El Caballero Ranch, Inc. A/K/A El Caballero, LLC and Laredo Marine, LLC v. Grace River Ranch, LLC
Opinion
ACCEPTED 04-15-00127-CV FOURTH COURT OF APPEALS SAN ANTONIO, TEXAS 3/27/2015 10:03:28 PM KEITH HOTTLE CLERK
No. 04-15-00127-CV FILED IN __________________________________________ 4th COURT OF APPEALS SAN ANTONIO, TEXAS IN THE COURT OF APPEALS OF TEXAS 03/27/2015 10:03:28 PM FOURTH JUDICIAL DISTRICT KEITH E. HOTTLE SAN ANTONIO, TEXAS Clerk
EL CABALLERO RANCH, INC. and LAREDO MARINE, L.L.C., Appellants/Defendants, vs.
GRACE RIVER RANCH, L.L.C., Appellee/Plaintiff.
APPELLANT’S MOTION FOR BRIEFING DEADLINE EXTENSION
To the Honorable Court:
Appellants brief is currently due on April 9, 2015. Appellants’
appellate counsel is conflicted by other deadlines1 and needs
additional time to complete the brief. If this Court grants Appellants
1 Seabright Ins. Co. v. Lopez, No. 14-0272 (Supreme Court of Texas) (oral argument); Botla v. Del Toro, No. 15-0226 (Supreme Court of Texas) (Response to Petition for Review). The undersigned is also conflicted because she is required to attend a hearing set by Appellee on a motion to sever the liability portion of the underlying case from the damages portion, which Appellants will argue to the trial court is contrary to well-established Texas law. Dalisa, Inc. v. Bradford, 81 S.W.3d 876, 879 (Tex. App. – Austin 2002, no pet.) (“[s]everance of a single cause of action into two parts is never proper and should not be granted for the purpose of enabling the litigants to obtain an early appellate ruling on the trial court's determination of one phase of the case”) (quoting Pierce v. Reynolds, 160 Tex. 198, 329 S.W.2d 76, 79 n. 1 (1959)).
a 20-day deadline, Appellants’ brief will be due on April 29, 2015.
Appellants respectfully request this Court grant them a 20-day
extension and re-set the briefing deadline for April 29, 2015.
Respectfully submitted,
KELLER STOLARCZYK, PLLC 234 West Bandera Road #120 Boerne, Texas 78006 Tele: 830.981.5000 Facs: 888.293.8580
/s/Kimberly S. Keller Kimberly S. Keller SBN: 24014182 kim@kellsto.com
COUNSEL FOR APPELLANTS
CERTIFICATE OF CONFERENCE & SERVICE
I conferred with opposing counsel, Steven C. Haley this
morning, but did not receive an email response by the time this
Motion was filed. Past conduct gives the undersigned a good faith
belief that opposing counsel will oppose this Motion.
I certify that on March 27, 2015, I conferred with opposing
counsel. On this same date, I served this Motion on those listed
below:
Steven C. Haley MOORMAN, TATE, URQUHART, HALEY, UPCHURCH & YATES, L.L. P.
207 East Main Street P. O. Box 1808 Brenham, Texas 77834-1808
John H. Patterson, Jr. MONTEZ & PATTERSON 508 Thorton, Suite 4 Cotulla, Texas 78014 Counsel for Grace River Ranch
Donato D. Ramos & Donato D Ramos, Jr.
LAW OFFICES OF DONATO D. RAMOS 6721 McPherson P.O. Box 452009 Laredo, Texas 78045 Counsel for County of La Salle
/s/Kimberly S. Keller Kimberly S. Keller
Free access — add to your briefcase to read the full text and ask questions with AI
El Caballero Ranch, Inc. A/K/A El Caballero, LLC and Laredo Marine, LLC v. Grace River Ranch, LLC (El Caballero Ranch, Inc. A/K/A El Caballero, LLC and Laredo Marine, LLC v. Grace River Ranch, LLC) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.