Francisca Okonkwo, Administrative Law Judge, Texas Department of Insurance, Division of Workers' Compensation, in Her Official Capacity and Fort Bend County v. Joshua David Heiliger, Individually, and on Behalf of the Estate of Lauren Brittane Smith, and on Behalf of Death Benefits Beneficiaries Joshua David Heiliger and Emma Destiny Heiliger
Opinion
ACCEPTED 15-25-00061-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 5/28/2025 4:50 PM NO. 15-25-00061-CV CHRISTOPHER A. PRINE CLERK FILED IN IN THE COURT OF APPEALS 15th COURT OF APPEALS AUSTIN, TEXAS FOR THE FIFTEENTH JUDICIAL DISTRICT OF 5/28/2025 TEXAS 4:50:36 PM AT AUSTIN, TEXAS CHRISTOPHER A. PRINE Clerk
FRANCESCA OKONKWO, ADMINISTRATIVE LAW JUDGE, TEXAS DEPARTMENT OF INSURANCE, DIVISION OF WORKERS’ COMPENSATION, IN HER OFFICIAL CAPACITY AND FORT BEND COUNTY, Appellants VS. JOSHUA DAVID HEILIGER, INDIVIDUALLY, AND ON BEHALF OF THE ESTATE OF LAUREN BRITANNE SMITH, DECEASED AND ON BEHALF OF DEATH BENEFITS BENEFICIARIES JOSHUA DAVID HEILIGER AND EMMA DESTINY HEILIGER AND GREATER HOUSTON PSYCHIATRIC ASSOCIATES, PLLC, Appellees.
ON APPEAL ORIGINALLY FROM THE 11TH JUDICIAL DISTRICT COURT OF HARRIS COUNTY, TEXAS, CAUSE NO. 2024-78536, HONORABLE KRISTEN BRAUCHLE HAWKINS
APPELLANT FORT BEND COUNTY’S FIRST UNOPPOSED MOTION TO EXTEND TIME TO FILE APPELLANT’S BRIEF
TO THE HONORABLE JUDGE OF SAID COURT: COMES NOW, Appellant FORT BEND COUNTY requesting the Court to extend time to file its Appellant’s Brief and as grounds therefore would respectfully show the Court as follows:
APPELLANT’S FIRST UNOPPOSED MOTION TO EXTEND TIME TO FILE BRIEF Page 1 A. REQUEST FOR EXTENSION OF TIME TO FILE BRIEF 1. Appellants are FRANCESCA OKONKWO, ADMINISTRATIVE LAW JUDGE, TEXAS DEPARTMENT OF INSURANCE, DIVISION OF WORKERS’ COMPENSATION, IN HER OFFICIAL CAPACITY and FORT BEND COUNTY.
Appellees are JOSHUA DAVID HEILIGER, INDIVIDUALLY, AND ON BEHALF OF THE ESTATE OF LAUREN BRITANNE SMITH, DECEASED AND ON BEHALF OF DEATH BENEFITS BENEFICIARIES JOSHUA DAVID HEILIGER AND EMMA DESTINY HEILIGER and GREATER HOUSTON PSYCHIATRIC ASSOCIATES, PLLC.
2. No rule provides a deadline to file this motion to extend time to file a brief.
3. No party is opposed to this motion. Appellee Joshua Heiliger has agreed to this motion in exchange for Appellant’s reciprocal agreement to Appellee’s request for extension of deadline to file Appellee’s brief by July 14, 2025, if necessary. Appellee Greater Houston Psychiatric Associates, PLLC is unopposed to this motion.
4. The Court has authority under Texas Rules of Appellate Procedure 38.6(d) to extend the time to file the brief.
5. Appellant’s Brief is due on June 3, 2025.
6. This is Appellant FORT BEND COUNTY’s first motion for extension to file its brief.
7. Appellant requests an additional 10 days to file its brief, extending its deadline to June 13, 2025.
APPELLANT’S FIRST UNOPPOSED MOTION TO EXTEND TIME TO FILE BRIEF Page 2 8. Appellant needs additional time to file its brief because the original twenty-day time limit was insufficient to research and draft the Appellant’s Brief. Multiple discovery deadlines in other cases that could not be extended involving voluminous records prevented the counsel from completing the analysis and depth of research necessary to draft Appellant’s brief. Though work on the brief has started, Appellant will be unable to complete the brief in the time remaining.
9. This motion is not sought for the sole purpose of delay, but so that Appellant’s brief may comply with the briefing rules of the Texas Rules of Appellate Procedure.
