Garry L. Rollins and Carla D. Rollins v. Texas College and MPF Investments, LLC D/B/A "A-1 Rent All"

Court of Appeals of Texas·Decided July 6, 2015·No. 12-15-00121-CV·Published

Opinion

ACCEPTED 12-15-00121-CV TWELFTH COURT OF APPEALS TYLER, TEXAS 7/6/2015 12:15:27 PM CATHY LUSK CLERK

No. 12-15-00121-CV

FILED IN IN THE COURT OF APPEALS 12th COURT OF APPEALS TYLER, TEXAS FOR THE TWELFTH DISTRICT OF TEXAS 7/6/2015 12:15:27 PM TYLER, TEXAS CATHY S. LUSK

Clerk

GARRY L. ROLLINS AND CARLA D. ROLLINS, Appellants

V.

TEXAS COLLEGE AND MPF INVESTMENTS, LLC D/B/A "A-1 RENT ALL,"

Appellees

Appeal from Cause No. 13-3353-A In the 7th District Court of Smith County, Texas

APPELLANTS’ UNOPPOSED MOTION TO EXTEND TIME TO FILE APPELLANTS’ BRIEF

EXPEDITED RULING REQUESTED

TO THE HONORABLE COURT OF APPEALS:

Appellants, Gary L. Rollins and Carla Rollins request an

extension of time to file Appellant’s Opening Brief and would shows

as follows:

Appellees are Texas College and MPF Investments, LLC d/b/a

“A-1 Rent All." The current deadline to file Appellants Opening Brief is July 10, 2015. Appellant requests an additional 30 days to file

the Appellants Opening Brief, extending the time until August 10,

2015 (the Monday after the expiration of 30 days from July 10,

2015). No prior extensions to file Appellant’s Opening Brief have

been requested. There is no 15 day limit after the deadline for filing

this motion. Pursuant to Texas Rule of Appellate Procedure 38.6(d)

this Court may grant this extension request.

Appellants need additional time to file Appellant’s Opening

Brief because the record is incomplete and in need of

supplementation and correction. A copy of Appellants’ Motion to

Supplement the Clerk’s Record is attached hereto (Exhibit “A”).

First, the record is missing 4 necessary documents. These

missing documents were discovered by Appellants while preparing

their brief. Three of these documents were designated for inclusion

by Appellants, but were not filed as part of the record by the clerk.

The fourth document is cross-designated by Appellee, MPF

Investments LLC. However, due to the tardiness of MPF’s cross-

designation the fourth document is not in the record either.

The undersigned discussed the absence of these four

documents with the trial court clerk and was informed that due to the July 4th holiday, the matter would be handled on Tuesday, July

7, 2015 (only 3 days prior to the filing deadline.) A copy of

correspondence to the trial court clerk requesting supplementation

of the record with such documents, is attached as exhibit “B”.

Attached as Exhibit “C” is a copy of e-mail correspondence with the

trial court clerk confirming the timeline. Obviously, it is unlikely

that the record will be properly supplemented prior to Appellants’

briefing deadline.

Second, numerous additional documents were cross-

designated for inclusion by Appellee, MPF Investments, LLC. The

cross designation was filed just recently and received by the

undersigned just yesterday, long after the clerk’s record had been

completed and filed. A copy of the tardy cross designation is

attached as exhibit “D.” The designation specified a number of

documents which suggest additional areas of briefing will be

required. Thus, in order to avoid confusion and inaccuracy in the

briefs, the clerk’s record page numbers should be assigned to these

key documents, prior to briefing.

Appellants do not object to the tardy designation. Appellants

simply desire for the record to be complete with proper volume and page references prior to drafting and filing their opening brief.

Extending the deadline 30 days will accommodate all parties, by

giving the trial clerk ample time to insure that the clerk’s record is

complete and contains all documents requested. Granting

additional time will not prejudice any party, but simply insure the

record is complete.

Wherefore, Appellants pray that the Court grant this request

and extend the deadline for Appellants’ to file their opening brief for

30 days, extending the time until August 10, 2015 (the Monday

after the expiration of 30 days from July 10).

