Randy Coleman and Jim Coleman Company v. Ralph Dean

Court of Appeals of Texas·Decided September 17, 2015·No. 04-14-00811-CV·Published

Opinion

FILED IN 4th COURT OF APPEALS SAN ANTONIO, TX September 17,2015 KEITH E. HOTTLE No. 04-14-00811-CV CLERK OF THE COURT __________________________________________________________________ ______

In the Fourth Court of Appeals San Antonio, Texas __________________________________________________________________ ______

RANDY COLEMAN

Appellant

v.

RALPH DEAN

Appellee __________________________________________________________________

APPEAL FROM CAUSE NO. 11-04-49987-CV th HON. JUDGE RICHARD C. TERRELL __________________________________________________________________

APPELLANT’S MOTION FOR EXTENSION OF TIME TO FILE MOTION FOR REHEARING __________________________________________________________________

Paul R. Lawrence State Bar No. 12050000 2180 North Loop West, Suite 510 Houston, Texas 77018 (713) 864-8000 (713) 864-0179 (fax) prlawrence@lbandd.com

Counsel for Appellant Randy Coleman

1 TO THE HONORABLE JUSTICES OF SAID COURT OF APPEALS:

COMES NOW, RANDY COLEMAN, Appellant, in the above named and

numbered cause, and respectfully submit this his MOTION FOR EXTENSION OF

TIME TO FILE MOTION FOR REHEARING.

I.

1. On September 2, 2015, this Court issued its Opinion; affirming and

modifying the Trial Court’s Final Judgment. Counsel for Appellant Randy

Coleman did not receive and review the Ruling until September 8, 2015. The

deadline for filing a Motion for Rehearing is September 17, 2015.

2. Counsel has diligently reviewed the Ruling and the Record. The Motion

for Rehearing has been begun. The issues have been identified. Counsel has

insufficient time to complete the work necessary. There are two.

3. Appellant requests that Appellant be given an additional 15 days or until

October 2, 2015.

4. No other extensions have been granted regarding the issue in question.

This Extension of Time is sought not for purposes of delay , but so that

justice may be accomplished for all involved.

WHEREFORE PREMISES CONSIDERED, Appellant prays that this

Motion for Extension of Time to File Motion for Rehearing be granted. Appellant

2 also prays for all such other and further relief to which they may be justly entitled

at law or in equity.

RESPECTFULLY SUBMITTED:

LAWRENCE AND BACA, PLLC

_____/s/ Paul R. Lawrence__________ Paul R. Lawrence State Bar No. 12050000 2180 North Loop West, Suite 510 Houston, Texas 77007 Telephone: (713) 864-8000 Fax: (713) 864-0179 prlawrence@lbandd.com Counsel for Appellant

CERTIFICATE OF SERVICE

I, Paul R. Lawrence, in compliance with Texas Rule of Appellate Procedure, hereby certify that a true and correct copy of the foregoing Appellant’s Motion for Extension of Time to File Motion for Rehearing was sent to all other parties to the trial court’s judgment by facsimile transmission or certified mail on this the 17th day of September, 2015, as listed below:

Charles C. Webb Webb Cason PC 710 N. Mesquite Corpus Christi, Texas 78401 Charlie@wcctxlaw.com

Frank Weathered Dunn Weathered Coffey Rivera & Kasperitis, PC 611 South Upper Broadway Corpus Christi, Texas 78401 fweathered@swbell.net

3 Parker Webb Webb Cason PC 710 N. Mesquite Corpus Christi, Texas 78401 parker@wcctxlaw.com J. Michael Guerra Law Office of J. Michael Guerra 1600 E. Main, Suite 227 P.O. Box 1968 Alice, Texas 78333 Jmguerra14@gmail.com

Living Modular 16221 Koester Houston, Texas 77040

__/s/ Paul R. Lawrence Paul R. Lawrence

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