Linda Ann Parrish Richardson and Gary Bruce Richardson, Co-Trustees of the M.C. Parrish, Jr. Testamentary Trust v. Donald Roger Mills ( 2015 )


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  •                                                                                         ACCEPTED
    12-15-00169-CV
    TWELFTH COURT OF APPEALS
    TYLER, TEXAS
    10/7/2015 2:42:11 PM
    Pam Estes
    CLERK
    C.A. NO. 12-1S-00170-CV
    FILED IN
    IN THE           12th COURT   OF APPEALS
    TYLER, TEXAS
    10/7/2015 2:42:11 PM
    COURT OF APPEALS FOR THE STATE OF TEXAS
    PAM ESTES
    TWELFTH SUPREME JUDICIAL DISTRICT        Clerk
    TYLER, TEXAS
    LINDA ANN PARRISH RICHARDSON and GARY BRUCE
    RICHARDSON, CO-TRUSTEES OF THE M. C. PARRISH, JR.
    TESTAMENTARY TRUST et aI,
    APPELLANTS
    VS.
    DONALD ROGER MILLS et aI,
    APPELLEES
    ON APPEAL FROM THE DISTRICT COURT OF
    NACOGDOCHES COUNTY, TEXAS
    14STH JUDICIAL DISTRICT OF TEXAS
    APPELLANTS' UNOPPOSED MOTION FOR EXTENSION OF TIME TO
    FILE BRIEF
    TO THE HONORABLE COURT OF APPEALS:
    Linda Ann Parrish Richardson and Gary Bruce Richardson, Co-Trustees of the
    M. C. Parrish, Jr. Testamentary Trust, Margaret Wilson Reckling and James Cooke
    Wilson, Individually and as Co-Independent Executors ofthe Estate of Betty Virginia
    Kiley Wilson, Deceased, and as Co-Trustees of All Trusts Created under the Will of
    Betty Virginia Kiley Wilson, Judy Cleveland Huppert, Janie Granger Spicer, John
    K. Hardy, Anne E. Davison, Individually and as Executor of the Estate of Thomas S.
    Davison, Deceased,    Mary Gail Thomas Campbell,        John Turner Nevitt, Sr., and
    Clytie Harris Thomas Phelps (collectively "Parrish Trust Parties") and Ransom Clark
    Lummis, Frederick R. Lummis Ii, Palmer Bradley Lummis, Robert L. Bradley, Jr.,
    and William R. Lummis, Jr. (collectively "Lummis Parties"), Appellants, file this
    Application for Extension of Time to File Brief. In support, Appellants show this
    Court as follows:
    I.
    This is an appeal by Appellants of the Final Judgment, Order Overruling
    Defendants' Motion to Reopen Case and to Correct Stipulation, and Order Overruling
    Defendants' Motion for Trial Amendment or Amendment to Conform to Issues Tried
    without Objection, all of which were signed on March 30,2015, and entered in Cause
    No. Cl127605, Donald Roger Mills etal vs. EOG Resources, Inc. et al, by the 145th
    District Court of Nacogdoches County, Texas.
    II.
    Appellants' brief is due to be filed in this Court on or before October 15, 2015.
    -2-
    III.
    This is the first request filed by Appellants for an extension of time within
    which to file their brief.
    IV.
    Appellants request an extension to November 16, 2015, within which to file
    their brief.
    V.
    Appellants' brief will be a j oint brief and pursuant to the understanding and
    agreement between Parrish Trust Parties and Lummis Parties, Richard Merrill,
    counsel for Parrish Trust Parties, has been tasked with primary responsibility for
    drafting Appellants' brief. Both of the undersigned counsel have had various and
    numerous commitments to handle matters, including litigation matters, for other
    clients prior to October 15,2015, which have interfered with and impeded both of the
    undersigned     counsels'    ability to complete in a timely and effective manner
    Appellants'    brief in this appeal.   In addition, Mr. Merrill had out of state trips
    scheduled for the periods of September 30th through October        4th   and again from
    October    13th past October 15t,\ the date this brief is due, both of which were
    scheduled in mid-July, 2015 and involved the payment by Mr. Merrill of various
    nonrefundable expenses. Because of such trips and due to the various and numerous
    -3-
    commitments to handle matters, including litigation matters, for other clients during
    the thirty (30) day period following the filing of the reporter's record in this appeal,
    Mr. Merrill will be unable to complete in a timely and effective manner Appellants'
    brief in this appeal by its original due date.
    VI.
    Richard Merrill certifies that he has discussed this Motion with Jeffrey Bates,
    one of the counsel for Appellees, and that, on behalf of Appellees, Mr. Bates consents
    to this Court granting the extension requested herein by Appellants and does not
    oppose this Motion. Attached is a copy of the e-mail exchange between Mr. Bates
    and Mr. Merrill disclosing Appellees' and their counsels' consent.
