Opinion

Victory Cheval Holdings, LLC Garrett Jennings And Castle Crown Management, LLC v. Dennis Antolik Victor Antolik And Cheval Manor, Inc. D/B/A Austin Polo Club

Court
Texas Court of Appeals, 3rd District (Austin)
Filed
Dec 1, 2015
Status
Published
Cited by
0 cases

The opinion

ACCEPTED

03-15-00464-CV

8036292

THIRD COURT OF APPEALS

AUSTIN, TEXAS

12/1/2015 2:57:16 PM

JEFFREY D. KYLE

CLERK

NO. 03-15-00464-CV

__________________________________________________

FILED IN

3rd COURT OF APPEALS

IN THE COURT OF APPEALS AUSTIN, TEXAS

THIRD JUDICIAL DISTRICT OF TEXAS12/1/2015 2:57:16 PM

AT AUSTIN JEFFREY D. KYLE

________________________________________________Clerk

VICTORY CHEVAL HOLDINGS, LLC, GARRETT JENNINGS

AND CASTLE CROWN MANAGEMENT, LLC,

Appellants

v.

DENNIS ANTOLIK, VICTOR ANTOLIK

and CHEVAL MANOR, INC.,

Appellees

APPELLEES’ AGREED MOTION FOR

SECOND EXTENSION OF DEADLINE TO FILE

SUPPLEMENTAL CLERK’S AND REPORTER’S RECORDS

TO THE HONORABLE THIRD COURT OF APPEALS:

Appellees Dennis Antolik and Cheval Manor, Inc. (“Appellees”) file this

motion to extend the deadline to file supplemental clerk’s and reporter’s records

from the hearing on the cross motions for contempt referred to the trial court by

this Court. The parties have not submitted a supplemental record from the

contempt hearing, because that hearing has not yet occurred. Because has been

continued to January 6, 2016, Appellees respectfully request that the supplemental

8590-02/00541175.000

1

record deadline be extended until January 20, 2016.

This an interlocutory appeal from a temporary injunction. Both sides have

filed motions for contempt, which this Court referred to the trial court for hearing

in orders issued on September 10 and 28, 2015. At the request of the parties, the

Court previously extended the deadline to submit supplemental clerk’s and

reporter’s records to November 24, 2015.

After extensive negotiations, the parties have agreed on a general framework

that they believe will finally resolve all disputes between the parties, including this

appeal and the contempt motions. Because the parties are still finalizing the details

of their settlement, they agreed to continue the contempt hearing until January 6,

2016. The trial court also requested that it be allowed two weeks after the hearing

to prepare the supplemental clerk’s and reporter’s records. The parties missed the

November 24, 2015 supplemental record deadline because they and the trial

court’s staff were still trying to coordinate a date on which to reset the contempt

hearing, which was not settled until the day of the filing of this motion.

PRAYER

Accordingly, Appellees Dennis Antolik and Cheval Manor, Inc. respectfully

request that the Court extend the deadline for all parties to submit the supplemental

clerk’s and reporter’s records from the contempt hearing until January 20, 2016.

8590-02/00541175.000

2

Respectfully submitted,

TAUBE SUMMERS HARRISON

TAYLOR MEINZER BROWN LLP

By: /s/ Cleveland R. Burke

Mark C. Taylor

State Bar No. 19713225

Cleveland R. Burke

State Bar No. 24064975

100 Congress Avenue, 18th Floor

Austin, Texas 78701

(512) 472-5997

(512) 472-5248 (FAX)

mtaylor@taubesummers.com

cburke@taubesummers.com

ATTORNEYS FOR DENNIS ANTOLIK

AND CHEVAL MANOR, INC.

CERTIFICATE OF CONFERENCE

I hereby certify that I conferred via email with Appellee Victor Antolik’s

attorney Jack Bacon and Appellants’ attorneys Kemp Gorthey and Peyton Smith,

all of whom agreed to the relief sought in this motion.

/s/ Cleveland R. Burke

Cleveland R. Burke

8590-02/00541175.000

3

CERTIFICATE OF SERVICE

I hereby certify that the counsel listed below were served with a true and

correct copy of the foregoing motion via eFile.TXCourts.gov on December 1,

2015:

Kemp Gorthey Jack Bacon

The Gorthey Law Firm 3839 Bee Caves Rd., Ste. 100

604 W. 12th Street Austin, Texas 78746

Austin, Texas 78701 hotbacon@me.com

kemp@gortheylaw.com Counsel for Appellee Victor Antolik

Counsel for Appellants Garrett Jennings

and Castle Crown Management, LLC

Peyton N. Smith

Brian L. King

Reed & Scardino LLP

301 Congress Avenue, Suite 1250

Austin, Texas 78701

psmith@reedscardino.com

bking@reedscardino.com

Counsel for Appellant

Victory Cheval Holdings, LLC

/s/ Cleveland R. Burke

Cleveland R. Burke

8590-02/00541175.000

4

This is a copy of a public record, reproduced as it was published. It is not legal advice, and it may not be the version a court would rely on. Check the official source before you cite it.

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