the State of Texas // Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC v. Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC // Cross-Appellee, the State of Texas

Court of Appeals of Texas·Decided September 15, 2025·No. 15-25-00117-CV·Published

Opinion

ACCEPTED 15-25-00117-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 9/15/2025 1:55 PM No. 15-25-00117-CV CHRISTOPHER A. PRINE CLERK The State of Texas, § FILED IN Appellant/Cross-Appellee, § 15th COURT OF APPEALS § In the Court of Appeals AUSTIN, TEXAS Vs. § 9/15/2025 1:55:56 PM § CHRISTOPHER A. PRINE § State of Texas Clerk Patrick Cox, for himself and as agent § For AOC Ranches, LLC, Team § Advertising Services, Inc., CCLHR § 15th Judicial District Enterprises, LLC, and VPizza § Restaurant 001, LLC, § Appellees/Cross-Appellants §

UNOPPOSED MOTION TO EXTEND TIME TO FILE BRIEFS

Patrick Cox, for himself and as agent for AOC Ranches, LLC, Team Advertising Services,

Inc., CCLHR Enterprises, LLC, and VPizza Restaurant 001, LLC (“Patrick Cox” or

“Appellees/Cross-Appellants”), files this unopposed motion to extend time for both parties to file

Reply Briefs. In support of said Motion, Patrick Cox would show the Court as follows:

Counsel for Patrick Cox has conferred with counsel for the State of Texas, and the State of

Texas does not oppose this motion for extensions.

On June 30, 2025, the State of Texas filed an accelerated appeal of the state court’s Order

Granting in Part and Denying in Part Texas’ Plea to the Jurisdiction and Motion for Summary

Judgment. On July 3, 2025, Patrick Cox filed a cross-appeal.

On or about July 3, 2025, Patrick Cox filed a cross-petition for an interlocutory appeal.

Briefs have been filed by both parties on the appeals. Reply briefs are due by both parties on or about September 16, 2025. Counsel for Patrick

Cox has requested from counsel for the State of Texas an extension. The State of Texas does not

oppose a mutual extension.

WHEREFORE, Patrick Cox respectfully requests this Court extend the deadlines to file

reply briefs for both Patrick Cox and the State of Texas to September 30, 2025, and further requests

this Court grant any and all other relief to which Patrick Cox may be entitled.

Dated: September 15, 2025

Respectfully submitted,

/s/ Reese W. Baker Reese W. Baker TX Bar No. 1587700 Baker & Associates 950 Echo Lane, Suite 300 Houston, TX 77024 Phone: (713) 869-9200 Fax: (713) 869-9100 Email: courtdocs@bakerassociates.net ATTORNEY FOR THE APPELLEES/ CROSS-APPELLANTS

CERTIFICATE OF SERVICE

I hereby certify that on or about September 15, 2025, a true and correct copy of the

foregoing document was served upon all parties of notice via email and electronic service.

/s/ Reese W. Baker Reese W. Baker 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.

Reese Baker on behalf of Reese Baker Bar No. 1587700 courtdocs@bakerassociates.net Envelope ID: 105606511 Filing Code Description: Motion Filing Description: Mtn to Ext time for briefs 20250915 Status as of 9/15/2025 2:08 PM CST

Associated Case Party: Patrick Cox

Name BarNumber Email TimestampSubmitted Status

Reese Baker 1587700 courtdocs@bakerassociates.net 9/15/2025 1:55:56 PM SENT

Associated Case Party: The State of Texas

Name BarNumber Email TimestampSubmitted Status

Ali Thorburn ali.thorburn@oag.texas.gov 9/15/2025 1:55:56 PM SENT

Jacob Beach jacob.beach@oag.texas.gov 9/15/2025 1:55:56 PM SENT

Amanda Ruch amanda.ruch@oag.texas.gov 9/15/2025 1:55:56 PM SENT

Case Contacts

Name BarNumber Email TimestampSubmitted Status

Ariana Ines ariana.ines@oag.texas.gov 9/15/2025 1:55:56 PM SENT

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the State of Texas // Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC v. Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC // Cross-Appellee, the State of Texas, (Tex. Ct. App. 2025).

the State of Texas // Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC v. Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC // Cross-Appellee, the State of Texas (the State of Texas // Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC v. Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC // Cross-Appellee, the State of Texas) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.