Douglas W. Kirk v. Plano Independent School District Nancy Humphrey, Individually and in Her Official Capacity as President of the Board of Trustees of the Plano Independent School District Anika Vaughan, Individually and in Her Official Capacity as Teacher for Plano
03-15-00211-CV
June 8, 2015
NO. 013-15-00211-CV
IN THE
THIRD COURT OF APPEALS
COMAL COUNTY, TEXAS
APPELLANT
Douglas W. Kirk
APPELLEE
Piano Independent School District, et al
JM 08 2015 •
MOTION TO EXTEND TIME FOR FILING RECORD
Douglas W. Kirk, Appellant, makes this Motion To Extend Time for filing the
Appellant's Brief on the Merits in this cause.
1. This Appeal arises out of a proceeding in the District Court for the 22nd Judicial
District, Comal County, entitled: C2014-0085C, Douglas W. Kirk v. Piano
Independent School District; Nancy Humphrey, Individually and in her Official
Capacity as President of the Board of Trustees of the Piano Independent School
District; Anika Vaughan, Individually and in her Official Capacity as Teacher for
Piano, and numbered.
2. The time limit for filing Appellant's Brief on the Merits goes to June 11, 2015.
3. The brief is due on or before June 11,2015. However Appellant Douglas W. Kirk
(pro se) requests an extension to file this brief for the following reasons:
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a. Appellant has a long standing tradition (29.5 years) of operating a family
retail fireworks business which is legally open June 24 - July 4, 10 am to
midnight, but requires three weeks prior to opening and one week after closing for
ordering and receiving stock, preparing two retail locations (cleaning, cutting grass,
setting up signs, lights, flags) and conducting break-down procedures including
inventory, destocking and removal of lights, flags and signs. This is an extremely
productive time which contributes to the Texas economy and State and local Sales
Tax.
b. Appellant is also employed fulltime as the editor and publisher of two
weekly community newspapers.
c. Appellant is apro se litigant and as they say, has a fool for an attorney.
d. Appellant is diligently attempting to prepare a cogent brief.
4. There have been no previous requests for extension of time.
5. Appellant requests that:
a. The clerk of this court give notice of this motion to appellee.
b. The court grant appellant's motion.
c. This court extend the time for filing the Appellant's Brief on the Merits until
August 11, 2015 (60 Days).
6. Appellant contacted Appellee's Attorney Stephen R. Marsh and on June 2, 2015,
Mr. Marsh wrote: "I have no objection to your request for an extension."
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Respectfully Submitted,
By ~~V*yjZ^ US. llZL
Douglas Kirk, pro se
Appellant
1850 Old Sattler Road
Canyon Lake, Texas 78132
Telephone: (830)237-7313
CERTIFICATE OF SERVICE
I certify that a true and correct copy of the foregoing pleading or document has been
served on all attorneys of record and any parties who are not represented by an
attorney on June 3, 2015.
Counsel:
Stephen R. Marsh
Texas State Bar No. 13019700
David Klosterboer & Associates
1301 East Collins Boulevard
Suite 490
Richardson, TX 75081
Telephone: (214) 570-6292
Via U.S. Mail, Certified Return Receipt Requested, No. ^Pl2* 26Zo000*- ljp fltf
Douglas Kirk, pro se
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AFFIDAVIT
State of Texas
County of Comal
BEFORE ME, on this day personally appeared Douglas W. Kirk, known to me to be
a credible person, competent in all respects, to make this Affidavit, and who, being
by me duly sworn, upon his oath, deposed and stated as follows:
The Affiant is the pro se litigant and Appellant in this cause, who has read the above
and foregoing Motion to Extend Time For Filing Record; and that every statement
contained in this Affidavit is within his personal knowledge and true and correct.
Affiant
Subscribed and sworn to be before me on <?<sn/£ 3 ,2015 by
&*£^nL
igirature of Officer
Notary's typed or printed name
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My commission expires
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