David Young v. Trails End Homeowners Association, Inc. TLS Properties, Ltd. TLS Operating Company, LLC Van Keene And Rick Durapau
This text of David Young v. Trails End Homeowners Association, Inc. TLS Properties, Ltd. TLS Operating Company, LLC Van Keene And Rick Durapau (David Young v. Trails End Homeowners Association, Inc. TLS Properties, Ltd. TLS Operating Company, LLC Van Keene And Rick Durapau) 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.
Opinion
ACCEPTED 03-14-00535-CV 3969749 THIRD COURT OF APPEALS AUSTIN, TEXAS 1/30/2015 3:14:43 PM JEFFREY D. KYLE CLERK No. 03-14-00535-CV
FILED IN In the Third Court of Appeals 3rd COURT OF APPEALS AUSTIN, TEXAS 1/30/2015 3:14:43 PM Austin, Texas JEFFREY D. KYLE Clerk
DAVID YOUNG, APPELLANT
v.
TRAILS END HOMEOWNERS ASSOCIATION, INC.; TLS PROPERTIES, LTD.; TLS OPERATING COMPANY, LLC; VAN KEENE; AND RICK DURAPAU, APPELLEES
APPEAL FROM CAUSE NO. D-1-GN-10-003864 200TH DISTRICT COURT OF TRAVIS COUNTY, TEXAS HON. GISELA D. TRIANA
EMERGENCY MOTION FOR EXTENSION OF TIME
Stephen Casey Texas Bar No. 24065015 ORAL CASEY LAW OFFICE, P.C. ARGUMENT 595 Round Rock West Drive REQUESTED Suite 102 Round Rock, Texas 78681 Telephone: 512-257-1324 Fax: 512-853-4098 stephen@caseylawoffice.us
Counsel for Appellant David Young
1 Grounds
1. Appellant requests and extension of time to file Appellant’s brief under Texas Rule of Appellate Procedure 10.5.
2. The deadline for the brief is February 2, 2015.
3. On January 30, 2015, Counsel was contacted for an emergency end-of-life case of a 12-year-old child on life support, who is in dire need of help. Counsel will need two weeks to work on this case, from the restraining order through temporary injunctive relief.
4. Due to the time it will take to work on the right-to-life case, an extension is requested for 30 days. The brief would now be due on March 4, 2015.
5. No response from the opposing counsels regarding Emergency Motion for Extension of Time. Has been received due to the quick response needed.
6. This is the second request for an extension.
Prayer
Appellant prays this Court grant this extension.
Stephen Casey Texas Bar No. 24065015
Casey Law Office, P.C. 595 Round Rock West Drive Suite 102 Round Rock, Texas 78681 Telephone: 512-257-1324 Fax: 512-853-4098 stephen@caseylawoffice.us
2 CERTIFICATE OF CONFERENCE
I hereby certify that on January 30, 2015, I contacted the opposing counsels on Emergency Motion for Extension of Time. As of this time I have not received any responses from opposing counsels.
/s/ Stephen Casey
CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the foregoing motion was served upon counsels for Appellees on Friday, January 30, 2015, via electronic transmission:
Christopher R. Mugica Jackson Walker LLP 1000 Congress Avenue, Suite 1100 Austin, TX 78701-4042
Jonathan Quick 720 Brazos St., Ste. 700 Austin, TX 78701-2974
Jonathan Quick 720 Brazos St., Ste. 700 Austin, TX 78701-2974
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