the University of Texas Medical Branch at Galveston v. Carolyn Callas, Ray Callas and Jamie Callas, Individually and as the Representatives of the Estate of Gerald Callas and for and on Behalf of Any Wrongful Death Beneficiaries
ACCEPTED
14-15-00449-CV
FOURTEENTH COURT OF APPEALS
HOUSTON, TEXAS
8/12/2015 2:13:24 PM
CHRISTOPHER PRINE
CLERK
No. 14-15-00449-CV
FILED IN
14th COURT OF APPEALS
HOUSTON, TEXAS
IN THE COURT OF APPEALS
8/12/2015 2:13:24 PM
FOR THE FOURTEENTH JUDICIAL DISTRICT
CHRISTOPHER A. PRINE
HOUSTON, TEXAS Clerk
THE UNIVERSITY OF TEXAS MEDICAL BRANCH AT GALVESTON,
APPELLANT
V.
CAROLYN CALLAS, RAY CALLAS AND JAMIE CALLAS, INDIVIDUALLY
AND AS THE REPRESENTATIVES OF THE ESTATE OF GERALD CALLAS
AND FOR AND ON BEHALF OF ANY WRONGFUL DEATH
BENEFICIARES,
APPELLEES
On Appeal from the 212th Judicial District Court
Galveston County, Texas
No. 14-CV-0927
AGREED MOTION FOR EXTENSION OF TIME
TO FILE APPELLEE’S BRIEF
COMES NOW, Appellees, CAROLYN CALLAS, RAY CALLAS and
JAMIE CALLAS, INDIVIDUALLY, And As Representatives of the Estate of
GERALD CALLAS, And For and One Behalf of Any Wrongful Death
Beneficiaries, and move the Court to extend the time to file Appellees’ Brief
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14-15-00449-CV
pursuant to Rules 38.6(d) and 10.5(b) of the Texas Rules of Appellate Procedure
and respectfully show as follows:
I.
1. The current due date for Appellees’ Brief is Thursday, August 20,
2015.
2. Appellees request a thirty (30) day extension from the date of when
Appellees’ Brief is now due, which would make the new due date for Appellees’
Brief September 19, 2015.
3. This is the first extension requested.
4. Appellant’s counsel agrees to this extension.
II.
Additional time is needed to analyze and thoroughly brief the issues for the
Court. In addition. Due to Appellees’ counsel’s schedule, additional time is
needed. Appellees’ counsel is in need of additional time due to deadlines and
commitments in matters requiring travel outside of his office prior to the current
August 20, 2015 deadline, including, but not limited to, the following:
1. Multiple depositions being taken in Cause No. D-195,488; Robert J.
Simon v. Ethan Kirk Blood, et al; In The 136th Judicial District Court of
Jefferson County, Texas;
2. Summer vacation from August 13, 2015 to August 23; and
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14-15-00449-CV
3. Out of town Tax-Protest hearing in Account No. 0992680000005
requiring preparation and travel.
Additionally, Appellees’ counsel has commitments, including travel out of
town, preparing for his children’s’ attendance at boarding school and college.
III.
FIRST REQUEST FOR AN EXTENSION
This is Appellees’ first request for an extension of time to file Appellees’
Brief. No party will be prejudiced if it is granted. This extension is not sought
merely for delay, but is necessary so that justice may be done.
IV.
AGREED REQUEST FOR EXTENSION
As shown by Certificate of Conference, Appellant’s counsel was contacted
to confer about this extension. Appellant’s counsel, S. Ronald Keister, has agreed
to this extension.
V.
For the foregoing reasons, Appellees respectfully request that the Court
grant an extension for filing Appellees’ Brief. Appellees request a thirty (30) day
extension from the current date the Appellees’ Brief is due, which would make
September 19, 2015 the new deadline for Appellees to file their brief.
WHEREFORE, premises considered, Appellees, CAROLYN CALLAS,
RAY CALLAS and JAMIE CALLAS, INDIVIDUALLY, And As Representatives
of the Estate of GERALD CALLAS, And For and On Behalf of Any Wrongful
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14-15-00449-CV
Death Beneficiaries, move the Court to grant this first Agreed Motion for
Extension to Time making Appellees’ Brief due on September 19, 2015, and pray
for all other and further relief, both in law and in equity, to which they may be
entitled.
Respectfully submitted,
SUTTON & JACOBS, LLP
Attorneys and Counselors at Law
________________________________
Brian D. Sutton
State Bar No. 19528000
850 Park Street
Beaumont, Texas 77701
(409) 833-1100 (phone)
(409) 833-0711 (fax)
brians@sutton-jacobs.com
ATTORNEYS FOR APPELLEES
CERTIFICATE OF CONFERENCE
On August 11, 2015, Appellant’s Counsel stated he is in agreement with this
Motion.
________________________________
Brian D. Sutton
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14-15-00449-CV
CERTIFICATE OF SERVICE
I certify that on August 12, 2015, a true and correct copy of the foregoing
instrument APPELLEES, CAROLYN CALLAS, RAY CALLAS AND JAMIE CALLAS,
INDIVIDUALLY, AND AS REPRESENTATIVES OF THE ESTATE OF GERALD CALLAS,
AND FOR AND ON BEHALF OF ANY WRONGFUL DEATH BENEFICIARIES’ AGREED
MOTION FOR EXTENSION OF TIME TO FILE APPELLEES’ BRIEF was provided to
all counsel of record in accordance with the Texas Rules of Civil Procedure,
including but not limited to one or more of the following methods, US Regular
Mail, US Certified Mail, Hand Delivery, Facsimile and/or Electronically.
______________________________
Brian D. Sutton
Ronny Keister Via E-Filing
Office of the Attorney General & Facsimile 512-457-4435
Tort Litigation Division
PO Box 12548
Austin, Texas 78711-2548
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14-15-00449-CV