Pamela Griffin, Ralph Griffin, Michelle Griffin, Corey Griffin, Individually and as Trustee of the Griffin Revocable Living Trust, and Polly Randle v. NCP Travis TPP Project, LLC

CourtCourt of Appeals of Texas
DecidedDecember 19, 2025
Docket15-25-00202-CV
StatusPublished

This text of Pamela Griffin, Ralph Griffin, Michelle Griffin, Corey Griffin, Individually and as Trustee of the Griffin Revocable Living Trust, and Polly Randle v. NCP Travis TPP Project, LLC (Pamela Griffin, Ralph Griffin, Michelle Griffin, Corey Griffin, Individually and as Trustee of the Griffin Revocable Living Trust, and Polly Randle v. NCP Travis TPP Project, 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.

Bluebook
Pamela Griffin, Ralph Griffin, Michelle Griffin, Corey Griffin, Individually and as Trustee of the Griffin Revocable Living Trust, and Polly Randle v. NCP Travis TPP Project, LLC, (Tex. Ct. App. 2025).

Opinion

ACCEPTED 15-25-00202-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 12/19/2025 3:58 PM No. 15-25-00202-CV CHRISTOPHER A. PRINE CLERK FILED IN IN THE COURT OF APPEALS 15th COURT OF APPEALS FOR THE FIFTEENTH JUDICIAL DISTRICTAUSTIN, TEXAS 12/19/2025 3:58:58 PM CHRISTOPHER A. PRINE Pamela Griffin, Ralph Griffin, Michelle Griffin, Corey Griffin, Clerk Individually and as Trustee of The Griffin Revocable Living Trust, and Polly Randle, Appellants,

v.

NCP Travis TPP Project, LLC, Appellee.

On Appeal from the 395th District Court Williamson County, Texas No. 25-1957-C395

UNOPPOSED MOTION FOR EXTENSION TO FILE APPELLEE’S BRIEF

TO THE HONORABLE FIFTEENTH COURT OF APPEALS:

Appellee NCP Travis TPP Project, LLC requests a 21-day extension

of time to file its brief, which is currently shown as due on January 5,

2026.1 Tex. R. App. P. 10.5(b), 38.6(d). Appellee requests a new deadline

of January 26, 2026.

1 Appellants filed their Notice of Appeal as “accelerated appeal” under Tex. R. App.

P. 28.1. The Final Judgment signed October 8, 2025 states “this Final Judgment disposes of all parties and claims and is appealable.” Appellee believes this is not an

1 I.

A reasoned justification for an extension of time exists. Because of

a heavy schedule of litigation and appeals, and the holidays, counsel for

Appellee requires more time to prepare its brief to ensure that the brief

will be helpful to the Court.

II.

This extension of time is not sought for delay, is unopposed, and no

party will be prejudiced if it is granted. No prior extension of time to file

the Appellee’s brief has been requested.

Prayer

Appellee NCP Travis TPP Project, LLC respectfully requests that

the Court grant a 21-day extension of time to file its brief, creating a new

due date of January 26, 2026.

accelerated appeal. For simplicity, regardless of the initial deadline, Appellee request that the new due date be January 26, 2026 regardless of the proper initial date.

2 Respectfully submitted,

/s/ Peter C. Hansen Jacob M. Stephens Christopher R. Mugica State Bar No. 24066143 State Bar No. 24027554 jstephens@irelanlaw.com cmugica@jw.com IRELAN STEPHENS, PLLC Peter C. Hansen 2520 Caroline St., 2nd Floor State Bar No. 24066668 Houston, Texas 77002 phansen@jw.com (713) 222-7666 JACKSON WALKER LLP (713) 222-7669 (fax) 100 Congress, Suite 1100 Austin, Texas 78701 (512) 236-2000 (512) 236-2002 (fax)

Counsel for Appellee

CERTIFICATE OF CONFERENCE

I certify that on December 18, 2025, I conferred with counsel for

Appellants regarding this motion for extension. Appellants are

unopposed to this motion.

/s/ Christopher C. Mugica Christopher C. Mugica

3 CERTIFICATE OF SERVICE

I certify that a copy of this brief was served on counsel of record

listed below, via electronic service, on December 19, 2026:

Christopher D. Osborn OSBORN LAW FIRM, P.C. 2403 N. Main Street Taylor, Texas 76574 512-275-6593 512-309-5317 (fax) chris@osbornpc.com

Counsel for Appellants

/s/ Peter C. Hansen Peter C. Hansen

4 Automated Certificate of eService This automated certificate of service was created by the efiling system. The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules.

Yvonne Ferrari on behalf of Peter Hansen Bar No. 24066668 yferrari@jw.com Envelope ID: 109324914 Filing Code Description: Motion Filing Description: UNOPPOSED MOTION FOR EXTENSION TO FILE APPELLEES BRIEF Status as of 12/19/2025 4:11 PM CST

Case Contacts

Name BarNumber Email TimestampSubmitted Status

Bradford Irelan 10411550 birelan@IrelanLaw.com 12/19/2025 3:58:58 PM SENT

Jacob Stephens 24066143 jstephens@imtexaslaw.com 12/19/2025 3:58:58 PM SENT

Christopher Osborn chris@osbornpc.com 12/19/2025 3:58:58 PM SENT

Associated Case Party: NCP Travis TPP Project, LLC

Peter Hansen 24066668 phansen@jw.com 12/19/2025 3:58:58 PM SENT

Christopher Mugica 24027554 cmugica@jw.com 12/19/2025 3:58:58 PM SENT

Connor Kidd 24136947 ckidd@jw.com 12/19/2025 3:58:58 PM SENT

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Pamela Griffin, Ralph Griffin, Michelle Griffin, Corey Griffin, Individually and as Trustee of the Griffin Revocable Living Trust, and Polly Randle v. NCP Travis TPP Project, LLC, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pamela-griffin-ralph-griffin-michelle-griffin-corey-griffin-texapp-2025.