Bryan Black v. Smith Protective Services, Inc.

Court of Appeals of Texas·Decided February 25, 2015·No. 01-14-00969-CV·Published

Opinion

FILED IN 1st COURT OF APPEALS No. 01-14-00969-CV HOUSTON, TEXAS 2/25/2015 1:30:37 PM CHRISTOPHER A. PRINE Clerk IN THE FIRST COURT OF APPEALS AT HOUSTON, TEXAS

BRYAN BLACK,

Appellant

v.

SMITH PROTECTIVE SERVICES, INC.,

Appellee

On Appeal from the 189th Judicial District Court The Honorable William R. Burke, Judge Presiding

APPENDIX TO CROSS-APPELLANT’S BRIEF

TODD H. TINKER State Bar No. 20056150 TinkerLaw@TinkerLaw.com LAW OFFICE OF TODD H. TINKER, PC P.O. BOX 802606 Dallas, TX 75380 Telephone: (214) 914-3760 Facsimile: (214) 853-4328

ATTORNEY FOR APPELLEE TABLE OF CONTENTS

TABLE OF CONTENTS.. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . ii

APPENDIX A - Interlocutory Summary Judgment.. . . . . . . . . . . . . . . . . . . . . . . . . . . . . 1

APPENDIX B - Motion for Attorney’s Fee Award.. . . . . . . . . . . . . . . . . . . . . . . . . . . . . 2

APPENDIX C - Plaintiff’s Response to Motion for Attorney’s Fee Award. . . . . . . . . . 12

APPENDIX D - Reply to Plaintiff’s Response to Motion for Attorney’s Fee Award. . 20

APPENDIX E - Order Denying Motion for Attorney’s Fees. . . . . . . . . . . . . . . . . . . . . 23

CERTIFICATE OF SERVICE. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 24

ii 8/18/2014 4:24:01 PM Chris Daniel •District Clerk Harris County £ Envelope No: 2197083

Cause No. 2012-56941 lh By: SWEENEY, PAUL H

BRYAN BLACK, § IN THE DISTRICT COURT Plaintiff, v. § 189th JUDICIAL DISTRICT MUHAMMAD ZAFFAR and SMITH § PROTECTIVE SERVICES, INC. Defendants. § HARRIS COUNTY, TEXAS

INTERLOCUTORY SUMMARY JUDGMENT

CAME BEFORE THE COURT FOR CONSIDERATION the Motions for Traditional

and No-Evidence Partial Summary Judgment (the “Motions”), filed by defendant Smith 'b-\ Protective Services, Inc. (“Smith”).

The Court, having reviewed the Motions, any responses thereto, the pleadings and papers

on file, and having heard arguments of counsel, finds that there are no genuine issues of material

fact regarding plaintiffs inability to establish at least one element in each of the claims he asserts

against Smith. Accordingly, the Motions are well-taken and should be, and are hereby

GRANTED.

IT IS ACCORDINGLY, ORDERED, ADJUDGED, AND DECREED that plaintiff take

nothing by his claims against defendant Smith and that all of plaintiffs claims against Defendant

Smith are hereby DISMISSED, with prejudice to the re-filing of same.

All relief not specifically granted is hereby DENIED.

Signed this 1-c day of 2014.

Honorable William R. Burke, Jr. Presiding Judge

INTERLOCUTORY SUMMARY JUDGMENT page SOLO

1 Appendix A 621 9/25/2014 11:57:40 AM Chris Daniel • District Clerk Harris County Envelope No. 2619947 By: PAUL SWEENEY Original File Date: 9/25/201 4 11 :57:40 AM

Cause No. 2012-56941

BRYAN BLACK, § IN THE DISTRICT COURT Plaintiff, v. § 189th JUDICIAL DISTRICT MUHAMMAD ZAFFAR and SMITH § PROTECTIVE SERVICES, INC. Defendants. § HARRIS COUNTY, TEXAS

MOTION FOR ATTORNEY FEES AWARD

Defendant Smith Protective Services, Inc. (“Smith”) files this Motion for Attorney Fees

Award (the “Motion”) and shows as follows:

Certificate of Conference

The undersigned certifies that agreement was sought from plaintiff to the relief requested

herein. Agreement was not reached so this Motion is submitted for the Court’s consideration.

