Texas Court of Appeals, 15th District, 2025

Sammy Tawakkol v. Sheila Vasquez, in Her Official Capacity as Manager of the Texas Department of Public Safety- Sex Offender Registration Bureau; And Steven McCraw, in His Official Capacity as Director of the Texas Department of Public Safety

Sammy Tawakkol v. Sheila Vasquez, in Her Official Capacity as Manager of the Texas Department of Public Safety- Sex Offender Registration Bureau; And Steven McCraw, in His Official Capacity as Director of the Texas Department of Public Safety
Texas Court of Appeals, 15th District · Decided March 31, 2025
Sammy Tawakkol v. Sheila Vasquez, in Her Official Capacity as Manager of the Texas Department of Public Safety- Sex Offender Registration Bureau; And Steven McCraw, in His Official Capacity as Director of the Texas Department of Public Safety

Opinion

ACCEPTED 15-25-00009-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 3/31/2025 2:39 PM Court of Appeals Number: 15-25-00009-CV CHRISTOPHER A. PRINE CLERK Trial Court Number: D-1-GN-24-001566 FILED IN 15th COURT OF APPEALS AUSTIN, TEXAS _________________ 3/31/2025 2:39:32 PM CHRISTOPHER A. PRINE IN THE COURT OF APPEALS Clerk FOR THE FIFTEENTH JUDICIAL DISTRICT OF TEXAS __________________ SAMMY TAWKKOL, Appellant vs. SHEILA VASQUEZ, in her Official Capacity as Manager of the Texas Department of Public Safety -Sex Offender Registration Bureau; and STEVEN McCRAW, in his Official Capacity as Director of the Texas Department of Public Safety Appellees ___________________ ON APPEAL FROM THE 200th JUDICIAL DISTRICT COURT, TRAVIS COUNTY, TEXAS THE HONORABLE JAMES CARROLL, J., PRESIDING ____________________ APPELLANT’S UNOPPOSED FIRST MOTION FOR EXTENSION OF TIME TO FILE BRIEF ____________________ TO THE HONORABLE CHIEF JUSTICE AND ASSOCIATE JUSTICES OF THE FIFTEENTH COURT OF APPEALS:

COMES NOW Sammy Tawakkol, Appellant in the above captioned and numbered appeal, and, pursuant to Rules 9 and 10.5(b) of the Texas Rules of Appellate Procedure, files this Unopposed First Motion for Extension of Time to File Appellant’s Brief, and in this connection would respectfully show unto the Court of Appeals as follows: 1.

The Appellant’s Brief on this appeal is due Monday, April 7, 2025.

Since the filing of the Reporter’s Record in this case on March 6, 2025, and the filing of the District Clerk’s Record on March 7, 2025, Appellant’s counsel has been unexpectedly submerged while fulfilling his trial and appellate obligations in other pending cases. These other obligations, in both size and complexity, have been extraordinary in relation to undersigned counsel’s usual workload; and they have rendered it impossible for Appellant’s counsel to adequately prepare and file Appellant’s brief within the time previously allotted for this appeal (30 days). The Appellant does not anticipate any further extension of time will be necessary or requested by Appellant. Due to the aforementioned circumstances, Appellant moves the Court of Appeals to grant him an extension of time to file Appellant’s Brief, for a period of 30 days, to and including Tuesday, May 6, 2025.

2.

As reflected by the certificate of conference below, this motion is unopposed by all Appellees on this appeal.

WHEREFORE, PREMISES CONSIDERED, the Appellant prays this Unopposed First Motion for Extension of Time to File Appellant’s Brief will be granted as requested herein.

/s/Richard Gladden State Bar No. 07991330 Law Office of Richard Gladden 1204 West University Dr., Ste. 307 Denton, Texas 76201 940/323-9300 (Voice) 940/539-0093 (Fax) [email protected] (email) CERTIFICATE OF CONFERENCE This is to certify that on Monday, March 31, 2025, I communicated by email with the Attorney of Record for all Appellees on this appeal, Assistant Attorney General of Texas Christopher Lindsey, and that during the said conference Mr. Lindsey authorized me to inform the Fifteenth Court of appeals of Texas that the Appellees do not oppose this motion.

/s/Richard Gladden

CERTIFICATE OF SERVICE This is to certify that a true and correct copy of this brief was served by electronic service using the TexFile system, on the Attorney of Record for all Appellees on this appeal, Christopher Lindsey, by use of his email address registered on the said filing system, on this 31st day of March, 2025, in accordance with Rule 9.5 of the Texas Rules of Appellate Procedure.

/s/Richard Gladden

Automated Certificate of eService This automated certificate of service was created by the efiling system.

The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules.

Richard Gladden Bar No. 07991330 [email protected] Envelope ID: 99085916 Filing Code Description: Motion Filing Description: Appellant's First Motion for an Extension of Time to File Brief Status as of 3/31/2025 3:11 PM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Richard Gladden [email protected] 3/31/2025 2:39:32 PM SENT Christopher Lindsey 24065628 [email protected] 3/31/2025 2:39:32 PM SENT Terri Sparks [email protected] 3/31/2025 2:39:32 PM SENT

Case-law data current through December 31, 2025. Source: CourtListener bulk data.