Texas State Board of Veterinary Medical Examiners, and Nicole Oria, in Her Official Capacity as Executive Director// Ellen Jefferson, D.V.M. v. Ellen Jefferson, D.V.M.// Texas State Board of Veterinary Medical Examiners, and Nicole Oria, in Her Official Capacity as Executive Director

ACCEPTED 03-14-00774-CV 7157273 THIRD COURT OF APPEALS AUSTIN, TEXAS 9/30/2015 8:34:22 AM JEFFREY D. KYLE CLERK No. 03-14-00774-CV IN THE COURT OF APPEALS FOR THE THIRD DISTRICT OF TEXAS FILED IN 3rd COURT OF APPEALS AT AUSTIN AUSTIN, TEXAS 9/30/2015 8:34:22 AM JEFFREY D. KYLE ELLEN JEFFERSON, D.V.M. Clerk Appellant, v. TEXAS STATE BOARD OF VETERINARY MEDICAL EXAMINERS AND NICOLE ORIA, IN HER OFFICIAL CAPACITY AS EXECUTIVE DIRECTOR Appellees. On Appeal from the 250th Judicial District Court of Travis County, Texas UNOPPOSED FIRST MOTION FOR EXTENSION OF TIME TO FILE REPLY BRIEF OF APPELLANT ELLEN JEFFERSON, D.V.M. TO THE HONORABLE THIRD COURT OF APPEALS: Appellant Ellen Jefferson, D.V.M. (“Dr. Jefferson”) respectfully requests an additional twenty-one (21) days to file her Appellant’s Reply Brief for the following reasons: I. The current deadline for filing Dr. Jefferson’s Appellant’s Reply Brief is October 1, 2015. A twenty-one day extension of time to file Appellant’s Reply Brief would create a new deadline of October 22, 2105. This motion is not opposed. II. UNOPPOSED FIRST MOTION FOR EXTENSION OF TIME TO FILE REPLY BRIEF OF APPELLANT ELLEN JEFFERSON , D.V.M. Page 1 Appellant does not request an extension of time for purposes of delay but rather so that justice may be done and so that Appellant’s counsel may prepare a fully researched and helpful brief for the Court’s consideration. III. Additional time is needed to prepare this brief due to Appellant’s counsel’s multiple additional work matters. In addition to this case, appellate counsel Ryan Clinton is involved in litigation matters including: • Endeavor Energy Resources, L.P. v. Discovery Operating, Inc., No. 15- 0155 in the Supreme Court of Texas; • JSA Properties Ltd. v. SandRidge Energy, Inc., No. P-11681-112-CV in the 112th District Court of Pecos County; • Tamra Hissom Budd, et al v. Energen Resources Corporation., No. 15- 02-825, in the 143rd District Court of Loving County; • GKM Mineral Partnership, LP v. SandRidge Energy, Inc., No. 3,123 in the 83rd District Court of Terrell County, Texas; • West Texas National Bank v. FEC Holdings, No. CV48334, in the 385th District Court of Midland County; • Mercury-Ward LLC v. Anadarko Petroleum Corporation, No. 13-09- 23160-CVW, in the 143rd District Court of Ward County. Appellate counsel David Brown is involved in litigation matters including: • Alvarez & Marsal Insurance Advisory Services v. The Honorable Greg Abbott, Attorney General of Texas and Texas Windstorm Insurance Association, No. D-1-GN-13-002445, in Travis County District Court; • Alvarez & Marsal Insurance Advisory Services v. The Honorable Greg Abbott, Attorney General of Texas and Texas Windstorm Insurance Association, No. D-1-GN-13-003669, in Travis County District Court; UNOPPOSED FIRST MOTION FOR EXTENSION OF TIME TO FILE REPLY BRIEF OF APPELLANT ELLEN JEFFERSON , D.V.M. Page 2 • Texas Windstorm Insurance Association v. The Honorable Greg Abbott, Attorney General of Texas, D-1-GN-14-001353, in Travis County District Court; • Texas Windstorm Insurance Association v. The Honorable Greg Abbott, Attorney General of Texas, D-1-GN-14-001799, in Travis County District Court; • Texas Windstorm Insurance Association v. The Honorable Greg Abbott, Attorney General of Texas, D-1-GN-14-002686, in Travis County District Court; • Texas Windstorm Insurance Association v. The Honorable Greg Abbott, Attorney General