Long Canyon Phase II and III Homeowners Association, Inc. v. Chris Cashion and Lia Cashion

Court of Appeals of Texas·Decided September 10, 2015·No. 03-15-00498-CV·Published

Opinion

ACCEPTED 03-15-00498-CV 6873283 THIRD COURT OF APPEALS AUSTIN, TEXAS 9/10/2015 4:05:07 PM JEFFREY D. KYLE CLERK NO. 03-15-00498-CV

FILED IN 3rd COURT OF APPEALS IN THE COURT OF APPEALS AUSTIN, TEXAS FOR THE THIRD DISTRICT OF TEXAS 9/10/2015 4:05:07 PM JEFFREY D. KYLE Clerk

LONG CANYON PHASE II AND III HOMEOWNERS ASSOCIATION, INC., Appellant,

v.

CHRIS CASHION AND LISA CASHION, Appellee.

Appealed from the County Court at Law No. 2 of Travis County, Texas, Cause No. C-1-CV-15-001016

APPELLANT LONG CANYON PHASE II AND III HOMEOWNERS ASSOCIATION, INC.’S FIRST MOTION FOR EXTENSION OF TIME TO FILE APPELLANT BRIEF

TO THE HONORABLE COURT:

Appellant Long Canyon Phase II and III Homeowners

Association, Inc. (“Appellant”), files this First Motion for

Extension of Time to File Appellant’s Brief pursuant to Texas

Rules of Appellate Procedure 38.6(d) and 10.5(b)(1) and would

respectfully show unto the Court the following: 1. The deadline for filing Appellant’s Brief is today,

September 10, 2015.

2. Appellant seeks a 21-day extension of time to file

Appellant’s Brief. Appellant respectfully requests that the Court

extend the deadline for filing Appellant’s Brief to October 1, 2015.

3. This is the first Motion for Extension of Time filed for

Appellant’s Brief with the Court.

4. This extension of time is not requested for mere delay,

but to allow Appellant adequate time to prepare Appellant’s Brief.

5. Appellant is requesting additional time in order to

thoroughly research and adequately brief these matters for the

Court.

For these reasons, Appellant respectfully requests that this

Court grant a 21-day extension of time to file Appellant’s Brief.

Appellant also requests any further relief to which it may be

entitled.

2 Respectfully submitted,

Roberts Markel Weinberg Butler Hailey PC

_______________________________ FRANK O. CARROLL III Texas State Bar No. 24082785 DAWN S. HOLIDAY Texas State Bar No. 24046090 Amy M. VanHoose Texas State Bar No. 24042085 2800 Post Oak Blvd., 57th Floor Houston, Texas 77056 Telephone: 713-840-1666 Facsimile: 713-840-9404 fcarroll@rmwbhlaw.com dholiday@rmwbhlaw.com avanhoose@rmwbhlaw.com ATTORNEYS FOR APPELLANT, LONG CANYON PHASE II AND III HOMEOWNERS ASSOCIATION, INC.

3 CERTIFICATE OF CONFERENCE

I hereby certify that on September 10, 2015, I conferred with William C. Davidson regarding the merits of this First Motion for Extension of Time. Mr. Davidson informed me that he was unopposed to the filing of this First Motion for Extension of Time.

_________________________________ FRANK O. CARROLL III

CERTIFICATE OF COMPLIANCE

I hereby certify that this document is 463 words, as calculated by the word count feature of Microsoft Word 2007 (Professional Edition).

_________________________________ FRANK O. CARROLL III

4 CERTIFICATE OF SERVICE

I hereby certify that a true and correct copy of the foregoing instrument was served upon the parties listed below by facsimile, messenger, regular U.S. Mail, certified mail, return receipt requested and/or electronic service in accordance with the Texas Rules of Appellate Procedure on this the 10th day of September, 2015.

William C. Davidson bdavidson@chmc-law.com Chamberlain McHaney P.O. Box 684158 301 Congress, 21st Floor Austin, Texas 79701

_____________________________________ Frank O. Carroll III

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Long Canyon Phase II and III Homeowners Association, Inc. v. Chris Cashion and Lia Cashion, (Tex. Ct. App. 2015).

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