Opinion

Texas State Board of Veterinary Medical Examiners, and Nicole Oria, in Her Official Capacity as Executive Director// Ellen Jefferson, D.V.M. v. Ellen Jefferson, D.V.M.// Texas State Board of Veterinary Medical Examiners, and Nicole Oria, in Her Official Capacity as Executive Director

Court
Texas Court of Appeals, 3rd District (Austin)
Filed
Nov 16, 2015
Status
Published
Cited by
0 cases

The opinion

ACCEPTED

03-14-00774-CV

7846842

THIRD COURT OF APPEALS

AUSTIN, TEXAS

11/16/2015 3:01:09 PM

JEFFREY D. KYLE

CLERK

NO. 03-14-00774-CV

____________________________________________________

FILED IN

3rd COURT OF APPEALS

IN THE THIRD COURT OF APPEALS AUSTIN, TEXAS

AT AUSTIN, TEXAS 11/16/2015 3:01:09 PM

____________________________________________________

JEFFREY D. KYLE

Clerk

TEXAS STATE BOARD OF VETERINARY MEDICAL EXAMINERS, and

NICOLE ORIA, in her Official Capacity as Executive Director

Appellants/Cross-Appellees,

v.

ELLEN JEFFERSON, D.V.M.,

Appellee/Cross-Appellant.

____________________________________________________

On Appeal from the 127th Judicial District Court of Travis County, Texas

Cause No. D-1-GN-14-000287

The Honorable Gisela D. Triana presiding

_________________________________________________

APPELLEE/CROSS-APPELLANT’S UNOPPOSED MOTION

FOR EXTENSION OF TIME TO FILE REPLY

____________________________________________________

TO THE HONORABLE JUSTICES OF THE THIRD COURT OF APPEALS:

Appellee/Cross-Appellant, Ellen Jefferson, D.V.M., respectfully requests this Court to

grant an extension of time to file her reply to TBVME’s Suggestion of Mootness to November

20, 2015, and in support would show the Court as follows:

1. Ellen Jefferson requests an extension of time to file her reply to November 20,

2015.

2. The reason for the request is that the undersigned counsel for Ellen Jefferson has

a summary judgment opposition brief due on November 17, 2015 in Texas County and District

Retirement System v. Wexford Spectrum Fund, L.P., No. D-1-GN-13-01141 (Travis Co. Dist. Ct.).

3. This Motion is not interposed for the purpose of delay, but only for the purpose of

allowing counsel to adequately prepare and file Ellen Jefferson’s reply and fully address the

issues in TBVME’s Suggestion of Mootness.

4. This motion is unopposed.

Ellen Jefferson therefore respectfully request an extension of time to and including

November 20, 2015 in which to file and serve its reply to TBVME’s Suggestion of Mootness in

the captioned appeal.

Dated: November 16, 2015.

Respectfully submitted,

EWELL, BROWN & BLANKE LLP

____________________________________

David F. Brown

State Bar No. 03108700

dbrown@ebblaw.com

David P. Blanke

State Bar No. 02453600

dblanke@ebblaw.com

111 Congress Avenue, 28TH Floor

Austin, Texas 78701

Telephone: (512) 770-4000

Facsimile: (877) 651-6384

RYAN CLINTON

State Bar No. 24027934

rdclinton@dgclaw.com

DAVIS, GERALD & CREMER, P.C.

111 Congress Ave., Suite 1660

Austin, Texas 78701

Ph: (512) 537-9938

Fax: (432) 687-1735

ATTORNEYS FOR ELLEN JEFFERSON, D.V.M.

CERTIFICATE OF SERVICE

I certify that on November 16, 2015, this document was electronically served on Ted Ross, counsel

for the TBVME, and e-mailed to him at Ted.Ross@texasattorneygeneral.gov.

__________________________________

David P. Blanke

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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