J. Fuentes Colleyville, L.P. D/B/A Gloria's Restaurant Jose Fuentes Colleyville, Inc. D/B/A Gloria's Restaurant And Carlos Fuentes, Inc. D/B/A Gloria's Restaurant v. A.S., Individually and as Next Friend of K.S., a Minor Child Kristen Hayter And Consumers County Mutual Insurance Company

CourtCourt of Appeals of Texas
DecidedNovember 13, 2015
Docket02-15-00354-CV
StatusPublished

This text of J. Fuentes Colleyville, L.P. D/B/A Gloria's Restaurant Jose Fuentes Colleyville, Inc. D/B/A Gloria's Restaurant And Carlos Fuentes, Inc. D/B/A Gloria's Restaurant v. A.S., Individually and as Next Friend of K.S., a Minor Child Kristen Hayter And Consumers County Mutual Insurance Company (J. Fuentes Colleyville, L.P. D/B/A Gloria's Restaurant Jose Fuentes Colleyville, Inc. D/B/A Gloria's Restaurant And Carlos Fuentes, Inc. D/B/A Gloria's Restaurant v. A.S., Individually and as Next Friend of K.S., a Minor Child Kristen Hayter And Consumers County Mutual Insurance Company) is published on Counsel Stack Legal Research, covering Court of Appeals of Texas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
J. Fuentes Colleyville, L.P. D/B/A Gloria's Restaurant Jose Fuentes Colleyville, Inc. D/B/A Gloria's Restaurant And Carlos Fuentes, Inc. D/B/A Gloria's Restaurant v. A.S., Individually and as Next Friend of K.S., a Minor Child Kristen Hayter And Consumers County Mutual Insurance Company, (Tex. Ct. App. 2015).

Opinion

096-276274-15 FILED TARRANT COUNTY 11/13/2015 6:13:09 PM CAUSE NO. 096-276274-15 THOMAS A. WILDER DISTRICT CLERK

RECEIVED IN AUDRIANNE SCHNEIDER, individually and § IN THE DISTRICT COURT 2nd COURT OF APPEALS as next friend of KELSIE NICOLE § FORT WORTH, TEXAS SCHNEIDER, a minor child, § 11/16/2015 8:20:52 AM § DEBRA SPISAK Plaintiffs/Cross-Defendants, § Clerk vs. § § KRISTEN HAYTER and CONSUMERS § COUNTY MUTUAL INSURANCE § COMPANY, § Defendants/Cross-Defendants § OF TARRANT COUNTY, TEXAS § and § § J. FUENTES COLLEYVILLE, LP d/b/a § GLORIA’S RESTAURANT; JOSE FUENTES § COLLEYVILLE, INC. d/b/a GLORIA’S § RESTAURANT; and CARLOS FUENTES, § INC. d/b/a GLORIA’S RESTAURANT, § § Intervention Defendants/Cross-Claimants § § 96th JUDICIAL DISTRICT

INTERVENORS’ JOINT NOTICE OF APPEAL

TO THE HONORABLE JUDGE OF SAID COURT:

J. FUENTES COLLEYVILLE, LP d/b/a GLORIA’S RESTAURANT; JOSE FUENTES

COLLEYVILLE, INC. d/b/a GLORIA’S RESTAURANT; and CARLOS FUENTES, INC. d/b/a

GLORIA’S RESTAURANT, Intervenors in the above-entitled and numbered cause, hereby file

this Joint Notice of Appeal and would respectfully show as follows:

I.

In accordance with Tex. R. App. P. 25(d), the Intervenors provide the following

information:

Intervenors’ Notice of Appeal 1 096-276274-15

(1) The trial court that rendered the order and judgment being appealed is the 96th

District Court of Tarrant County, Texas.

(2) The order from which the Intervenors appeal is an order striking the Intervenors’

“Petition [sic] in Intervention.” That order was signed by the trial court on September 18, 2015.

The separate, final judgment in this case was signed by the trial court on October 9, 2015.

(3) J. Fuentes Colleyville, L.P., Jose Fuentes Colleyville, Inc., and Carlos Fuentes, Inc.,

the Intervenors herein, desire to appeal from the order and final judgment described above.

(4) The Intervenors take this appeal to the Second District Court of Appeals of Texas

(5) This notice of appeal is filed by J. Fuentes Colleyville, L.P., Jose Fuentes Colleyville,

Inc., and Carlos Fuentes, Inc.,

(6) This is not an accelerated appeal.

(7) This is not a restricted appeal.

II.

In accordance with Rule 25.1(e), Tex. R. App. P., the Intervenors state that they are

serving a copy of this notice of appeal on all parties to the trial court’s final judgment and are

filing a copy of such notice with the clerk of the Second District Court of Appeals.

WHEREFORE, PREMISES CONSIDERED, the Intervenors pray that the trial court, the

Court of Appeals, and all parties to the final judgment in this case observe this notice of appeal.

Respectfully submitted,

LAW OFFICE OF JEFFREY R. BOGGESS

/s/Jeff R. Boggess JEFF R. BOGGESS SBN: 02558800 2815 Valley View Lane, Suite 202 Dallas, TX 75234

Intervenors’ Notice of Appeal 2 096-276274-15

(972) 514-2007 (telephone) (214) 594-8800 (telecopier) Jeffboggess.law@gmail.com COUNSEL FOR INTERVENTION DEFENDANTS/CROSS-CLAIMANTS

CERTIFICATE OF SERVICE I hereby certify that I have served a copy of the foregoing instrument by electronic delivery upon Messrs. Rocky (rwalton@rockywalton.com), Ron Walton (ronw@rockywalton.com), and Tim D. Brandenburg (timb@rockywalton.com), counsel of record for Plaintiffs, Mr. Greg Hargrove (gsh@mcdonaldlaw.com), counsel of record for Defendant Hayter, Mr. Micah P. Pardun (mpardun@travelers.com), counsel of record for Consumers County Mutual Insurance Co., and Mr. D. Michael Wallach (M.Wallach@Wallach- law.com), Guardian ad Litem, on this ___th day of November, 2015.