    PRAYER
    WHEREFORE, PREMISES CONSIDERED, Appellants move this Court to
    extend the deadline on which they must file their brief so that Appellants will have
    to November 16,2015 to file Appellants' brief.
    . 'ft..-
    Dated this   L     day of October, 2015.
    -4-
    Respectfully submitted,
    FABIO AND MERRILL
    I      J),         \
    By:                  ~
    iChafdLMerrill
    TBA #13963500
    Twelve Greenway Plaza, Suite 101
    Houston, TX 77046-1208
    Tel. No.:   (713) 961-0408
    Fax No.:    (713) 961-2934
    E-mail:     rmerrill@fabiomerrill.com
    ATTORNEY FOR APPELLANTS
    PARRISH TRUST PARTIES
    BOWEN FIRM
    By: />-'/ Be-vv!:j D~        B~
    Berry Dunbar Bowen
    SBOT# 02721050
    3014 Brazos Street
    Houston, TX 77006
    Tel. No.:     (713) 521-3525
    Fax No.:      (713) 521-3575
    E-mail:      berrybowen@comcast.net
    ATTORNEY FOR APPELLANTS
    LUMMIS PARTIES
    -5-
    VERIFICATION
    THE STATE OF TEXAS
    COUNTY OF HARRIS
    BEFORE ME, the undersigned authority, on this day personally appeared RlCHARD
    L. MERRILL, who, being by me first duly sworn, upon his oath stated that he is attorney of
    record for Appellants Parrish Trust Parties in the above and foregoing Motion, that he has
    prepared and read the above and foregoing Motion, and that the statements and facts therein
    contained are true and correct to the best of his knowledge.
    Q~!?~
    Richard L. Merrill
    it,
    SUBSCRlBED AND SWORN TO/BEFORE ME this i2__ day of October, 2015.
    MARIA ISABEL OUVO
    MY COMMISSIONEXPIRES
    Man:h 11,2016
    ~y~
    Notary Public in and for the State of Texas
    -6-
    CERTIFICATE            OF SERVICE
    This will certify that on this   G -rt day of October,   2015, a true copy of the
    foregoing has been served in a manner authorized by the Texas Rules of Appellate
    Procedure upon the following counsel:
    William D. Guidry
    Jeffrey B. Bates
    Guidry, Bates & Hoyt Attorney's, L.L.P.
    118 East Hospital St. Ste. 100
    P.O. Box 631178
    Nacogdoches, Texas 75963
    Fax: (936) 560-5996
    E-mail: billguidry@gbhattomeys.com
    bates@gbhattomeys.com
    Richard L. Merrill
    -7-
    Page 1 of 1
    Subj:         RE: Parrish Trust et al VS. Mills et al appeal, C.A. NO. 12-15-00170-CV
    Date:         10/7/201510:01:43  A.M. Central Daylight Time
    From:         bates@gbhattorneys.com
    To:           FABIOMERRL@aol.com
    No problem at all. Agreed.
    Jeff Bates
    Guidry, Bates & Hoyt
    118 E. Hospital, Suite 100
    Nacogdoches, Texas 75961
    936/560-6954 phone
    936/560-5996 fax
    From: FABIOMERRL@aol.com[mailto:FABIOMERRL@aol.com]
    Sent: Tuesday, October 06, 20154:54 PM
    To: bates@gbhattorneys.com
    Subject: Parrish Trust et al VS. Mills et al appeal, C.A. NO. 12-15-00170-CV
    Jeff,
    I am not going to be able to finish the appellants' brief by its due date of October 15th. After I got back from Russia at the end of
    August, I have had a jury trial, another case which was set for trial but got reset at the last minute (but not sufficiently far in advance
    to keep me from having had to prepare for trial), as well as a ton of other client work which has had to be finalized due to various
    deadlines. I also was out of the office most of last week and will be out of the office starting next Tuesday for a week, both of which
    had been on my calendar for the last 3-4 months. I therefore am asking if I can list you not only as unopposed to the motion but also
    as giving your consent to the court's granting of my motion to extend the deadline for filing the appellants' brief to Monday, November
    16,2015.
    I know that Bill is out of the country on his vacation and I hope he is having a wonderful time. Otherwise, I would have addressed
    this email to him. However, I need to go ahead and file my motion before he returns to the States and would appreciate a prompt
    response from you.
    Obviously, I will extend the same courtesies to Bill and you with regard to approving an extension should you need one for filing of
    your brief.
    Thanks,
    Richard L. Merrill
    Fabio & Merrill
    Twelve Greenway Plaza, Suite 101
    Houston, Texas 77046-1208
    telephone: 713-961-0408
    fax: 713-961-2934
    l/IIWW.fabioandmerrill.com
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    Thank You.
    Wednesday, October 7,2015 AOL: FABIOMERRL
    

Document Info

Docket Number: 12-15-00170-CV

Filed Date: 10/7/2015

Precedential Status: Precedential

Modified Date: 9/29/2016