ACCEPTED
14-14-00927-cv
FOURTEENTH COURT OF APPEALS
HOUSTON, TEXAS
3/2/2015 3:19:43 PM
CHRISTOPHER PRINE
CLERK
No. 14-14-00927-CV
In The FILED IN
14th COURT OF APPEALS
Fourteenth Court of Appeals at Houston, TexasHOUSTON, TEXAS
3/2/2015 3:19:43 PM
CHRISTOPHER A. PRINE
ULRIKA BJORKSTAM AND JOSEPH DANIEL DRAY, Clerk
Appellants,
v.
WOODWARD, INC.,
Appellee.
On Appeal from the 190th Judicial District Court Of
Harris County, Texas
Trial Cause No. 2010-31214
The Honorable Patricia J. Kerrigan, Presiding
SECOND UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE
APPELLANTS’ BRIEF
Ulirka Bjorkstam and Joseph Daniel Dray file their Second Unopposed
Motion for Extension of Time to File Appellants’ Brief, pursuant to Tex. R. App.
P. 10.5(b).
1. Presently, Appellants’ Brief is due March 2, 2015.
2. Through this Unopposed Motion, Appellants seek an extension of
twenty-one (21) days to file their Brief. Should the Court grant this Motion, the
new deadline will be March 23, 2015.
3. Contemporaneously with this Motion, Appellants filed their
Unopposed Motion to Supplement the Reporter’s Record. Through that Motion,
Appellants seek to add the transcript of a hearing that occurred on May 17, 2013.
There is a reference to the May 17th hearing in the Reporter’s Record currently on
file with the Court. The May 17th hearing transcript is necessary for the complete
presentation of Appellants’ arguments. The court reporter is ready to file the May
17th hearing transcript, if the Court should grant Appellants’ Unopposed Motion to
Supplement the Reporter’s Record.
4. Additionally, Appellants’ counsel argued before the Delaware
Supreme Court on February 18, 2015 in Bell Helicopter Textron, Inc. v. Andres
Arteaga, et al., Case Number 333, 2014. As a result, the first eighteen days of
February were devoted to preparing for this argument, as well as getting
acclimated to a new law firm. Moreover, upon return from Delaware, where the
weather was extremely cold, Appellants’ counsel fought cold and flu symptoms for
several days.
5. Counsel for Woodward, Inc., has no objection to the requested
extension of twenty-one (21) days. Therefore, should the Court grant this Motion,
the extension will not result in undue hardship or material harm to Woodward, Inc.
6. Appellants have previously sought a thirty-day extension from the
Court.
For these reasons, Appellants request that the Court grant their Second
Unopposed Motion for Extension of Time to File Appellants’ Brief.
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Respectfully submitted,
PIERCE & O’NEILL, LLP
/s/ John C. Schwambach, Jr.
John C. Schwambach, Jr.
Texas State Bar Number 17858450
4203 Montrose Boulevard
Houston, Texas 77006
713-634-3607 Direct
713-634-3600 Main
713-634-3601 Facsimile
jschwambach@pierceoneill.com
Attorney for Appellants
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CERTIFICATE OF CONFERENCE
I, John C. Schwambach, Jr., counsel for Appellants, Ulrika Bjorkstam and
Joseph Daniel Dray, hereby certify that I have conferred with Timothy S. McConn,
counsel for Appellee, about the merits of this Motion, and he is unopposed to this
Motion.
/s/ John C. Schwambach, Jr.
John C. Schwambach, Jr.
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CERTIFICATE OF SERVICE
Pursuant to the Texas Rules of Appellate Procedure, I hereby certify that a
true and correct copy of the foregoing was electronically filed and served upon all
know counsel of record this 2nd day of March, 2015.
/s/ John C. Schwambach, Jr.
John C. Schwambach, Jr.
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