Tonya Allen DDS, P.A. v. Smith County Appraisal District

ACCEPTED 12-15-00029-CV TWELFTH COURT OF APPEALS TYLER, TEXAS 7/8/2015 10:59:19 AM CATHY LUSK CLERK NO 12-15-00029-CV TONYA ALLEN DDS, P.A., § IN THE TWELFTHFILED IN 12th COURT OF APPEALS § TYLER, TEXAS Appellant, § 7/8/2015 10:59:19 AM § CATHY S. LUSK V. § COURT OF APPEALSClerk § SMITH COUNTY APPRAISAL § DISTRICT, § § Appellee § TYLER, TEXAS APPELLANT'S MOTION FOR LEAVE TO FILE BRIEF Appellant asks the Court for leave to file its brief. A. Introduction 1. Appellant is Tonya Allen DDS, P.A.; Appellee is Smith County Appraisal District. 2. No rule provides a deadline to file this motion for leave to file, although the brief has already been supplied to the Court. See Tex. R. App. P. 38.6(d). 3. Appellee opposes the motion. B. Argument & Authorities 4. The Court has the authority under Texas Rule of Appellate Procedure 38.6(d) to extend the time to file the brief. 5. Appellant's brief was due on June 29, 2015. 6. Appellant’s brief was delivered to the Court on July 2, 2015, and Appellant requests leave to file its brief, extending the time until July 13, 2015, in order to confirm the filing. 7. No extensions have been granted to extend the time to file Appellant's brief. 8. Appellant needs additional time to file its brief because logistical issues regarding other prior client matters have resulted in the inability to complete the brief in a timely manner. Finally, counsel for Appellant has had a family emergency which has precluded prior completion of the brief. C. Conclusion 9. Appellant, both due to accident or mischance, as well as due to circumstances beyond its control, was been unable to meet the deadline for filing its brief, but delivered the brief to the Court three (3) days late, and is filing this motion in response. D. Prayer 10. For these reasons, Appellant asks the Court to grant leave to file its brief until July 13, 2015 previously submitted to the Court. Respectfully submitted, THE EATON LAW FIRM, PLLC By:_______________________ Michael W. Eaton SBN 06383800 1701 W. Northwest Highway Suite 100 Grapevine, Texas 76051 Telephone: (817) 431-1111 Telecopier: (817) 431-1180 ATTORNEYS FOR DEFENDANT TONYA ALLEN DDS, P.A. CERTIFICATE OF CONFERENCE I certify that this office has conferred with Sandra Griffin by electronic communication, and she opposes this Motion for Leave to File Brief. ______________________ Michael W. Eaton CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the foregoing Appellant’s Motion for Leave to File Brief was served on counsel for Defendant/Appellee by fax transmission and by overnight delivery with delivery confirmation on July 8, 2015. _______________________ Michael W. Eaton