April 6, 2015
IN THE THIRD COURT OF APPEALS
OF TEXAS AT AUSTIN
NO.03-14-00404-CV
KEVIN TOWER AND KARRIE LYNN TOWER,
Appellants,
v.
BANK OF AMERICA, N.A.
Appellee.
APPELLANTS FIRST MOTION FOR EXTENSION OF TIME TO FILE REPLY BRIEF
COMES NOW APPELLANTS Kevin Tower and Lynn Tower ("Appellants") and files
this their First Motion for Extension of Time to file a Reply Brief, and in support thereof, would
show as follows:
I. FACTS
1. This matter originated from the Hays County Court at Law. Appellants' were the
Defendant's in a case styled, Bank ofAmerica, N.A. v. Kevin Tower, Cause No. 13-0320-C.
2. Appellants' received notice that Appellee's brief was filed on March 12, 2015
thereby making the deadline for filing a Reply Brief April 1, 2015.'
3. Appellant Kevin Tower was recently promoted at his employ which has caused
great delay in a number of tasks most importantly the filing of the Reply Brief. With an
inordinate number of additional tasks required of him with his new position he has had no time
to set aside two uninterrupted days to focus on crafting the arguments required for the Reply
Brief.
Texas Rules ofAppellate Procedure §38.6(c) ofwithin 20 days after the date the appellee's brief was/I JPcbvhT
Appellants Motion forExtension of Time
4. It must be noted that the Appellant's are fighting for their home, the single most
important asset they own. Therefore it is desperately important that a Reply Brief be filed to
distinguish certain important points of law.
II. ARGUMENT & AUTHORITIES
5. Tex. R. App. P. 38.6(c) demands the Appellants' Reply Brief be submitted within
20 days of the Appellee filing its brief. Tex. R. App. P. 38.6(d) does, upon motion, allow for a
modification of the timelines in which to file the brief provided this motion complies with Tex.
R. App. P. 10.50(b), which the undersigned believes to be the case.
6. However, for good cause this Court may grant an extension. Appellants are
confident that with the impending holiday twelve (12) additional days from the date of
submission of this motion shall be sufficient time in which to file its brief.
III. PRAYER
WHEREFORE, PREMISES CONSIDERED, Appellant preys that this Court grant an
extension of time to file Appellants Appeal Brief.
Respectfully submitted:
Kevin Tc
Appellants Motion for Extension of Time
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CERTIFICATE OF SERVICE
I hereby certify that on this the 2^ day of April 2015, a true and correct copy of the
foregoing was served as stated below pursuant to the Texas Rules of Civil Procedure.
Mr. Jonathan M. Williams Confirmed Facsimile to (972) 331-5240
Marinosci Law Group. P.C.
14643 Dallas Parkway. Suite 750
Dallas, Texas 75254 "
Appellants Motion for Extension of Time
Page 3 of3