Greenwood Motor Lines, Inc. D/B/A R+L Carriers and Steven C. Gaston v. Bobbie Bush

Court of Appeals of Texas·Decided April 9, 2015·No. 05-14-01148-CV·Published

Opinion

ACCEPTED 05-14-01148-CV FIFTH COURT OF APPEALS DALLAS, TEXAS 4/9/2015 12:06:15 PM LISA MATZ CLERK

No. 05-14-01148-CV FILED IN IN THE COURT OF APPEALS 5th COURT OF APPEALS DALLAS, TEXAS FOR THE FIFTH DISTRICT OF TEXAS 4/9/2015 12:06:15 PM AT DALLAS LISA MATZ Clerk

Greenwood Motor Lines, Inc. d/b/a R+L Carriers and Steven C. Gaston, Appellants,

v. Bobbie Bush, Appellee.

On Appeal from the 298th Judicial District Court of Dallas County, Texas, Trial Court Cause No. DC-11-16041-M

UNOPPOSED MOTION FOR LEAVE TO FILE CORRECTED BRIEF OF APPELLEE

TO THE HONORABLE FIFTH COURT OF APPEALS:

Appellee, Bobbie Bush, respectfully files this Unopposed Motion for Leave

to File Corrected Brief of Appellee, and shows as follows:

1. Appellee timely filed her brief on March 25, 2015.

2. Appellee requests leave to file a Corrected Brief of Appellee for the

sole purpose of correcting a few typographical errors and record citations that were

not finalized appropriately before the Brief of Appellee was filed. There are no

substantive alterations in the corrected brief, and no additional arguments. 3. Counsel for the Appellants have been contacted and do not oppose the

filing of the corrected brief.

4. Appellee respectfully requests that the Court discard the original

version of her Brief of Appellee and substitute the Corrected Brief of Appellee

tendered simultaneously with this motion.

PRAYER

Appellee respectfully requests that the Court grant her leave to file her

Corrected Brief of Appellee, discard the original Brief of Appellee, and substitute

the Corrected Brief of Appellee tendered simultaneously with this motion to be

filed for use in this appeal.

Respectfully submitted,

BECK REDDEN LLP

By: /s/ Russell S. Post Russell S. Post State Bar No. 00797258 rpost@beckredden.com William R. Peterson State Bar No. 24065901 wpeterson@beckredden.com 1221 McKinney Street, Suite 4500 Houston, TX 77010 (713) 951-3700 (713) 951-3720 (Fax)

Counsel for Appellee, Bobbie Bush

1830.001/559131 2 CERTIFICATE OF CONFERENCE

I certify that I conferred with counsel for Appellants regarding this motion, and Appellants do not oppose the requested relief.

/s/ Russell S. Post Russell S. Post

CERTIFICATE OF SERVICE

I hereby certify that on April 9, 2015, a true and correct copy of the above and foregoing motion was forwarded to all counsel of record for Appellants by the Electronic Service Provider, if registered, otherwise by email, as follows:

Bobbie L. Stratton Jeffrey W. Hastings BAKER, DONELSON, BEARMAN, CALDWELL & BERKOWITZ, PC 1301 McKinney, Suite 3700 Houston, TX 77010 bstratton@bakerdonelson.com jhastings@bakerdonelson.com

Attorneys for Appellants Greenwood Motor Lines, Inc. d/b/a R+L Carriers and Steven Gaston

1830.001/559131 3

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