Crowley Independent School District v. Carl Stoneham, and Mike Morath, in His Official Capacity as Commissioner of Education of Texas

CourtCourt of Appeals of Texas
DecidedDecember 18, 2024
Docket15-24-00051-CV
StatusPublished

This text of Crowley Independent School District v. Carl Stoneham, and Mike Morath, in His Official Capacity as Commissioner of Education of Texas (Crowley Independent School District v. Carl Stoneham, and Mike Morath, in His Official Capacity as Commissioner of Education of Texas) is published on Counsel Stack Legal Research, covering Court of Appeals of Texas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Crowley Independent School District v. Carl Stoneham, and Mike Morath, in His Official Capacity as Commissioner of Education of Texas, (Tex. Ct. App. 2024).

Opinion

ACCEPTED 15-24-00051-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 12/18/2024 4:46 PM No. 15-24-00051-CV CHRISTOPHER A. PRINE ________________________________________________________________________ CLERK FILED IN 15th COURT OF APPEALS IN THE COURT OF APPEALS AUSTIN, TEXAS FOR THE FIFTEENTH JUDICIAL DISTRICT 12/18/2024 4:46:20 PM AUSTIN, TEXAS CHRISTOPHER A. PRINE Clerk __________________________________________________________________

Crowley Independent School District Appellant

v.

Carl Stoneham and Mike Morath, in his official capacity as Commissioner of Education of Texas Appellees __________________________________________________________________

On Appeal from the 48th District Court of Tarrant County No. 048-336026-22, Hon. Chris Taylor, Judge Presiding __________________________________________________________________

APPELLANT’S UNOPPOSED SECOND MOTION FOR EXTENSION OF TIME TO FILE MOTION FOR REHEARING __________________________________________________________________

TO THE HONORABLE FIFTEENTH COURT OF APPEALS:

Pursuant to Texas Rules of Appellate Procedure 49.9, Appellant Crowley

Independent School District seeks a 7-day extension to file its motion for

rehearing, resulting in a new deadline of December 26, 2024.

The current deadline for filing Appellant’s motion for rehearing is

December 19, 2024.

Counsel for Appellant has recently had numerous settings and deadlines in other matters. As a result, counsel requests an extension to ensure that

Appellant provides the Court with a thorough, thoughtful, and well-composed

motion for rehearing.

The undersigned has conferred with Appellees’ counsel, who indicated

Appellees are not opposed to this request.

This is Appellant’s second request for an extension for this filing, and

its granting will prejudice no party.

Accordingly, Appellant respectfully requests a 7-day extension of time to

file its motion for rehearing, resulting in a new deadline of December 26, 2024.

Respectfully submitted, /s/ David J. Campbell David J. Campbell dcampbell@808west.com State Bar No. 24057033 O’Hanlon, Demerath & Castillo 808 West Ave. Austin, Texas, 78701 Tel: (512) 494-9949 Fax: (512) 494-9919

Counsel for Appellant Crowley Independent School District

2 CERTIFICATE OF CONFERENCE

I certify that on or about December 17 and 18, 2024, I conferred by email

with counsel for Appellee Morath and Appellee Stoneham, who indicated that

Appellees are not opposed to the requested extension of 7 days.

/s/ David J. Campbell David J. Campbell

CERTIFICATE OF SERVICE

I hereby certify that a true and correct copy of the foregoing was served

through the court’s e-filing/notice system on December 18, 2024 to the

following:

Daniel A. Ortiz Martin Cohick dortiz@ortizlawtx.com Martin.cohick@oag.texas.gov Giana Ortiz James Brazell gortiz@ortizlawtx.com James.brazell@oag.texas.gov The Ortiz Law Firm Office of the Attorney General Of 1304 West Abram Street Texas Suite 100 P.O. Box 12548, Capitol Station Arlington, TX 76013 Austin, TX 78711

Counsel for Appellee Carl Counsel for Appellee Mike Stoneham Morath

3 Automated Certificate of eService This automated certificate of service was created by the efiling system. The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules.

Kathryn French on behalf of David Campbell Bar No. 24057033 kfrench@808west.com Envelope ID: 95475260 Filing Code Description: Motion Filing Description: CISD's 2nd Unopposed MET Status as of 12/18/2024 4:52 PM CST

Associated Case Party: Crowley Independent School District

Name BarNumber Email TimestampSubmitted Status

David Campbell dcampbell@808west.com 12/18/2024 4:46:20 PM SENT

Kathryn French kfrench@808west.com 12/18/2024 4:46:20 PM SENT

Associated Case Party: Carl Stoneham

Daniel Ortiz dortiz@ortizlawtx.com 12/18/2024 4:46:20 PM SENT

Giana Ortiz gortiz@ortizlawtx.com 12/18/2024 4:46:20 PM SENT

Associated Case Party: Mike Morath

Meridith Fischer Meridith.Fischer@oag.texas.gov 12/18/2024 4:46:20 PM SENT

Elizabeth Chipelo elizabeth.chipelo@oag.texas.gov 12/18/2024 4:46:20 PM SENT

James Z.Brazell james.brazell@oag.texas.gov 12/18/2024 4:46:20 PM SENT

Martin Cohick Martin.cohick@oag.texas.gov 12/18/2024 4:46:20 PM SENT

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Crowley Independent School District v. Carl Stoneham, and Mike Morath, in His Official Capacity as Commissioner of Education of Texas, Counsel Stack Legal Research, https://law.counselstack.com/opinion/crowley-independent-school-district-v-carl-stoneham-and-mike-morath-in-texapp-2024.