Dowtech Specialty Contractors, Inc. v. City of Nacogdoches and Aeromix Systems, Inc.

Court of Appeals of Texas·Decided November 5, 2015·No. 12-15-00236-CV·Published

Opinion

ACCEPTED

12-15-00236-CV

TWELFTH COURT OF APPEALS

TYLER, TEXAS

11/5/2015 5:03:53 PM

Pam Estes

CLERK

FILED IN

12th COURT OF APPEALS

TYLER, TEXAS

11/5/2015 5:03:53 PM

PAM ESTES

Clerk

Exhibit “A”

ACCEPTED

12-15-00236-CV

TWELFTH COURT OF APPEALS

TYLER, TEXAS

9/30/2015 3:17:18 PM

Pam Estes

CLERK

Cause No. C1228865

DOWTECH SPECIALTY § IN THE DISTRICT COURT CONTRACTORS, INC., § Plaintiff § §

v. § OF NACOGDOCHES COUNTY § TEXAS

§

CITY OF NACOGDOCHES, TEXAS § AND AEROMIX SYSTEMS, INC., § Defendants § 145TH JUDICIAL DISTRICT

PLAINTIFF’S DESIGNATION OF ITEMS TO BE INCLUDED IN CLERKS RECORD

TO: Jessica Hill Deputy District Clerk of Nacogdoches County, Texas

101 W. Main, Suite 120 Nacogdoches, TX 75961 936-560-7740 – Tele 936-560-7839 – Fax

PLAINTIFF, DOWTECH SPECIALTY CONTRACTORS INC., is appealing this case to the 12th Court of Appeals. The trial court signed the final judgment in this case on August 28. Plaintiff filed a notice of appeal on September 16, 2015 and has made arrangements with the clerk to pay the clerk’s fee. Plaintiff requests that the following documents be included in the clerk’s record, as specified in Texas Rule of Appellate Procedure 34.5:

12/17/12 Plaintiff’s Original Petition 1/25/13 Plea to Jurisdiction, Original Answer, Counterclaim and Cross-Claim of Defendant, City of Nacogdoches, Texas

7/2/14 Rule 11 Agreement 8/8/14 Plaintiff’s First Amended Petition 8/8/14 Notice of Revocation of Consent to Rule 11 Agreement 11/25/14 Plea to the Jurisdiction and Amended Answer of Defendants

12/1/14 Plea to Jurisdiction, First Amended Answer and Counterclaim of Defendant, City of Nacogdoches, Texas 1/5/15 Plaintiff’s Answer to Counterclaims

1/30/15 Defendant’s Motion for Partial Summary Judgment 3/12/15 Plaintiff’s Supplemental First Amended Petition (with attached Exhibits 1 – 15)

3/12/15 Plaintiff’s Motion to Strike Defendant’s First Amended Answer (with attached Exhibits 1 – 9)

3/13/15 Plaintiff’s First Supplemental Petition

6/3/15 Defendant’s Supplemental Motion for Partial Summary Judgment 6/10/15 Plaintiff’s Motion for Partial Summary Judgment 6/10/15 Appendix to Plaintiff’s Motion for Partial Summary Judgment (with attached Exhibits A – H)

6/23/15 Defendant’s Response to Plaintiff’s Motion for Partial Summary Judgment 6/24/15 Plaintiff’s Combined Response to Defendant’s Motion for Partial Summary Judgment and Supplemental Motion for Partial Summary Judgment 6/24/15 Plaintiff’s Notice of Intent to Use Summary Judgment Evidence 6/24/15 Affidavit of Bob Click 6/24/15 Exhibits to Affidavit of Bob Click (Exhibit 1- 52 in Volumes 1, 2, and 3)

FOR THE CLERK’S CONVENIENCE A LIST OF THE 52 EXHIBITS TO THE AFFIDAVIT OF BOB CLICK IS ATTACHED HERETO AS “APPENDIX TO PLAINTIFF’S DESIGNATION”

6/24/15 Affidavit of Gerald Downing 6/24/15 Defendant’s Response to Request for Admissions of Plaintiff Dowtech Specialty Contractors, Inc.

6/24/15 Defendant’s Response to Plaintiff’s Motion to Strike Defendant’s First Amended Answer

6/30/15 Defendant’s Objections to Plaintiff’s Summary Judgment Evidence Presented in Opposition to Defendant’s Motion for Partial Summary Judgment 7/2/15 Order Sustaining Defendant’s First Amended Plea to Jurisdiction 7/24/15 Plaintiff’s Demand for Jury Trial 8/7/15 Defendant’s Motion for Separate Trial 8/19/15 Plaintiff’s Response to Defendant’s Motion for Separate Trial 8/21/15 Plaintiff’s Notice of Intent to Use Summary Judgment Evidence 8/21/15 Second Affidavit of Bob Click 8/25/15 Defendant’s Motion to Strike Second Affidavit of Bob Click 8/25/15 Plaintiff’s Response to Defendant’s Objections to Summary Judgment Evidence

8/28/15 Order on Defendant’s Motion for Separate Trial 8/28/15 Order Granting the Defendant’s Motion for Partial Summary Judgment 8/28/15 Order Denying Plaintiff’s Motion for Partial Summary Judgment 8/28/15 Order on Defendant’s Motion to Strike Second Affidavit of Bob Click 8/28/15 Order Ruling on the Defendant’s Objections to the Plaintiff’s Summary Judgment Evidence (Plaintiff’s Motion)

