Riverside Stategic Capital Fund I, LP, RSCF Blocker True Health, LLC, RSCF I-A Blocker True Health, LLC v. CLG Investments, LLC
Opinion
ACCEPTED 15-25-00137-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 9/24/2025 2:59 PM NO. 15-25-00137-CV CHRISTOPHER A. PRINE CLERK IN THE COURT OF APPEALS FILED IN 15th COURT OF APPEALS AUSTIN, TEXAS 9/24/2025 2:59:44 PM FOR THE FIFTEENTH APPELLATE DISTRICT OF TEXAS CHRISTOPHER A. PRINE Clerk
RIVERSIDE STRATEGIC CAPITAL FUND I, LP, RSCF BLOCKER TRUE HEALTH, LLC, RSCF I-A BLOCKER TRUE HEALTH, LLC,
Appellants, v.
CLG INVESTMENTS, LLC ET AL.,
Appellees.
On Appeal from the Business Court of Texas, First Division (1B)
Trial Court Case No. 25-BC01B-0006 Hon. Bill Whitehill, Presiding
APPELLANTS' FIRST UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE APPELLANTS’ BRIEF
TO THE HONORABLE JUSTICES OF THE FIFTEENTH COURT OF APPEALS:
Appellants, Riverside Strategic Capital Fund I, LP, RSCF Blocker
True Health, LLC, RSCF I-A Blocker True Health, LLC (“Appellants”) file
their First Unopposed Motion for Extension of Time to file Appellants’
Brief and in support would respectfully show the following:
1. Appellants’ brief is currently due to be filed on or before
October 10, 2025.
2. No previous extensions of time have been requested.
3. Appellants respectfully request an additional thirty (30) days
or until on or before Monday, November 10, 2025.
4. A first extension is requested because one of Appellants’
attorneys was on a long-planned family vacation from September 3, 2025
until returning to the office of September 22, 2025. Additionally, counsel
have other significant court filings due during this time period, including,
inter alia, an Appellants’ Brief due in an accelerated appeal in the Dallas
Court of Appeals in Appeal No. 05-25-01169-CV styled Seven Talents, LLC
et. al v. Neugebauer. Moreover, there are multiple issues to be briefed in
this appeal and an extension of time will assist to ensure all issues are
researched and briefed fully. Indeed, on September 17, 2025, the trial
court issued a 26-page written opinion, providing its reasons for granting
the motion for summary judgment that is at issue on this appeal. This
necessitated a need for a supplemental clerk’s record that was not filed in
this court until September 18, 2025. This request for extension of time is
not done for purposes of delay, but so that justice may be done.
5. Counsel for Appellants have conferenced with counsel for
Appellees and Appellees are unopposed to the granting of this motion.
Appellants respectfully pray that this Honorable court grant this
Motion and that Appellants’ brief be due to be filed in this court on or
before November 10, 2025.
Respectfully submitted,
ROGGE DUNN State Bar No. 06249500 E-mail: Dunn@RoggeDunnGroup.com
HARVEY JOSEPH State Bar No. 11027850 E-mail: Joseph@RoggeDunnGroup.com
LANE M. WEBSTER State Bar No. 24089042 E-mail: Webster@RoggeDunnGroup.com
ROGGE DUNN GROUP, PC 500 N. Akard Street Suite 1900 Dallas, Texas 75201 Telephone: (214) 888-5000 Facsimile: (214) 220-3833
--AND--
WILLIAM SAVITT (pro hac vice forthcoming) Email: WDSavitt@wlrk.com
ADAM M. GOGOLAK (pro hac vice forthcoming) Email: AMGogolak@wlrk.com
WACHTELL, LIPTON, ROSEN & KATZ 51 West 52nd Street New York, New York 10019 Telephone: (212) 403-1000 Facsimile: (212) 403-2000
ATTORNEYS FOR APPELLANTS
CERTIFICATE OF SERVICE
This certifies that a true and correct copy of the above and foregoing instrument was served on the Parties’ counsel of record pursuant to the Rules on this 24th day of September, 2025.
ROGGE DUNN LANE M. WEBSTER
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.
Rogge Dunn Bar No. 6249500 dunn@RoggeDunnGroup.com Envelope ID: 106032748 Filing Code Description: Motion Filing Description: Appellants' First Unopposed Motion for Extension of Time Status as of 9/24/2025 3:16 PM CST
Case Contacts
Name BarNumber Email TimestampSubmitted Status
LaDawn Nandrasy 4715800 ladawn.nandrasy@wickphillips.com 9/24/2025 2:59:44 PM SENT
Sean Lemoine sean.lemoine@wickphillips.com 9/24/2025 2:59:44 PM SENT
Rashella Widdoes - Paralegal widdoes@RoggeDunnGroup.com 9/24/2025 2:59:44 PM SENT
Colin PBenton colin.benton@wickphillips.com 9/24/2025 2:59:44 PM SENT
Lanette Fidone lanette.fidone@wickphillips.com 9/24/2025 2:59:44 PM SENT
Samantha Tandy samantha.tandy@wickphillips.com 9/24/2025 2:59:44 PM SENT
Zachary Farrar Zachary.Farrar@wickphillips.com 9/24/2025 2:59:44 PM SENT
Harvey Joseph Joseph@roggedunngroup.com 9/24/2025 2:59:44 PM SENT
Karina Enriquez karina.enriquez@wickphillips.com 9/24/2025 2:59:44 PM SENT
Lane Webster webster@RoggeDunnGroup.com 9/24/2025 2:59:44 PM SENT
Rogge Dunn dunn@roggedunngroup.com 9/24/2025 2:59:44 PM SENT
Barb Morgan barb.morgan@wickphillips.com 9/24/2025 2:59:44 PM SENT
Michael Avi-Yonah MSAviYonah@wlrk.com 9/24/2025 2:59:44 PM SENT
William Savitt WDSavitt@wlrk.com 9/24/2025 2:59:44 PM SENT
Adam Gogolak AMGogolak@wlrk.com 9/24/2025 2:59:44 PM SENT
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Riverside Stategic Capital Fund I, LP, RSCF Blocker True Health, LLC, RSCF I-A Blocker True Health, LLC v. CLG Investments, LLC (Riverside Stategic Capital Fund I, LP, RSCF Blocker True Health, LLC, RSCF I-A Blocker True Health, LLC v. CLG Investments, LLC) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.