T. Mark Anderson, as Co-Executor of the Estate of Ted Anderson, and Christine Anderson, as Co-Executor of the Estate of Ted Anderson//Cross-Appellants, David R. Archer, Carol Archer Bugg, John v. Archer, Karen Archer Ball, and Sherri Archer v. Richard T. Archer, David R. Archer, Carol Archer Bugg, John v. Archer, Karen Archer Ball, and Sherri Archer//Cross-Appellees, T. Mark Anderson, Co-Executor of the Estate of Ted Anderson, and Christine Anderson, as Co-Executor
ACCEPTED
03-13-00790-CV
4777696
THIRD COURT OF APPEALS
AUSTIN, TEXAS
4/6/2015 4:26:58 PM
JEFFREY D. KYLE
CLERK
No. 03-13-00790-CV
T. Mark Anderson, § IN THE THIRD
as co-executor of the estate of § FILED IN
3rd COURT OF APPEALS
Ted Anderson, and § AUSTIN, TEXAS
Christine Anderson, § 4/6/2015 4:26:58 PM
as co-executor of the estate of § JEFFREY D. KYLE
Ted Anderson, Appellants § Clerk
§
v. § COURT OF APPEALS
§
Richard T. Archer, David §
B. Archer, Carol Archer §
Bugg, John V. Archer, §
Karen Archer Ball, and §
Sherri Archer, Appellees § AUSTIN, TEXAS
CROSS-APPELLEES' SECOND UNOPPOSED MOTION TO EXTEND TIME TO FILE
BRIEF
Cross-Appellees ask the Court to extend the time to file their brief.
A. Introduction
1. Cross-Appellees are T. Mark Anderson, as co-executor of the estate of Ted Anderson,
and Christine Anderson, as co-executor of the estate of Ted Anderson. Cross Appellants are
Richard T. Archer, David R. Archer, Carol Archer Bugg, John V. Archer, Karen Archer Ball,
and Sherri Archer .
2. There is no specific deadline to file this motion to extend time. See Tex. R. App. P.
38.6(d).
B. Argument & Authorities
3. The Court has the authority under Texas Rule of Appellate Procedure 38.6(d) to extend
the time to file a brief.
4. Cross-Appellees brief was due on March 23, 2015.
5. Cross-Appellees request an extension to file their brief, extending the time until April
10, 2015.
7. Cross-Appellees need additional time to file their brief for the following reasons:
Family medical problems have interfered with counsel's ability to complete the brief.
C. Certificate of Conference
8. Prior to filing this motion, counsel for Cross-Appellees contacted counsel for Cross-
Appellants to discuss this matter, and Appellees do not oppose this extension.
D. Conclusion
9. For these reasons, Appellants ask the Court to grant an extension of time to file their
brief until April 10, 2015.
Respectfully submitted,
THE LAW OFFICE OF
GERALD D. MCFARLEN, PC
28 Fabra Oaks Road
Boerne, TX 78006
Phone: (830) 331-8554
Fax: (210) 568-4305
Email: gmcfarlen@mcfarlenlaw.com
BY: /s/ Gerald D. McFarlen
GERALD D. McFARLEN
State Bar No. 13604500
ATTORNEYS FOR CROSS APPELLEES
CERTIFICATE OF SERVICE
I do hereby certify that on the 6th day of April, 2015, a true and correct copy of the
foregoing motion was furnished to all counsel of record in accordance with the Texas Rules of
Civil Procedure.
.
Laurie Ratliff
Ikard, Golden, Jones, P.C.
400 West 15th Street, Suite 975
Austin, Texas 78701
ATTORNEYS FOR APPELLEES/CROSS APPELLANTS
/s/ Gerald D. McFarlen
GERALD D. McFARLEN