in the Interest of M.B.M. and J.J.M., Children

ACCEPTED 01-15-00256-CV FIRST COURT OF APPEALS HOUSTON, TEXAS 6/19/2015 3:02:22 PM CHRISTOPHER PRINE CLERK No. 01-15-00256-CV ____________________________________ FILED IN 1st COURT OF APPEALS IN THE COURT OF APPEALS FOR THE HOUSTON, TEXAS FIRST JUDICIAL DISTRICT OF TEXAS AT HOUSTON 6/19/2015 3:02:22 PM ____________________________________CHRISTOPHER A. PRINE Clerk IN THE INTEREST OF M.B.M. and J.J.M., CHILDREN _________________________________________________________ L.M., Appellant v. Texas Department of Family & Protective Services, Appellee On appeal from the 313th Judicial District of Harris County, Texas; No. 2014-00491J MOTION FOR EXTENSION OF TIME TO THE HONORABLE JUSTICES OF THE COURT OF APPEALS: The Texas Department of Family & Protective Services (hereinafter “Department”), Appellee, files this motion as follows: 1. Applicable Deadlines: The appeal in this case began with a notice of appeal filed on March 13, 2015. The clerk’s record was filed on April 2, 2015, and the reporter’s record was filed on April 23, 2015. The Appellant received additional time to file his brief, and did so on June 2, 2015. With the filing of Appellant’s Brief, Appellee’s brief became due twenty (20) days later, that is by June 22, 2015, pursuant to Tex. R. App. P. 38.6 (b). 2. First Request for Extension of Time: This is the Department’s first request for an extension of time in this case. The Department is asking for a twenty (20) day extension up to and including July 13, 2014. 3. Legal Authority for Extension of Time: Tex. R. App. P. 38.6(d) authorizes this court to extend the time for filing a brief if a motion is filed in conformity with Tex. R. App. P. 10.5 before or after the brief is due. 4. Facts Necessitating Request: Counsel for Department in this case has been involved in several other ongoing matters which necessitate this request. Chief among these is an ongoing mandamus proceeding involving alleged medical neglect of a child, which was filed on May 7, 2015 in the First Court of Appeals under Cause Number 01-15-00430-CV. The Department was required to file its response to the Petition for Writ of Mandamus, as well as to an Emergency Motion for Stay Pending Review of Writ of Mandamus, on May 15, 2015. In addition, the 1 Department was required to prepare for a hearing on May 19, 2015, it sought emergency relief in the matter through a motion filed on May 22, 2015, was involved in a hearing ordered by the First Court of Appeals on May 28, 2015, and was ordered to respond by June 12, 2015 to another motion filed by the Relators in that case. In addition, Counsel for the Department is involved in another appeal under Cause No. 14-15-00256-CV in which the deadline for the Department’s 1 Though all parties appeared for this hearing in the trial court, it was reset. 2 response is June 24, 2015. The time it has taken to attend to these other matters necessitates this request for more time to respond to the present appeal. WHEREFORE, PREMISES CONSIDERED, the Department hereby requests that this court grant an extension of the current deadline for filing of the Department’s response by twenty (20) days up to and including July 13, 2015. Respectfully submitted, VINCE RYAN HARRIS COUNTY ATTORNEY By: /s/ Robert J. Hazeltine-Shedd Robert J. Hazeltine-Shedd Assistant County Attorney State Bar #24067652 1019 Congress, 17th Floor Houston, Texas 77054 Phone: 713/274-5292; Fax: 713/437-4700 Email: robert.hazeltine-shedd@cao.hctx.net Attorney for Appellee Texas Department of Family & Protective Services 3 CERTIFICATE OF CONFERENCE This is to certify that after attempts to do so, undersigned counsel was unable to make contact with counsel for the appellant. /s/ Robert J. Hazeltine-Shedd Robert J. Hazeltine-Shedd CERTIFICATE OF SERVICE I hereby certify that on this the 19th day of June, 2015 a true and correct copy of the foregoing motion was sent to all parties to this appeal by sending a copy by electronic transmission to the Appellant care of her attorney of record, Donald. M. Crane at donmcrane@gmail.com and to the attorney ad litem for the children, John Millard at john@millard-law.com. /s/ Robert J. Hazeltine-Shedd Robert J. Hazeltine-Shedd 4