Karim Hemmasi v. Mohammad Arami

CourtCourt of Appeals of Texas
DecidedNovember 17, 2025
Docket15-25-00158-CV
StatusPublished

This text of Karim Hemmasi v. Mohammad Arami (Karim Hemmasi v. Mohammad Arami) 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
Karim Hemmasi v. Mohammad Arami, (Tex. Ct. App. 2025).

Opinion

ACCEPTED 15-25-00158-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 11/17/2025 12:05 PM CASE NO. 15-25-00158-CV CHRISTOPHER A. PRINE CLERK ✰✰✰ FILED IN IN THE COURT OF APPEALS 15th COURT OF APPEALS FOR THE FIFTEENTH JUDICIAL DISTRICT AUSTIN, TEXAS AUSTIN, TEXAS 11/17/2025 12:05:27 PM CHRISTOPHER A. PRINE ✰✰✰ Clerk

KARIM HEMMASI Appellant/Plaintiff V.

MOHAMMAD ARAMI Appellee/Defendant

On Appeal from the 480th Judicial District Court Williamson County, Texas Cause No. 22-1975-C368 Honorable Terence M. Davis, Presiding Judge

APPELLANT’S MOTION TO EXTEND TIME FOR FILING APPELLANT’S BRIEF

THE STRATTON LAW FIRM, P.L.L.C. John Robert Stratton State Bar Nº 19361500 P. O. Box 2232 Austin, Texas 78768-2232 Telephone: 512 445-6262 Facsimile: 512 444-3726 E-Mail: JRStratton@StrattonLawFirm.com LAW OFFICE OF TOM MURPHY Tom Murphy State Bar Nº 24013217 9600 Great Hills Trail, Ste. 150W Austin, Texas 78759 (512) 477-5680 Office (512) 589-1352 Cell Email: Tom@TomMurphysLaw.com Attorneys for Appellant

PAGE 1 OF 5 TO THE HONORABLE FIFTEENTH COURT OF APPEALS:

Now comes Appellant Karim Hemmasi pursuant to TEX. R. APP.

PROC. 10.5(b) and files his Motion To Extend Time For Filing

Appellant’s Brief and would respectfully show the Court:

1. Appellant’s Brief is currently due on December 3, 2025.

2. Appellant seeks a fourteen (14) day extension of time to file his

Brief, which would make the Appellant’s Brief due on December 17,

2025.

3. This is the first request for an extension of time to file Appellant’s

Brief. Appellee’s counsel was permitted to withdraw as Appellee’s

counsel in this Appeal and thus this Motion should be considered to be

opposed.

4. A reasoned justification for the requested extension of time exists.

5. Appellant has determined that the Transcript needs to be

supplemented as an important portion of the Transcript was

inadvertently not originally requested to be included. The requested

supplement is important to a full presentation of the issues central to the

Appeal.

PAGE 2 OF 5 6. Mr. Steven Stogel, Official Court Reporter for the 480th District

Court, Williamson County, Texas confirmed on November 13, 2025

that the delivery time for the requested supplement to the transcript

would be two weeks. Appellant paid Mr. Stogel in full for the

supplemental Transcript on November 14, 2025.

7. Based on the foregoing, Appellant requests an extension of time to

file Appellant’s Brief in order to permit the preparation and submission

of the supplemented Transcript.

8. This requested extension is not sought for delay, but so that justice

may be done.

Wherefore, Premises Considered, Appellant Karim Hemmasi

respectfully requests that his deadline to file Appellant’s Brief be extended

by fourteen days (14) to December 17, 2025 and for all other relief to

which Appellant may be justly entitled.

PAGE 3 OF 5 Respectfully submitted, THE STRATTON LAW FIRM, P.L.L.C.

State Bar Nº 19361500 E-Mail: JRStratton@StrattonLawFirm.com P. O. Box 2232 Austin, Texas 78768-2232 Telephone: 512 445-6262 Facsimile: 512 444-3726

LAW OFFICE OF TOM MURPHY

State Bar Nº 24013217 9600 Great Hills Trail, Ste. 150W Austin, Texas 78759 Office: 512 477-5680 Cell: 512 589-1352 Email: Tom@TomMurphysLaw.com Attorneys for Appellant Karim Hemmasi

PAGE 4 OF 5 CERTIFICATE OF SERVICE Signature above certifies that a true and correct copy of the foregoing document, including all exhibits and attachments, if any, was served on Appellee Mohammad Arami on November 17, 2025 by g Certified Mail, Return Receipt Requested TO: Mohammad Arami 8416 Cornerwood Drive Austin, Texas 78717 g Email: TO: Mohammad Arami: moearami@yahoo.com

CERTIFICATE OF COMPLIANCE In compliance with TEX. R. APP. PROC. 9.4(i)(3), this is to certify that the Appellant’s Motion to Extend Time for Filing Appellant’s Brief contains 285 words, which does not include the caption, signature, certificate of compliance and certificate of service.

John Robert Stratton

PAGE 5 OF 5

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