CFM Development, LLC v. Oil Well Buyers Corporation and Eugene A. Smitherman

ACCEPTED 14-15-00296-CV FOURTEENTH COURT OF APPEALS HOUSTON, TEXAS 5/20/2015 4:10:43 PM CHRISTOPHER PRINE CLERK NO. 14-15-00296-CV FILED IN 14th COURT OF APPEALS HOUSTON, TEXAS 5/20/2015 4:10:43 PM IN THE FOURTEENTH COURT OF APPEALS CHRISTOPHER A. PRINE Clerk CFM DEVELOPMENT, LLC, Appellant, v. DELTON DRUM, et al., Appellees. Appealed from the 253rd Judicial District Liberty County, Texas Trial Court Cause No. CV71357 APPELLANT’S UNOPPOSED FIRST MOTION FOR EXTENSION OF TIME TO FILE APPELLANT’S BRIEF ______________________________________________ Appellant, CFM Development, LLC, files this First Motion for Extension of Time to File Appellant’s Brief and would respectfully show: I. INTRODUCTION 1. This is an appeal from a jury trial. 2. Appellant’s Brief is currently due May 28, 2015. 3. Appellant has neither sought nor received any extensions. 4. Appellant requests a 30-day extension to file its brief, or up and including June 29, 2015. II. BASES FOR EXTENSION 5. In addition to attempting to review the record and adequately brief the issues in this case, Mr. Moore: * Prepared and filed a brief on April 24, 2015, in No. 6:14-cv-00419-WSS, Jerry W. Scarbrough v. Helen Purser, et al., in the United States District Court Western District of Texas Waco Division. That is an appeal from an adversarial proceeding, which included nine days of trial testimony before the bankruptcy court, a multitude of exhibits, as well as the introduction of the reporter's record (16 volumes) from a state-court trial that resulted in the adverse judgment sought to be discharged. Because of the nature and size of the record in that case, Mr. Moore could not complete and file that brief early and begin working on this appeal; * Prepared and filed a brief on the merits in the Texas Supreme Court on May 13, 2015, in No. 14-0584, Christa Shelley v. CHCA West Houston, L.P. d/b/a West Houston Medical Center; * Prepared and filed a trial brief and then appeared at and argued a significant pretrial matter on May 15, 2015, in No. 2013-45326, Kenneth Thorns v. Chevron Phillips Chemical Company, LLC, in the 270th Judicial District Court, Harris County, Texas, in a case that was set for trial on May 18th on a two-week trial docket; and * Is preparing a brief in No. 14-14-00664-CV; In the Guardianship of John D. Burley, An Incapacitated Person, in the Fourteenth Court of Appeals, which is due June 1, 2015, and in a case in which the Court has already granted two extension for lead appellate counsel (not Mr. Moore). -2- III. PRAYER 6. Therefore, counsel asks that the Court grant this request and extend the time for appellant to file its brief up to and including June 29, 2015. Respectfully submitted, /s/ Daryl L. Moore Daryl L. Moore (14324720) DARYL L. MOORE, P.C. 1005 Heights Boulevard Houston, Texas 77008 713.529.0048 Telephone 713.529.2498 Facsimile daryl@heightslaw.com Etta Davidson (07495750) LAW OFFICE OF FREDERICK L. MCGUIRE 2500 E TC Jester Blvd, Ste 285 Houston, Texas 77008 713.956.9646 Telephone 713.956.9695 Facsimile Counsel for Appellant, CFM Development, LLC -3- CERTIFICATE OF CONFERENCE I, Daryl L. Moore, certify that I conferred with opposing counsel for appellees to determine whether they oppose this request. Mr. Richard Baker, counsel for appellees, does not oppose this request. /s/ Daryl L. Moore Daryl L. Moore CERTIFICATE OF SERVICE On May 20, 2015, I sent a true and correct copy of this First Motion for Extension via E-service to the following: Richard Baker BAKER & ZBRANEK 1935 Trinity P.O. Box 10066 Liberty, Texas 77575 bzlaw@imsday.com Counsel for Appellees Oil Well Buyers Corporation and Eugene A. Smitherman Ron Norwood THE NORWOOD LAW FIRM 517 Travis St, Suite 300 Liberty, Texas 77575 936.334-1118 Facsimile Counsel for Delton Drum, et al. /s/ Daryl L. Moore Daryl L. Moore -4- CERTIFICATE OF COMPLIANCE Relying on the word count function in the word processing software used to produce this document, I certify that the number of words in this motion, excluding the parts listed in TRAP Rule 9.4(i)(1), is 369. This motion complies with the typeface requirements of TRAP 9.4(e) because it uses a conventional typeface no smaller than 14-point (WordPerfect X6 14-point Times New Roman). /s/ Daryl L. Moore Daryl L. Moore -5-