No. 12-15-00080-CV
IN THE COURT OF APPEALS
FOR THE TWELFTH SUPREME JUDICIAL DISTRICT
OF TEXAS
IN THE MATTER OF THE MARRIAGE OF EDSEL AMOS DIXONAND HEATHER
D. DIXON AND IN THE INTEREST OF ASHLEY LYNN DIXON, A CHILD
IT OF APPEALS
12th Court of Appeals District
On Appeal from the
354th Judicial District Court
of Rains County, Texas
In Cause No. 9544 n.
\ CATHY S. LUSK, CLER}<
AMENDED REQUEST TO POSTPONE ALL APPEAL DEADLINES
TO THE HONORABLE JUSTICES OF THE COURT OF APPEALS:
NOW COMES EDSEL AMOS DIXON, Appellant herein, and files this Request to
postpone all appeal deadlines and would show the Court as follows:
1. On May 8th, 2015 Appellant received the attached Exhibit "A" from the Rains County
District Clerk in regards to Cause No. 9544. The Notice OfJury Docket Setting sets
the above referenced case on the Court's jury trial docket for January 19th 2016 at
9:00am.
2. The setting of the above referenced case for Jury trial is a clear indication that the final
judgment signed on January 23, 2015 was in fact not final. All issues and claims have
not been decided, therefore said judgment signed on January 23, 2015 was not a final
judgment or order, therefore making this appeal a prematurely filed appeal.
Appellant would respectfully request pursuant to Tex. R. App. P. 27.1.(a) and 27.2.
that this court accept this appeal as being prematurely filed and that all deadlines for
this appeal be postponed and restarted, holding in reserve all fees currently paid,
pending a Amended Notice of Appeal being filed pursuant to the Texas Rules of
Appellate Procedure after aFINAL judgment ofall issues has been signed.
4. This Request is not made for delay, but rather so that Appellant may have the
opportunity to appeal all FINAL orders orjudgments decided in this cause number if
necessary.
Wherefore premises considered, Appellant requests that this Court grant the requested relief
above, restarting this appeal, pending aAmended Notice ofAppeal being filed after a final
judgment of all issues has been reached.
Respectfully Submitted,
Edsel Amos Dixon
Pro Se Litigant
732 Weddle Dr.
Grapevine, TX 76051
682-301-0592
eddixon903@gmail.com
CERTIFICATE OF CONFERENCE
The undersigned hereby certifies thatAppellant has conferred or has made a reasonable
attempt to confer with all parties to this appeal. Robert L. Roberts does NOT oppose the
relief sought in this motion via telephone conference held on 7/27/2015. Mr Henry C. Black,
attorney for Heather Dixon, would not return multiple telephone calls made to his office on '
7/27/2015, therefore indicating the Attorney Mr Henry C. Black holds no position on this
motion.
i—
jzt
Edsel A Dixon
CERTIFICATE OF SERVICE
This is to certify that atrue and correct copy ofthe above and foregoing was mailed to
Robert L. Roberts, 1260 RS County Road 1310, Point, Texas 75472 and Mr. Henry C.
Black, 2510 Lee Street, Greenville, Texas 75402.
Edsel A Dixon