Texas Quarter Horse Association Texas Thoroughbred Association Texas Horsemen's Partnership Gillespie County Fair and Festivals Association, Inc.et Al. // American Legion Department of Texas v. American Legion Department of Texas, Temple Post 133 Kickapoo Traditional Tribe of Texas Thompson Allstate Bingo Supply, Inc. And Moore Supplies, Inc.// Texas Quarter Horse
ACCEPTED
03-15-00118-CV
5276893
THIRD COURT OF APPEALS
AUSTIN, TEXAS
5/14/2015 7:10:30 AM
JEFFREY D. KYLE
CLERK
No. 03-15-00118-CV
_______________________________________ FILED IN
3rd COURT OF APPEALS
AUSTIN, TEXAS
IN THE COURT OF APPEALS 5/14/2015 7:10:30 AM
FOR THE THIRD DISTRICT OF TEXAS JEFFREY D. KYLE
AUSTIN, TEXAS Clerk
_______________________________________
TEXAS QUARTER HORSE ASSOCIATION; TEXAS THOROUGHBRED
ASSOCIATION; TEXAS HORSEMEN’S PARTNERSHIP; GILLESPIE
COUNTY FAIR AND FESTIVALS ASSOCIATION, INC.; GLOBAL
GAMING LSP, LLC d/b/a LONE STAR PARK AT GRAND PRAIRIE; and
SAM HOUSTON RACE PARK, LLC,
Appellants
v.
AMERICAN LEGION DEPARTMENT OF TEXAS, TEMPLE POST 133;
KICKAPOO TRADITIONAL TRIBE OF TEXAS; THOMPSON
ALLSTATE BINGO SUPPLY, INC.; and MOORE SUPPLIES, INC.,
Appellees
__________________________________________________
UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE
RESPONSE TO APPELLEES’ MOTION TO DISMISS
_________________________________________________
Pursuant to Tex. R. App. P. 10.1 and 10.5(b), Appellants herein, file this
unopposed motion for a 30-day extension of time in which to file their response to
Appellees’ motion to dismiss.
Appellants ask this Court to extend the deadline for filing their response to
Appellees’ motion to dismiss from May 18, 2015, through and until June 17, 2015. In
support of this requested extension, Appellants would show the following:
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1. The current deadline for filing Appellants’ response to Appellees’ motion to
dismiss is May 18, 2015.
2. Appellants request a 30-day extension of time in which to file their response to
Appellees’ motion to dismiss because Appellees’ motion raises new issues that
previously have not been argued in this case. Additionally, time is needed to coordinate
among the multiple Appellants and their counsel.
3. Appellants respectfully ask that their request for a 30-day extension be granted
so they will have sufficient time to prepare a response to Appellees’ motion to dismiss
that is comprehensive, concise, and useful to this Court’s consideration.
4. This is Appellants’ first request for an extension to file their response to
Appellees’ motion to dismiss.
5. Appellees do not oppose the granting of the motion for extension.
WHEREFORE, Appellants pray that this Court grant their unopposed motion for
an extension of time in which to file their response to Appellees’ motion to dismiss and
extend the deadline for filing the response from May 18, 2015, through and until June 17,
2015. Appellants also request such other and further relief to which they may be entitled.
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DATED: May 14, 2015 Respectfully submitted,
By: /s/ J. Bruce Bennett
J. Bruce Bennett
Martha S. Dickie, J. Bruce Bennett
State Bar No. 00000081 State Bar No. 02145500
Boone Almanza John A. Cardwell
State Bar No. 01579001 State Bar No. 03791200
ALMANZA, BLACKBURN & DICKIE, LLP CARDWELL, HART & BENNETT, LLP
2301 South Capital of Texas Highway, 807 Brazos, Suite 1001
Building H Austin, Texas 78701
Austin, Texas 78746 Tel: (512) 322-0011
Tel: (512) 478-9486 Fax: (512) 322-0808
Fax: (512) 478-7151 cardwell53@earthlink.net
mdickie@abdlawfirm.com jbb.chblaw@me.com
balmanza@abdlawfirm.com --and--
COUNSEL FOR APPELLANT GILLESPIE Dudley D. McCalla
COUNTY FAIR AND FESTIVALS
State Bar No. 13354000
ASSOCIATION, INC. JACKSON WALKER, LLP
100 Congress Avenue Ste 1100
Austin, Texas 78701-0000
James C. Ho Tel: (512) 236-2071
State Bar No. 24052766 Fax: (512) 236-2002
Bradley G. Hubbard dmccalla@jw.com
State Bar No. 24090174
GIBSON, DUNN & CRUTCHER LLP COUNSEL FOR APPELLANT GLOBAL GAMING
2100 McKinney Avenue, Suite 1100 LSP, LLC D/B/A LONE STAR PARK AT
Dallas, Texas 75201 GRAND PRAIRIE
Tel: (214) 698-3100
Fax: (214) 571-2934
jho@gibsondunn.com Robert G. Hargrove
bhubbard@gibsondunn.com State Bar No. 24032391
Ana Maria Marsland Griffith
COUNSEL FOR APPELLANT SAM State Bar No. 13049300
HOUSTON RACE PARK, LLC
OSBORN, GRIFFITH & HARGROVE
515 Congress Ave., Suite 2450
3
Austin, Texas 78701
Tel: (512) 476-3529
Fax: (512) 476-8310
rob@texasenergylaw.com
anamaria@texasenergylaw.com
COUNSEL FOR APPELLANTS TEXAS
QUARTER HORSE ASSOCIATION, TEXAS
THOROUGHBRED ASSOCIATION, AND TEXAS
HORSEMEN’S PARTNERSHIP
CERTIFICATE OF CONFERENCE
I hereby certify that I have conferred with Mr. Raymond White, counsel for
Appellees, regarding this Motion. Appellees do not oppose the granting of the relief
sought.
/s/ J. Bruce Bennett
J. Bruce Bennett
CERTIFICATE OF SERVICE
I certify that a true copy of foregoing Motion was served via electronic means on
all counsel of record in this case on this 14th day of May 2015:
/s/ J. Bruce Bennett
J. Bruce Bennett
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