Respectfully submitted,

/s/ Ernesto D. Sigmon

Ernesto D. Sigmon State Bar No. 24010397 LAW OFFICES OF ERNESTO D. SIGMON WALKER SIGMON LAW 416 West Saulnier Street Houston, Texas 77019 214/395-1546 (Telephone) 713/485-6056 (Facsimile) esigmon@esigmon.com

ATTORNEY FOR APPELLANTS, GARRY L. ROLLINS AND CARLA D. ROLLINS

CERTIFICATE OF CONFERENCE

I certify that I have attempted to confer with lead counsel for

Texas College and MPF Investments, LLC by phone and by e-mail

on the following occasions:

• July 3, 2015, by phone and then by email. I initially

attempted to contact lead trial counsel for the parties (i.e.

Messrs. Yarbrough and Geddie). I got email responses from

both lawyers directing me to include lead appellate counsel on

all correspondence going forward.

• On July 4, 2015 I sent written correspondence to Messrs.

Smith and Hovnatanian (both lead appellate counsel) with trial

counsel cc’d. In the correspondence, I asked the lawyers to

consider the merit and substance of the motions as well as my

rationale for filing them. I also invited opposing counsel to

advise me at their earliest of their position on the motions.

• On July 6, 2015 I called Mr. Smith and Mr. Hovnatanian by

phone. Mr. Hovnatanian advised me that he is unopposed to

the motion to extend the filing deadline. I was unable to reach

Mr. Smith and emailed him at 11;29 a.m. regarding the motion. Nolan Smith contacted me by phone at 11:57 a.m. on

behalf of his colleague Greg Smith, advising me that he too is

unopposed to the motion to extend the brief filing deadline.

/s/ Ernesto D. Sigmon

Ernesto D. Sigmon State Bar No. 24010397 LAW OFFICES OF ERNESTO D. SIGMON WALKER SIGMON LAW 416 West Saulnier Street Houston, Texas 77019 214/395-1546 (Telephone) 713/485-6056 (Facsimile) esigmon@esigmon.com

ATTORNEY FOR APPELLANTS, GARRY L. ROLLINS AND CARLA D. ROLLINS

CERTIFICATE OF SERVICE I certify that on July 6, 2015, I served a copy of Appellants’

Motion to Extend Time to File Appellants’ Brief on the parties listed

below by electronic service and that the electronic transmission was

reported as complete. My e-mail address is esigmon@esigmon.com.

/s/ Ernesto D. Sigmon

Ernesto D. Sigmon State Bar No. 24010397 LAW OFFICES OF ERNESTO D. SIGMON SIGMON LAW, PLLC 416 West Saulnier Street Houston, Texas 77019 214/395-1546 (Telephone) 713/485-6056 (Facsimile) esigmon@esigmon.com

ATTORNEY FOR APPELLANTS, GARRY L. ROLLINS AND CARLA D. ROLLINS

Greg Smith Texas Bar No. 18600600 Nolan D. Smith Texas Bar No. 24075632 RAMEY & FLOCK, P.C. 100 E. Ferguson, Suite 500 Tyler, Texas 75702 Telephone: 903-597-3301 Facsimile: 903-597-2413

Mr. Trey Yarbrough YARBROUGH WILCOX GUNTER, PLLC 100 East Ferguson, Suite 1015 Tyler, Texas 75702 Fax: 903.595.0191

Levon G. Hovnatanian Texas Bar No. 10059825 hovnatanian@mdjwlaw.com lonergan@mdjwlaw.com MARTIN, DISIERE, JEFFERSON & WISDOM, L.L.P. 808 Travis, 20th Floor Houston, Texas 77002 (713) 632-1700 – Telephone (713) 222-0101 – Facsimile

Todd M. Lonergan Texas Bar No. 12513700 lonergan@mdjwlaw.com 808 Travis, 20th Floor Houston, Texas 77002 (713) 632-1700 – Telephone (713) 222-0101 – Facsimile

Ryan K. Geddie Texas Bar No. 24055541 geddie@mdjwlaw.com MARTIN, DISIERE, JEFFERSON & WISDOM, L.L.P. Tollway Plaza One 16000 N. Dallas Parkway, Suite 800 Dallas, Texas 75248 (214) 420-5500 – Telephone (214) 420-5501 – Facsimile ! ! ! ! ! ! ! ! ! !

EXHIBIT!A!

! ! ! ! ! ! ! !

No. 12-15-00121-CV

IN THE COURT OF APPEALS FOR THE TWELFTH DISTRICT OF TEXAS TYLER, TEXAS

GARRY L. ROLLINS AND CARLA D. ROLLINS, Appellants

V.

TEXAS COLLEGE AND MPF INVESTMENTS, LLC D/B/A "A-1 RENT ALL,"

Appellees

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