Texas Court of Appeals, 15th District, 2025

Johannes B. Massar v. Pegasus Pain Management, PLLC

Johannes B. Massar v. Pegasus Pain Management, PLLC
Texas Court of Appeals, 15th District · Decided July 24, 2025
Johannes B. Massar v. Pegasus Pain Management, PLLC

Opinion

ACCEPTED 15-25-00054-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS NO. 15-25-00054-CV 7/24/2025 11:45 AM ______________________________________________________________________________ CHRISTOPHER A. PRINE CLERK IN THE FIFTEENTH COURT OF APPEALS FILED IN AUSTIN, TEXAS 15th COURT OF APPEALS AUSTIN, TEXAS ______________________________________________________________________________ 7/24/2025 11:45:11 AM CHRISTOPHER A. PRINE Clerk JOHANNES B. MASSAR, Appellant v. PEGASUS PAIN MANAGEMENT, PLLC, Appellee ______________________________________________________________________________ On Appeal from County Court at Law No. 2 Dallas County, Texas ______________________________________________________________________________ APPELLANT’S UNOPPOSED MOTION TO EXTEND TIME TO FILE BRIEF ______________________________________________________________________________ To the Honorable Justices of the First Court of Appeals: To the Honorable Court of Appeals: Appellant requests that the Court extend time for filing of his brief pursuant to Rules of Appellate Procedure 10.5(b), 38.6(d) and all other applicable rules, and in support of this motion show: 1. The due date for the Appellant’s Brief’s is August 6, 2025.

2. Appellant’s hereby request to have the due date of their brief extended for a period of thirty (30) days to September 5, 2025.

3. Appellant’s counsel’s has a scheduled vacation and additional time constraints with preexisting deadlines have not provided counsel the time needed to prepare Appellant’s brief fully and fulsomely. This request is not for the purpose of delay, but so that justice may be done.

4. There have been no previous extensions requested by or granted to Appellant.

For these reasons, Appellant requests that the Court: (A) extend the time to file Appellant’s brief to September 5, 2025; and (B) grant Appellant’s such other and further relief to which she may be entitled or is in the interest of justice.

Respectfully submitted, FERNANDEZ L.L.P. By: /s/Raymond R. Fernandez, Jr. Raymond R. Fernandez, Jr. State Bar No. 06934275 2515 McKinney Avenue, Suite 920 Dallas, Texas 75201 [email protected] Robert L. Knebel, Jr. State Bar No. 11589500 [email protected] (214) 231-2700 ATTORNEYS FOR APPELLANT

Appellant’s Motion to Extend Time – Page 2 CERTIFICATE OF CONFERENCE As required by Texas Rule of Appellate Procedure 10.1(a)(5), I certify that I have conferred with Mark Ticer about the merits of this motion and Appellee does not oppose this motion.

Date: July 24, 2025 /s/Robert L. Knebel, Jr. Robert L. Knebel, Jr.

CERTIFICATE OF SERVICE As required by the Texas Rules of Appellate Procedure, I certify on July 24, 2025, I have served this document electronically through the electronic filing manager to all counsel of record.

/s/Raymond R. Fernandez, Jr. Raymond R. Fernandez, Jr.

Appellant’s Motion to Extend Time – Page 3 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.

Raymond Fernandez, Jr. on behalf of Raymond Fernandez, Jr. Bar No. 06934275 [email protected] Envelope ID: 103540034 Filing Code Description: Motion Filing Description: Motion ($10.00) Status as of 7/24/2025 12:05 PM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Mark Ticer 20018900 [email protected] 7/24/2025 11:45:11 AM SENT Robert L.Knebel [email protected] 7/24/2025 11:45:11 AM SENT Raymond R.Fernandez [email protected] 7/24/2025 11:45:11 AM SENT

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