in the Interest Of: M.A.H., a Child

Court of Appeals of Texas·Decided April 20, 2015·No. 05-14-00613-CV·Published

Opinion

ACCEPTED 05-14-00613-CV FIFTH COURT OF APPEALS DALLAS, TEXAS 4/20/2015 9:37:30 AM LISA MATZ CLERK

NO. 05-14-00613-CV _______________________________________________________ FILED IN 5th COURT OF APPEALS DALLAS, TEXAS IN THE FIFTH DISTRICT COURT OF APPEALS 4/20/2015 9:37:30 AM DALLAS, TEXAS LISA MATZ Clerk _______________________________________________________

IN THE INTEREST OF M.A.H.

JAMES L. HAMMETT, Appellant,

v.

LISA MAARIE HAMMETT, Appellee. _______________________________________________________

APPELLEE’S UNOPPOSED MOTION FOR FOUR-DAY EXTENSION OF TIME TO FILE BRIEF _______________________________________________________

TO THE HONORABLE COURT OF APPEALS:

1. Appellee Lisa Hammett seeks an additional four-day extension to

permit completion of a supplemental reporter’s record. The request is made solely

as the result of the transcripts not yet being completed by the court reporter.

2. Appellee Lisa Hammett’s brief is due on April 23, 2015. Appellee

seeks a 4-day extension to make the brief due on April 27, 2015.

MOTION FOR EXTENSION PAGE 1 3. This is Appellee’s third request for an extension on this brief. This

Court previously granted Appellee two 30-day extensions.

4. On March 20, 2015, Appellee sought and obtained a 30-day extension

to permit the filing of a supplemental reporter’s record consisting of two hearing

transcripts. As of the time this motion was filed, the court reporter had not

completed and sent the supplemental record but will do so today (Monday, April

20).

5. Upon receipt of the transcripts, the undersigned needs 4-5 days to

complete the brief, necessitating the short 4-day extension sought by this motion.

6. Appellant does not oppose this motion.

Based on the foregoing, Appellee asks that the deadline to file her brief be

extended to April 27, 2015.

Respectfully submitted, /s/Charles “Chad” Baruch The Law Office of Chad Baruch Texas Bar Number 01864300 3201 Main Street Rowlett, Texas 75088 Telephone: (972) 412-7192 Facsimile: (972) 412-4028 E-Mail: baruchEsq@aol.com

Attorney for Appellee

MOTION FOR EXTENSION PAGE 2 CERTIFICATE OF CONFERENCE

The undersigned certifies that he conferred with Byron Henry, counsel for appellant, who stated that he does not oppose the relief sought by this motion.

/s/Charles “Chad” Baruch

CERTIFICATE OF SERVICE

The undersigned certifies that a true and correct copy of this instrument was served upon all counsel of record by e-filing and by email to bhenry@cowlesthompson.com on April 20, 2015.

MOTION FOR EXTENSION PAGE 3

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

in the Interest Of: M.A.H., a Child, (Tex. Ct. App. 2015).

in the Interest Of: M.A.H., a Child (in the Interest Of: M.A.H., a Child) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.