salinas, DDS, PA and Dr.
Rocky Salinas; Victor M. Zurita, DDS.
Appellants Motion to Extend Time to File Brief
Page 1 of 4
2. This motion is filed within the period to file a motion to extend the time to
file briefs, as required by Rules 10.5 and 38.6.
3. The appellees are not opposed to this motion.
B. Argument & Authorities
4. The Court may grant an extension of time to file briefs under Texas Rule
of Appellate Procedure 38.6.
5. The deadline to file the Brief is January 14, 2015.
6. Appellants request an additional 30 days to file its Brief, extending the
time until February 13, 2015.
7. This appeal may become moot because the State of Texas recently filed,
against some of the Appellants in this appeal, similar but discrete civil court
claims on related issues. As a result, those new claims may obviate the need for
this appeal. In addition, if the same legal questions ultimately present themselves
in those new civil cases, the issues may be more clear and straightforward to
bring in those cases. Appellants’ counsel needs some additional time to research
the effect of those new, similar claims by the State of Texas to determine whether
this appeal is necessary to preserve appellants’ legal complaints.
8. No previous extension has been requested or granted to extend the time to
file Appellant’s Brief.
Appellants Motion to Extend Time to File Brief
Page 2 of 4
C. Prayer
9. For these reasons, Appellants asks the Court to grant an extension of time
to file their brief until February 13, 2015.
Respectfully Submitted,
___________________________
Jason Ray
State Bar No. 24000511
RIGGS ALESHIRE & RAY, P.C.
700 Lavaca, Suite 920
Austin, Texas 78701
(512) 457-9806 Telephone
(512) 457-9066 Facsimile
jray@r-alaw.com
ATTORNEY FOR APPELLANT
CERTIFICATE OF CONFERENCE
I communicated by telephone on January 12, 2015 with opposing counsel,
Raymond Winter (for the State of Texas) and Eric J.R. Nichols (for ACS State
Healthcare) and they advised that they do not oppose this motion.
___________________________
Jason Ray
Appellants Motion to Extend Time to File Brief
Page 3 of 4
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing document was
served by eservice on January 13, 2015 to the following:
Counsel for State of Texas:
Raymond Winter
Office of the Attorney General
P.O. Box 12458
Austin, TX 78711-2548
raymond.winter@texasattorneygeneral.gov
Counsel for ACS State Healthcare,LLC:
Eric J.R. Nichols
Christopher R. Cowan
Beck Redden, LLP
515 Congress Avenue, Suite 1750
Austin, Texas, 78701
enichols@beckredden.com
ccowan@beckredden.com
___________________________
Jason Ray
Appellants Motion to Extend Time to File Brief
Page 4 of 4