ACCEPTED
03-17-00873-CV
21621107
THIRD COURT OF APPEALS
AUSTIN, TEXAS
1/4/2018 5:29 PM
JEFFREY D. KYLE
CLERK
FILED IN
NO. 03-17-00873-CV 3rd COURT OF APPEALS
AUSTIN, TEXAS
1/4/2018 5:29:01 PM
JEFFREY D. KYLE
IN THE COURT OF APPEALS Clerk
THIRD JUDICIAL DISTRICT OF TEXAS
AT AUSTIN
OCAMPO PARTNERS, LTD., BELCO EQUITIES, INC.,
RIVERHORSE EQUITIES II, LTD. AND DOUGLASS McDERMOTT
AS TRUSTEE OF THE RUDY BELTON MANAGEMENT TRUST,
Appellants
v.
JOHN KOREN, INDIVIDUALLY AND DERIVATELY ON BEHALF
OF RIVERHORSE EQUITIES, L.P. AND CHEVY CHASE EQUITIES,
LTD., PATRICIA McGOVERN, RICHARD BRESSLER AND
STEFANIA KOREN,
Appellees.
On Appeal from Cause No. D-l-GN-17-002572
In the 126th Judicial District Court of Travis County, Texas
The Honorable John Dietz
REAL PARTIES IN INTEREST’S UNOPPOSED FIRST MOTION
FOR EXTENSION OF TIME TO FILE RESPONSE
TO PETITION FOR WRIT OF MANDAMUS
TO THE HONORABLE COURT OF APPEALS:
Real Parties in Interest John Koren, individually and derivatively on behalf of
Riverhorse Equities, L.P. and Chevy Chase Equities, Ltd., Patricia McGovern,
03 2760-67128/4851 -4164-7194.1
Richard Bressler, and Stefania Koren (collectively “Real Parties in Interest”) file
this First Motion for Extension, pursuant to Tex. R. App. P. 10.5(b), seeking an
additional two weeks to file their response to the Petition for Mandamus from
January 8, 2018 to January 22, 2018. In support of this Motion, the joint movants
would respectfully state:
I. INTRODUCTION
1. Relators filed their Petition for Writ of Mandamus (the “Petition”) on
December 28, 2017, seeking review of an Order Denying Motion to Disqualify
Counsel entered on December 27, 2017 (the “Order”). On December 29,2017 filed
an Emergency Motion for Temporary Relief (“Emergency Motion”) seeking to stay
certain discovery responses by Relators in the underlying proceeding pending
mandamus review.
2. On December 29, 2017, this Court issued an Order granting temporary
relief staying Relators’ responses to discovery until Monday, January 22, 2018, and
providing for Real Parties in Interest to respond to the Relators’ Petition on or
before Monday, January 8, 2018.
3. Counsel for the Real Parties in Interest require additional time to
respond to the Petition for the reasons set forth herein, including that Findings of
Fact and Conclusions of Law with respect to the Order were requested on December
29, 2017 and are pending entry early next week. Relators do not oppose such
03 2760-67128/4851 -4164-7194.1
extension, provided a commensurate extension of the temporary relief and stay of
Relators’ responses to discovery is also granted.
II. ARGUMENT & AUTHORITIES
A. Motion to Extend Time to File Response
4. The Court has the authority to extend the Real Parties in Interest’s
deadline to respond to the Petition pursuant to Texas Rule of Appellate Procedure
10.5(b)(1). The current deadline to respond to the Petition is Monday, January 8,
2018.
5. Counsel for the Real Parties in Interest, Eric Taube and Jamie
McGonigal, require additional time to respond to the Petition due to the intervening
holiday, as well as other pending matters. Additionally, Findings of Fact and
Conclusions of Law with respect to the Order were requested on December 29,
2017, and are pending entry in the underlying proceeding early next week.
6. Real Parties in Interest therefore request a two-week extension of their
response deadline from January 8, 2018 to January 22, 2018. The requested
extension will not prejudice any party, and is the first such request. Respondent
does not oppose this extension. Relators similarly do not oppose such extension,
provided the temporary relief and stay of their responses to discovery is also
extended for two weeks from January 22, 2018 to February 5, 2018.
032760-67128/4851-4164-7194.1
7. The $10.00 filing fee has been submitted in connection with this
Motion.
III. PRAYER
For these reasons, Real Parties in Interest respectfully pray, that this Court
grant a two-week extension of time to file Real Parties in Interests’ response to the
Petition for Mandamus from January 8, 2018 to January 22, 2018, and (in
accordance with the qualified agreement of Relators to such relief) extend the
temporary relief granted to Relators staying Relators’ responses to discovery from
January 22, 2018 until February 5, 2018.
Respectfully submitted,
WALLER LANSDEN DORTCH & DAVIS, LLP
By: /s/ Eric J. Taube_______________
Eric Taube
State Bar No. 19679350
eric.taube@wallerlaw.com
Jamie McGonigal
State Bar No. 24007945
iamie.mcgonigal@wallerlaw.com
100 Congress Avenue, Ste. 1800
Austin, Texas 78701
Telephone: (512)685-6400
Telecopier: (512)685-6417
ATTORNEYS FOR APPELLEES
032760-67128/4851-4164-7194.1
CERTIFICATE OF CONFERENCE
As required by Texas Rule of Appellate Procedure 10.1(a)(5), I certify that I
spoke to counsel for Relators, Ms. Mia Storm, about the merits of this Motion, as
well as Respondent the Honorable John Dietz, on January 4, 2018. Neither
Relators nor Respondent oppose this Motion; provided, however, that Relators’ lack
of opposition is incumbent upon the extension of temporary relief and the stay of
their discovery responses as described in the motion.
/s/EricJ. Taube_______
Eric J. Taube
CERTIFICATE OF SERVICE
Pursuant to the Texas Rules of Appellate Procedure, a true and correct copy
of the foregoing was served, via email, on the parties listed below, on the 4th day of
January, 2018.
Daniel R. Richards Geoffrey D. Weisbart
Clark Richards Mia A. Storm
Daniel Riegel Weisbart Springer Hayes LLP
Richards Rodriguez & Skeith, LLP 212 Lavaca Street, Suite 200
816 Congress Avenue, Suite 1200 Austin, Texas 78701
Austin, Texas 78701 gweisbart@wshllp.com
drichards@rrsfirm.com mstorm@wshllp.com
crichards@rrsfirm.com
driegel@rrsfirm.com Jason S. Scott
Osborne, Helman, Knebel & Scott, L.L.P
Randall C. Owens 301 Congress Ave., Suite 1910
Wright & Close, L.L.P. Austin, Texas 78701
One Riverway, Suite 2200 j sscott@ohkslaw.com
Houston, Texas 77056
owens@wrightclose.com Honorable John K. Dietz
j ohndietz@mac.com
/s/EricJ. Taube
Eric J. Taube
032760-67128/4851-4164-7194.1