State of Texas, Acting by and Through the Texas Facilities Commission, for and on Behalf of the Texas Health and Human Services Commission; The Texas Facilities Commission; Mike Novak, in His Official Capacity as Executive Director of the Texas Facilities Commission; The Texas Health and Human Services Commission; And Rolland Niles in His Official Capacity as Deputy Executive Commissioner for the System Support Services Division of the Texas Health and Human Services Commission v. 8317 Cross Park, LLC

Court of Appeals of Texas·Decided June 23, 2025·No. 15-25-00012-CV·Published

Opinion

ACCEPTED 15-25-00012-cv FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 6/23/2025 2:46 PM No. 15-25-00012-CV CHRISTOPHER A. PRINE _____________________________ CLERK FILED IN In the Fifteenth Court of Appeals 15th COURT OF APPEALS AUSTIN, TEXAS Austin, Texas ______________________________ 6/23/2025 2:46:14 PM CHRISTOPHER A. PRINE Clerk STATE OF TEXAS, THE TEXAS FACILITIES COMMISSION, THE TEXAS HEALTH AND HUMAN SERVICES COMMISSION, MIKE NOVAK, IN HIS OFFICIAL CAPACITY AS EXECUTIVE DIRECTOR OF THE TEXAS FACILITIES COMMISSION, AND ROLLAND NILES, IN HIS OFFCIAL CAPACITY AS DEPUTY EXECUTIVE COMMISSIONER FOR THE SYSTEM SUPPORT SERVICES DIVISON OF THE TEXAS HEALTH AND HUMAN SERVICES COMMISSION, Appellants,

v.

Appellee. ______________________________

On Appeal from the 98th Judicial District Court of Travis County, Texas Cause No. D-1-GN-23-006445 ______________________________

APPELLANTS’ UNOPPOSED SECOND MOTION TO EXTEND TIME TO FILE THEIR REPLY BRIEF ______________________________ KEN PAXTON KIMBERLY GDULA Attorney General of Texas Chief, General Litigation Division

BRENT WEBSTER JENNIFER COOK First Assistant Attorney General Texas Bar No. 00789233 Assistant Attorney General RALPH MOLINA P.O. Box 12548, Capitol Station Deputy First Assistant Attorney General Austin, Texas 78711-2548 Phone: (737) 230-4700 AUSTIN KINGHORN jennifer.cook@oag.texas.gov Deputy Attorney General for Civil FAX: (512) 320-0667 Litigation Counsel for Appellants 15-25-00012-CV; State of Texas, et al. v. 8317 Cross Park, LLC Motion To Extend Time to File Appellants’ Reply Brief Page 1 of 4 TO THE HONORABLE FIFTEENTH COURT OF APPEALS:

Pursuant to Texas Rules of Appellate Procedure 10.5(b) and 38.6(d),

Appellants, State of Texas, the Texas Facilities Commission (“TFC”), the Texas

Health and Human Services Commission (“HHSC”), Mike Novak, in his Official

Capacity as Executive Director of the TFC, and Rolland Niles, in his Official

Capacity as Deputy Executive Commissioner for the System Support Services

Division of HHSC (collectively referred to as “Appellants”), file this motion asking

the Court to extend the time for Appellants to file a reply brief to 8317 Cross Park,

LLC’s (“Appellee’s”) brief.

1. There is no specific deadline to file this motion to extend time. Tex. R. App.

P. 38.6(d).

2. Appellee is unopposed to this motion.

3. The Court may grant an extension of time under Texas Rules of Appellate

Procedure 10.5(b) and 38.6(d).

4. Appellee filed its brief on May 7, 2025. The current deadline for Appellants

to file their reply brief is June 26, 2025.

5. Appellants request an additional 14 days to file their reply brief, extending the

deadline to July 10, 2025.

6. This is the second request for an extension to file the reply brief and one

15-25-00012-CV; State of Texas, et al. v. 8317 Cross Park, LLC Motion To Extend Time to File Appellants’ Reply Brief Page 2 of 4 extension has been previously granted regarding Appellants’ reply brief.

7. Appellants need additional time because Appellants’ counsel has been under

the weather and needs the additional time for recovery and to complete the brief.

8. For these reasons, Appellants ask the Court to grant an extension of time to

file Appellants’ reply brief until July 10, 2025.

Respectfully submitted,

KEN PAXTON Attorney General of Texas

BRENT WEBSTER First Assistant Attorney General

RALPH MOLINA Deputy First Assistant Attorney General

AUSTIN KINGHORN Deputy Attorney General for Civil Litigation

KIMBERLEY GDULA Chief - General Litigation Division

/s/Jennifer Cook JENNIFER COOK Assistant Attorney General Texas State Bar No. 00789233 P.O. Box 12548 Austin, Texas 78711-2548 Tel: (737) 230-4700 Fax: (512) 302-0667 jennifer.cook@oag.texas.gov

Attorney for Appellants

15-25-00012-CV; State of Texas, et al. v. 8317 Cross Park, LLC Motion To Extend Time to File Appellants’ Reply Brief Page 3 of 4 CERTIFICATE OF CONFERENCE I certify that I have conferred with Appellee’s counsel regarding this motion and Appellee is unopposed to this motion.

/s/ Jennifer Cook JENNIFER COOK Assistant Attorney General

15-25-00012-CV; State of Texas, et al. v. 8317 Cross Park, LLC Motion To Extend Time to File Appellants’ Reply Brief Page 4 of 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.

Envelope ID: 102311441 Filing Code Description: Motion Filing Description: 20250623_2nd MET to Reply to Appellees Brief Status as of 6/23/2025 3:11 PM CST

Associated Case Party: State of Texas

Name BarNumber Email TimestampSubmitted Status

Victoria Gomez victoria.gomez@oag.texas.gov 6/23/2025 2:46:14 PM SENT

Jennifer Cook jennifer.cook@oag.texas.gov 6/23/2025 2:46:14 PM SENT

Associated Case Party: 8317 Cross Park, LLC

Name BarNumber Email TimestampSubmitted Status

Kemp Kasling kkasling@kaslinglaw.com 6/23/2025 2:46:14 PM SENT

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State of Texas, Acting by and Through the Texas Facilities Commission, for and on Behalf of the Texas Health and Human Services Commission; The Texas Facilities Commission; Mike Novak, in His Official Capacity as Executive Director of the Texas Facilities Commission; The Texas Health and Human Services Commission; And Rolland Niles in His Official Capacity as Deputy Executive Commissioner for the System Support Services Division of the Texas Health and Human Services Commission v. 8317 Cross Park, LLC, (Tex. Ct. App. 2025).

State of Texas, Acting by and Through the Texas Facilities Commission, for and on Behalf of the Texas Health and Human Services Commission; The Texas Facilities Commission; Mike Novak, in His Official Capacity as Executive Director of the Texas Facilities Commission; The Texas Health and Human Services Commission; And Rolland Niles in His Official Capacity as Deputy Executive Commissioner for the System Support Services Division of the Texas Health and Human Services Commission v. 8317 Cross Park, LLC (State of Texas, Acting by and Through the Texas Facilities Commission, for and on Behalf of the Texas Health and Human Services Commission; The Texas Facilities Commission; Mike Novak, in His Official Capacity as Executive Director of the Texas Facilities Commission; The Texas Health and Human Services Commission; And Rolland Niles in His Official Capacity as Deputy Executive Commissioner for the System Support Services Division of the Texas Health and Human Services Commission v. 8317 Cross Park, LLC) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.