in the Interest of M.G. and S.G., Children

ACCEPTED 05-15-00234-CV FIFTH COURT OF APPEALS DALLAS, TEXAS 3/31/2015 2:52:00 PM LISA MATZ CLERK Civil Action No. 05-15-00234-CV IN THE FIFTH COURT OF APPEALS FILED IN 5th COURT OF APPEALS AT DALLAS, TEXAS DALLAS, TEXAS 3/31/2015 2:52:00 PM WHOLDEMICHAEL ENDRIAS LISA MATZ Respondent – Appellant Clerk v. LEMLEM GEBREMICHAEL Petitioner - Appellee On Appeal from the 330th Family District Court of Dallas County, Texas Hon. Andrea D. Plumlee, Presiding No. DF-13-12223 APPELLANT’S UNOPPOSED FIRST MOTION TO EXTEND TIME TO FILE APPELLANT’S BRIEF TO THE HONORABLE COURT OF APPEALS: WHOLDEMICHAL ENDRIAS, Appellant in the above-styled and numbered appeal, files this his Appellant’s Unopposed First Motion for Extension of Time to File Appellant’s Brief and in support thereof would show the Court the following: 1. This is an appeal from a Final Decree of Divorce of the 330th Judicial District Court of Dallas County singed on December 1, 2014 in No. DF-13-12223, styled In The Matter of the Marriage of Wholdemichael and Lemlem Gebremichael and In the Interest of Monica Bebrehiwot and Sened Gebrehiwot, Children. 2. A timely notice of appeal was filed on February 25, 2015. 3. The First Supplemental Designation of Clerk’s Record was filed on March 11, 2015. 4. The Reporter’s Record was filed on March 16, 2015.   Appellant’s Unopposed First Motion to Extend Time to File Appellant’s Brief – Page 1 5. Appellant’s brief is due on or before April 15, 2015. 6. Appellant’s counsel has unexpectedly taken over a number of a cases, some of which have impeding deadlines and because of the sudden and unexpected requirements of these cases, counsel has been unable to complete the brief for Appellant in this case. Moreover, Appellant has unexpectedly been required to travel outside of Texas and has limited opportunity to confer with his counsel. 7. Appellant respectfully requests that this Court, pursuant to Tex.R.App. 38.6, extend the time for filing Appellant’s Brief an additional thirty (30) days, to and including May 15, 2015. 8. No previous extensions of time have been sought by Appellant in this case. 9. Both counsel for Appellee’s have been consulted and have stated that they do not oppose this motion. WHEREFORE, Appellant prays that the Court grant this motion and that he have such further relief to which he may be entitled. Respectfully submitted, GARCIA-WINDSOR, P.C. 2603 Oak Lawn Avenue, Suite 200 Dallas, Texas 75219 Office: 469-412-1294 Facsimile: 214-736-3858 Isabela@Legal-Isa.com BY: _/s/ Isabela Amie Garcia Isabela Amie Garcia State Bar No. 24061042 ATTORNEY FOR APPELLANT   Appellant’s Unopposed First Motion to Extend Time to File Appellant’s Brief – Page 2 Certificate of Service I certify that a true copy of this Notice of Appeal was served in accordance with rule 9.5 of the Texas Rules of Appellate Procedure on each party or that party’s lead counsel as follows: Party: Lemlem Gebremichael Lead attorney: John A. Weninger Address of service: 3121 N. Fitzhugh Ave., Dallas, TX 75204 Method of service: by fax at 214-599-0008 Date of service: March 31, 2015 Party: Tombossa Negusse Lead attorney: Kevin Stuart Wiley, Jr. Address of service: 325 North Paul St., Suite 4400, Dallas, TX 75201 Method of service: by fax at 469-619-5725 Date of service: March 31, 2015 A copy of this notice is being filed with the appellate clerk in accordance with rule 25.1(e) of the Texas Rules of Civil Procedure. /s/ Isabela Amie Garcia Attorney for Respondent   Appellant’s Unopposed First Motion to Extend Time to File Appellant’s Brief – Page 3