Alan B. Rich D/B/A Law Office of Alan B. Rich v. Cantilo & Bennett, L.L.P., Special Deputy Receiver of Santa Fe Auto Insurance Company, Inc.
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Opinion
ACCEPTED 03-15-00408-CV 6363165 THIRD COURT OF APPEALS AUSTIN, TEXAS 8/5/2015 11:08:00 AM JEFFREY D. KYLE CLERK No. 03-15-00408-CV
FILED IN 3rd COURT OF APPEALS AUSTIN, TEXAS IN THE COURT OF APPEALS OF TEXAS 8/5/2015 11:08:00 AM THIRD DISTRICT, AT AUSTIN JEFFREY D. KYLE Clerk
ALAN B. RICH d/b/a LAW OFFICE OF ALAN B. RICH,
Appellant,
vs.
CANTILLO & BENNETT, L.L.P., SPECIAL DEPUTY RECEIVER OF SANTA FE AUTO INSURANCE COMPANY, INC.,
Appellee.
Appeal from the 98th Judicial District Court of Travis County, Texas Hon. Amy Clark Meachum, 201st District Court, Presiding Trial Court Cause No. D-1-GN-15-000799
APPELLANT’S MOTION FOR A 1-DAY EXTENSION OF TIME TO FILE OPENING BRIEF
Alan B. Rich State Bar No. 16842350 4244 Renaissance Tower 1201 Elm Street Dallas, Texas 75270 214.744.5100 214.744.5101 [fax] arich@alanrichlaw.com
LEAD COUNSEL FOR APPELLANT TO THE HONORABLE COURT OF APPEALS:
The Appellant hereby moves for a 1-day extension of time to file his opening
Brief, and would show as follows:
1. The Appellant’s opening brief was due on July 29, 2015. This Motion
seeks a 1-day extension of the deadline so that the brief would now be due on July 30,
2015.
2. A 1-day extension is needed because the Appellant mistakenly calculated
and calendared the due date of the brief as July 30 instead of July 29.
3. This is the Appellants’ first and only motion for extension to file his
opening brief, and this extension is not opposed by the Appellee.
WHEREFORE, the Appellant respectfully prays that this motion for extension be
granted and that he receives and all other and further relief to which he is entitled.
Respectfully submitted,
/s/ Alan B. Rich
Alan B. Rich State Bar No. 16842350 4244 Renaissance Tower 1201 Elm Street Dallas, Texas 75270 214.744.5100 214.744.5101 [Fax] arich@alanrichlaw.com
COUNSEL FOR THE APPELLANT
-1- Certificate of Conference
I certify that on the 5th day of August, I conferred with Appellee’s counsel regarding this motion and that the Appellee is not opposed to the relief sought.
Alan B. Rich
Certificate of Service
The undersigned certifies that on August 5, 2015, a copy of this brief were served on the Attorneys for the Appellee through the court’s electronic filing system as follows:
Fuller Law Group Christopher Fuller State Bar No. 07515500 4612 Ridge Oak Drive Austin, Texas 78731 Telephone: (512) 470-9544 Email: cfuller@fullerlaw.org
-2-
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