Consolidated Property Interests, LLC v. Penny Payne

ACCEPTED 12-15-00105-CV TWELFTH COURT OF APPEALS TYLER, TEXAS 7/30/2015 11:51:29 AM CATHY LUSK CLERK No. 12-15-00105-CV FILED IN In the Twelfth Court of Appeals 12th COURT OF APPEALS TYLER, TEXAS Tyler, Texas 7/30/2015 11:51:29 AM CATHY S. LUSK Clerk Consolidated Property Interests, LLC Appellant v. Jerry Payne and Penny Payne Appellees Appealed from the 273rd Judicial District Court Sabine County, Texas SECOND UNOPPOSED MOTION TO EXTEND TIME TO FILE APPELLANT’S BRIEF Brent L. Watkins Greg Smith Texas Bar No. 24033312 Texas Bar No. 18600600 SKELTON SLUSHER RAMEY & FLOCK, P.C. 1616 S. Chestnut 100 E. Ferguson, Suite 500 Lufkin, Texas 75902 Tyler, Texas 75702 Telephone: 936-632-2300 Telephone: 903-597-3301 Facsimile: 936-632-6545 Facsimile: 903-597-2413 bwatkins@skeltonslusher.com gsmith@rameyflock.com ATTORNEYS FOR APPELLANT TO THE HONORABLE COURT OF APPEALS: Appellant Consolidated Property Interests, LLC, asks the Court to extend the time for filing appellant’s brief by 30 days to and including Friday, September 11, 2015. 1. Information Required by Rule 10.5, Tex. R. App. P. The following information supports this request. (i) Appellant’s brief is currently due to be filed August 12, 2015. (ii) Appellant requests that the deadline for filing its brief be extended by 30 days to and including Friday, September 11, 2015. (iii) This is Appellant’s second request to extend the briefing deadline. 2. Facts Explaining the Need to Extend the Briefing Deadline Counsel is unable to complete the appellant’s brief and secure the necessary client review and approval by the current deadline. Besides work on this brief, Greg Smith, lead counsel on appeal, has been and will be required to divide his available briefing time among the following matters: 2 (i) No. 14-0135, Margaret Taylor Riess and Barrett Riess vs. Petroreal, Inc., James E. Hightower, and Lynn Bryant, In the 3rd District Court of Houston County, Texas (summary-judgment briefing); and (ii) a prepaid vacation, from August 1 through August 13, 2015. 3. This motion is not sought solely for delay, but in the interest of justice and to ensure that Appellant’s brief sufficiently aids the Court’s decisional process. 4. Conference with Opposing Counsel John Seale, counsel for Appellees, states that the relief requested in this motion is unopposed. 5. Conclusion and Prayer Appellant, Consolidated Property Interests, LLC, prays that the Court would extend the time for filing its appellant’s brief by 30 days to and including Friday, September 11, 2015. 3 Respectfully submitted, /s/ Greg Smith Greg Smith State Bar No. 18600600 RAMEY & FLOCK, P.C. 100 East Ferguson, Suite 500 Tyler, TX 75702 Telephone: (903) 597-3301 Facsimile: (903) 597-2413 gsmith@rameyflock.com Brent L. Watkins State Bar No. 24033312 SKELTON SLUSHER 1616 S. Chestnut Lufkin, TX 75902 Telephone: (936) 632-2300 Facsimile: (936) 632-6545 bwatkins@skeltonslusher.com COUNSEL FOR APPELLANT Certificate of Service The undersigned certifies that a copy of the above and foregoing document was served upon counsel for Appellees in accordance with the applicable Texas Rules of Civil Procedure on this the 30th day of August, 2015, on the following: Efiling – katiemorgan@yahoo.com John H. Seale Attorney at Law P. O. Box 480 Jasper, TX 75951 /s/ Greg Smith Greg Smith 4