/s/ Jeff R. Boggess__________

Intervenors’ Notice of Appeal 3 096-276274-15

Intervenors’ Notice of Appeal 4 CAUSE NO. 096-276274-15

AUDRIANNE SCHNEIDER, as Next Friend § IN THE DISTRICT COURT of KELSIE NICOLE SCHNEIDER, A § MINOR CHILD § § Plaintiffs § § v. § OF TARRANT COUNTY TEXAS § KRISTEN HAYTER and CONSUMERS § COUNTY MUTUAL INSURANCE § COMPANY § § 96'h JUDICIAL DISTRICT Defendants.

ORDER ON PLAINTIFF'S MOTION TO STRIKE PETITION IN INTERVENTION

ON THIS DAY CAME ON TO BE CONSIDERED Plaintiffs Motion to Strike Petition

in Intervention, and the Court, after having reviewed the motion, is of the opinion that Plaintiff's

Motion is well taken and should be granted.

It is therefore ORDERED that Plaintiff's Motion to Strike Petition in Intervention is hereby

GRANTED and the Petition in Intervention filed by Interveners, J. Fuentes Colleyville, LP d/b/a

Gloria's Restaurant; Jose Fuentes Colleyville, Inc. d/b/a Gloria's Restaurant and Carlos Fuentes,

Inc. d/b/a Gloria's Restaurant, is STRICKEN.

SIGNED the /2?..1/.day of_-;L,~-=--ff---'-=.::...-=-·---'' 2015.

PRESIDING JUDGE

Court's Minutes ) . . .j E-MAILED Transaction# _t.l~!e--­ 'f>'Jr ssI fh!lllrlr! I L( ~ l fi\AlJtfr\ I ~~~h ORDER STRIKING PETITION rN rNTERVENTION Solo Page 096-276274-15 FILED TARRANT COUNTY 10/8/2015 10:45:21 AM THOMAS A. WILDER DISTRICT CLERK CAUSE NO. 096-276274-15

AUDRIANNE SCHNEIDER, § IN THE DISTRICT COURT INDIVIDUALLY AND AS NEXT § FRIEND OF KELSIE SCHNEIDER, § A MINOR, § PLAINTIFF, § § vs. § 96TH JUDICIAL DISTRICT § KRISTEN HAYTER AND § CONSUMERS COUNTY MUTUAL § INSURANCE COMPANY § TARRANT COUNTY, TEXAS DEFENDANTS.

AGREED FINAL JUDGMENT

On this the 18'' day of September, 2015, came to be heard the above-entitled and numbered

cause, wherein appeared Audnanne Schneider, Individually and as Next Friend of Kelsie Nichole

Schneider, a Minor Child (hereinafter "Plaintiffs"), Kristen Hayter, and Consumers County Mutual

Insurance Company (hereinafter "Defendants'').

Plaintiff Audrianne Schneider appeard by and through her counsel of record, Ron W.

Walton; Kelsie Nichole Schneider, a minor, appeared by and through her court appointed Guardian

Ad Litem, D. Michael Wallach, Defendant Kristen Hayter appeared by and through his counsel of

record, Greg S. Hargrove, and Consumers County Mutual Insurance Company appeared by and

through its counsel of record Micah P. Pardun.

After considering the pleadings and evidence, the Court is of the opinion and finds that

Kelsie Nichole Schneider is a minor, that the Minor Plaintifr~ next friend is Audrianne Schneider,

that the next friend is fully informed that the liability of Defendants is uncertain, indefinite and

disputed; that the Minor Plaintiff has recovered or is in the process of recovering from the effects of

her injuries; that the next friend is fully informed with respect to the facts of liability, the disputed

nature of the cause of action, the nature and extent of the injuries and damages claimed; and that,

eotif~T Transaction # _]"JW~,.--- 096-276274-15

with knowledge of the cause of action as above-said, the parties hereto have agreed to compromise

and settle such cause of action in full settlement of the respective claims of all parties.

The Court is further of the opinion and finds that the Settlement Agreements entered into

by and between Plaintiffs and Defendants, to settle all claims, demands and causes of action herein

involved are reasonable, fair, just, and in the best interest of Kelsie Nichole Schneider, a minor, and

the sam,e are hereby in all things approved, incorporated and made a part of this Judgment.

THEREFORE, IT IS HEREBY ORDERED, ADJUDGED AND DECREED that

the Settlement Agreements and Releases of aU Claims are in all respects approved.

IT IS FURTHER ORDERED, ADJUDGED AND DECREED by the Court that

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J. Fuentes Colleyville, L.P. D/B/A Gloria's Restaurant Jose Fuentes Colleyville, Inc. D/B/A Gloria's Restaurant And Carlos Fuentes, Inc. D/B/A Gloria's Restaurant v. A.S., Individually and as Next Friend of K.S., a Minor Child Kristen Hayter And Consumers County Mutual Insurance Company, Counsel Stack Legal Research, https://law.counselstack.com/opinion/j-fuentes-colleyville-lp-dba-glorias-restaurant-jose-fuentes-texapp-2015.