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  • Chad Frank and Kerri Frank, Individually and as Next Friend for their Minor Child, Rowan Frank VS. Amber TawseInj/Damage-Motor Vehicle >$200,000 document preview
  • Chad Frank and Kerri Frank, Individually and as Next Friend for their Minor Child, Rowan Frank VS. Amber TawseInj/Damage-Motor Vehicle >$200,000 document preview
  • Chad Frank and Kerri Frank, Individually and as Next Friend for their Minor Child, Rowan Frank VS. Amber TawseInj/Damage-Motor Vehicle >$200,000 document preview
  • Chad Frank and Kerri Frank, Individually and as Next Friend for their Minor Child, Rowan Frank VS. Amber TawseInj/Damage-Motor Vehicle >$200,000 document preview
  • Chad Frank and Kerri Frank, Individually and as Next Friend for their Minor Child, Rowan Frank VS. Amber TawseInj/Damage-Motor Vehicle >$200,000 document preview
  • Chad Frank and Kerri Frank, Individually and as Next Friend for their Minor Child, Rowan Frank VS. Amber TawseInj/Damage-Motor Vehicle >$200,000 document preview
  • Chad Frank and Kerri Frank, Individually and as Next Friend for their Minor Child, Rowan Frank VS. Amber TawseInj/Damage-Motor Vehicle >$200,000 document preview
  • Chad Frank and Kerri Frank, Individually and as Next Friend for their Minor Child, Rowan Frank VS. Amber TawseInj/Damage-Motor Vehicle >$200,000 document preview
						
                                

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CAUSE NO. 20 14219 CHAD FRANK AND KERRI FRANK IN THE DISTRICT COURT OF INDIVIDUALLY AND AS NEXT FRIEND FOR THEIR MINOR CHILD, OWAN FRANK MONTGOMERY COUNTY, TEXAS AMBER TAWSE JUDICIAL DISTRICT NOTICE OF JOINT FILING TO THE HONORABLE JUDGE OF SAID COURT: COMES NOW, Plaintiffs CHAD FRANK AND KERRI FRANK INDIVIDUALLY AND AS NEXT FRIEND FOR THEIR MINOR CHILD, ROWAN FRANK and Defendant MBER TAWSE in the above styled and numbered cause, and files this Notice of Joint Filing and would respectfully show unto the Court the following: The Parties are not ready for trial, as Plaintiff Kerri Frank is still in the process of treatin for injuries she alleges ar derived from the motor vehicle accident subject of this suit. Even though the parties are not ready for trial because the Plaintiff is currently still treating, the parties will proceed to trial if the Court so deems necessary. imated length of timefor trial: 1.5 weeks Pre Trial Conference: Yes Pending Motions: Motion to Reconsider the Motion for Continuance Motion in Limine that has been filed with the court. Special Needs: Respectfully submitted, WALDRON & SCH R, PLLC By MARKA. RUB. State Bar No. 17369325 mrubal@ws-law.cém 15150 Middlebrook Drive Houston, Texas 77058 (281) 488-4438 — Telephone (281) 488-4597 — Facsimile ATTORNEY FOR PLAINTIFFS KERRI FRANK, CHAD FRANK, INDIVIDUALLY AND AS NEXT FRIEND OF ROWAN FRANK, MINOR GERMER PLLC DALE M. “RETT” HOLIDY State Bar No. 00792937 holidyefile@germer.com BLANCA RAMOS-LEE State Bar No. 24056410 blee@germer.com America Tower 2929 Allen Parkway, Suite 2900 Houston, Texas 77019 (713) 650-1313 - Telephone (713) 739-7420 - Facsimile ATTORNEYS FOR DEFENDANT, AMBER TAWSE all counsel Mark A. Rubal A EFILE/ESERVICE Waldron & Schneider, PLLC 15150 Middlebrook Dr. Houston, Texas 77058 Aug Roe