Kindred Healthcare, Inc. and Triumph Hospital of East Houston, L.P. D/B/A Kindred Hospital of Clear Lake v. Cristobal Morales ( 2015 )


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  •                                                                                     ACCEPTED
    01-15-00843-CV
    FIRST COURT OF APPEALS
    HOUSTON, TEXAS
    11/25/2015 3:41:08 PM
    CHRISTOPHER PRINE
    CLERK
    NO. 01-15-00843-CV
    FILED IN
    IN THE FIRST COURT OF APPEALS 1st COURT OF APPEALS
    HOUSTON, TEXAS
    11/25/2015 3:41:08 PM
    CHRISTOPHER A. PRINE
    KINDRED HEALTHCARE, INC.                         Clerk
    AND
    TRIUMPH HOSPITAL OF EAST HOUSTON, L.P.
    D/B/A KINDRED HOSPITAL OF CLEAR LAKE,
    Appellants
    V.
    CRISTOBAL MORALES
    Appellee
    Appeal from Cause No. 2014-40158
    189th District Court of Harris County, Texas
    KINDRED HEALTHCARE, INC. AND
    TRIUMPH HOSPITAL OF EAST HOUSTON, L.P.
    D/B/A KINDRED HOSPITAL OF CLEAR LAKE’S
    UNOPPOSED MOTION FOR A TWO-WEEK EXTENSION OF TIME
    TO FILE OPENING BRIEF
    Levon G. Hovnatanian
    Texas Bar No. 10059825
    hovnatanian@mdjwlaw.com
    Raymond M. Kutch
    Texas Bar No. 24072195
    kutch@mdjwlaw.com
    MARTIN, DISIERE, JEFFERSON &
    WISDOM, L.L.P.
    808 Travis, 20th Floor
    Houston, Texas 77002
    (713) 632-1700 – Telephone
    (713) 222-0101 – Facsimile
    TO THE HONORABLE COURT OF APPEALS:
    Come now the appellants, Kindred Healthcare, Inc. and Triumph Hospital of
    East Houston, L.P. d/b/a Kindred Hospital of Clear Lake (collectively, “Kindred”),
    and respectfully move for a 14-day extension of time to file their opening brief.
    Kindred has neither requested nor received a previous extension of time to file its
    opening brief.
    The current deadline for Kindred to file its opening brief is Monday,
    November 30, 2015.          See TEX. R. APP. P. 38.6(a).   This motion is filed on
    Wednesday, November 25, 2015, and is therefore timely filed. See TEX. R. APP. P.
    38.6(d) (“A motion to extend the time to file a brief may be filed before or after the
    date the brief is due.”).
    The facts reasonably relied upon to explain the need for an extension of time
    are as follows. Levon G. Hovnatanian, Kindred’s lead appellate counsel, has been
    extremely busy with other pressing matters:
    1.     Mr. Hovnatanian is preparing the brief of one of the appellees, MPF
    Investments, LLC D/B/A “A-1 Rent All,” due, after one extension, on December
    16, 2015, in Cause No. 12-15-00121-CV; Garry L. Rollins and Carla D. Rolllins,
    Appellants v. Texas College and MPF Investments, LLC D/B/A “A-1 Rent All,”
    Appellees; in the Twelfth Court of Appeals.
    1
    2.      Mr. Hovnatanian is assisting in preparing a petition for review, due, after
    two extensions, on November 30, 2015, in Cause No. 15-0805; St. Paul Fire &
    Marine Insurance Company and St. Paul Surplus Lines Insurance Company,
    Petitioners v. Petroplex, Energy, Inc., Respondent; in the Supreme Court of Texas.
    3.      Mr. Hovnatanian is assisting in preparing the brief of the appellee, due on
    December 3, 2015 (after two extensions), in Cause No. 05-15-00678-CV; Brenda
