in Re Ernest Ray Koonce

Court of Appeals of Texas·Decided November 19, 2015·No. 01-15-00440-CV·Published

Opinion

ACCEPTED 01-15-00440-CV FIRST COURT OF APPEALS HOUSTON, TEXAS 11/19/2015 2:30:41 PM CHRISTOPHER PRINE CLERK

01-15-00440-CV _______________ FILED IN 1st COURT OF APPEALS HOUSTON, TEXAS IN THE 11/19/2015 2:30:41 PM FIRST COURT OF APPEALS CHRISTOPHER A. PRINE Clerk _______________

IN RE ERNEST RAY KOONCE Relator. ______________

On Petition for Writ of Mandamus from the 127th Judicial District Court Harris County, Texas Cause Number 2010-64752 _____________

OPPOSED MOTION FOR EXTENSION OF TIME TO FILE WELLS FARGO, AS TRUSTEE’S RESPONSE TO SUPPLEMENTAL PETITION FOR WRIT OF MANDAMUS

TO THE HONORABLE COURT OF APPEALS:

Respondent, Wells Fargo Bank, N.A., as Trustee Under the Pooling and

Servicing Agreement dated as of April 1, 2005, Asset Back Pass-Through

Certificates, Series 2005-WHQ (“Wells Fargo, as Trustee”), respectfully files this

motion for extension of time to file its Response to Relator Ernest Ray Koonce’s

(“Koonce”) Supplemental Petition for Writ of Mandamus (“Supplemental

Petition”).

Page 1 of 4 1. Koonce, who is pro se, filed his Supplemental Petition on September

7, 2015. Wells Fargo, as Trustee filed a motion to strike Koonce’s Supplemental

Petition on October 23, 2015, arguing the Supplemental Petition should be stricken

because numerous issues in the Supplemental Petition and documents attached to

the record were not raised or presented in the trial court. On November 3, 2015,

the Court denied Wells Fargo, as Trustee’s motion to strike and requested Wells

Fargo, as Trustee file a response to Koonce’s Supplemental Petition by November

23, 2015.

2. Wells Fargo, as Trustee seeks a short two-week extension until

December 7, 2015 in which to file their response to Koonce’s Supplemental

Petition. This is Wells Fargo, as Trustee’s first request for an extension of this

briefing deadline.

3. The following grounds provide good cause for extending the time to

file the brief. Counsel for Wells Fargo, as Trustee has been and continues to be

engaged in other litigation with imminent deadlines that will prevent them from

completing Wells Fargo, as Trustee’s response before the deadline, including, but

not limited to, the following:

 Preparation and attendance at a hearing in Cause No. 9,149, Jose

Zamora and Norma Zamora, in the 49th Judicial District Court of

Zapata County, Texas. The hearing occurred on November 9, 2015.

Page 2 of 4  Preparation and attendance at multiple witness interviews in Civil

Action No. 3:13-cv-387, The Dow Chemical Co., et al v. Anglers E &

C, f/k/a Fish Engineering & Constr., Inc., et al, in the United States

District Court, Southern District of Texas, Galveston Division. The

witness interviews occurred on November 13, 2015 and November

19, 2015, and an additional interview is scheduled to occur on

November 23, 2015.

4. This motion is not filed for the purpose of delay, but to allow counsel

adequate time to prepare Wells Fargo, as Trustee’s response to Koonce’s

Supplemental Petition.

For these reasons, Wells Fargo, as Trustee respectfully requests that the

Court grant an extension of time to file Wells Fargo, as Trustee’s response to

Koonce’s Supplemental Petition until December 7, 2015.

Respectfully submitted,

By: /s/ Valerie Henderson BOBBIE L. STRATTON Texas State Bar No. 24051394 BRADLEY E. CHAMBERS Texas State Bar No. 24001860 VALERIE HENDERSON Texas State Bar No. 24078655

Page 3 of 4 BAKER, DONELSON, BEARMAN, CALDWELL & BERKOWITZ, PC 1301 McKinney, Suite 3700 Houston, Texas 77010 Telephone: (713) 650-9700 Facsimile: (713) 650-9701

ATTORNEYS FOR RESPONDENT WELLS FARGO BANK, N.A., AS TRUSTEE UNDER THE POOLING AND SERVICING AGREEMENT DATED AS OF APRIL 1, 2005, ASSET BACK PASS-THROUGH CERTIFICATES, SERIES 2005-WHQ2

CERTIFICATE OF CONFERENCE

I, Valerie Henderson, conferred with Ernest Ray Koonce, who is pro se, on November 19, 2015 to discuss the relief sought in this motion. Mr. Koonce stated he is opposed to the relief sought herein.

/s/ Valerie Henderson Valerie Henderson

CERTIFICATE OF SERVICE

I hereby certify that on November 19, 2015, a true and correct copy of the foregoing was sent by U.S. mail, or by electronic service where allowed, as follows:

Mr. Ernest Ray Koonce 15938 Fleetwood Oaks Drive Houston, Texas 77079 Telephone: (832) 328-7171 rayk469@gmail.com

Page 4 of 4

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