ACCEPTED
12-14-00262-CV
TWELFTH COURT OF APPEALS
TYLER, TEXAS
5/6/2015 2:06:21 PM
CATHY LUSK
CLERK
No. 12-14-00262-CV
FILED IN
in the 12th COURT OF APPEALS
Twelfth Court of Appeals TYLER, TEXAS
5/6/2015 2:06:21 PM
Tyler, Texas
CATHY S. LUSK
Clerk
Charles and Mary Lou Alford,
Appellants,
v.
Robert Thomas McKeithen; EOG Resources, Inc.;
and Central Texas Land Services,
Appellees.
EOG’s Motion for Extension
Appellee EOG Resources, Inc. respectfully asks the Court to extend the
due date of its appellee’s brief by 30 days, to June 25, 2015.1
I. RULE 10.5 INFORMATION
1. Deadline for filing appellee’s brief:
May 26, 2015 (Appellant’s brief was filed on April 24, 2015).
2. Length of extension sought:
Thirty days, so that the new deadline would be June 25, 2015.
1
References to EOG include Central Texas Land Services, which is also an appellee.
Eog Resources’ Mtn. for Extension 1/4
3. Facts relied on to reasonably explain the need for extension:
Four considerations warrant an extension.
First, EOG’s counsel has a special-exceptions hearing on May 15 in B.D.
Resources, Inc. v. Ellora Energy, Inc., No. 14CV32892 in the 123rd/273rd Dis-
trict Court of Shelby County, Texas.
Second, EOG’s counsel has multiple discovery responses due on May 11
in Goodwin v. XTO Energy Inc., No. CV-13-9496 in the District Court of San
Augustine County, Texas.
Third, EOG’s counsel has a joint pretrial order due May 18 in White Rock
Expl., Inc. v. Palestine Water Well Service, Inc., No. 14-0596-B in the 114th Dis-
trict Court of Smith County, Texas. EOG’s counsel has a pretrial conference
in that case on May 29, and trial starts on June 8.
Fourth, EOG’s counsel has a summary-judgment hearing on May 26 in
Circulation Solutions v. R.A.M.P. Chemicals, No. 2015CVF000571 D3 in the
341st District Court of Webb County, Texas.
EOG wants to submit a brief worthy of this Court’s time and its own
cause. These four issues endanger that desire.
4. Number of previous extensions:
None.
II. CERTIFICATE OF CONFERENCE
EOG has conferred with the Alfords’ counsel and with McKeithen’s
counsel, and neither opposes this motion.
Eog Resources’ Mtn. for Extension 2/4
III. CONCLUSION
This is EOG’s first request for an extension. The extension is not sought
merely for delay. The four above considerations warrant the extension. Ac-
cordingly, EOG respectfully asks the Court to grant the 30-day extension, so
that EOG’s brief will be due on June 25, 2015, in accordance with Tex. R.
App. P. 10.5(b)(1) & 38.6(d).
Respectfully submitted,
Freeman Mills PC
110 N. College, Ste. 1400
Tyler, Texas 75702
903.592.7755 phone
903.592.7787 fax
www.freemanmillspc.com
By:
Jason R. Mills
Bar No. 24041494
eservicejrm@freemanmillspc.com
Graham K. Simms
Bar No. 24060610
gimms@freemanmillspc.com
Joshua C. Ashley
Bar No. 24078161
jashley@freemanmillspc.com
Eog Resources’ Mtn. for Extension 3/4
CERTIFICATE OF SERVICE
I certify that a true and correct copy of this document was served on all
counsel of record on May 6, 2015 in accordance with the Texas Rules of Ap-
pellate Procedure.
Jason R. Mills
Eog Resources’ Mtn. for Extension 4/4