Steven Paul Wilson v. Charles C. Dorbandt

February 24, 2015 5 CAUSE NO. 03-14-0053-CV Steven Paul Wilson, § IN THE COURT OF APPEALS Appellant, e S v. | THIRD DISTRICT OF TEXAS Charles C. Dorbandt, o Appellee. § AUSTIN DIVISION OPPOSITION TO APPELLEE'S MOTION FOR EXTENTION OF TIME COMES NOW, Appellant, Steven Paul Wilson, in opposition to Appellee's Motion for Extention of Time. For the following rea sons Appellee's Motion should be denied: 1) For cause Appellee asserts: "That Appellee has not re ceived, in a timely fashion, all documents filied by Plaintiff Appellant in this cause of action." Appellee's statement is fla grantly untrue. Appellant with every pleading, without exception, and at every stage of this suit, has filed a "Certificate of Ser vice" verifying that each and every pleading was simultaneously mailed to Appellee at his law office. If there is any doubt in this Honorable Court's mind concerning Appellant's deligence in mailing copies of all his pleadings to Appellee, the institution keeps re cords of all incoming/outgoing legal mail and their records will reflect, without exception, that each and every time a pleading was mailed to the courts,legal mail was likewise mailed to Appellee. Appellee seems to have no qualms about lying to the Court, and his lie to this Court is consistent with his purjured test imony at the evidentiary hearing of August 26, 2013 which is the basis of Appellant's defamation and slander/libel cause of action. Despite_App_ellee's Memorandum in Answer being wholly without merit, /'received n, FEB 242015 j L Tri'.ROCO'jr.Vo"', : "--vJ 1 This Honorable Court should send Appellee a message that the Court will not tolerate being lied to and deny Appellee's Motion for Extentionon Time, and instruct the Clerk's Office to strike Appellee's Momerandum in Answer from the record. 2) Appellee seeks an extention of "a short five (5) day[s].M January 9, 2015, the date in which Appellee's Brief was due and his filing of February 11, 2015 amounts to a total of 33 days, a significant amount of time beyond the five (5) days sought. As a practicing attorney, Appellee should be cognizantof his responsi bility when it comes to timely pleadings. Further, Appellee's Motion for Extention of Time is, in of itself, untimely, and Ap pellant is of the belief that Appellee needed leave of court to file the motion. Thus, Appellant would assert that the Motion for Exten tion of Time should be denied as untimely. 3) Appellee's new Memorandum in Answer is essentially the same as the one Appellant responded to in "Appellant's Reply Brief and Memorandum in Support," placed in the institutional mail on February 17, 2015, and Appellant incorporates the same herein. Subsequently, on the afternoon of the 17th, Appellant received the Appellee's latest pleadings, and his letter dated February 11, 2015. See at tached Exhibit A. Appellant will rest on his previous Reply Brief. For the foregoing reasons Appellee's Motion for Extention of Time should be denied, and his Memorandum in Answer struck. WHEREFORE, Appellant would pray that the relief requested herein be GRANTED, Respectfully submitted, J/.QJ£~^!xll7k*lS Steven Wilson 1638937 Polunsky Unit 3872 FM 350 South Livingston, TX 77351 CERTIFICATE OF SERVICE I, Appellant, Steven Paul Wilson, do hereby certify that I have this day, the / (T\day of February, 2015 mailed a copy on the enclosed "Opposition fo Appellee's Motion for Ex tention of Time," to the following: Charles C. Dorbandt Attorney at Law 7000 N. Mopac Expwy., Suite 200 Austin, TX 78731 Steven Wilson 1638937 Polunsky Unit 3872 FM 350 South Livingston, TX 77351 Law Office of Chris Dorbandt Attorney & Counselor at Law February 11, 2015 Steven Paul Wilson # 01638937 TDCI: Allan B. Polunsky Unit 3872 FM 350 South Livingston, TX 77351 Wilson v. Dorbandt; In the 3rd Court of Appeal. Dear Steve: Ignore the documents you received prior to this cover letter because Idid notfile them. I rescinded them after I had mailed your copies. Instead, Ihave filed a Motion for Extension of Time and Appellee's Memorandum in Answer to Appellant's Brief. The documents contained herein were filed today with the 3rd Court of Appeals. Sincerely, Chris Dorbandt 603 W. 12th St., Austin,TX 7870M717 www.criminallawintexas.com | www.austin-law.com r^Tv/j-/- / & (' P: 512.407.9700 Toll Free: 1.877.205.3425 F: 512.407.9701 P~Wl(f "ft NOR'I'M HOUSTOW *V> w>~t .oi.i I •;. |... Clerk of the Court Court of Appeals Third District P0 Box 12547 Austin, TX 78711-2547 i'S { i i 254 .'4 t iin>lni>'i|iili>l>iii>"iiii