State Farm Lloyds v. Ginger Hanson ( 2015 )


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  •                                                                             ACCEPTED
    14-15-00093-CV
    FOURTEENTH COURT OF APPEALS
    HOUSTON, TEXAS
    11/20/2015 10:09:15 AM
    CHRISTOPHER PRINE
    CLERK
    NO. 14-15-00093-CV
    FILED IN
    14th COURT OF APPEALS
    IN THE COURT OF APPEALS                 HOUSTON, TEXAS
    FOR THE FOURTEENTH DISTRICT OF            11/20/2015 10:09:15 AM
    TEXAS
    CHRISTOPHER A. PRINE
    HOUSTON, TEXAS                          Clerk
    STATE FARM LLOYDS,
    Appellant
    v.
    GINGER HANSON,
    Appellee
    On Appeal from Cause No. 2012-68087
    In the 281st Judicial District Court
    Harris County, Texas
    APPELLANT STATE FARM LLOYDS’
    UNOPPOSED MOTION FOR A 17-DAY EXTENSION OF TIME
    TO FILE REPLY BRIEF
    Kevin G. Cain
    State Bar No. 24012371
    cain@mdjwlaw.com
    Levon G. Hovnatanian
    State Bar No. 10059825
    hovnatanian@mdjwlaw.com
    MARTIN, DISIERE, JEFFERSON & WISDOM, L.L.P.
    808 Travis, Suite 1800
    Houston, Texas 77002
    Telephone: (713) 632-1700
    Facsimile: (713) 222-0101
    TO THE HONORABLE COURT OF APPEALS:
    Comes now the appellant, State Farm Lloyds (“State Farm”), and
    respectfully moves for a 17-day extension of time to file its reply brief. State Farm
    has requested and received one previous extension of time (of 30 days) to file its
    reply brief.
    The current deadline for State Farm to file its reply brief is Friday,
    November 20, 2015. See TEX. R. APP. P. 38.6(c). This motion is filed on Friday,
    November 20, 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, one of State Farm’s appellate counsel, has been
    extremely busy with other pressing matters:
    1.      Mr. Hovnatanian assisted in preparing the brief of appellee Mid-
    Century Insurance Co., filed on November 2, 2015 (after two extensions), in Cause
    No. 07-26-00037-CV; WC 1217-1221 Haven Lane, LP, Appellant v. Mid-Century
    Insurance Co., Appellee; in the Seventh Court of Appeals.
    2.      Mr. Hovnatanian prepared for, and presented oral argument on
    November 4, 2015, on behalf of the real party in interest, United Services
    2
    Automobile Association, in Cause No. 14-1006; In re Stacey Bent and Mark Bent;
    in the Supreme Court of Texas.
    3.    Mr. Hovnatanian is preparing the brief of one of the appellees, MPF
    Investments, LLC D/B/A “A-1 Rent All,” due on November 16, 2015 (with an
    extension pending), 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.
    4.    Mr. Hovnatanian is assisting in preparing a petition for review, due on
    November 16, 2015 (after one extension, and the second extension is pending), 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.
    5.    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.
    3
    Kevin Cain, State Farm’s appellate counsel who has performed much work
    on this case, also has been extremely busy with other pressing matters:
    1.    Mr. Cain is preparing to present oral argument on December 3, 2015,
    on behalf of appellee Integrity Insurance Solutions, in No. 14-15-00042-CV;
    Benson Scott Wyly, Appellant v. Essex Insurance Company, U.S. Risk, Inc., and
    Integrity Insurance Solutions, Appellees; in the Fourteenth Court of Appeals.
    2.    Mr. Cain prepared for, and, on November 10, 2015, attended the
    telephonic hearing on the motion to enforce settlement, on behalf of Farmers
    Insurance Company, in MDL Cause No. 2015CV2002272D5; In Re Farmers Ins.
    Co. Wind/Hail Storm Litigation; Cause No. C-0455-13-E; Tucan Enterprises LLC
    d/b/a Collision Specialists v. Truck Ins. Exch.; in the 275th Judicial District Court
    of Hidalgo County, Texas.
    3.    Mr. Cain prepared for, and, on November 11, 2015, filed the response
    to the post-hearing questions in MDL Cause No. 2015CV2002272D5; In Re
    Farmers Ins. Co. Wind/Hail Storm Litigation; Cause No. C-0455-13-E; Tucan
    Enterprises LLC d/b/a Collision Specialists v. Truck Ins. Exch.; in the 275th
    Judicial District Court of Hidalgo County, Texas.
    4.    Mr. Cain prepared, and filed on November 13, 2015, Farmers’
    Verified Motion for Temporary Sealing Order, Motion to Seal, and Motion for
    Protection, in matters relating to In re Farmers Insurance Company Wind/Hail
    4
    Storm Litigation, MDL No. 2015-37067, Harris County; MDL No. 048-000001-
    15, Tarrant County; and MDL No. 2015-CV2002272D5, Webb County.
    5.    Mr. Cain prepared for, and, on November 17, 2015, filed the post-oral
    argument letter-brief and response in No. 14-31321; Cameron International Corp.
    v. Liberty Insurance Underwriters Inc.; in the Fifth Circuit Court of Appeals
    Based on the above, appellant State Farm Lloyds respectfully requests a 17-
    day extension of time to file its reply brief, that is, to and including Monday,
    December 7, 2015.
    Respectfully submitted,
    MARTIN, DISIERE, JEFFERSON & WISDOM, L.L.P.
    By: /s/ Kevin G. Cain
    Kevin G. Cain
    State Bar No. 24012371
    cain@mdjwlaw.com
    Levon G. Hovnatanian
    State Bar No. 10059825
    hovnatanian@mdjwlaw.com
    808 Travis, 20th Floor
    Houston, Texas 77002
    (713) 632-1700 – Telephone
    (713) 222-0101 – Facsimile
    ATTORNEYS FOR APPELLANT
    STATE FARM LLOYDS
    5
    CERTIFICATE OF CONFERENCE
    This is to certify that on November 19, 2015, the undersigned communicated
    with Ms. Melissa Wray, counsel for appellee Ginger Hanson, and Ms. Wray
    advised that she does not oppose this motion.
    /s/ Levon G. Hovnatanian
    Levon G. Hovnatanian
    CERTIFICATE OF COMPLIANCE
    This is to certify that this computer-generated appellant’s unopposed motion
    for a 17-day extension of time to file reply brief contains 706 words.
    /s/ Levon G. Hovnatanian
    Levon G. Hovnatanian
    Dated: November 20, 2015
    CERTIFICATE OF SERVICE
    This is to certify that a true and correct copy of the foregoing unopposed
    motion for a 17-day extension of time to file reply brief of appellant has been
    forwarded to the individual(s) listed below, by the method indicated, on this 20th
    day of November, 2015:
    Mr. Richard D. Daly
    rdaly@dalyblack.com
    Mr. John Black
    jblack@dalyblack.com
    Ms. Melissa Waden Wray
    mwray@dalyblack.com
    RICHARD DALY LAW FIRM
    2211 Norfolk Street, Ste. 800
    Houston, Texas 77098
    (via e-filing and e-mail)
    (Attorneys for appellee Ginger Hanson)
    /s/ Levon G. Hovnatanian
    Levon G. Hovnatanian
    6
    

Document Info

Docket Number: 14-15-00093-CV

Filed Date: 11/20/2015

Precedential Status: Precedential

Modified Date: 9/30/2016