Paul Stamatis, Jr., as Independent of the Estate of Paul Stamatis v. Methodist Willbrook Hospital, the Methodist Health Care System, Daniel Mao, M.D., and Neptune Emergency Services, P.A.
Paul Stamatis, Jr., as Independent of the Estate of Paul Stamatis v. Methodist Willbrook Hospital, the Methodist Health Care System, Daniel Mao, M.D., and Neptune Emergency Services, P.A.
Opinion
ACCEPTED 14-14-00492-CV FOURTEENTH COURT OF APPEALS HOUSTON, TEXAS 5/7/2015 2:16:56 PM CHRISTOPHER PRINE CLERK NO. 14-14-00492-CV IN THE FILED IN 14th COURT OF APPEALS COURT OF APPEALS HOUSTON, TEXAS FOR THE 5/7/2015 2:16:56 PM th JUDICIAL DISTRICT CHRISTOPHER A. PRINE HOUSTON, TEXAS Clerk
PAUL STAMATIS, JR. Appellant v. METHODIST WILLOWBROOK HOSPITAL; DANIEL MAO M.D.; AND NEPTUNE EMERGENCY SERVICES, P.A.
Appellees
Appeal from Cause No. 2010-34910, in the TH District Court of Harris County, Texas ___________________________________________________________ APPELLEES’ MOTION FOR LEAVE TO FILE POST-SUBMISSION BRIEF ___________________________________________________________ TO THE HONORABLE COURT OF APPEALS: Appellees Houston Methodist Willowbrook Hospital, Daniel Mao, M.D., and Neptune Emergency Services, P.A. file this Motion for Leave to File Post- Submission Brief.
Appellees seek leave to file the three-page Post-Submission Brief submitted concurrently herewith to respond to questions posed by the justices at oral argument on April 30, 2015 as to the basis of the trial court’s authority to determine that the emergency standard of proof applied to Appellant’s claims as a matter of law following the pretrial conference. Based on the questions posed by the Justices, Appellees believe that a concise brief on this point would assist the Court in its deliberations.
PRAYER FOR RELIEF For the reasons set forth above, Appellees request that this Court grant their Motion for Leave to File Post-Submission Brief, direct the clerk to accept and file Appellees’ Post-Submission Brief, and grant them all other relief to which they may be entitled.
Respectfully submitted, DE LA ROSA LAW FIRM
/s/ Oscar L. De la Rosa Oscar L. De la Rosa State Bar No. 00787351 [email protected] Aron L. Gregg State Bar No. 24027214 [email protected] Three Riverway, Suite 1820 Houston, Texas 77056 (713) 395-0991 (713) 395-0995 (fax) ATTORNEYS FOR APPELLEE, HOUSTON METHODIST WILLOWBROOK HOSPITAL
CARDWELL & CHANG, P.L.L.C.
By:______________________________ LaVerne Chang State Bar No. 00783819 Lovett Blvd. Houston, Texas 77006 Telephone: (713) 222-6025 Facsimile: (713) 222-0938 ATTORNEYS FOR APPELLEES DANIEL MAO, M.D. AND NEPTUNE EMERGENCY SERVICES, P.A.
CERTIFICATE OF CONFERENCE As required by Texas Rule of Appellate Procedure 10.1(a)(5), I certify that I have conferred, or made a reasonable attempt to confer, with all other parties, which are listed below, about the merits of this motion with the following results: Craig Lewis, Counsel for Appellant, [X] opposes motion [ ] does not oppose motion [ ] agrees with motion [ ] would not say whether motion is opposed [ ] did not return my message regarding the motion.
/s/ Oscar L. De la Rosa
LaVerne Chang, Counsel for Daniel Mao, M.D. and Neptune Emergency Services, P.A.
[ ] opposes motion [ ] does not oppose motion [X] agrees with motion [ ] would not say whether motion is opposed [ ] did not return my message regarding the motion.
/s/ Oscar L. De la Rosa
Date: May 7, 2015
CERTIFICATE OF SERVICE As required by Texas Rules of Appellate Procedure 6.3 and 9.5(b), (d), (e), I certify that I have served this document on all other parties—who are listed below—on the 7th day of May, 2015 by facsimile and electronic service.
Counsel for Appellant Paul Stamatis, Jr.: Craig Lewis The Lewis Law Firm 2905 Sackett Street Houston, Texas 77098 Facsimile: 713-328-7888 Counsel for Daniel Mao, M.D. and Neptune Emergency Services, P.A.: La Verne Chang Cardwell & Chang Lovett Blvd. Houston, Texas 77006 Facsímile: 713-222-0938
/s/ Oscar L. De la Rosa
Case-law data current through December 31, 2025. Source: CourtListener bulk data.