in Re Sunset Nursing Home, Inc. ( 2015 )


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  •                                                                                          ACCEPTED
    01-15-00530-CV
    FIRST COURT OF APPEALS
    HOUSTON, TEXAS
    6/12/2015 3:54:12 PM
    CHRISTOPHER PRINE
    CLERK
    NO. 01-15-00530-CV
    FILED IN
    1st COURT OF APPEALS
    IN THE COURT OF APPEALS         HOUSTON, TEXAS
    6/12/2015 3:54:12 PM
    FOR THE FIRST DISTRICT OF TEXASCHRISTOPHER A. PRINE
    HOUSTON, TEXAS                 Clerk
    lnre
    SUNSET NURSING HOME, INC.,
    Relator
    The Honorable Pat Sebesta,
    Brazoria County Judge, Respondent
    AFFIDAVIT OF FELICIA HARRIS
    STATE OF TEXAS   §
    §
    COUNTY OF HARRIS §
    BEFORE ME, the undersigned notary public, on this day personally
    appeared Felicia Harris, who being by me duly sworn, deposed and stated:
    1. "My name is Felicia Harris. I am over the age of twenty-one (21)
    years and of sound mind. I have never been convicted of a felony or a crime
    involving moral turpitude and I am fully qualified and competent in all respects
    to make this affidavit. I am a partner in the law firm of Burleson LLP which
    represents Sunset Nursing Home, Inc., in the above captioned litigation.
    2. I have personal knowledge of the facts stated herein; they are true
    and correct. I am the attorney-in-charge for Sunset Nursing Home, Inc.
    ("Sunset") in the above referenced matter.
    3. In 2013, I conferred with opposing counsel (law firm of Griffin &
    Matthews) for Rebecca Ann, Inc.; Plantation Health Care Center, Inc.; Donald
    Grether and Paul Heinig (collectively "RAI") regarding a docket control order in
    Cause No. 72817, pending before the Honorable Pat Sebesta, in Brazoria
    County, Texas.
    4. At a hearing on or about August 27, 2014, the Trial Court verbally
    granted a continuance of the October 2014 trial date; and, in response to
    Sunset's written and verbal requests for confirmation that all DCO deadlines
    were lifted, stated that all such deadlines were lifted. The Trial Court told the
    parties to confer regarding deadlines for an Amended DCO, and asked to receive
    an update by September 2, 2014.
    5. The evidence in this case reveals RAI retained the law firm of
    Jackson Walker after Sunset filed its first motion to compel on Friday, March
    14, 2014 in Cause No. 72817. That motion was set for hearing in March 2014.
    RAI produced a retention agreement with Jackson Walker, dated March 18,
    2014 (see Tab 102 below). The retention agreement was addressed to Donald
    Grether, Paul A. Heinig, and Rebecca Ann, Inc., "c/o Stephen Coleman" at Mr.
    Coleman's address, 129 Country Road 51, Rosharon, Texas. Thereafter, RAI
    requested the Trial Court to postpone the March hearing on that motion and the
    scheduled deposition of RAI's corporate representative. The hearing was
    rescheduled to April 2, 2014 and the deposition postponed.
    6. In May 2014, the Court heard arguments on another motion to
    compel filed by Sunset. In that motion, among other things, Sunset sought
    production of RAI's policies and procedures for the Clute and Lake Jackson
    facilities. The Court, sua sponte, ordered RAI to produce the policies and
    procedures for in camera review. Sunset has filed two motions requesting the
    Court to reconsider its ruling regarding the policies and procedure documents.
    (See Tabs 85 and 105, below.)
    7.   At a hearing in January 2015, the Trial Court sua sponte ordered
    RAI to produce for in camera inspection documents from a 2010 appraisal of
    the Clute and Lake Jackson facilities that were the subject of a motion to compel
    filed by Sunset. See also Tab 104 below.
    8. At a hearing in February 2015, the Trial Court heard arguments on
    Sunset's motion to compel and Country Village Care, Inc.'s ("CVC") (a
    Grether-owned nursing facility located in Angleton, Texas) motion for
    protection concerning a subpoena for documents that Sunset served on third-
    party MDS Research ("MDS"). At that hearing, the Court sua sponte ordered
    MDS to tmn over all responsive documents to CVC's counsel (who is also
    RAI' s counsel) and for him to submit MDS' documents to the Trial Court for in
    2
    camera inspection. At the March 2015 hearing, Sunset requested the Court
    reconsider that ruling. The request was denied. See Tab 39 below.
    9. Sunset has been informed that, at present, the Trial Court maintains
    possession of three groups of documents Sunset has sought in discovery, which
    were the subject of motions to compel, and sua sponte ordered for in camera
    review by the Court. No claim of privilege has been asserted by any party over
    any of the groups of documents. Those three groups of documents are: the
    MDS documents (~8 above), the policies and procedures that were in use at the
    Clute and Lake Jackson facilities under RAI (~6 above), and the 2010 appraisal
    documents (~7 above).
