Wesley Spears and Renee Jacobs v. Falcon Pointe Community Homeowner's Association

Court of Appeals of Texas·Decided June 5, 2015·No. 03-14-00650-CV·Published

Opinion

ACCEPTED 03-14-00650-CV 5565369 THIRD COURT OF APPEALS AUSTIN, TEXAS 6/5/2015 2:06:30 PM JEFFREY D. KYLE CLERK

WESLEY SPEARS AND RENEE JACOBS. APPELLANTS FILED IN 3rd COURT OF APPEALS v. AUSTIN, TEXAS 6/5/2015 2:06:30 PM JEFFREY D. KYLE FALCON PO INTE COMM UN ITY ASSOCIATION, APPELLEE Clerk

NO. 03·14-006SOCV

June 5, 2015

APPELLANTS' MOTION FOR PERMISSION FILE THEIR REPLY BRIEF LATE

Wes ley S. Spears, State Bar No. 18898400, Spears Law, 401 Congress Avenue., Suite 1540, Austin, Texas 78701, Tel. 512·696-2222, Fax. 5 12- 687-3499 Attorney for Appellants, e mail, wesleys637@yahoo.com.

Appeal from County Court One of Travis County, Texas

No. 3·11·00650

C-1-CV-13-010214

IDENTITY OF PARTIES AND COUNSE.L

Appellants, Wesley Spears and Renee Jacobs

Appellants' counsel

Wesley S. Spears, State Bar No. 18898400, Spears Law, 401 Congress Avenue., Suite 1540, Austin, Texas 78701, Tel (512)696-2222, Fax. 512· 687-3401.

Appellee, Falcon Pointe Community Homeowners' Association

Appellee's Counsel David Cha mberlain, Chamberlain and McHaney, 301 Congress Avenue, 22"" Floor, Austin, Texas 78701 Tel. 512-474-9124, Fax. 512-474 8582

Appellants hereby moves for an order of the Court granting this

Motion to a llow appell;mts' to file their Reply Brief on or before June 11,

2015. Counsel for the appellants is currently out of town. Counsel for

the Appell ee docs not oppose this Motion.

Wherefore, the plaintiff hereby requests that the Third District

Court of Appeals grant this Motion for Continuance.

Appellants' Wesley Spears and Renee Jacobs

8y:/S/WESL£Y SPEARS Wesley Spears Bar No.18898400 401 Congress Avenue, Suite 1540 Austin, Texas 78701 Tel.: 512-696-2222 Fax.: 512-687-3499 Attorney for Appellants

2 CERTIFICATION OF CONFERENCE

This is to certify that appellants' counsel, Wesley Spears and appellee's conferred on this 4'" day of )uoe, 2015, pursuant to Tex. R. App. P. 10.1 (a) (5) regarding the foregoing Motion . Appellee does not object to the Third Court of Appeals granting t he foregoing Motion to a llow Appellants to file their Brief that exceeds the civil word count for civil Briefs.

/sfWesley Spears

Wesley Spears

CERTIFICATION OF SERVICE

This is to certify that a copy of the foregoing Motion was served on

counsel for appellee, David Chamberlain, Chamberlain and McHaney,

301 Congress Avenue, 22nd Floor, Austin, Texas 78701 Tel. 512-474-

9124, Fax. 512-474-8582 By EMAIL. on this 4th day of June, 2015.

Appellants, Wesley Spears and Renee jacob>

By:/S/Wesley Spears Wesley Spears Bar No.18898100 401 Congress Avenue. Suite 1540 Austin, Texas 78701 Tel.: 512·696-2222 Fax.: 512-687·3499 Attorney for Appellants

3 4

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Wesley Spears and Renee Jacobs v. Falcon Pointe Community Homeowner's Association, (Tex. Ct. App. 2015).

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