Dr. Behzad Nazari, D.D.S. D/B/A Antoine Dental Center Dr. Behzad Nazari Harlingen Family Dentistry, P.C. A/K/A Practical Business Solutions, Series LLC Juan D. Villarreal D.D.S., Series PLLC D/B/A Harlingen Family Dentistry Group v. State

ACCEPTED 03-15-00252-CV 5950771 THIRD COURT OF APPEALS AUSTIN, TEXAS 7/6/2015 5:28:49 PM JEFFREY D. KYLE No. 03-15-00252-CV CLERK In the Court of Appeals for the Third Judicial District FILED IN 3rd COURT OF APPEALS AUSTIN, TEXAS Austin, Texas 7/6/2015 5:28:49 PM JEFFREY D. KYLE Clerk Dr. Behzad Nazari, D.D.S., et al., Appellant, v. The State of Texas, Appellee, v. ACS State Healthcare, LLC, Appellee. On Appeal from the 53rd Judicial District Court, Travis County, Texas Corrected Motion to Extend Time to File Brief of Appellee the State of Texas To The Honorable Third Court of Appeals: Appellee, the State of Texas, moves to extend the time to file its response brief, pursuant to Texas Rules of Appellate Procedure 38.6(b) and 10.5(b). I. The State’s brief is currently due on July 9, 2015. (The State’s original motion misidentified its brief deadline as July 19, 2015.) The State of Texas seeks a 30-day extension, creating a new deadline of August 10, 2015. This is the State of Texas’s first extension request. All parties are unopposed to this request. II. The State of Texas requests this extension because of the press on coun- sel of other professional engagements, including preparation of court-re- quested briefing and preparation for oral argument in Texas v. United States, No. 15-40238 (5th Cir.), preparation of briefing in Hartfield v. Osborne, No. 15- 20275 (5th Cir.), preparation of briefing in Frew v. Janek, No. 15-40229 (5th Cir.), and preparation of briefing in State v. One 2004 Lincoln Navigator, No. 14-0692 (Tex.). III. The State of Texas seeks this extension not for purposes of delay, but in the interest of justice, and respectfully requests that the Court grant an exten- sion of time to August 10, 2015, for filing its response brief. 2 Respectfully submitted. Ken Paxton Attorney General of Texas Charles E. Roy First Assistant Attorney General Scott A. Keller Solicitor General /s/ J. Campbell Barker J. Campbell Barker Deputy Solicitor General State Bar No. 24049125 Philip A. Lionberger Assistant Solicitor General State Bar No. 12394380 Office of the Attorney General P.O. Box 12548 (MC 059) Austin, Texas 78711-2548 (512) 936-1700 (512) 474-2697 cam.barker@texasattorneygeneral.gov Counsel for Appellee the State of Texas 3 Certificate of Service I certify that this document has been filed with the clerk of the court and served by File&ServeXpress on July 6, 2015, upon: Counsel for all Appellants: Jason Ray Riggs & Ray, P.C. E. Hart Green Weller, Green, Toups & Terrell, L.L.P. Counsel for Appellees Xerox Corporation and Xerox State Healthcare, LLC f/k/a ACS State Healthcare, LLC: Constance H. Pfeiffer Christopher R. Cowan W. Curt Webb Eric J. R. Nichols Beck Redden LLP Robert C. Walters Gibson, Dunn, & Crutcher LLP /s/ J. Campbell Barker J. Campbell Barker Counsel for Appellee the State of Texas 4