ACCEPTED
03-14-00518-CV
5514621
THIRD COURT OF APPEALS
AUSTIN, TEXAS
6/2/2015 3:44:32 PM
JEFFREY D. KYLE
CLERK
03-14-00518-CV
IN THE COURT OF APPEALS FILED IN
FOR THE THIRD DISTRICT OF TEXAS 3rd COURT OF APPEALS
AUSTIN, TEXAS
AT AUSTIN
6/2/2015 3:44:32 PM
JEFFREY D. KYLE
Clerk
James Poe and Senior Retirement Planners, LLC APPELLANTS
v.
EDUARDO S. ESPINOSA, IN HIS CAPACITY AS
RECEIVER OF RETIREMENT VALUE, LLC APPELLEE
Appeal from 53rd Judicial District Court of Travis County, Texas
(Hon. Gisela D. Triana, Presiding)
APPELLEE’S UNOPPOSED THIRD MOTION
TO EXTEND TIME TO FILE BRIEF
John W. Thomas
State Bar No. 19856425
George, Brothers, Kincaid
& Horton, L.L.P
114 W Seventh, Suite 1100
Austin, TX 78701-3015
Telephone: (512) 495-1400
Facsimile: (512) 499-0094
jthomas@gbkh.com
ATTORNEYS FOR APPELLEE
EDUARDO S. ESPINOSA, IN HIS
CAPACITY AS RECEIVER
OF RETIREMENT VALUE, LLC
1
COMES NOW, Appellee, Eduardo S. Espinosa, in his Capacity as Receiver of
Retirement Value, LLC, and request the Court to extend the time to file Appellee’s Brief.
Time to File Brief in accordance with Tex. R. App. P. 10.5(b) and Tex. R. App. P.
38.6(d).
A. Introduction
1. Appellant filed its brief on March 11, 2015.
2. Appellee’s brief is due on June 11, 2015.
3. Texas Rule of Appellate Procedure Rule 38.6(b) states that the appellee's
brief must be filed within 30 days after the date the appellant's brief was filed. Appellee
now asks the Court to grant its motion to extend time for thirty days to file appellee’s
brief.
B. Arguments & Authorities
4. The Court may extend the time for filing a brief under Texas Rule of
Appellate Procedure 38.6(d).
5. Appellee seeks an extension in this case because Appellee is working on
two appellate briefs in separate appeals, and counsel for Appellee has a vacation trip
scheduled out of the country during the next couple weeks.
6. Counsel for Appellant does not oppose this motion and has agreed to the
extension sought.
7. There has been two previous extension granted regarding the filing of
Appellee’s brief. The brief is well underway, and there should be no need for further
extensions.
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8. Appellants had approximately seven months in which to file their brief
from the date they filed their notice of appeal.
C. Prayer
9. For these reasons, Appellee Eduardo S. Espinosa, in his Capacity as
Receiver of Retirement Value, LLC asks the Court to grant an extension of time to file
the appellee’s brief until July 11, 2015.
Respectfully submitted,
/s/ John W. Thomas
John W. Thomas
State Bar No. 19856425
George & Brothers, L.L.P
114 W Seventh, Suite 1100
Austin, TX 78701-3015
Telephone: (512) 495-1400
Facsimile: (512) 499-0094
jthomas@gbkh.com
ATTORNEYS FOR APPELLEE
EDUARDO S. ESPINOSA, IN HIS
CAPACITY AS RECEIVER OF
RETIREMENT VALUE, LLC
CERTIFICATE OF CONFERENCE
The undersigned has conferred with counsel for Appellant about the merits of the
motion and counsel for Appellant has agreed to the extension of time to file Appellee’s
Brief.
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CERTIFICATE OF SERVICE
A copy of the foregoing pleading was served upon the following listed counsel in
the manner listed below, and by the Court’s electronic service on this 2nd day of June,
2015. Subject to further notice, the electronic transmission will be reported as complete
upon electronic receipt by the court.
Scott Lindsey
Gardner Aldrich, LLP
1130 Fort Worth Club Tower
777 Taylor St.
Fort Worth, TX 76102
Telephone: 817-336-5601
Fax: 817-336-5297
slindsey@gardneraldrich.com
/s/ John W. Thomas
John W. Thomas
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