State of Texas v. Xerox Corporation Settlement Proceeds
Opinion
ACCEPTED 15-25-00034-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 6/2/2025 9:29 AM No. 15-25-00034-CV CHRISTOPHER A. PRINE CLERK FILED IN 15th COURT OF APPEALS In the Fifteenth Court of Appeals AUSTIN, TEXAS Austin, Texas 6/2/2025 9:29:19 AM CHRISTOPHER A. PRINE Clerk The State of Texas Appellant, v. Xerox Corporation, et al, Settlement Proceeds Appellees.
On Appeal from the 459th Judicial District Court, Travis County
APPELLANT’S UNOPPOSED MOTION TO EXTEND TIME TO FILE APPELLANT’S BRIEF
KEN PAXTON BRIAN VANDERZANDEN Attorney General of Texas Assistant Attorney General Texas State Bar No. 24081557 BRENT WEBSTER Phone: (512) 936-9929 First Assistant Attorney General [email protected] RALPH MOLINA JONATHAN ROHDE Deputy First Assistant Attorney General Assistant Attorney General Texas State Bar No. 00789965 AUSTIN KINGHORN Phone: (512) 936-1486 Deputy Attorney General for Civil Litigation [email protected] AMY SNOW HILTON Counsel for Appellant Chief, Healthcare Program Enforcement Division Office of the Attorney General of Texas P.O. Box 12548 MC 056-1 Austin, Texas 78711-2548 Tel: (512) 936-1709 Fax: (512) 499-0712 APPELLANT’S UNOPPOSED MOTION TO EXTEND TIME TO FILE APPELLANT’S BRIEF
TO THE HONORABLE FIFTEENTH COURT OF APPEALS: 1. Pursuant to Rules 2 and 10.5(b) of the Texas Rules of Appellate Procedure, Appellant the State of Texas respectfully requests a 30-day extension of time to file their Appellant Brief, making the Brief due on July 9, 2025. The Appellant’s Brief is presently due on June 9, 2025.
2. Appellant requests an additional thirty (30) day extension of time to file their Appellant Brief because the complete Clerk’s Record has not yet been received by the Fifteenth Court of Appeals. The trial court only recently signed an order on May 28, 2025, releasing certain video exhibits.
3. Additionally, Appellant requests an additional thirty (30) day extension of time to file their Appellant Brief due to the complexity of the case, competing demands on counsel’s time in other cases, and the need for additional research to ensure an optimal brief.
4. Appellees have indicated that they do not oppose a thirty (30) day extension for Appellant to file its Appellant Brief.
5. This Motion is timely filed and not brought for purposes of delay, but so that justice may be done.
PRAYER
For the reasons set forth herein, the Appellant the State of Texas respectfully requests that the Court grant them a 30-day extension of time to file its Appellant Brief, making the Brief due on July 9, 2025.
Respectfully submitted, KEN PAXTON /s/ Brian VanderZanden Attorney General of Texas BRIAN VANDERZANDEN Assistant Attorney General BRENT WEBSTER Texas State Bar No. 24081557 First Assistant Attorney General Phone: (512) 936-9929 [email protected] RALPH MOLINA Deputy First Assistant Attorney General /s/ Johnathan Rohde JOHNATHAN ROHDE AUSTIN KINGHORN [email protected] Deputy Attorney General for Civil Litigation COUNSEL FOR APPELLANT AMY SNOW HILTON STATE OF TEXAS Chief, Healthcare Program Enforcement Division Office of the Attorney General P.O. Box 12548, MC 056-1 Austin, Texas 78711-2548 Tel: (512) 750-4880 Fax: (512) 499-0712
CERTIFICATE OF SERVICE I certify a true and correct copy of the foregoing Appellant’s Unopposed Motion to Extend Time to File Appellant’s Brief has been sent via e-file and serve on June 2, 2025, to: Charles S. Siegel Caitlyn Silhan Waters & Kraus, LLP 3141 Hood Street, Suite 700 Dallas, Texas 75219 [email protected] [email protected] James Moriarty Law Offices of James R. Moriarty 4119 Montrose Blvd., Suite 250 Houston, Texas 7700 [email protected] James “Rusty” Tucker Law Offices of James R. Tucker, P.C.
3100 Drexel Drive Dallas, Texas 75205 [email protected] ATTORNEYS FOR APPELLEES
/s/ Brian VanderZanden Brian VanderZanden Assistant Attorney General
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.
Lynette Karch-Schroder on behalf of Brian VanderZanden Bar No. 24081557 [email protected] Envelope ID: 101482362 Filing Code Description: Motion Filing Description: Appellant's Unopposed Motion to Extend Time to File Appellant's Brief Status as of 6/2/2025 9:34 AM CST Associated Case Party: Christine Ellis Name BarNumber Email TimestampSubmitted Status Caitlyn Silhan 24072879 [email protected] 6/2/2025 9:29:19 AM SENT James Moriarty 14459000 [email protected] 6/2/2025 9:29:19 AM SENT Charles S.Siegel [email protected] 6/2/2025 9:29:19 AM SENT
Associated Case Party: Alexandra Alvarez Name BarNumber Email TimestampSubmitted Status James Tucker 20272020 [email protected] 6/2/2025 9:29:19 AM SENT
Associated Case Party: Joshua LaFountain Name BarNumber Email TimestampSubmitted Status James Tucker 20272020 [email protected] 6/2/2025 9:29:19 AM SENT
Associated Case Party: State of Texas Name BarNumber Email TimestampSubmitted Status Brian Vanderzanden [email protected] 6/2/2025 9:29:19 AM SENT Brittany Peters [email protected] 6/2/2025 9:29:19 AM SENT Jonathan Rohde [email protected] 6/2/2025 9:29:19 AM SENT
Case-law data current through December 31, 2025. Source: CourtListener bulk data.