In re Nonparty Patient No. 1, Nonparty Patient No. 2, Nonparty Patient No. 3, Nonparty Patient No. 4, Nonparty Patient No. 5, Nonparty Patient No. 6, Nonparty Patient No. 7, Nonparty Patient No. 8, Nonparty Patient No. 9, Nonparty Patient No. 10, and Nonparty Patient No. 11 v. the State of Texas
Opinion
ACCEPTED 15-25-00032-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 3/26/2025 10:50 AM CHRISTOPHER A. PRINE No. 15-25-00032-CV CLERK In the Court of Appeals 15th AUSTIN, FILED IN COURT OF APPEALS TEXAS for the Fifteenth Judicial District3/26/2025 10:50:55 AM CHRISTOPHER A. PRINE Austin, Texas Clerk
In re NONPARTY PATIENT NO. 1, NONPARTY PATIENT NO. 2, NONPARTY PATIENT NO. 3, NONPARTY PATIENT NO. 4, NONPARTY PATIENT NO. 5, NONPARTY PATIENT NO. 6, NONPARTY PATIENT NO. 7, AND NONPARTY PATIENT NO. 8, NONPARTY PATIENT NO. 9, NONPARTY PATIENT NO. 10, AND NONPARTY PATIENT NO. 11, Relators.
On Writ of Mandamus 493rd Judicial District Court, Collin County UNOPPOSED MOTION FOR EXTENSION OF TIME TO RESPOND To the Honorable Fifteenth Court of Appeals: The State seeks a 14-day extension of time to file its response to the mandamus petition filed by Relators. See Tex. R. App. P. 10.5(b). The State’s response brief is currently due on March 28, 2025. This extension, if granted, would extend the dead- line to April 11, 20245 This is the first extension sought. Non-party Patients do not oppose this request.
This extension is sought not for delay, but rather to allow the State’s counsel adequate time to research, write, and file a brief that will be helpful to the Court.
This mandamus action arises out of a series of active litigations currently going for- ward in Collin County, Dallas County, and this Court. See, e.g., Case No. 15-25- 00021-CV (accelerated appeal out of Dallas County to this Court). Over the past several weeks and throughout this week, counsel for the State has been filing and responding to various emergency motions in all three of these courts, and has partic- ipated in several in-person hearings. Due to the significant time and resources needed to address these issues, and the importance of this mandamus petition, coun- sel for the State will likely not have adequate time to dedicate to its response brief by the current deadline of March 28. A 14-day extension will allow the State to prepare a brief that better explains the issues before this Court.
This extension will not affect the interests of Relators because this Court has already granted a stay pending the outcome of this mandamus action, which will re- main in effect throughout this extension and the pendency of the appeal.
Relators do not oppose this extension request.
PRAYER For these reasons, the State respectfully requests that the Court grant a 14-day extension of time to file the State’s response, creating a new deadline of April 11, 2025.
Respectfully submitted.
Ken Paxton /s/ Abigail E. Smith Attorney General of Texas Abigail E. Smith Assistant Attorney General Brent Webster State Bar No. 24141756 First Assistant Attorney General ROB FARQUHARSON Johnathan Stone Assistant Attorney General State Bar No. 24100550 Chief, Consumer Protection Division State Bar No. 24071779 Office of the Attorney General Consumer Protection Division 12221 Merit Drive, Ste. 650 Dallas, Texas 75251 Tel: (214) 290-8830 Fax: (214) 969-7615 Counsel for the State
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Respectfully submitted.
/s/ Abigail E. Smith
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Emily Samuels on behalf of Abigail Smith Bar No. 24141756 [email protected] Envelope ID: 98903083 Filing Code Description: Motion Filing Description: 20250325 Unopposed Motion for Extension of Time to Respond Case no 32 Status as of 3/26/2025 11:32 AM CST Associated Case Party: NonParty Patient No. 1 Name BarNumber Email TimestampSubmitted Status Jervonne Newsome [email protected] 3/26/2025 10:50:55 AM SENT Thanh Nguyen [email protected] 3/26/2025 10:50:55 AM SENT William Logan [email protected] 3/26/2025 10:50:55 AM SENT Evan Lewis [email protected] 3/26/2025 10:50:55 AM SENT Olivia Wogon [email protected] 3/26/2025 10:50:55 AM SENT
Case Contacts Name BarNumber Email TimestampSubmitted Status Houston Docketing [email protected] 3/26/2025 10:50:55 AM SENT Jamie Vargo [email protected] 3/26/2025 10:50:55 AM SENT Abby Smith [email protected] 3/26/2025 10:50:55 AM SENT Rob Farquharson [email protected] 3/26/2025 10:50:55 AM SENT Johnathan Stone [email protected] 3/26/2025 10:50:55 AM SENT David G. Shatto [email protected] 3/26/2025 10:50:55 AM SENT Amy Pletscher [email protected] 3/26/2025 10:50:55 AM SENT Christopher Molak [email protected] 3/26/2025 10:50:55 AM SENT Pauline Sisson [email protected] 3/26/2025 10:50:55 AM SENT Emily Samuels [email protected] 3/26/2025 10:50:55 AM SENT Melinda Pate [email protected] 3/26/2025 10:50:55 AM SENT
Case-law data current through December 31, 2025. Source: CourtListener bulk data.