Glen Sumner v. Board of Adjustments of the City of Spring Valley Village, Texas, the City of Spring Valley Village, Texas, Art Flores, Richard R. Rockenbaugh and Betty Lusk

ACCEPTED 01-14-00888-CV FIRST COURT OF APPEALS HOUSTON, TEXAS 4/29/2015 8:02:04 AM CHRISTOPHER PRINE CLERK NO. 01-14-00888-CV __________________________________________________________________ FILED IN 1st COURT OF APPEALS IN THE COURT OF APPEALS HOUSTON, TEXAS FOR THE FIRST DISTRICT OF TEXAS 4/29/2015 8:02:04 AM HOUSTON, TEXAS CHRISTOPHER A. PRINE Clerk __________________________________________________________________ GLEN SUMNER, Appellant V. BOARD OF ADJUSTMENTS OF THE CITY OF SPRING VALLEY VILLAGE, TEXAS, THE CITY OF SPRING VALLEY VILLAGE, TEXAS, ART FLORES, RICHARD R. ROCKENBAUGH AND BETTY LUSK, Appellee __________________________________________________________________ On Appeal from the 164th Judicial District Court of Harris County, Texas Trial Court Cause No. 2010-45239 Hon. Alexandra Smoots-Hogan Presiding APPELLEES’ UNOPPOSED MOTION TO EXTEND TIME TO FILE APPELLEES’ BRIEF TO THE HONORABLE FIRST COURT OF APPEALS: Pursuant to Rules 10.5(b), 38.2, and 38.6 of the Texas Rules of Appellate Procedure, Appellees, Board of Adjustments of the City of Spring Valley Village, Texas, the City of Spring Valley Village, Texas, Art Flores, Richard R. Rockenbaugh, and Betty Lusk, file this Unopposed Motion to Extend Time to File Appellees’ Brief, and in support thereof would respectfully show the following: A. On November 3, 2014, Appellant’s Notice of Appeal was received by this Court. The parties agreed to mediation which was unsuccessful. Appellant filed his Brief on March 5, 2013. Appellees file a Motion to Extend Time to File Appellees’ Brief. Appellees’ Motion was granted and Appellees’ Brief is now due to be filed on or before May 6, 2015. B. Appellees request a thirty (30) day extension of time to file its Brief, which, if granted, would make the Appellees’ Brief due on or before Friday, June 5, 2015. C. The undersigned has been preparing Appellees’ Brief, but will not be able to adequately complete the Response by May 6, 2015. The undersigned is and recently has been involved in a number of significant hearings in the trial courts, discovery matters, trial preparations, and drafting and responding to motions. Additionally, the undersigned is assigned to trial on May 6, 2015. D. In light of these matters, this extension is requested through Friday, June 5, 2015, in order to allow Appellees’ counsel sufficient time to complete the Brief. Counsel for Appellees will provide additional reasons for this request to the Court, if helpful. E. This is Appellees’ second request for an extension of time to file its Brief. Appellees’ Motion to Extend No. 01-14-00888-CV 2 F. Counsel for Appellant has been contacted and is not opposed to this request, as set forth in the certificate of conference. WHEREFORE, PREMISES CONSIDERED, Appellees respectfully request that this Court grant this Unopposed Motion to Extend Time for filing Appellees’ Brief, and set the deadline for filing the Brief on Friday, June 5, 2015. Respectfully submitted: By: /s/ Andrea Chan Andrea Chan State Bar No. 04086600 achan@olsonllp.com Scott Bounds State Bar No. 02706000 sbounds@olsonllp.com Wortham Tower, Suite 600 2727 Allen Parkway Houston, Texas 77019 Telephone: (713) 533-3800 Facsimile: (713) 533-3888 ATTORNEYS FOR APPELLEES CERTIFICATE OF CONFERENCE Appellees’ counsel contacted counsel for Appellant on April 28, 2015, and counsel is unopposed to this request to extend time for Appellees to file its Motion for Rehearing. /s/ Andrea Chan Andrea Chan Appellees’ Motion to Extend No. 01-14-00888-CV 3 CERTIFICATE OF SERVICE I hereby certify that on the 29th day of April 2015, a true and correct copy of the foregoing Appellees’ Unopposed Motion to Extend Time to File Appellees’ Brief was served by e-service on counsel for Appellant: J. Daniel Long, Elizabeth Harris, Crady, Jewett & McCulley, LLP, 2727 Allen Parkway, Suite 1700, Houston, Texas 77019. /s/ Andrea Chan Andrea Chan Appellees’ Motion to Extend No. 01-14-00888-CV 4