    10. In the days immediately preceding the filing of the petition for writ
    of mandamus, in response to a request as to the status of the in camera reviews
    on the appraisal and MDS documents, the Court Coordinator notified me that
    the documents would be available for review at the courthouse, but that no
    decision had yet been made by the Trial Court regarding production. (See also
    Tab 103 below).
    11. Steve Coleman attended several depositions in this matter, over
    Sunset's objection (because he is a fact witness). See Tab 12 below.
    12. The documents numbered 2-101 and included in this Record on
    Mandamus are true and correct copies, described as follows:
    TAB                                  DOCUMENT
    2    Consolidated Order from Judge Sebesta, signed May 5, 2015
    3    Lease Agreement, dated July 1, 1990, between Sunset Nursing Home, Inc.
    and Plantation Health Care Center, Inc. for the Clute Facility
    4    Lease Agreement, dated May 1, 1991, between Sunset Nursing Home and
    Plantation Health Care Center, Inc. for the Lake Jackson Facility
    5    Lease Guaranty Agreement, dated October 19, 1990, between Sunset
    Nursing Home, Inc. and Donald and Rebecca Grether for the Clute
    Facility
    6    Lease Guaranty Agreement, dated April 29, 1991, between Sunset
    Nursing Home, Inc., and Donald and Rebecca Grether for the Lake
    Jackson Facility
    3
    TAB                                   DOCUMENT
    7    Sublease Agreement between Plantation Health Care Center, Inc. and
    Rebecca Ann, Inc., effective January 1, 1994
    8    RAI' s 2010 State Cost Reports for Clute and Lake Jackson facilities
    9    Correspondence, dated October 25, 2010, from Steve Coleman to Kim
    Richardson re offer by the Grether Family to buy the Lake Jackson
    Facility
    .10   Deposition transcript of Sara Richards, taken on December 19, 2014
    11   Deposition transcript of Guindal Smith, taken on October 1, 2014
    12   Deposition transcript of Steve Coleman, taken on November 20, 2014
    13   Email correspondence, dated February 28, 2011, from Steve Coleman to
    Kim Richardson re change of ownership
    14   Email correspondence from Fawncyne Worley (then-Administrator, Clute
    Facility) to Sara Richards re "put the scare in Sunset"
    15   Email correspondence, dated April 4, 2011, from Phillip Wells (Hallmark
    Medicare services provider to the Grethers) to Kathy Simpson re updated
    on the Smiths (Sunset) and the Grethers
    16   Email c01Tespondence, dated April 1, 2011, from Steve Coleman to Kim
    Richardson re not transferring the facility names
    17   RAI letters to terminate vendor contractors, dated March 29, 2011
    18   CMS Forms 855, signed by RAI, terminating Medicare for (1) Clute and
    (2) Lake Jackson facilities
    19   Lease Extension Agreements for (1) Clute and (2) Lake Jackson facilities
    20   Email correspondence, dated May 4, 2011, from Dee Ann Toro (State of
    Texas) to Sunset re Medicare Certification Process
    21   2010 State Cost Report for Country Village Care, Inc., Angleton, Texas
    22   [BLANK]
    4
    TAB                                   DOCUMENT
    23   2011 State Cost Report for Country Village Care, Inc., Angleton, Texas
    24   2012 State Cost Report for Country Village Care, Inc., Angleton, Texas
    25   2012 Cost Report (Sunset) for the Clute Facility [CONFIDENTIAL]
    26   2012 Cost Report (Sunset) for the Lake Jackson Facility
    [CONFIDENTIAL]
    27   Sunset Nursing Home, Inc.' Second Set of Request for Production, served
    October 29, 2013
    28   Sunset Nursing Home, Inc.' s Motion to Compel Plaintiffs Production of
    Documents, filed March 14, 2014
    29   Plaintiffs' Collective Responses to Defendant, Sunset Nursing Home,
    Inc.'s Requests for Production, served November 4, 2013
    30   Correspondence, dated September 2, 2014, from Felicia Harris to Judge
    Sebesta re deadlines for an amended DCO
    31   Order, signed April 2, 2014
    32   Email correspondence, dated April 23, 2014, from Breck Harrison to
    Felicia Harris re Medicare termination documents [CMS Forms 855,see
    also 18 above]
    33   Rebecca Ann, Inc. corporate representative's (Amy Stewart) deposition
    transcript, taken on May 6, 2014
    34   Gayle Jacobs' deposition transcript, taken on July 11, 2014
    35   Sunset Nursing Home, Inc.' s ( 1) Motion for Sanctions, filed August 25,
    2014; (2) Supplemental Motion for Sanctions, filed September 15, 2014;
    and (3) Second Supplemental Motion for Sanctions, filed September 19,