    Peterson, Individually and as Next Friend of B.Q.P., a Minor and as Administrator
    of the Estate of James Q. Peterson, Deceased, and Gary Peterson, Appellants v.
    Farmers Texas County Mutual Insurance Company, Appellee; in the Fifth Court of
    Appeals.
    4.      Mr. Hovnatanian is preparing to present oral argument for the appellee on
    December 1, 2015 in Cause No. 05-14-01394-CV; Sunny Letot, Appellant v.
    United Services Automobile Association, Appellee; in the Fifth Court of Appeals.
    Considering the above, Kindred respectfully asks the Court to grant this
    motion and extend the time for it to file its opening brief to Monday, December 14,
    2015.
    2
    Respectfully submitted,
    MARTIN, DISIERE, JEFFERSON & WISDOM, L.L.P.
    By: /s/Levon G. Hovnatanian
    Levon G. Hovnatanian
    State Bar No. 10059825
    hovnatanian@mdjwlaw.com
    Raymond M. Kutch
    State Bar No. 24072195
    kutch@mdjwlaw.com
    808 Travis, 20th Floor
    Houston, Texas 77002
    (713) 632-1700 – Telephone
    (713) 222-0101 – Facsimile
    BRENNIG & ASSOCIATES, P.C.
    By: /s/Charles C. Brennig III
    Charles C. Brennig III
    State Bar No. 00783719
    cbrennig@brenniglaw.com
    Richard M. Schreiber
    State Bar No. 24056278
    rschreiber@brenniglaw.com
    1700 Post Oak Blvd.
    2 BLVD Place, Suite 600
    Houston, Texas 77056
    (713) 622-5900 – Telephone
    (713) 622-5910 – Facsimile
    ATTORNEYS FOR APPELLANTS KINDRED
    HEALTHCARE, INC. AND TRIUMPH
    HOSPITAL OF EAST HOUSTON, L.P. D/B/A
    KINDRED HOSPITAL OF CLEAR LAKE
    3
    CERTIFICATE OF COMPLIANCE
    This is to certify that this computer-generated unopposed motion for
    extension of time to file brief contains 386 words.
    /s/Levon G. Hovnatanian
    Levon G. Hovnatanian
    Dated: November 25, 2015
    CERTIFICATE OF CONFERENCE
    This is to certify that on November 25, 2015, the undersigned spoke to
    opposing counsel Mr. Martin Siegel regarding this motion, and Mr. Siegel advised
    that he does not oppose it.
    /s/Levon G. Hovnatanian
    Levon G. Hovnatanian
    4
    CERTIFICATE OF SERVICE
    This is to certify that a true and correct copy of this unopposed motion for
    extension of time to file brief has been forwarded by the methods indicated to the
    individual(s) listed below on this 25th day of November, 2015.
    Sean O’Rourke
    SIMON-O’ROURKE, P.C.
    11550 Fuqua, Suite 200
    Houston, Texas 77034
    (281) 667-4081 – Telephone
    (281) 823-7482 – Facsimile
    www.txattorneys.com
    (via e-File and e-Mail)
    Anthony Buzbee
    THE BUZBEE LAW FIRM
    J.P. Morgan Chase Tower
    600 Travis, Suite 7300
    Houston, Texas 77002
    (713) 223-5393 – Telephone
    (713) 223-5909 – Facsimile
    www.txattorneys.com
    (via e-File and e-Mail)
    Martin J. Siegel
    LAW OFFICE OF MARTIN J. SIEGEL, P.C.
    700 Louisiana Street, Suite 2300
    Houston, Texas 77002
    (281) 772-4568 – Telephone
    Martin@Siegelfirm.com
    (via e-File and e-Mail)
    /s/ Levon G. Hovnatanian
    Levon G. Hovnatanian
    5
    

Document Info

Docket Number: 01-15-00843-CV

Filed Date: 11/25/2015

Precedential Status: Precedential

Modified Date: 9/30/2016