ACCEPTED
03-15-00637-CV
7983020
THIRD COURT OF APPEALS
AUSTIN, TEXAS
11/24/2015 11:42:54 PM
JEFFREY D. KYLE
CLERK
COURT OF APPEALS NO. 03-15-00637-CV
TRIAL COURT CASE NO. D-1-GN-12-002873 FILED IN
3rd COURT OF APPEALS
AUSTIN, TEXAS
AIRLINX COMMUNICATIONS, INC. § COURT OF APPEALS
11/24/2015 11:42:54 PM
§ JEFFREY D. KYLE
Appellant, § Clerk
§
v. §
§ THIRD DISTRICT OF
§ TEXAS
ULTRA ELECTRONICS ADVANCED §
TACTICAL SYSTEMS, INC. §
§
Appellee. § TRAVIS COUNTY, TEXAS
MOTION TO EXTEND DEADLINE FOR APPELLANT'S BRIEF
1. Currently the Appellant's first brief is due on December 3, 2015.
2. The Appellant respectfully requests that this brief's deadline be
extended by 45 days from this date.
3. The Appellant has had difficulty in retaining other counsel to represent it
because its trial attorney will not continue his fee agreement to
completion and an adverse arbitration award was received. The
Appellant is in the process of retaining new counsel.
4. No time extensions have been granted previously for this brief.
1
MOTION TO EXTEND DEADLINE FOR APPELLANT'S BRIEF
PRAYER
Based on the foregoing, Appellant AIRLINX Communications, Inc. respectfully
requests that the Court immediately grant its Motion to Extend the Deadline for
the Appellant's Brief and taxing all costs against the Appellee.
Respectfully submitted,
Tjalli g Hois (tho· · ka@airlinx.com)
AIRLINX Communications, Inc. (Appellant)
Box 253
Greenville, NH 03048
Tel: (603) 291-0433
Date: Nov()mbe./r z_tt ' 2015
2
MOTION TO EXTEND DEADLINE FOR APPELLANT'S BRIEF
CERTIFICATE OF CONFERENCE
I hereby certify that I conferred with Jeffrey J. Hobbs, Appellee's counsel,
regarding the foregoing motion , and Mr. Hobbs stated that he will not oppose the
motion if AIRLINX has retained new counsel. Otherwise Mr. Hobbs will oppose
this motion.
·;;;:d:?t?.;4:12_
T JALLING 'HOISKA
Date: \\Jc,!.;u~q.r'?..3f , 2015
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the above and foregoing
instrument, Motion to Extend Deadline for Appellant's Brief, was delivered
via efile on November 24, 2015 to the following:
Attorneys for the Defendant
Mark L. Hawkins (MHawkins@abaustin.com)
Jeffrey J. Hobbs (JHobbs@abaustin.com)
Andrew F. York (ayork@abaustin.com)
Armbrust & Brown, PLLC
100 Congress Ave., Suite 1300
Austin, Texas 78701-2744
(512) 435-2371 - Direct Dial
(512) 435-2360- Facsimile
~srtL
Date: Nn v~bw-Z-'f, 2015
3
MOTION TO EXTEND DEADLINE FOR APPELLANT'S BRIEF