    2014
    36    Sunset Nursing Home, Inc. 's Motion to Compel Plaintiff and Counter-
    Defendants' Production of Documents, filed May 21, 2014
    37   Order, signed September 30, 2014, re RAI's policies and procedures
    5
    TAB                                  DOCUMENT
    38   Agreed Protective Order, signed November 25, 2013
    39   Hearing transcript, March 24, 2015
    40   Email correspondence, dated June 19, 2014, from Breck Harrison to
    Felicia Harris re depositions
    41   Fourth Amended Notices of Deposition for Guindal and Jimmy Smith,
    served on September 25, 2014
    42   Plaintiffs' Motion to Quash Deposition of Steve Coleman, filed July 9,
    2014
    43   Email correspondence, dated October 20, 2014, from Felicia Harris to
    Breck Harrison re Sara Richards' deposition
    44   Notice of Deposition for Sara Richards, served October 20, 2014
    45   Motion to Quash Sara Richards Deposition, filed October 23, 2014
    46   Amended Notice of Deposition for Sara Richards, served November 10,
    2014
    47   Plaintiffs' Motion to Compel Mediation, filed on December 5, 2014
    48   Sunset Nursing Home, Inc.'s Second Amended Answer, Fifth Amended
    Counterclaim and 4th Amended Third-Party Petition, dated January 26,
    2015
    49   Sunset Nursing Home, Inc. 's 2nct Amended Answer, 5th Amended
    Counterclaim and 4th Amended Third-Party Petition, filed on April 21,
    2015
    50   Plaintiffs' and Third-Party Defendants' Supplemental Motion to Strike
    and for Sanctions, dated April 22, 2015
    51   Email correspondence, dated December 8, 2014, from Scott Weatherford
    to Felicia Harris re deadline for amended DCO
    52   RAI's Response to Sunset Nursing Home, Inc. 's 6th [ih] Request for
    Production, served December 3, 2014
    6
    TAB                                  DOCUMENT
    53   Sunset's Subpoena Duces Tecum to MDS Research Company, served on
    February 4, 2015
    54   Sunset Nursing Home, Inc.' s Supplemental Combined Motion to Compel,
    served on January 23, 2014
    55   Non-Party Country Village Care, Inc. 's Motion for Protection (Subpoena:
    MDS Research), filed on February 16, 2015
    56   Hearing transcript (re subpoena served on MDS Research Company),
    dated February 24, 2015
    57   Correspondence, dated March 30, 2015, from Scott Weatherford to Judge
    Sebesta re MDS Research documents for in camera inspection
    58   Order, signed April 6, 2015, re MDS Research documents for in camera
    inspection
    59   Sunset Nursing Home, Inc.'s Motion for Entry of Proposed Docket
    Control Order, filed March 11, 2014
    60   Docket Control Order, signed April 2, 2014
    61   Hearing Transcript, June 23, 2014
    62   Sunset Nursing Home, Inc.' s Motion to Compel, Supplemental Motion for
    Amended Docket Control Order and Motion for Continuance, filed
    August 21, 2014
    63   Email correspondence, dated August 27, 2014, between Breck Harrison
    and Felicia Harris re amended DCO
    64   Email correspondence, dated October, 2014, between Felicia Harris to
    Breck Harrison re amended DCO
    65   Email correspondence, dated October 15, 2014, from Scott Weatherford to
    Felicia Harris re deadlines re deadlines for amended DCO
    66   Email string between Felicia Harris and Breck Harrison re amended DCO
    67   Email correspondence, dated September 8, 2014, from Court Coordinator
    7
    TAB                                    DOCUMENT
    to Counsel re deadlines for amended DCO
    68   Sunset Nursing Home, Inc. 's (1) No Evidence and Traditional Motion for
    Partial Summary Judgment, filed February 13, 2015, and (2) Reply in
    Support of No Evidence and Traditional Motion Partial for Summary
    Judgment, filed on February 24, 2015
    69   Sunset Nursing Home, Inc.'s Second Amended Answer, Fourth Amended
    Counterclaim and Third Amended Third-Party Petition, filed September
    18,2014
    70   Email, dated November 21, 2014, from Breck Harrison to Felicia Harris re
    depositions
    71   Plaintiffs' Motion to Quash Amy Stewart Deposition, filed on January 26,
    2015
    72   Email correspondence, dated January 19, 2015, from Court Coordinator to
    Felicia Harris re hearing
    73   Plaintiffand Third-Party Defendants' Motion to Strike and for Sanctions,
    filed February 13, 2015
    74   Third-Party Defendant Stephen M. Coleman's Rule 91a Motion to
    Dismiss, filed March 18, 2015
    75   Sunset Nursing Home, Inc.'s Supplemental Opposition to Motion to
    Strike, filed April 27, 2015
