Stacey Hartwig v. Neurological Fitness and Recovery Facilities II, LLC D/B/A Neufit; Neurological Fitness Equipment and Education, LLC; Garrett Salpeter, and Tayler Thatcher

CourtCourt of Appeals of Texas
DecidedNovember 21, 2025
Docket15-25-00190-CV
StatusPublished

This text of Stacey Hartwig v. Neurological Fitness and Recovery Facilities II, LLC D/B/A Neufit; Neurological Fitness Equipment and Education, LLC; Garrett Salpeter, and Tayler Thatcher (Stacey Hartwig v. Neurological Fitness and Recovery Facilities II, LLC D/B/A Neufit; Neurological Fitness Equipment and Education, LLC; Garrett Salpeter, and Tayler Thatcher) 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
Stacey Hartwig v. Neurological Fitness and Recovery Facilities II, LLC D/B/A Neufit; Neurological Fitness Equipment and Education, LLC; Garrett Salpeter, and Tayler Thatcher, (Tex. Ct. App. 2025).

Opinion

ACCEPTED 15-25-00190-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 11/21/2025 11:05 AM 15-25-00190-CV CHRISTOPHER A. PRINE CLERK FILED IN 15th COURT OF APPEALS IN THE COURT OF APPEALS AUSTIN, TEXAS FIFTEENTH DISTRICT OF TEXAS AT AUSTIN 11/21/2025 11:05:07 AM CHRISTOPHER A. PRINE Clerk

STACEY HARTWIG

Appellant

v.

NEUROLOGICAL FITNESS AND RECOVERY FACILITIES II, LLC, D/B/A NEUFIT; NEUROLOGICAL FITNESS EQUIPMENT AND EDUCATION, LLC; GARRETT SALPETER; AND TAYLER THATCHER

Appellees

From the 345th District Court, Travis County, Texas The Honorable Jan Soifer, Presiding Trial Court Case No. D-1-GN-25-008222

APPELLANT’S MOTION TO DISMISS APPEAL

TO THE HONORABLE FIFTEENTH COURT OF APPEALS:

Appellant Stacey Hartwig announces to this Court that the parties attended a

mediation of this case on November 12, 2025, which resulted in a resolution of all

disputed matters that are relevant to this appeal. Accordingly, Appellant has no need

to further pursue this appeal, and she respectfully requests that the Court enter an

order dismissing this appeal.

APPELLANT’S MOTION TO DISMISS APPEAL 1 Respectfully Submitted, LOVINS | TROSCLAIR, P.L.L.C. /s/ Kenneth P. Trosclair Kenneth P. Trosclair State Bar No. 24033548 Pete@LovinsLaw.com Michael E. Lovins State Bar No. 24032555 Michael@LovinsLaw.com Drew Rogers State Bar No. 24068097 Drew@LovinsLaw.com 1301 S. Capital of Texas Highway Building A, Suite 136 Austin, Texas 78746 Telephone: (512) 535-1649 Facsimile: (214) 972-1047 ATTORNEYS FOR APPELLANT

CERTIFICATE OF CONFERENCE

I hereby certify that my associate, Drew Rogers, conferred with counsel for

Appellees by email on November 21, 2025, who stated that Appellees are unopposed

with the contents set forth in this Motion.

/s/ Kenneth P. Trosclair Kenneth P. Trosclair Attorney for Appellant

APPELLANT’S MOTION TO DISMISS APPEAL 2 CERTIFICATE OF SERVICE

I hereby certify that on November ___, 2025, I served a true and correct copy

of the foregoing Motion in compliance with Rule 9.5 of the Texas Rules of Appellate

Procedure via the Texas electronic filing system upon counsel of record for all

parties.

/s/ Kenneth P. Trosclair Kenneth P. Trosclair Attorney for Appellant

APPELLANT’S MOTION TO DISMISS APPEAL 3 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.

Angela Reyna on behalf of Kenneth Trosclair Bar No. 24033548 angela@ltlegalteam.com Envelope ID: 108329644 Filing Code Description: Motion Filing Description: Appellant's Motion to Dismiss Appeal Status as of 11/21/2025 11:17 AM CST

Case Contacts

Name BarNumber Email TimestampSubmitted Status

Belinda Arambula barambula@terrazaspllc.com 11/21/2025 11:05:07 AM SENT

Pete Trosclair Pete@Lovinslaw.com 11/21/2025 11:05:07 AM SENT

Drew Rogers drew@lovinslaw.com 11/21/2025 11:05:07 AM SENT

Angela Reyna angela@lovinslaw.com 11/21/2025 11:05:07 AM SENT 15-25-00190-CV

IN THE COURT OF APPEALS FIFTEENTH DISTRICT OF TEXAS AT AUSTIN

NEUROLOGICAL FITNESS AND RECOVERY FACILITIES II, LLC, D/B/A NEUFIT; NEUROLOGICAL FITNESS EQUIPMENT AND EDUCATION, LLC; GARRETT SALPETER; AND TAYLER THATCHER

From the 345th District Court, Travis County, Texas The Honorable Jan Soifer, Presiding Trial Court Case No. D-1-GN-25-008222

ORDER GRANTING APPELLANT’S MOTION TO DISMISS APPEAL

On this day, the Court considered Appellant’s Motion to Dismiss Appeal.

Finding that the Motion is meritorious, and being satisfied that Appellees are

unopposed to the relief requested in the Motion, the Court is of the opinion that the

Motion should be GRANTED.

Accordingly, it is hereby ORDERED, ADJUDGED, and DECREED that this

appeal is hereby DISMISSED.

ORDER GRANTING APPELLANT’S MOTION TO DISMISS APPEAL 1 SO ORDERED.

Signed on this _____ day of _______________, 2025.

___________________________________ JUDGE PRESIDING Court of Appeals Third District of Texas at Dallas

ORDER GRANTING APPELLANT’S MOTION TO DISMISS APPEAL 2

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Stacey Hartwig v. Neurological Fitness and Recovery Facilities II, LLC D/B/A Neufit; Neurological Fitness Equipment and Education, LLC; Garrett Salpeter, and Tayler Thatcher, Counsel Stack Legal Research, https://law.counselstack.com/opinion/stacey-hartwig-v-neurological-fitness-and-recovery-facilities-ii-llc-texapp-2025.