Evidence in Support of Motion

In support of this Motion, Smith refers to the Court to the following documents

attached to the Declaration of Todd H. Tinker in Support of Motion for Attorney Fees Award

(“Tinker Declaration”):

a. Exhibit “A-': Declaration Invoking Settlement Offer Provisions;

b. Exhibit “B”: Settlement Offer Letter.

Basis of Motion

2. On March 1 1, 2014 Smith filed with the Court its Declaration Invoking

Settlement Offer Provisions fEx. “A”1. On March 12, 2014, Smith transmitted to counsel for

plaintiff via facsimile a Settlement Offer offering to settle plaintiffs claims against Smith for

payment by Smith of the total amount of $5,000 [Tinker Declaration ; Ex. “B”1.

MO TION FOR ATTORNEY Tl-liS AWARD page 1 of 1

2 Appendix B 632 3. This Court entered an Interlocutory Summary Judgment in Smith’s behalf on

August 18, 2014, dismissing all of plaintiffs claims against Smith.

4. Pursuant to TRCP 167.2 and Tex. Civ. Pract. & Rem. C. §42.001 et.seq., because

plaintiff failed to obtain a judgment against Smith that was at least 80% of the amount offered by

Smith in settlement, Smith is entitled to an award of attorney’s fees and costs incurred

subsequent to the March 26, 2014 deadline for plaintiff to accept the settlement offer.

5. From March 27, 2014 through the filing of this Motion, counsel for defendant has

worked approximately 25 hours and Smith has incurred a total of $8793.97 in costs and expenses

during that same time period [Tinker Declaration, If 5]. The reasonable value of the attorney’s

fees provided by the undersigned to Smith is $8,125.00 [Tinker Declaration, If 4].

6. Plaintiff received judgment from defendant Muhammed Zaffar in the amount of

$49,500.00 Accordingly, pursuant to Tex. Civ. Pract. & Rem. C. §42.004, Smith is entitled to

judgment from plaintiff in the amount of $16,918.97.

NOTICE OF SUBMISSION

Please take notice that this Motion will be determined upon submission on or after 8:00

a.m. on Monday, October 13, 2014.

WHEREFORE, BASED UPON THE FOREGOING, defendant Smith Protective

Services, Inc. requests that, upon notice and opportunity to be heard, the Court grant this Motion,

and grant Smith judgment against plaintiff in the amount of $16,918.97, plus post-judgment

interest at the highest rate allowed by law, and such other and further relief, at law or in equity, to

which Smith may show itself to be justly entitled.

MOTION FOR ATTORNEY FEES AWARD page 2 of 1

3 Appendix B 633 Respectfully submitted:

ToddH. Tinker SBN 20056150 TinkerLaw@TinkerLaw.com

Law Office of Todd H. Tinker, P.C. P.O. Box 802606 Dallas, Texas 75380

(214)914-3760 (Phone) (214) 853-4328 (Fax)

CERTIFICATE OF SERVICE

The undersigned hereby certifies that the foregoing will be served upon all parties and/or

_ counsel upon whom service is required pursuant to the Texas Rules of Civil Procedure as set forth below on September 25th, 2014.

Todd H. Tinker Via Email Patrick G. Hubbard, Esq phubbard@patrickhubbardlaw.com

MOTION FOR ATTORNEY FEES AWARD page 3 of 1

4 Appendix B 634 9/25/2014 11:57:40 AM - Chris Daniel District Clerk Harris County Envelope No: 2619947 By: SWEENEY, PAUL H

BRYAN BLACK, § IN THE DISTRICT COURT Plaintiff, v. § 189th JUDICIAL DISTRICT MUHAMMAD ZAFFAR and SMITH § PROTECTIVE SERVICES, INC. Defendants. § HARRIS COUNTY, TEXAS

DECLARATION OF TODD H. TINKER IN SUPPORT OF MOTION FOR ATTORNEY’S FEES

My name is Todd H. Tinker, my date of birth is June 5, 1962, and my address is PO Box

6447, San Antonio, Texas, 78209. I declare under penalty of perjury that the foregoing is true

and correct.

1. I was licensed to practice law in the State of Texas in November, 1989. 1 have

continuously practiced law in Texas since that time. My practice consists primarily of trying

civil cases of various types. In the last 15 years I have tried numerous bench and jury trials

involving personal injury, breach of contract, civil RICO, Title VII, and other various tort cases.

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