9/16/15 Plaintiff’s Notice of Appeal, dated September 16, 2015

9/29/15 This Plaintiff’s Designation of Items to be Included in Clerks Record Dated 9/29/15

IN ADDITION TO THE DATED ITEMS SET FORTH ABOVE, REQUEST IS ALSO MADE FOR THE FOLLOWING ITEMS:

1. The court’s docket sheet.
2. The certified bill of costs.

Respectfully submitted,

LAW OFFICE OF BLAKE C. NORVELL 37 Cypress Point St. Abilene, Texas 79606 325-695-1708 tel 325-695-1708 fax

/s/ Blake Norvell By:

Blake C. Norvell State Bar No. 24065828

ATTORNEY FOR PLAINTIFF

CERTIFICATE OF SERVICE

I certify that on this 29th day of September, 2015, a true copy of PLAINTIFF’S DESIGNATION OF ITEMS TO BE INCLUDED IN CLERKS RECORD was forwarded to counsel of record via electronic transmission:

THOMAS L. BELANGER P.O. Box 631248 Nacogdoches, Texas 75963 tom@abal-law.com

/s/ Blake Norvell

BLAKE NORVELL

“APPENDIX TO PLAINTIFF’S DESIGNATION”

The Exhibits to the Affidavit of Bob Click which are requested to be in the record are: 1. Selected pages of the Standard Conditions of the construction contract made the basis of this lawsuit. 2. Selected pages of the Special Conditions of the construction contract made the basis of this lawsuit. 3. Selected pages of the Technical Specifications of the construction contract made the basis of this lawsuit. 4. Drawings of the PROPOSED FLOATING BRUSH AERATORS/OXIDATION DITCH dated July 2009 showing the original bridge mount position with the aerators pushing on the swing arms 5. Electrical Expertise Inc. Letter dated October 22, 2009 6. Selected portions of Submittal No. 3 , including:

a. The submittal cover sheet b. The submittal table of contents c. The scope of supply document showing four 25 hp aerators with 20-foot swing arms

d. Selected pages of the Installation, Operation, and Maintenance Manual for the 25-30 HP Aeromix (MONSOON) Paddlewheel Surface Splash Aerator including pages showing features “pulling” a two post mooring and a four post mooring with soft starts or VFDs e. Selected Monsoon Drawings f. The Aeromix Warranty for the Aerators

7. Selected pages of ECS House Industries, Inc.’s FLOATING BRUSH AERATOR SPECIFICATIONS including a diagram illustrating proper mooring 8. Selected pages from Defendants Responses to Requests for Admissions in this case showing that the Aeromix submittal showed a recommendation for the installation of “soft start” mechanisms and that soft starts are gentle on the equipment (RFA# 94, 101, 103, 220, and 270). 9. A January 8, 2010 e-mail from Catalin Petrescu to Clint Carlile at Dowtech showing the need for swing arms to be bolted to a “structure.” 10. Selected pages from Defendants Responses to Requests for admissions in this case showing a. August 19, 2010 flexing of the swing arms (RFA # 125)

b. August 20, 2010 failure of the swing arms (RFA # 127, 128, and 129)

c. August 30, 2010 Engineer Mark Mann discovered for first time that the aerators must be installed in a “pull” position (RFA #144)

d. September and October 2010 changes in the contract were made to require a setup wherein the swing arms would be mounted to a mooring cable with the aerators in the pull position (RFA # 160-166)

e. An October 11, 2010 letter signed by Mark Mann admitted that the aerators had been installed in a “push” configuration (RFA #244)

Free access — add to your briefcase to read the full text and ask questions with AI

Dowtech Specialty Contractors, Inc. v. City of Nacogdoches and Aeromix Systems, Inc., (Tex. Ct. App. 2015).

Dowtech Specialty Contractors, Inc. v. City of Nacogdoches and Aeromix Systems, Inc. (Dowtech Specialty Contractors, Inc. v. City of Nacogdoches and Aeromix Systems, Inc.) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Mustang Pipeline Co. v. Driver Pipeline Co.
134 S.W.3d 195 (Texas Supreme Court, 2004)
City of Irving v. Inform Construction, Inc.
201 S.W.3d 693 (Texas Supreme Court, 2006)
The City of El Paso v. Lilli M. Heinrich
284 S.W.3d 366 (Texas Supreme Court, 2009)
Clearview Properties, L.P. v. Property Texas SC One Corp.
287 S.W.3d 132 (Court of Appeals of Texas, 2009)
Landrum v. Devenport
616 S.W.2d 359 (Court of Appeals of Texas, 1981)
City of Mesquite v. PKG Contracting, Inc.
263 S.W.3d 444 (Court of Appeals of Texas, 2008)
City of Houston v. Southern Electrical Services, Inc.
273 S.W.3d 739 (Court of Appeals of Texas, 2008)
Learners Online, Inc. v. Dallas Independent School District
333 S.W.3d 636 (Court of Appeals of Texas, 2009)
City of San Antonio v. KGME, INC.
340 S.W.3d 870 (Court of Appeals of Texas, 2011)
Tony Woody v. Madelyn Woody
429 S.W.3d 792 (Court of Appeals of Texas, 2014)
Heffington v. Hellums
212 S.W.2d 245 (Court of Appeals of Texas, 1948)
Sharyland Water Supply Corp. v. City of Alton
354 S.W.3d 407 (Texas Supreme Court, 2011)
City of San Antonio v. Lower Colorado River Authority
369 S.W.3d 231 (Court of Appeals of Texas, 2011)