City of New Braunfels, Texas v. Tourist Associated Businesses of Comal County Union River LLC D/B/A Landa River Trips Chuck's Tubes Waterpark Management, Inc. Tri-City Distributors, LP Stone Randall Williams And W. W. GAF, Inc. D/B/A Rockin "R" River Rides
ACCEPTED
03-14-00198-CV
3904930
THIRD COURT OF APPEALS
AUSTIN, TEXAS
1/26/2015 4:47:53 PM
JEFFREY D. KYLE
CLERK
CAUSE NO. 03-14-00198-CV
CITY OF NEW BRAUNFELS, TEXAS, § IN THE COURT OF FILED
APPEALS
IN
Appellant, § 3rd COURT OF APPEALS
§ AUSTIN, TEXAS
v. § 1/26/2015 4:47:53 PM
§ JEFFREY D. KYLE
STOP THE ORDINANCES, PLEASE; § Clerk
W.W.GAF, INC., D/B/A ROCKING' R § THIRD DISTRICT OF TEXAS
RIVER RIDES; TEXAS TUBES; TOURIST §
ASSOCIATED BUSINESSES OF COMAL §
COUNTY; UNION RIVER, LLC, D/B/A §
LANDA RIVER TRIPS; CHUCK'S TUBES; §
WATERPARICMANAGEMENT,INC.; §
TRI-CITY DISTRIBUTORS, LP AND §
STONE RANDALL WILLIAMS, §
Appellees. § AUSTIN, TEXAS
APPELLEES' MOTION TO RESET ORAL ARGUMENT
TO THE HONORABLE JUSTICES OF SAID COURT:
Appellees ask the Court to reset oral argument.
A. INTRODUCTION
I. Appellant is City of New Braunfels, Texas; Appellees are STOP The Ordinances,
Please; W.W.GAF, Inc., d/b/a Rocking' R River Rides; Texas Tubes; Tourist Associated Businesses
of Coma! County; Union River, LLC, d/b/a Landa River Trips; Chuck's Tubes; Waterpark
Management, Inc.; Tri-City Distributors, LP and Stone Randall Williams.
2. This appeal is scheduled for oral argument on February II, 2015, at I :30 p.m.
3. Appellee has attempted to obtain agreement but Appellant's counsel has not been
able to agree or disagree with this Motion as of today.
B. ARGUMENT & AUTHORITIES
4. The Court has the authority under Texas Rule of Appellate Procedure 10.5( c) to reset
oral argument.
Page 1 of 4
5. Appellees ask the Court to reset oral argument in this case because Appellees' lead
attorney, James B. Ewbank, II, cannot attend oral argument on the date presently scheduled for
argument.
6. On the date scheduled for argument, James B. Ewbank, II, is scheduled to be in trial
as lead counsel in the Court of Common Pleas before Judge John A. Enlow, Courtroom #2, in
Portage County, Ohio, Amanda Linna et al v. Robert Lewis et al, Cause No. 2008 CV 01519. A
copy of the Notice of Hearing setting the Civil Jury Trial is attached hereto as Exhibit A-1. This
matter has been set for trial since July 30, 2014. No other attorney is available to take over the trial,
and try the matter as lead counsel, within two weeks.
7. James B. Ewbank, II is the only attorney for Appellees who has been significantly
involved in the extensive and protracted dispute between the patiies since its inception. No other
attorney in the firm is able to m·gue this case because no other attorney is familiar with the history
and detailed facts of the case.
8. Oral argument is necessary for the proper presentation of this case because oral
argument will facilitate the Court's understanding of the complex facts and issues in the case.
9. No motion to reset oral argument has been granted in this case.
10. Appellees attach an affidavit to this motion to establish facts that are not included in
the appellate record, are not lmown to the Court in its official capacity, and are not within the
personal knowledge of the attorney signing this motion. See Affidavit of James B. Ewbank, II,
which is attached hereto as Exhibit A. Tex. R. App. P. 10.2.
C. PRAYER
11. For these reasons, Appellees ask the Cou1i to grant this motion and to reschedule the
oral argument in this case.
Page 2 of 4
Respectfully submitted,
COKINOS, BOSIEN & YOUNG
121 0 Nueces St.
Austin, Texas 78701
(512) 476-1080 (Office)
(512) 476-7770 (Fax)
By h/~$. 8~ ##
JAMES B. EWBANK II
State BarNo. 06752710
jewbank@cbylaw.com
JACK QUENTIN NICHOLS
State Bar No. 24002692
jnichols@cbylaw.com
ATTORNEYS FOR APPELLEES
CERTIFICATE OF CONFERENCE
On January 26, 2015, the undersigned counsel attempted to conferred with William M.
McKamie, counsel for Appellant who indicated that he is unable to agree or disagree as to this
motion.
