ACCEPTED
01-15-00141-CV
FIRST COURT OF APPEALS
HOUSTON, TEXAS
3/11/2015 6:40:19 PM
CHRISTOPHER PRINE
CLERK
NO. 01-15-00141-CV
FILED IN
__________________________________________________________________
1st COURT OF APPEALS
HOUSTON, TEXAS
IN THE COURT OF APPEALS 3/11/2015 6:40:19 PM
FOR THE FIRST JUDICIAL DISTRICT CHRISTOPHER A. PRINE
OF TEXAS AT HOUSTON Clerk
__________________________________________________________________
MADHUSUDAN SHAH, APPELLANT
v.
SODEXO SERVICES OF TEXAS LIMITED PARTNERSHIP
__________________________________________________________________
On appeal from the 55th Judicial District Court
Harris County, Texas
Trial Court Cause No. 2014-20678
__________________________________________________________________
APPELLANT MADHUSUDAN SHAH’S UNOPPOSED MOTION
FOR EXTENSION OF TIME TO FILE INITIAL BRIEF
_________________________________________________________________
LEAD COUNSEL FOR APPELLANT:
Kenneth R. Baird
The Baird Law Firm
2323 South Voss Road, Suite 325
Phone: (713) 783-1113
Facsimile: (281) 677-4227
bairdlawfirm@hotmail.com
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APPELLANT MADHUSUDAN SHAH’S UNOPPOSED MOTION
FOR EXTENSION OF TIME TO FILE INITIAL BRIEF
TO THE HONORABLE JUSTICES OF THE COURT OF APPEALS:
NOW COMES, Madhusudan Shah, Appellant in the above-styled and
numbered cause (hereinafter “Appellant”), appearing by and through the assistance
of the undersigned counsel of record, and pursuant to the authority of Rule 10 of the
Texas Rules of Appellate Procedure, files his Unopposed Motion for Extension of
Time to File Initial Brief. In support thereof, Appellant respectfully shows the
Honorable Court of Appeals as follows:
I.
SUMMARY OF RELIEF SOUGHT
1.1. Appellant understands that his initial appellate brief is due on March 30, 2014.
Due to the recent filing of the clerk’s record, Appellant’s counsel has not yet had an
opportunity to obtain a copy of the clerk’s record to use in connection with the
drafting of Appellant’s brief. As Appellant’s counsel plans to pay the applicable fee
and obtain a copy of the clerk’s record shortly, Appellant respectfully requests that
the Honorable Court of Appeals extend the deadline for his brief by thirty days or
until April 29, 2014. There have no prior extensions relative to the briefing schedule
and Appellant seeks an extension not for purposes of delay but so that justice may
be accomplished.
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II.
RELEVANT FACTUAL & PROCEDURAL HISTORY
2.1. Appellant filed his Notice of Appeal with the trial court clerk on February 12,
2015.
2.2. The case was assigned to the First Court of Appeals on February 17, 2015 and
the required filing fee has been paid by Appellant.
2.3. The clerk’s record was filed on February 27, 2015.
2.4. From a notice sent by the clerk of court on March 2, 2015, Appellant
understands that his initial brief is due on March 30, 2015 or thirty days from the
filing of the clerk’s record.1
III.
ARGUMENT & AUTHORITIES
3.1. Good cause exists for the proposed extension. In particular, Appellant’s
counsel needs additional time to obtain a copy of the clerk’s record so that he can
prepare Appellant’s brief. In this regard, counsel for Appellant spoke with the
clerk’s office on the day this motion was filed and will make arrangements shortly
to obtain a copy of the clerk’s record, including the payment of the required one
dollar fee. As an alternative basis for the requested continuance, Appellant’s counsel
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Thirty days from February 27, 2015 is March 29, 2015. However, Appellant considers the deadline to the following
business day or March 30, 2015.
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needs additional time to prepare the brief based upon his commitments in other
matters.
3.2. Appellant understands that his initial brief is due by March 30, 2014 and
respectfully requests a thirty day extension of time with a new briefing deadline of
April 29, 2014.
3.3. There have been no prior requests for an extension of the current briefing
schedule.
3.4. The proposed extension is not sought for purposes of delay but so that he ends
of justice can be served.
3.5. Neither party will be prejudiced by the proposed extension as evidenced by
the fact that Appellee is not opposing the requested extension.
IV.
CONCLUSION & PRAYER FOR RELIEF
WHEREFORE, PREMISES CONSIDERED, Appellant Madhusudan Shah
respectfully prays that the Honorable Court of Appeals grant his Unopposed Motion
for Extension of Time to File Initial Brief thereby extending the deadline for his
initial brief by thirty days to April 29, 2015. Appellant Madhusudan Shah
additionally prays that the Honorable Court of Appeals memorialize its decision in
this regard by entering the proposed order which is attached. Finally, Appellant
Madhusudan Shah prays for such further relief, at either law or equity, to which he
may prove himself to be justly entitled.
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Respectfully Submitted,
THE BAIRD LAW FIRM
/s/ Kenneth R. Baird, Esq._________
Kenneth R. Baird
Texas Bar No. 24036172
2323 South Voss Road, Suite 325
Houston, Texas 77057
Phone: (713) 783-1113
Facsimile: (281) 677-4227
bairdlawfirm@hotmail.com
COUNSEL FOR APPELLANT
MADHUSUDAN SHAH
CERTIFICATE OF CONFERENCE
As required by Rule 10.1(a)(5) of the Texas Rules of Appellate Procedure, I
certify that I have conferred with all other parties – who are listed below – about the
merits of this motion with the following results:
Neal A. Hoffman, counsel for Appellee Sodexo Services of Texas Limited
Partnership, has indicated that he does not oppose the motion.
/s/ Kenneth R. Baird, Esq._________
Kenneth R. Baird
Date: March 11, 2015
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CERTIFICATE OF SERVICE
As required by Rules 6.3and 9.5(b) – (e) of the Texas Rules of Appellate
Procedure, I certify that I have served this document on all other parties – which are
listed below – by the manner of service indicated below:
Via Electronic Filing
& Facsimile: (713)629-5027
Mr. Nelson D. Skyler
Mr. Neal A. Hoffman
Brown Sims
1177 West Loop South, 10th Floor
Houston, Texas 77027
Counsel for Appellee Sodexo Services of Texas
Limited Partnership
/s/ Kenneth R. Baird, Esq._________
Kenneth R. Baird
Date: March 11, 2015
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