Victor S. Elgohary, Representatively on Behalf of Nominal Lakes on Eldridge North Community Association, Inc. v. Lakes on Eldridge North Community Association, Inc. RealManage, LLC Darla Kitchen Don Byrnes Michael Ecklund Laura Vasallo Lee John Kane Julie Ann Bennett Rick Hawthorne Cara Davis Christi Keller Jim Flanary Jill Richardson ( 2015 )


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  •                                                                                         ACCEPTED
    01-14-00216-CV
    FIRST COURT OF APPEALS
    HOUSTON, TEXAS
    3/16/2015 8:07:17 AM
    CHRISTOPHER PRINE
    CLERK
    01-14-00216-CV
    FILED IN
    1st COURT OF APPEALS
    IN THE COURT OF APPEALS              HOUSTON, TEXAS
    3/16/2015 8:07:17 AM
    FOR THE FIRST DISTRICT OF TEXAS     CHRISTOPHER A. PRINE
    HOUSTON, TEXAS                       Clerk
    VICTOR S. ELGOHARY
    Appellant / Cross Appellee
    V.
    LAKES ON ELDRIDGE NORTH COMMUNITY ASSOCIATION, INC.;
    REALMANAGE, LLC; DARLA KITCHEN; DON BYRNES; MICHAEL
    ECKLUND; LAURA VASALLO LEE; JOHN KANE; JULIE ANN BENNETT;
    RICK HAWTHORNE; CARA DAVIS; CHRISTI KELLER; JIM FLANARY;
    JILL RICHARDSON; NEIL McLAURIN; WALTER SPEARS
    Appellees,
    V.
    LAKES ON ELDRIDGE NORTH COMMUNITY ASSOCIATION, INC.
    Cross Appellant
    APPELLEES’ SECOND MOTION
    FOR FOUR-DAY EXTENSION TIME TO FILE APPELLEES’ BRIEF
    BASED ON MEDICAL NECESSITY
    TO THE HONORABLE COURT OF APPEALS,
    Appellees, Lakes on Eldridge North Community Association, Inc.,
    Realmanage, LLC, Darla Kitchen, Don Byrnes, Michael Ecklund, Laura Vasallo
    Lee, John. Kane, Julie Ann Bennett, Rick Hawthorne, Cara Davis, Christi Keller,
    Jim Flanary, Jill Richardson, Neil McLaurin, and Walter Spears(“Appellees”) file
    1
    05267.188 / 1730584.1
    this Second Motion for a Four-Day Extension of Time to File Appellees’ Brief
    pursuant to Texas Rule of Appellate Procedure 10 in support thereof would show
    the following circumstances warrant an extension:
    Appellant, Victor S. Elgohary (“Elgohary”) filed his Appellant’s Brief on
    December 1, 2014 after receiving a seventy five (75) day extension of time to file
    his brief. Accordingly, Appellees’ deadline for filing their Appellees’ Brief was
    originally Wednesday, December 31, 2014. Appellees received their first extension
    such that their brief is due on Monday March 16, 2015.
    Appellees seek a brief, four (4) day extension of time as a result of an
    unplanned medical emergency of Appellees’ appellant counsel and lead briefing
    attorney. Specifically, Appellees’ seek an extension of their deadline until Friday,
    March 20, 2015.
    This request for extension of time is not sought to cause delay or prejudice,
    but only so that justice may be done. As stated above, appellate counsel and lead
    brief writer had a medical emergency which required hospitalization for early
    labor. Appellate counsel is presently thirty five (35) weeks pregnant and had to be
    admitted to the hospital for a short period of time. Counsel was not released until
    Saturday afternoon on March 14, 2015, and was advised that similar episodes
    could re-occur at any time. Due to the interruption in the preparation of the brief,
    Appellees request a short extension, so that they may properly finalize the brief
    2
    05267.188 / 1730584.1
    prior to filing. Additionally, Appellees request the extension so that trial counsel
    will have the opportunity to complete the brief in the event that appellate counsel is
    unavailable at the time of the deadline for medical reasons.
    PRAYER
    WHEREFORE PREMISES CONSIDERED, Appellees respectfully request
    that this Honorable Court grant it a second extension of four (4) days to file their
    Appellees’ Brief(s) so that their deadline will be Friday, March 20, 2015, and for
    any such further relief to which they may be entitled.
    Respectfully submitted,
    LeClairRyan
    By:/s/ Brianne W. Richardson_____
    Brianne W. Richardson
    State Bar No. 24056500
    Email:
    brianne.richardson@leclairryan.com
    James J. McConn
    Email:
    james.mcconn@leclairryan.com
    1233 West Loop South, Suite 1000
    Houston, Texas 77027
    Telephone: 713-654-1111
    Facsimile: 713-650-0027
    ATTORNEYS FOR APPELLEES
    3
    05267.188 / 1730584.1
    CERTIFICATE OF SERVICE
    As required by Texas Rule of Appellate Procedure 6.3 and 9.5(b), (d), (e), I certify
    that I have served this document on all other parties which are listed below on
    March 16, 2015 as follows:
    Via email at victor@vselgohary.com (pursuant to TRAP 9.5(b)(2)):
    Victor S. Elgohary
    6406 Arcadia Bend Ct.
    Houston, Texas 77041-6222
    Via email at nmclaurin@bartleyspears.com(pursuant to TRAP 9.5(b)(2)):
    Neil H. McLaurin, IV
    14811 St. Mary’s Lane, Suite 270
    Houston Texas 77079
    /s/ Brianne W. Richardson________
    Brianne W. Richardson
    CERTIFICATE OF CONFERENCE
    As required by Texas Rule of Appellate Procedure 10.1(a)(5), I certify that I
    contacted Appellant/Appellant’s counsel, Victor Elgohary, on March 15, 2015 by
    email. I did not have the opportunity to receive a response from Mr. Elgohary
    prior to filing, and therefore presume that he is opposed.
    /s/ Brianne W. Richardson________
    Brianne W. Richardson
    4
    05267.188 / 1730584.1
    

Document Info

Docket Number: 01-14-00216-CV

Filed Date: 3/16/2015

Precedential Status: Precedential

Modified Date: 9/29/2016