the Better Business Bureau of Metropolitan Houston, Inc., the Better Business Bureau of Metropolitan Houston Education Foundation, Dan Parsons, Chris Church, Church Enterprises, Inc., Gary Milleson, Ronald N. McMillan, D' Artagnan Bebel, Mark Goldie, Cha v. John Moore Services, Inc. and John Moore Renovation, LLC ( 2015 )


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  •                                                                                         ACCEPTED
    01-14-00687-CV
    FIRST COURT OF APPEALS
    HOUSTON, TEXAS
    8/6/2015 11:34:21 AM
    CHRISTOPHER PRINE
    CLERK
    Cause No. 01-14-00687-CV
    ___________________________________
    FILED IN
    IN THE COURT OF APPEALS      1st COURT OF APPEALS
    FOR THE FIRST DISTRICT OF TEXAS     HOUSTON, TEXAS
    HOUSTON, TEXAS          8/6/2015 11:34:21 AM
    ___________________________________CHRISTOPHER
    Clerk
    A. PRINE
    THE BETTER BUSINESS BUREAU OF METROPOLITAN HOUSTON, INC.,
    THE BETTER BUSINESS BUREAU OF METROPOLITAN HOUSTON EDUCATION
    FOUNDATION, DAN PARSONS, CHRIS CHURCH, CHURCH ENTERPRISES, INC.,
    GARY MILLESON, RONALD N. MCMILLAN, D’ARTAGNAN BEBEL, MARK
    GOLDIE, CHARLIE HOLLIS, AND STEVEN LUFBURROW,
    Appellants,
    v.
    JOHN MOORE SERVICES, INC. AND JOHN MOORE RENOVATION, LLC,
    Appellees.
    Appeal from the 269th District Court of Harris County, Texas
    Cause No. 2013-76215
    JOHNSON, TRENT, WEST & TAYLOR, LLP’S
    UNOPPOSED MOTION TO WITHDRAW
    COMES NOW Johnson, Trent, West & Taylor, LLP, Douglas Pritchett, Jr.,
    and Tamara M. Madden (“Movants”), Counsel for Appellees John Moore Services,
    Inc. and John Moore Renovation, LLC, and file this Unopposed Motion to
    Withdraw pursuant to Texas Rule of Appellate Procedure 6.5 and in support
    thereof would respectfully show as follows:
    1.     Seeking to consolidate its outside legal counsel, Appellants have
    requested that Movants terminate their relationship and withdraw from this
    representation.
    2.     The following deadlines exist:
    August 31, 2015                 Deadline to conduct mediation.
    September 2, 2015               Deadline to file Appointment and Fee
    Report-Mediation
    3.     John Moore Services, Inc. and John Moore Renovation, LLC will
    continue to be represented by
    Lori Ann Hood
    Baker Donelson, PC
    1301 McKinney Street, Suite 3700
    Houston, Texas 77010
    (713) 286-7182
    lhood@bakerdonelson.com
    4.     Ms. Hood, as Appellees’ representative was notified of this motion
    and was given an opportunity to object.
    5.     This motion is unopposed.
    PRAYER
    Movants ask this Court to grant this motion to withdraw.
    2
    Respectfully submitted,
    /s/ Douglas Pritchett, Jr.
    Douglas Pritchett, Jr.
    State Bar No. 24007877
    dpritchett@johnsontrent.com
    Tamara Madden
    State Bar No. 00783720
    tmadden@johnsontrent.com
    JOHNSON, TRENT, WEST & TAYLOR, L.L.P.
    919 Milam Street, Suite 1700
    Houston, Texas 77002
    (713) 222-2323 (Telephone)
    (713) 222-2226 (Facsimile)
    ATTORNEYS FOR APPELLANTS
    3
    CERTIFICATE OF CONFERENCE
    On the 4th day of August 2015, the below-signed counsel contacted Jeffrey
    Elkin, counsel for Appellee, and Lori Hood, counsel for Appellants, and was
    informed that neither party opposes the relief requested in this motion.
    /s/ Douglas Pritchett, Jr.
    Douglas Pritchett, Jr.
    CERTIFICATE OF SERVICE
    On this the 6th day of August 2015, the foregoing Unopposed Motion for
    Extension of Time was served on the following persons in the manner indicated:
    Lauren B. Harris                                      Via Electronic Service
    Jeffrey R. Elkin
    M. Harris Stamey
    Porter Hedges LLP
    1000 Main Street, 36th Floor
    Houston, Texas 77002
    Attorneys for Appellee
    Lori Hood                                             Via Electronic Service
    Baker Donelson, PC
    1301 McKinney Street, Suite 3700
    Houston, Texas 77010
    Attorney for Appellant
    Don Valentine                       Via U.S. Mail, First Class, Certified
    John Moore Services, Inc.
    John Moore Renovation, LLC
    10005 W. Sam Houston Pkwy. N., Suite 200
    Houston, Texas 77084
    Representative for Appellants
    /s/ Douglas Pritchett, Jr.
    Douglas Pritchett, Jr.
    4
    

Document Info

Docket Number: 01-14-00687-CV

Filed Date: 8/6/2015

Precedential Status: Precedential

Modified Date: 9/29/2016