Richard Patrick Fagerberg v. Steve Madden, Ltd. SXSW, Inc. and W3 Event Specialists, Inc.

ACCEPTED 03-13-00286-CV 6373086 THIRD COURT OF APPEALS AUSTIN, TEXAS 8/5/2015 3:56:02 PM JEFFREY D. KYLE CLERK No. 03-13-00286-CV FILED IN 3rd COURT OF APPEALS AUSTIN, TEXAS 8/5/2015 3:56:02 PM Jfn tbe \!tbtrb QCourt of ~ppeals JEFFREY D. KYLE Clerk ~usttn, \!texas RICHARD PATRICK FAGERBERG, Appellant v. STEVE MADDEN, LTD., SXSW, INC., AND W3 EVENT SPECIALISTS, INC., Appellees APPEAL FROM CAUSE No. D-1-GN-13-000933 261 ST DISTRICT COURT OF TRAVIS COUNTY, TEXAS HON. SUSANNE COVINGTON PRESIDING RESPONSE/OBJECTION OF APPELLEE W3 EVENT SPECIALISTS, INC. TO APPELLANT'S MOTION FOR EXTENSION OF TIME TO FILE MOTION FOR REHEARING AND/OR MOTION FOR EN BANC RECONSIDERATION REGARDING APPELLEE W3 EVENT SPECIALISTS, INC. TO THE HONORABLE THIRD COURT OF APPEALS: Appellee, W3 Event Specialists, Inc. files this it's Response/Objection to Appellant's Motion requesting a 30 day extension of time for filing a Motion for #1328152/5551-033/JTD:jmf Rehearing or Motion for En Bane Reconsideration, and for same would show to the court the following: (1) As the record reflects, this was an appeal from a Final Judgment entered by a Travis County District Judge, dated March 15, 2013, following a hearing on Defendant/Appellee, W3 Event Specialists, Inc.'s, Amended Traditional and No Evidence Motion for Summary Judgment and Motion for Severance. Two plus years later, that Judgment was affirmed by this Court on July 3, 2015. Accordingly, both a State Court District Judge and an Appeals Panel have now reviewed all of the legal and claimed factual issues and, unanimously, have agreed that W3 Event Specialists, Inc., did not owe a duty to Appellant, either under its contract with Stubbs or by way of any exercise of actual control over the individuals/entities' work that led to the incident the subject of the original suit. (2) According to the Appellant's Motion, he seeks a 30 day extension for the purpose of "considering his options" as to whether to pursue a rehearing or en bane reconsideration of the Judgment. (3) Given the above facts, W3 Event Specialists, Inc. would ·argue that no further consideration, if ultimately requested by the Appellant, is necessary or appropriate. 2 CONCLUSION AND PRAYER Appellee, W3 Event Specialists, Inc., respectfully requests that the Court deny Appellant's Motion, and grant Appellees all other and further relief to which it may be entitled. Respectfully submitted, ALLEN STEIN & DURBIN, P.C. 6243 IH-10 West, Suite 700 San Antonio, Texas 78201 (210) 734-7488- phone (21 0) 738-8036 - fax j dailey@asdh.com / Counsel for Appellee, W3 Event Specialists, Inc. 3 Certificate of Service On August 5, 2015, in compliance with Texas Rule of Appellate Procedure 9.5 or Local Rule 3(c), I served this document on the following counsel of records by e- mail and/or mail to: Mr. D. Todd Smith SMITH LAW GROUP, P.C. 1250 Capital of Texas Highway South Three Cielo Center, Suite 601 Austin, Texas 78746 Counsel for Appellant Steven J. Knight CHAMBERLAIN, HRDLICKA, WHITE, WILLIAMS & AUGHTRY 1200 Smith Street, Suite 1400 Houston, TX 77002-4496 Counsel for Appellee Steve Madden, Ltd. Pet~r D. Kennedy GRAYES, DOUGHERTY, HEARON & MOODY, P.C. 401 Congress Avenue, Suite 2200 Austin, Texas 78701 Counsel for Appellee SXSW, Inc. Jo 4