Roland Oil Company v. Railroad Commission of Texas ( 2015 )


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  •                                                                    ACCEPTED
    03-12-00247-CV
    4919051
    THIRD COURT OF APPEALS
    AUSTIN, TEXAS
    4/16/2015 3:57:48 PM
    NO. 03-12-00247-CV                     JEFFREY D. KYLE
    CLERK
    ROLAND OIL COMPANY            §      IN THE THIRD
    Appellant,                §
    §                     FILED IN
    VS.                           §      COURT OF3rd COURT OF APPEALS
    APPEALS
    §                  AUSTIN, TEXAS
    RAILROAD COMMISSION OF        §
    TEXAS                         §              4/16/2015
    SAN ANTONIO,      3:57:48 PM
    TEXAS
    Appellee.                                  JEFFREY D. KYLE
    Clerk
    APPELLANT'S UNOPPOSED MOTION TO EXTEND TIME TO FILE
    MOTION FOR REHEARING
    TO THE HONORABLE COURT OF APPEALS:
    COMES NOW Appellant, Roland Oil Company, and moves
    the Court to Extend the Time to File a Motion for
    Rehearing.
    A. Introduction
    1. Appellant is Roland Oil Company; appellee is
    Railroad Commission of Texas.
    2. This motion is filed within the 15-day period to
    file a motion to extend the time to file a motion for
    rehearing, as required by Texas Rule of Appellate
    Procedure 49.8.
    3. An inquiry was made to the attorney for Appellee,
    Railroad Commission of Texas, about this motion who
    indicated that he was unopposed.
    B. Argument and Authorities
    4. The Court has the authority under Rule 49.8 to
    extend the time for a party to file a motion for
    rehearing.
    5. Appellant's motion for rehearing is due on April
    15, 2015, per the Court's Order dated March 25, 2015.
    6. Appellant requests an additional forty-one (41)
    days to file a motion for rehearing, extending the time
    until May 26, 2015.
    7. A previous extension was granted to extend the
    time to file the motion for rehearing, pursuant to a
    Motion filed by Appellant, acting pro se.
    8. Appellant needs additional time to file the
    motion for rehearing because: (1) appellant has
    diligently looked for a replacement attorney, and has
    engaged Jeffrey R. Akins, Attorney at Law, (2) being just
    now engaged, Mr. Akins has not had adequate time to
    prepare a motion for rehearing, 3) Mr. Akins has been ill
    during the last three weeks with a respiratory illness
    and then a stomach illness and has only now recovered to
    about 80%; therefore he has missed so much work that he
    has several deadlines coming up in other client matters,
    (4) Mr. Akins is a scheduled speaker at the Texas Bar CLE
    Oil, Gas and Mineral Title Examination Course to be held
    in Houston on June 25-26, and is required to have his
    seminar paper submitted by May 11, 2015; and due to his
    illness Mr. Akins has not been able to work on completing
    this paper, which is estimated will take sixty (60)
    additional hours to complete, (5) between his ongoing
    work deadlines and the work required for the paper, Mr.
    Akins will not reasonably have time available to prepare
    an adequate motion for rehearing, (6) being realistic,
    Mr. Akins will not reasonably be able to do substantial
    work on this motion until after May 11, barring a
    physically and mentally exhausting work schedule, and (7)
    insofar as the status quo in the field (involving the
    wells) this extension does not cause any harm and no
    exigent circumstances exist.
    9. This extension is not sought solely for delay,
    but that justice may be done.
    -2-
    PRAYER
    For these reasons, Appellant asks the Court to grant
    an extension of time to file a Motion for Rehearing until
    May 26, 2015.
    Respectfully submitted,
    /s/ Jeffrey R. Akins
    JEFFREY R. AKINS
    State Bar No. 00962425
    14350 Northbrook Drive
    Suite 150
    San Antonio, Texas 78232
    Telephone: (210) 599-4905
    Facsimile: (210) 490-2776
    jrakins@sbcglobal.net
    ATTORNEY FOR APPELLANT
    CERTIFICATE OF CONFERENCE
    I certify that I have conferred with Anthony Benedict
    by telephone and he is unopposed to this motion.
    /s/ Jeffrey R. Akins
    Jeffrey R. Akins
    -3-
    CERTIFICATE OF SERVICE
    I hereby certify that a true and correct copy of the
    above and foregoing document has been served upon the
    following counsel of record, pursuant to the Texas Rules
    of Appellate Procedure on the 15th day of April, 2015,
    after 5:00 p.m.
    Anthony W. Benedict      VIA FACSIMILE - (512) 320-0911
    /s/ Jeffrey R. Akins
    Jeffrey R. Akins
    -4-
    

Document Info

Docket Number: 03-12-00247-CV

Filed Date: 4/16/2015

Precedential Status: Precedential

Modified Date: 9/29/2016