Tony R. Saad v. Friedman & Feiger L.L.P. ( 2018 )


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  •                                                                                              ACCEPTED
    05-18-00034-cv
    FIFTH COURT OF APPEALS
    DALLAS, TEXAS
    3/26/2018 5:19 PM
    LISA MATZ
    CLERK
    No. 05-18-00034-CV
    TONY R. SAAD,                                 §     IN THE FIFTH DISTRICT
    FILED IN
    5th COURT OF APPEALS
    §                     DALLAS, TEXAS
    APPELLANT,                                    §                 3/26/2018 5:19:38 PM
    §                       LISA MATZ
    v.                                            §     COURT     OF APPEALSClerk
    §
    FRIEDMAN & FEIGER LLP,                        §
    §
    APPELLEE                                      §     DALLAS, TEXAS
    APPELLANT TONY R. SAAD’S UNOPPOSED MOTION FOR
    EXTENSION OF TIME TO FILE APPELLANT’S BRIEF
    1.     Appellant Tony R. Saad (“Saad” or “Appellant”) respectfully asks the
    Court to allow a 30-day extension to the time to file his Appellant’s Brief.
    2.     There is no specific deadline to file this motion to extend time. See
    TEX. R. APP. P. 38.6(d).
    3.     Counsel for Appellant conferred with Appellee Friedman & Feiger LLP
    (“F&F”), and Appellee does not oppose this motion.
    4.     The Court has authority under Texas Rule of Appellate Procedure
    38.6(D) to extend the time to file a brief.
    5.     Saad’s Brief is currently due on March 28, 2018.
    6.     Saad requests an additional 30 days to file his Brief, extending his
    briefing deadline until April 27, 2018.
    7.     No extension has been granted to extend the time to file Saad’s Brief.
    1
    8.   Saad requests additional time to file his Brief in order to allow the issues
    in this appeal to be fully and completely briefed.
    9.   For these reasons, and based on the Court’s authority, Saad respectfully
    requests that the Court grant an extension of time to file his Brief until April 27,
    2018.
    Respectfully Submitted,
    HEDRICK KRING, PLLC
    /s/ Britton D. McClung
    BRITTON D. McCLUNG
    Texas Bar No. 24060248
    Britt@hedrickkring.com
    JACOB B. KRING
    Texas Bar No. 24062831
    Jacob@hedrickkring.com
    1700 Pacific Ave., Suite 4650
    Dallas, Texas 75201
    P: (214) 880-9600
    F: (214) 481-1844
    ATTORNEYS FOR
    APPELLANT TONY R. SAAD
    2
    CERTIFICATE OF CONFERENCE
    I certify that I conferred with counsel for Appellee regarding the content
    of the foregoing Motion on March 26, 2018, and counsel for Appellee is not
    opposed to the relief sought herein.
    /s/ Britton D. McClung
    Britton D. McClung
    CERTIFICATE OF SERVICE
    I certify that I served by electronic mail, a copy of this Motion on counsel for
    Appellee on the 26th day of March, 2018.
    /s/ Britton D. McClung
    Britton D. McClung
    3
    

Document Info

Docket Number: 05-18-00034-CV

Filed Date: 3/26/2018

Precedential Status: Precedential

Modified Date: 3/28/2018