JAMES B. EWBANK, II
Page 3 of 4
CERTIFICATE OF SERVICE
I hereby certify that on January a. In-\L , 2015, I served a copy of Appellees' Motion to
Reset Oral Argument on the parties listed below by electronic service and that the electronic
transmission was reported as complete. My email address is jewbank@cbylaw.com.
ATTORNEYS FOR APPELLANT
William M. McKamie
MCKAMIE KRUEGER, LLP
941 Proton Road
San Antonio, Texas 78258
(210) 546-2122 (Office)
(21 0) 546-2130 (Fax)
mick@mckamiekmeger.com
JAMES B. EWBANK, II
Page 4 of 4
CAUSE NO. 03-14-00198-CV
CITY OF NEW BRAUNFELS, TEXAS, § IN THE COURT OF APPEALS
Appellant, §
§
v. §
§
STOP THE ORDINANCES, PLEASE; §
W.W.GAF, INC., D/B/A ROCKING' R § THIRD DISTRICT OF TEXAS
RIVER RIDES; TEXAS TUBES; TOURIST §
ASSOCIATED BUSINESSES OF COMAL §
COUNTY; UNION RIVER, LLC, D/B/A §
LANDA RIVER TRIPS; CHUCK'S TUBES; §
WATERPARI(MANAGEMENT, INC.; §
TRI-CITY DISTRIBUTORS, LP AND §
STONE RANDALL WILLIAMS, §
Appellees. § AUSTIN, TEXAS
AFFIDAVIT OF JAMES B. EWBANK, II IN SUPPORT OF
APPELLEES' MOTION TO RESET ORAL ARGUMENT
STATE OF TEXAS §
§
COUNTY OF TRAVIS §
BEFORE ME, the undersigned authority, on this day personally appeared James B. Ewbank,
II, a person !mown to me, who, after being duly sworn, stated and deposed as follows:
"My name is James B. Ewbank, II. I am over twenty-one (21) years of age,
have never been convicted of a felony, and am competent to make this affidavit. All
the matters stated herein are true and correct within my personallmowledge.
"I am lead counsel for Appellees in the above-numbered and titled cause. The
parties to this cause have a long histoty of evolving and protracted litigation. I have
been representing Appellees in parallel matters involving the same or similar
disputes between the parties since 2007. This appeal is just one part of ongoing and
complex litigation. I believe that due to the complex issues involved in the appeal,
oral argument is essential.
"On January 22, 2015, I received notification that the above-titled and
numbered cause had been set for submission and oral argument on February 11,
2015.
Page 1 of 2 EXHIBIT A
"I am currently set for trial in Ohio as lead counsel in the case of Amanda
Linna et al v. Robert Lewis et al, Cause No. 2008 CV 01519, Enlow, Courtroom #2,
in Potiage County, Ohio on February 9, 2015. Exhibit I. That trial date was set over
six months ago, on July 30, 2014. Exhibit I. A copy of the notice of hearing is
attached hereto as Exhibit I and is incorporated for all purposes.
"I am the only counsel for the Defendant in the case who is sufficiently
familiar with the facts and issues presented to tty the case. There have not been any
motions for continuance filed and none are anticipated. The case has been pending
for a significant amount of time and is ready to be heard. I anticipate that the trial
will last two weeks, beginning on February 9, 2015 and ending on February 20,
2015.
"This is Appellees' first Motion to Reset Oral Argument. This request is not
for delay only, but so that justice may be done."
FURTHER AFFIANT SAYETH NOT.
\
I
JAMES B. EWBANK, II
SUBSCRIBED AND SWORN TO BEFORE ME by the saidJames B. Ewbank, II on this dJ,--\\.....
day of January, 2015.
LOIS E. GARDNER
MY COMMISSION EXPIRES
September 18,2015
Page 2 of 2
FILED
COURT OF COMMON PLEAS
30 July 20I4
LINDA K. FANKHAUSER, CLERK
PORTAGE COUNTY, OHIO
JAMES EWBANK
1210 NUECES ST
AUSTIN TX 78701
NOTICE OF HEARING
AMANDA LINNA et a! CASE: 2008 CV 01519
PLAINTIFF
vs.
ROBERT LEWIS eta!
DEFENDANT
CIVIL JURY TRIAL IN THE ABOVE ENTITLED CASE HAS BEEN SCHEDULED
ON February 09, 2015 AT 8:30am BEFORE JUDGE JOHN A ENLOW,
COURTROOM #2.
VICKI BENNETT
ASSIGNMENT COMMISSIONER
COMMON PLEAS COURT
330-297-3858
CC: HANK F MEYER
STUART E SCOTT
WILLARD HANNER
MICHAEL A HILL
DENNIS ROBERT LANSDOWNE
BRENTS SILYERMAN
FRANK LEONETTI III
RAFAEL P MCLAUGHLIN
EXHIBIT A-1
SCANNED