Levco Construction, Inc. v. Cleveland Construction Inc.Whole Foods Market, Inc.

Court of Appeals of Texas·Decided August 11, 2015·No. 01-15-00620-CV·Published

Opinion

ACCEPTED 01-15-00620-CV FIRST COURT OF APPEALS HOUSTON, TEXAS 8/11/2015 5:19:28 PM CHRISTOPHER PRINE CLERK

No. 01-15-00620-CV ________________________________________________________________________________________________________

IN THE COURT OF APPEALS OF TEXAS FILED IN 1st COURT OF APPEALS FOR THE FIRST DISTRICT HOUSTON, TEXAS HOUSTON, TEXAS 8/11/2015 5:19:28 PM ________________________________________________________________________________________________________ CHRISTOPHER A. PRINE Clerk LEVCO CONSTRUCTION, INC. Appellant and Cross-Appellee, V. CLEVELAND CONSTRUCTION, INC. Appellee, V. WHOLE FOODS MARKET ROCKY MOUNTAIN/SOUTHWEST, L.P., Appellee and Cross-Appellant. ________________________________________________________________________________________________________

Appealed from the 270th District Court of Harris County, Texas, Cause No. 2011-23308 ________________________________________________________________________________________________________

UNOPPOSED SWORN MOTION FOR PRO HAC VICE ADMISSION OF LEAH A. ROCHWARG ________________________________________________________________________________________________________

TO THE HONORABLE COURT OF APPEALS OF TEXAS FOR THE FIRST DISTRICT OF HOUSTON, TEXAS: Leah A. Rochwarg, as counsel for Appellee and Cross-Appellant Whole Foods

Market Rocky Mountain/Southwest, L.P. (“Whole Foods”) respectfully files this

Unopposed Sworn Motion for Pro Hac Vice Admission of Leah A. Rochwarg

pursuant to Texas Government Code Section 82.001, et seq. and Rule XIX of the

Rules Governing Admission to the Bar of Texas. Whole Foods’ counsel has consulted with counsel for all other parties to this appeal. All parties are unopposed

to this motion.

1. Ms. Rochwarg’s contact information is: Seyfarth Shaw, LLP, Two

Seaport Lane, Suite 300, Boston, MA 02210; Phone: (617) 946-4800; Fax: (617) 946-

4801; email: lrochwarg@seyfarth.com.

2. Robert J. Carty, Jr. is an attorney licensed in Texas and will remain

associated in these proceedings. Mr. Carty’s contact information is: Seyfarth Shaw

LLP, 700 Milam Street, Suite 1400, Houston, Texas 77002; Phone: (713) 225-2300;

Facsimile: (713) 225-2340; email: rcarty@seyfarth.com, Texas State Bar No. 00788794.

3. Ms. Rochwarg has not appeared or sought leave to appear in any Texas

federal or state courts within the past two years, with the exception of her pro-hac-

vice admission as counsel for Whole Foods in the trial-court proceedings in this case.

4. Ms. Rochwarg is an active member in good standing in each of the

following courts and jurisdictions:

a. Commonwealth of Massachusetts; b. State of Florida; c. District of Columbia; d. United States District Court for the District of Massachusetts; and e. United States Court of Appeals for the First Circuit. 5. Ms. Rochwarg has not been the subject of any disciplinary action by the

Commonwealth of Massachusetts Bar or by any state or federal courts in any

jurisdiction of the United States.

6. Ms. Rochwarg has not been denied admission to any state or federal

courts in the United States during the preceding five years.

7. Ms. Rochwarg is familiar with the Texas State Bar Act, the Texas State

Bar Rules, and the Texas Disciplinary Rules of Professional Conduct governing the

conduct of members of the State Bar of Texas, and will at all times abide by and

comply with same so long as this matter is pending and she has not withdrawn as

counsel herein.

8. Mr. Carty finds Ms. Rochwarg to be a reputable attorney and

recommends that Ms. Rochwarg be granted permission to participate in this matter

before this Court.

9. Pursuant to Rule XIX(c) of the Rules Governing Admission to the Bar

of Texas, Ms. Rochwarg submits the Non-Resident Acknowledgement Letter from

the Texas State Board of Law Examiners. See Exhibit A, Acknowledgement Letter.