    76   Third-Party Defendant Stephen M. Coleman's Notice of Withdrawing
    Rule 91 a Motion to Dismiss, filed on April 22, 2015
    77   Paul Heinig Deposition transcript, taken on May 16, 2014
    78   Donald Grether Deposition transcript, taken on January 29, 2015
    79   Sunset's demand letter, dated February 4, 2013, from Luis Acevedo to
    Paul Heinig and RAI
    80   Plaintiffs' (RAI, et al.) Original Petition, filed on May 23, 2013
    8
    TAB                                   DOCUMENT
    81   Defendant's (Sunset) Answer to Plaintiff's Original Petition and
    Counterclaim, filed on June 4, 2013
    82   Sunset Nursing Home, Inc. ' s First Amended Answer, Counterclaim and
    Third-Party Petition, filed on October 29, 2013
    83   Original Answer of Country Village Care, Inc., Grether Health Facilities,
    LLC, Sara Richards and Amy Stewart, filed on February 23, 2015
    84   Correspondence, dated May 4, 2011, from Center for Medicare &
    Medicaid Services to Amy Stewart
    85   Sunset Nursing Home, Inc. 's Motion to Reconsider (Policies and
    Procedures in camera ruling), filed September 17, 2014
    86   Affiliation Agreement between Grether Health Care Facilities, LLC and
    RAI, for the Lake Jackson Facility
    87   Affiliation Agreement between Grether Health Care Facilities, LLC and
    RAI, for the Clute Facility
    88   Original Answer of Country Village Care, Inc., Grether Health Care
    Facilities, LLC, Sara Grether Richards and Amy Grether Stewart, filed
    February 23, 2015
    89    Plaintiffs' and Counter-Defendants ' Objections and Responses to Sunset
    Nursing Home, Inc.' s Fourth Request for Production of Documents,
    served on June 9, 2014
    90    Plaintiff and Counter-Defendant Rebecca Ann, Inc.' s Objections and
    Responses to Sunset Nursing Home, Inc.'s Eighth [Ninth] Request for
    Production, served on February 2, 2015
    91    Subpoena Duces Tecum to Country Village Care, Inc., dated May 1, 2014
    92    Correspondence, dated February 12, 2015, from Breck Harrison to Judge
    Sebesta re appraisal records for in camera review
    93    Correspondence, dated October 31, 2014, from Felicia Harris to Judge
    Sebesta re depositions scheduling
    9
    TAB                                    DOCUMENT
    94   Correspondence, dated September 25, 2014, from Felicia Harris to Judge
    Sebesta attaching Proposed Order on Motions to Compel
    95   Correspondence, dated December 10, 2014, from Felicia Harris to Judge
    Sebesta re Plaintiffs' Motion to Compel Mediation
    96   Email correspondence, dated July 17, 2014, from Scott Weatherford to
    Felicia Harris re in camera production of policies and procedures
    97   Email correspondence, dated April 13, 2015, from Court Coordinator to
    Felicia Harris re status of in camera review on appraisal and MDS
    documents
    98   Correspondence, dated September 15, 2014, from Breck Harrison to Judge
    Sebesta re submission of RAI vendor agreements for in camera review
    99   Email correspondence, dated April 1, 2015, from Court Coordinator to
    Counsel re Court's unilateral decision to continue trial from April to
    August 2015
    100    Email correspondence, dated April 24, 2015, from Court Coordinator to
    Counsel re matters taken under advisement and expected ruling on in
    camera documents
    101    Third-Party Defendant Stephen M. Coleman's Original Answer and
    Request for Disclosure, filed February 23, 2015
    102    Jackson Walker retention agreement, dated March 18, 2014
    103    Email correspondence with Court Coordinator re in camera documents,
    June 2015
    104    Correspondence, dated February 17, 2015, from Felicia Harris to Judge
    Sebesta re in camera review of 2010 appraisal documents
    105    Sunset's (1) Consolidated Motion to Compel from the Grethers, filed
    March 17, 2015 and (2) Supplemental Motion to Compel, filed March 19,
    2015
    10
    FURTHER AFFIANT SAYETH NOT."
    SIGNEDthis \1"dayof        ~          ,2015.
    BEFORE ME, Justine Fjeldal, Notary Public in and for the State of Texas,
    on this Ith day of June 2015, personally appeared Felicia Harris, known to me to
    be the person whose name is subscribed to the foregoing instrument and sworn to
    me that she executed the same, that she has personal knowledge of the facts stated
    therein, and that said facts are true and correct.
    11
    

Document Info

Docket Number: 01-15-00530-CV

Filed Date: 6/12/2015

Precedential Status: Precedential

Modified Date: 9/29/2016