B. Conclusion
10. Appellant FORT BEND COUNTY requests the Court to grant its First Unopposed Motion to Extend Time to File Appellant’s Brief due to an overburdened schedule and requests to extend the deadline to June 13, 2025.
C. Prayer 11. For these reasons, Appellant FORT BEND COUNTY requests that the Court grant its First Unopposed Motion to Extend the Time to File Appellant’s Brief to June 13, 2025.
APPELLANT’S FIRST UNOPPOSED MOTION TO EXTEND TIME TO FILE BRIEF Page 3 Respectfully submitted, DEAN G. PAPPAS LAW FIRM, PLLC /s/ Mary M. Markantonis By:_________________________________ Dean G. Pappas State Bar No. 15454375 [email protected] Mary M. Markantonis State Bar No. 12986800 [email protected] Lisa M. Teachey State Bar No. 24056416 [email protected] 8588 Katy Freeway, Ste. 100 Houston, Texas 77024 (713) 914-6200 (713) 914-6201 (facsimile) ATTORNEYS FOR APPELLANT FORT BEND COUNTY
CERTIFICATE OF CONFERENCE I certify that I have conferred with opposing counsel Russell Morris on May 28, 2025, through email exchange and he is in agreement with the foregoing motion.
/s/ Lisa M. Teachey ________________________________ Lisa M. Teachey I certify that I have conferred with opposing counsel Laverne Chang on May 28, 2025, through email exchange and she is unopposed to the foregoing motion /s/ Mary M. Markantonis ___________________________ Mary M. Markantonis
APPELLANT’S FIRST UNOPPOSED MOTION TO EXTEND TIME TO FILE BRIEF Page 4 CERTIFICATE OF SERVICE I do hereby certify that a true and correct copy of the above and foregoing document has been forwarded to all parties and counsel of record listed below on May 28, 2025, by service through the electronic filing manager, email, certified mail, facsimile or hand delivery: Via eFile Sherlyn Harper Office of the Attorney General Travis Street, #1520 Houston, TX 77002 James Z. Brazell Assistant Attorney General Administrative Law Division P.O. Box 12548 Capital Station Austin, TX 78711-2548 Attorneys for Appellant Francesca Okonkwo, et al Russell Morris McBryde Franco, PLLC 11000 Richmond Ave Ste 350 Houston, TX 77042-6702 Attorneys for Appellee Joshua David Heiliger, et al Laverne Chang Cardwell & Chang, PLLC Lovett Blvd Houston, TX 77006-4020 Attorneys for Appellee Greater Houston Psychiatric Associates, PLLC
/s/ Mary M. Markantonis ___________________________ Mary M. Markantonis
APPELLANT’S FIRST UNOPPOSED MOTION TO EXTEND TIME TO FILE BRIEF Page 5 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.
Hope Furlow on behalf of Mary Markantonis Bar No. 12986800 [email protected] Envelope ID: 101353510 Filing Code Description: Motion Filing Description: APPELLANT FORT BEND COUNTY'S FIRST UNOPPOSED MOTION TO EXTEND TIME TO FILE APPELLANT'S BRIEF Status as of 5/28/2025 4:59 PM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Lisa Teachey 24056416 [email protected] 5/28/2025 4:50:36 PM SENT Laverne Chang 783819 [email protected] 5/28/2025 4:50:36 PM SENT Marilyn Allen 24025225 [email protected] 5/28/2025 4:50:36 PM SENT Mary Markantonis 12986800 [email protected] 5/28/2025 4:50:36 PM SENT Dean Pappas 15454375 [email protected] 5/28/2025 4:50:36 PM SENT Andrew Bruce 24113627 [email protected] 5/28/2025 4:50:36 PM SENT Russell Morris 24099150 [email protected] 5/28/2025 4:50:36 PM SENT Hope Burnett-Furlow [email protected] 5/28/2025 4:50:36 PM SENT Pablo Franco 24121625 [email protected] 5/28/2025 4:50:36 PM SENT Catherine Hughes [email protected] 5/28/2025 4:50:36 PM SENT Sherlyn Harper [email protected] 5/28/2025 4:50:36 PM SENT James Z.Brazell [email protected] 5/28/2025 4:50:36 PM SENT Suzan Cardwell [email protected] 5/28/2025 4:50:36 PM SENT Meridith Fischer [email protected] 5/28/2025 4:50:36 PM SENT
Case-law data current through December 31, 2025. Source: CourtListener bulk data.