ACCEPTED
03-14-00202-CV
4572697
THIRD COURT OF APPEALS
AUSTIN, TEXAS
3/19/2015 6:34:52 PM
JEFFREY D. KYLE
CLERK
NO. 03-14-00202-CV
FILED IN
IN THE COURT OF APPEALS 3rd COURT OF APPEALS
AUSTIN, TEXAS
THE THIRD DISTRICT OF TEXAS 3/19/2015 6:34:52 PM
JEFFREY D. KYLE
DALLAS TEXAS Clerk
NEMER MASSAAD, and all other OCCUPANTS
Appellant
V.
WELLS FARGO BANK NATIONAL ASSOCIATION AS TRUSTEE
FOR OPTION ONE MORTGAGE LOAN TRUST 2006-3,
ASSET BACKED CERTIFICATES, SERIES 2006-3
Appellee.
Appeal from the County Court at Law Number One
Travis County, Texas
Trial Court Case No. C-1-CV-14-000401
Hon. Joe Carroll, presiding
MOTION TO ALLOW APPELLANT’S BRIEF
TO EXCEED WORD COUNT
Appellant’s Motion to Exceed Word Count Page 1 of 4
Identity of the Parties
Appellant/Defendant
NEMER MASSAAD
Counsel for Appellant/Defendant
James Minerve
State Bar No. 24008692
115 Saddle Blanket Trail
Buda, Texas 78610
(210) 336-5867
(888) 230-6397 (Fax)
(Appellate, Post-trial, and Appellate)
Appellee/Plaintiff
WELLS FARGO BANK NATIONAL ASSOCIATION AS TRUSTEE FOR
OPTION ONE MORTGAGE LOAN TRUST 2006-3,ASSET BACKED
CERTIFICATES, SERIES 2006-3
Counsel for Appellee/Plaintiff
Mackie Wolf Zientz & Mann, P.C.
Mark D. Cronenwett
State Bar No. 00787303
Parkway Office Center, Ste 900
14160 North Dallas Parkway
Dallas, Texas 75254
(214) 635-2650
(888) 230-6397 (Fax)
(Appellate, Post-trial, and Appellate)
Appellant’s Motion to Exceed Word Count Page 2 of 4
MOTION TO ALLOW APPELLANT’S BRIEF
TO EXCEED WORD COUNT
TO THE HONORABLE COURT OF APPEALS:
COMES NOW APPELLANT, NEMER MASSAD, who files this Motion to Allow
Appellant’s Brief to Exceed Word Count, and respectfully shows the following:
1. Concurrently with this Motion, Appellant filed his Motion for Rehearing.
2. Appellant’s Motion for Rehearing is approximately 6,850 words, excluding
the parts of the brief expemted by Tex. R. App. P. 9.1(i)(2)(D). A motion for
rehearing may typically not exceed 4,500 words.
3. It order to adequately address the Court’s original holding and the Appellee’s
Brief, it was necessary to exceed the word count as stated.
4. Appellant respectfully requests the Court to accept the Motion for
Rehearing.
WHEREFORE, PREMISES CONSIDERED, Appellant prays this Court grant his
Motion to Allow Appellant’s Brief to Exceed Word Count.
Respectfully submitted,
By: /s/ James Minerve
____________________________
James Minerve
State Bar No. 24008692
115 Saddle Blanket Trail
Appellant’s Motion to Exceed Word Count Page 3 of 4
Buda, Texas 78610
(210) 336-5867
(888) 230-6397 (Fax)
Attorney for Appellant,
Nemer Maasaad
CERTIFICATE OF CONFERENCE
On March 19, 2015, the undersigned counsel for Appellant attempted to
communicate with counsel for Appellee, Mark Cronenwett, concerning the
foregoing Motion. Mr. Cronenwett did not respond to Appellant’s communications.
/s/ James Minerve
______________________________
James Minerve
CERTIFICATE OF SERVICE
I hereby certify that on this 19th day of March a true and correct copy of the
above and foregoing document was sent via Efile.txcourts.gov electronic filing
notification system and via facsimile transmittal to the parties of record listed below:
Philip Danaher
Mark D. Cronwett
Mackie Wolf Zientz & Mann, PC
14160 North Dallas Parkway
Parkway Office Center, Suite 900
Dallas, Texas 75254
FAX: 888-230-6397
/s/ James Minerve
______________________________
James Minerve
Appellant’s Motion to Exceed Word Count Page 4 of 4