WHEREFORE, Leah A. Rochwarg respectfully request that this Motion be

granted and grant such other and further relief as is just and appropriate under the

circumstances. Respectfully submitted,

/s/ Leah A. Rochwarg Leah A. Rochwarg, pro hac vice pending Mass. SBN 566524 lrochwarg@seyfarth.com Robert J. Carty, Jr. Texas Bar No. 00788794 rcarty@seyfarth.com 700 Milam Street, Suite 1400 Houston, Texas 77002-2812 Telephone: (713) 225-2300 Facsimile: (713) 225-2340

John H. Hempfling, II Texas Bar No. 24029609 John.Hempfling@wholefoods.com Global Litigation Counsel Whole Foods Market Central Office 550 Bowie Street Austin, Texas 78703 Telephone: (512) 542 0213 Facsimile: (512) 482-7213

COUNSEL FOR APPELLEE AND CROSS- APPELLANT WHOLE FOODS MARKET ROCKY MOUNTAIN/SOUTHWEST, L.P. CERTIFICATE OF CONFERENCE I certify that, on August 11, 2015, I conferred with Gregory Jones, counsel for Levco Construction, Inc.; Josh Bowlin, counsel for Cleveland Construction, Inc.; and Alan Harlan, counsel for Insurors Indemnity; and that each counsel informed me that his client does not oppose this Motion. /s/ Leah A. Rochwarg Leah A. Rochwarg

CERTIFICATE OF SERVICE

I hereby certify that on this 11th day of August, 2015, a true and correct copy of the foregoing instrument was properly forwarded to counsel of record in accordance with the Texas Rules of Appellate Procedure, as follows:

Josh N. Bowlin, Esq. Alan J. Harlan, Esq. josh.bowlin@chamberlainlaw.com aharlan@wgblawfirm.com Chamberlain, Hrdlicka, White, Williams Wright Ginsberg Brusilow, P.C. & Martin 14755 Preston Road, Suite 600 1200 Smith Street, Suite 1400 Dallas, Texas 75254 Houston, Texas 77002-4310 Fax: 972-702-0662 Fax: 713-658-2553 COUNSEL FOR INSURORS COUNSEL FOR CLEVELAND INDEMNITY CONSTRUCTION, INC.

Gregory N. Jones, Esq. gjones@gnjlaw.net Law Offices of Gregory N. Jones 1001 Texas Avenue, 14th Floor Houston, Texas 77002 Fax: 713-979-4440

COUNSEL FOR LEVCO CONSTRUCTION, INC.

/s/ Robert J. Carty, Jr. Robert J. Carty, Jr. VERIFICATION

STATE OF TEXAS

COUNTY OF HARRIS

BEFORE ME, the undersigned Notary Public, on this day personally appeared Robert J.

Carty, Jr., known to me to be the person whose name is subscribed above, and acknowledged to

me that he signed the foregoing document and that the information in paragraph 2 of the

foregoing Unopposed Sworn Motion for Pro Hac Vice Admission of Leah A. Rochwarg is

within his personal knowledge and true and correc

Robert J.

SUBSCRIBED AND SWORN TO BEFORE ME on this day of August, 2015, to

certify which witness my hand and seal of office.

a_f-ru.r) elir:1:;"., BEVERLY ANN MAXWELL Notary Public in and for ;-.1.:*y-s. Notary Public., S.tate of Texas the State of Texas st7- 474. My Commission Expires --,7%;;;;*". December 18, 2018 L My commission expires: t Ig VERIFICATION

COMMONWEALTH OF MASSACHUSETTS

COUNTY OF 111(k

BEFORE ME, the undersigned Notary Public, on this day personally appeared Leah A.

Rochwarg, known to me to be the person whose name is subscribed above, and acknowledged to

me that she signed the foregoing document, that the information in paragraphs 1-9 of the

foregoing Unopposed Sworn Motion for Pro Hac Vice Admission of Leah A. Rochwarg is

within her personal knowledge and true and

•- eitaR re Ili

SUBSCRIBED AND SWORN TO BEFORE ME on this day of August, 2015, to

ary Pub n and for e State o alifornia

My commission expires: c7A

KIMBERLY H. HOVEY Notary Public Commonwealth of Massachusetts My Commission Expires May 13, 2022 EXHIBIT A Acknowledgment Letter Board of Law Examiners Appointed by the Supreme Court of Texas P.O. Box 13486 * Austin, Texas 78711-3486

Acknowledgment Letter Non-Resident Attorney Fee

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Levco Construction, Inc. v. Cleveland Construction Inc.Whole Foods Market, Inc., (Tex. Ct. App. 2015).

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Related

§ 82.0361
Texas GV § 82.0361