Judy Weirich v. IESI Corporation and Southside Wrecker, Inc.

ACCEPTED 03-14-00819-cv 5180997 THIRD COURT OF APPEALS AUSTIN, TEXAS 5/6/2015 4:05:04 PM JEFFREY D. KYLE CLERK CAUSE NO. 03-14-00819-CV FILED IN IN THE COURT OF APPEALS FOR THE 3rd AUSTIN, COURT OF APPEALS TEXAS THIRD COURT OF APPEALS DISTRICT 5/6/2015 4:05:04 PM AUSTIN DIVISION JEFFREY D. KYLE Clerk Judy Weirich v. IESI Corp. and Southside Wrecker, Inc. APPELLEE SOUTHSIDE WRECKER, INC.'S MOTION FOR EXTENSION OF TIME TO FILE BRIEF OF APPELLEE TO THE HONORABLE COURT OF APPEALS: Appellee, Southside Wrecker, Inc., respectfully presents this Motion to Extend Time to File its Brief of Appellee pursuant to TEX. R. APP. P. 10.5(b) and 38.6(d). In support of its Motion, Appellee would show unto the Court the following: I. The Appellant filed her brief on Aprill6, 2015. Appellee's briefs are due to be filed on May 18, 2015. II. Appellee Southside Wrecker, Inc. requests an additional thirty (30) days from May 18, 2015, or up to and including June 17, 2015 within which to file its brief. This extension is necessary because personal and professional commitments of Appellee's counsel will prevent completion of the brief and/or will preclude its filing by the current deadline of May 18, 2015. III. Appellee Southside Wrecker, Inc. neither requested nor obtained any previous extension to file its Brief of Appellee. IV. Neither counsel for the Appellant Judy Weirich nor the Co-Appellee IESI Corporation are opposed to the relief sought herein. WHEREFORE, PREMISES CONSIDERED, Appellee Southside Wrecker, Inc. requests that the Court grant its Motion for Extension of Time in which to file its brief, extending the current May 18, 2015 deadline thirty (30) days, up to and including June 17, 2015 and that the Court grant such other and further relief to which Appellee Southside Wrecker, Inc. may show itself to be justly and equitably entitled. Respectfully submitted, By: Ge . etras IV 1504 San Antonio Street Austin, Texas 78701 (512) 334-9583 Telephone (512) 334-9709 Facsimile State Bar No. 15850510 gpetras@petraslawfirm.com ATTORNEY FOR APPELLEE SOUTHSIDE WRECKER, INC. CERTIFICATE OF CONFERENCE I hereby certify pursuant to TEX. R. APP. P. 10.1(a)(5) that Counsel for Appellee Southside Wrecker, Inc. conferred with all counsel of record via email on May 5, 2015 regarding the merits of this Motion and both cou (}1--forth~Appellant ------- -....__, ' Judy Weirich and Co-Appellee IE))YCorporation', a e no position tot ·s Motion. //' ' ~gel. etras ~/ CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the above and foregoing Appellee Southside Wrecker, Inc.'s Motion for Extension of Time to File Brief of Appellee was delivered to the attorneys of record via electronically pursuant to TEX. R. APP. P. 9.15(b)(1) and First Class U.S. Mail, on this 6th day ofMay, 2015: VIAE-FILE AND U.S. MAIL Zachary P. Hudler Zachary P. Hudler, P.C. P.O. Box 1728 Johnson City, Texas 78636 zachary@hudlerlaw.com VIAE-FILE AND U.S. MAIL Vaughn Waters Thornton, Biechlin, Segrato, Reynolds & Guerra, L.C. Fifth Floor One International Centre 100 N.E. Loop 410 San Antonio, Texas 78216 vwaters@thorntonfirm.com