Delores Galvan v. Robert Leake, Individually and Zebra Instruments Corporation ( 2015 )


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  •                                                                                                      ACCEPTED
    03-15-00376-CV
    8353588
    THIRD COURT OF APPEALS
    AUSTIN, TEXAS
    12/23/2015 8:32:02 AM
    JEFFREY D. KYLE
    CLERK
    IN THE COURT OF APPEALS
    THIRD JUDICIAL DISTRICT OF TEXAS
    AUSTIN, TEXAS
    FILED IN
    3rd COURT OF APPEALS
    DELORES GALVAN                            §                              AUSTIN, TEXAS
    Appellant                               §                         12/23/2015 8:32:02 AM
    §                             JEFFREY D. KYLE
    v.                                        §                    CASE NO. 03-15-000376-CV
    Clerk
    §
    ROBERT LEAKE, INDIVIDUALLY                §
    AND ZEBRA INSTRUMENTS                     §
    CORPORATION                               §
    Appellees                              §
    _____________________________________________________________________________________
    APPELLEES’ FIRST MOTION FOR EXTENSION OF TIME (AGREED)
    _____________________________________________________________________________________
    COMES NOW, Robert Leake and Zebra Instruments Corporation, and files this
    their First Motion for Extension of Time to File Response Brief, and in support thereof
    would show as follows:
    Ebenezer:             You'll want the whole day off tomorrow, I suppose.
    Bob Cratchit:         If quite convenient, sir.
    Ebenezer:             It's not convenient. And it's not fair! If I stopped you half a
    crown for it, you'd think yourself ill used, wouldn't you? But you
    don't think me ill used if I pay a day's wages for now work,
    hmm?
    Bob Cratchit:         'Tis only once a year, sir.
    Ebenezer:             That's a poor excuse for picking a man's pocket every 25th of
    December.
    Bob Cratchit:         Yes, sir. I'm sure I'm very sorry, sir, to cause you such an
    inconvenience. It's the family more than me, sir. They put their
    hearts into Christmas as it were, sir.
    Ebenezer:             Yes, and put their hands into my pockets as it were, sir. I
    suppose you'd better have the whole day. But be back all the
    earlier the next morning.
    1
    Bob Cratchit:        I will indeed, sir. Thank you, sir! It's more than generous of
    you, sir. 1
    I.
    HISTORY OF THE CASE
    Appellant filed its appellate brief on December 7, 2015.          Despite counsel’s
    representation to this Court that a copy of the brief was provided to the undersigned
    through the electronic filing manager, the brief was not copied to the e-mail addresses
    already on file in this case with www.E-File.Txcourts.gov, whether that be through an
    omission on the part of Mr. Ogle’s office or some other problem. Appellee received a copy of
    the brief when the undersigned checked the Court’s docket on December 17, 2015 to see
    whether Appellant had complied with this Court’s current deadline.
    II.
    RELIEF SOUGHT
    Appellant’s filing on December 7, 2015 means that Appellees’ response brief is due
    on January 6, 2015. T.R.A.P. 38.6(b) The undersigned is out for Christmas vacation from
    December 24th until January 4th The return date falls two business days before the brief is
    due, which is insufficient time to have it ready to file. Appellants request an extension of
    30 days to file a response to Appellant’s brief.     There have been no previous requests for
    extensions filed by Appellant. This motion is agreed between counsel.
    WHEREFORE, PREMISES CONSIDERED, Appellees Robert Leake and Zebra
    Instruments Corporation pray that Appellee’s Motion for Extension of Time be in all things
    GRANTED.
    1
    A Christmas Carol (1951)
    2
    Respectfully submitted,
    SNEED VINE & PERRY
    A PROFESSIONAL CORPORATION
    By:           /s/ Christopher Stanley____________
    Christopher Stanley
    Texas Bar No. 19044400
    Email for filings only:
    gtwnfilings@sneedvine.com
    108 East 8th Street
    Georgetown, TX 78626
    Tel. (512) 930-9775
    Fax. (512) 819-9707
    ATTORNEY FOR DEFENDANTS
    ROBERT LEAK AND ZEBRA INSTRUMENTS
    CORPORATION
    CERTIFICATE OF CONFERENCE
    On December 22, 2015, Mr. Ogle’s was contacted by phone, and asked whether or
    not he opposed this motion. Mr. Ogle was not available for a response but would return the
    phone call. On the same date, the undersigned send an e-mail to Mr. Ogle with the same
    query. On December 23, 2015, On December 23, 1015, Mr. Ogle emailed the undersigned
    and advised that the motion was agreed.
    /s/ Christopher Stanley____________
    Christopher Stanley
    CERTIFICATE OF SERVICE
    I certify that on December 23, 2015, a true and correct copy of the foregoing pleading
    was served via email to Scott Ogle via soglelaw@peoplepc.com and the transmission was
    reported as complete.
    /s/ Christopher Stanley____________
    Christopher Stanley
    3
    

Document Info

Docket Number: 03-15-00376-CV

Filed Date: 12/23/2015

Precedential Status: Precedential

Modified Date: 9/30/2016