of Texas, D-1-GN-14-002775, in Travis County District Court; • Harris County Hospital District v. AT&T, No. 2010-28461, in the 333rd District Court for Harris County, Texas; • Texas Department of Motor Vehicles v. New Orleans Cold Storage and Warehouse Company, SOAH Docket No. XXX-XX-XXXX, in the State Office of Administrative Hearings; • Texas Board of Veterinary Medical Examiners v. Ellen Jefferson, DVM, SOAH Docket No. XXX-XX-XXXX, in the State Office of Administrative Hearings; • In re: Cointerra, Inc., No. 15-10109 in the United States Bankruptcy Court for the Western District of Texas; • In re: UPH Holdings, Inc. and Tex-Link Communications, Inc., No. 13-10570 in the United States Bankruptcy Court for the Western District of Texas; • Application of CenterPoint Energy Houston Electric LLC to Amend a Certificate of Convenience and Necessity, SOAH Docket No. XXX-XX-XXXX, PUC Docket No. 44547; and • Rio Grande LNG, LLC and Rio Bravo Pipeline Company, LLC, FERC Docket No. PF15-20. UNOPPOSED FIRST MOTION FOR EXTENSION OF TIME TO FILE REPLY BRIEF OF APPELLANT ELLEN JEFFERSON , D.V.M. Page 3 Appellate counsel David Blanke is involved in litigation matters including: • Texas County and District Retirement System v. Wexford Spectrum Fund, L.P., et al., No. D-1-GN-13-001141, in the 261st Judicial District Court, Travis County, Texas; • Taccolini, et al. v. InduSoft Inc., et al., No. D-1-GN-14-001853, in the 201st Judicial District Court of Travis County, Texas; • Texas Board of Veterinary Medical Examiners v. Ellen Jefferson, DVM, SOAH Docket No. XXX-XX-XXXX, in the State Office of Administrative Hearings; and • an ongoing Texas Attorney General antitrust CID investigation. IV. This is Dr. Jefferson’s first request for an extension of time to file her Appellant’s Reply Brief. V. Counsel for Dr. Jefferson conferred with Appellees’ counsel regarding this motion, and counsel for Appellees indicated that Appellees do not oppose this motion. WHEREFORE, Appellant Ellen Jefferson, D.V.M. prays that the Court grant this Unopposed First Motion for Extension of Time to File Reply Brief of Appellant, and for any such other relief to which she is entitled. UNOPPOSED FIRST MOTION FOR EXTENSION OF TIME TO FILE REPLY BRIEF OF APPELLANT ELLEN JEFFERSON , D.V.M. Page 4 Respectfully submitted, /s/ Ryan Clinton Ryan Clinton State Bar No. 24027934 rdclinton@dgclaw.com DAVIS, GERALD & CREMER, P.C. 111 Congress Ave., Suite 1660 Austin, Texas 78701 (432) 687-0011 Fax: (432) 687-1735 David F. Brown State Bar No. 03108700 dbrown@ebblaw.com David P. Blanke State Bar No. 02453600 dblanke@ebblaw.com EWELL, BROWN & BLANKE, LLP 111 Congress Ave., 28th Floor Austin, TX 78701 (512) 457-0233 ATTORNEYS FOR APPELLANT ELLEN JEFFERSON, D.V.M. UNOPPOSED FIRST MOTION FOR EXTENSION OF TIME TO FILE REPLY BRIEF OF APPELLANT ELLEN JEFFERSON , D.V.M. Page 5 CERTIFICATE OF CONFERENCE I certify that counsel for Dr. Jefferson contacted counsel for Appellees regarding this motion, and that counsel for Appellees indicated that Appellees do not oppose this Motion. /s/ Ryan Clinton Ryan Clinton CERTIFICATE OF COMPLIANCE I certify that this motion was prepared in 14-point font. /s/ Ryan Clinton Ryan Clinton CERTIFICATE OF SERVICE I certify that a true and correct copy of the foregoing was sent this 30th day of September, 2015, as follows: VIA EFSP & EMAIL Mr. Andrew Lutostanski andrew.lutostanski@texasattorneygeneral.gov Mr. Ted A. Ross ted.ross@texasattorneygeneral.gov Office of the Attorney General of Texas Administrative Law Division P. O. Box 12548 Austin, TX 78711 /s/ Ryan Clinton Ryan Clinton UNOPPOSED FIRST MOTION FOR EXTENSION OF TIME TO FILE REPLY BRIEF OF APPELLANT ELLEN JEFFERSON , D.V.M. Page 6