Nikki K. Fenner v. Hudson and Keyse, LLC
This text of Nikki K. Fenner v. Hudson and Keyse, LLC (Nikki K. Fenner v. Hudson and Keyse, LLC) 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.
Opinion
ACCEPTED 09-17-00465-CV NINTH COURT OF APPEALS BEAUMONT, TEXAS 3/23/2018 10:59 AM CAROL ANNE HARLEY CLERK
CAUSE NO. 09-17 -00465-CV
IN THE COURT OF APPEALS FOR FILED IN THE NINTH DISTRICT OF TEXAS, BEAUMONT, TEXAS 9th COURT OF APPEALS BEAUMONT, TEXAS 3/23/2018 10:59:20 AM CAROL ANNE HARLEY NIKKI K. FENNER Clerk Appellant
vs. HUDSON & KEYSE, LLC Appellee
Original Appellate Proceeding from the County Court at Law No. 1 of Jefferson County, Texas
APPELLANT'S SECOND OPPOSED MOTION FOR EXTENSION OF TIME TO FILE BRIEF OF APPELLANT
TO THE HONORABLE COURT OF APPEALS:
COMES NOW APPELLANT, Nikki K. Fenner ("Appellant"), and files this Second
Oopposed Motion for Extension of Time to File Brief of Appellant.
Basis for Request for Extension
1. Appellant requests an extension of thirty (30) days to file her Brief, which
would extend Appellee's deadline to April 22, 2018.
2. The request for the extension is based on the fact that Appellant's counsel
has several upcoming trial settings and other deadlines and needs additional time to
complete Appellant's Brief. Therefore, the Appellant's counsel request an extension of
time to file its Brief. Prayer
WHEREFORE, PREMISES CONSIDERED, Appellant prays that th is Court grant
her extension of time to file her Brief for thirty (30) days from today's date, wh ich would
extend Appellant's deadline to April 22, 2018.
Respectfully submitted ,
SNIDER LAW FIRM, PLLC
~ State Bar No. 24039185 3535 Calder, Suite 300 Beaumont, Texas 77706 409.924.9595- T/409.924.0808- F wyatt@sniderlawfirm .com ATTORNEY FOR APPELLANT, NIKKI K. FENNER
CERTIFICATE OF CONFERENCE
Counsel for Appellant has attempted to confer with counsel for Appellee in good faith regarding the subject of this Motion on March 21, 2018, but have not received a response. Therefore, it is assumed that Counsel for Appellee is opposed to this Motion.
~ CERTIFICATE OF SERVICE
I hereby certify that on the 23rd day of March, 2018, a copy of the foregoing was served on the parties via the ECF system .
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