On May 07, 2018 a
Stipulation,Agreement
was filed
involving a dispute between
Holbert, Ashley,
Holbert, Donna,
and
Catapult Energy Services Group, Llc,
Catapult Energy Services Group Llc,
Cretic Energy Services, Llc,
Cretic Energy Services Llc,
Ngp Energy Capital Management, Llc,
for OTHER PERSONAL INJURY
in the District Court of Dallas County.
Preview
CAUSE NO. DC-18-05978
ASHLEY HOLBERT, Individually and as IN THE DISTRICT COURT
§§§§§§§§§§§§§§§§§§§§§§§§
Next Friend of K.H., a Minor and as
Representative of the Estate of ROWDY LEE
HOLBERT, Deceased, and DONNA
,
HOLBERT
Plaintiffs
and
BIG B CRANE, LLC and IOISt JUDICIAL DISTRICT
INTERNATIONAL INSURANCE
COMPANY OF HANOVER S.E.
Intervenors,
vs.
.
CRETIC ENERGY SERVICES, LLC;
CATAPULT ENERGY SERVICES GROUP »
LLC; NGP CAPITAL MANAGEMENT,
LLC; and SERVA CORPORATION
Defendants. DALLAS COUNTY, TEXAS
and
CAUSE N0. DC-22-13638
CRETIC ENERGY SERVICES, LLC, et a1 § IN THE DISTRICT COURT
§
Plaintiffs §
and §
§
BIG B CRANE, LLC and § 1.01St JUDICIAL DISTRICT
INTERNATIONAL INSURANCE §
I
COMPANY OF HANOVER S.E_. §
Intervenors, §
'
§
vs. §
.
§
LAREDO PETROELUM INC. §
§
Defendant. § DALLAS COUNTY, TEXAS
SUPPLEMENTAL AGREED ORDER
GRANTING UNOPPOSED MOTION TO SEVER
On January _6‘, 2022, the Court signed an Order Granting Laredo Petroleum,
Inc.’s unopposed Inotion to sever in Cause No. DC-18—05978. On September 20, 2022,
the severed action was assigned the separate cause number DC-22-13638.' In addition to .
the documents listed in that January 6, 2022 Order (items 1—3 9), the court further Orders
that the additional documents below from Cause No. DC-18-05 978 should be included-
'
in the file of the severed cause, Cause No; DC-22-13638z' p
40. Cretic’s Response to Intervenor's Motion‘i‘or Partial Summary Judgment
41. Big B Crane’s Reply to Motion for Partial Summary Judgment
.42. Cretic’s Motion‘for Summary Judgment Against Laredo Petroleum.
4‘3. Cretic’s First Amended Motion for Partial Summary Judgment.
44. Laredo Petroleum, Inc.’s Motion for Summary Judgment.
45. Notice of Filing Joint Stipulations.
l
46. Big B’s Response to First Amended Traditional Motion for Partial
Summary Judgment.
47. CretiC’s Response to Cross-Defendant Laredo Petroleum’s Motion for
Summary Judgment
~
48. Cretic’s First Amended Response to Interv'enor‘s (Big B) Motion for Partial
Summary Judgment.
49. Plaintiffs’ Response to Defendants (Cretic) First Amended Motion for
Partial Summary Judgment and Motion to Adopt.
50. Cross- Defendant’ s (Laredo) Response to Defendants’ (Cretic) for
Motion
Summary Judgment and Motion to Adopt.
51. Intervcnor’s (Big B) Reply to Defendant’s (Cretic) First Supplemental
Response to Intervenor’s Motion for Partial Summary Judgment.
52. Defendant’s (Cretic) First Supplemental Response to Cross-Defendant
Laredo’s Motion for Summary Judgment.
53. Joint Objection to Order of Mediation.
54. Third-Party Defendant Laredo Petroleum, Inc.’s Unopposed Motion to
Sever.
55. Cretic’s First Supplemental Motion to Transfer Venue.
56. Order Granting Intervenors’ Motion for Partial Summary Judgment
Against Defendants.
a
_
57. Plaintiffs’ Notice of Partial Non—Suit.
58. ‘Plaintiffs’ Third Amended Petition.
59. Plaintiffs’ Motion to Dismiss with Prejudice.
60. Order of Dismissal».
61. Cretic’s Request for an Order on Intervenors’ Motion for. Partial Summary
Judgment.
62. Intervenors’ Unopposed Notice of Partial NOnsuit
63. Order of Partial Non-Suit
64. Cretic’s Unopposed Motion for Entry of an Order on Intervenors’ Motion
for Partial Summary Judgment
65. A copy of this supplemental Order.
SIGNED on 2023.
HO LE JUDGE PRESIDING
AGREED AS TO FORM:
/s/ M. Forest Nelson
JOHN HOLMAN BARR
M. FOREST NELSON
BURT BARR & ASSOCIATES, L.L.P.
P.O. Box 223667
DALLAS, TX 75222-3 667
(214) 943-0012 TELEPHONE
(214) 943-0048 FACSIMILE
jbarr@bbarr.corn
flwlson@bbanzcom
ATTORNEYS FOR INTERVENORS
/s/ Chris D. Parker
Chris D. Parker
cparker@pf—1awfinn.com
Thomas D. Farris
tfarris@pf-lawfirm. com
PETERSON FARRIS BYRD & PARKER
A Professional Corporation
‘
P. O. Box 9620
Amarillo, TX 79105- 9620
(806) 374-5317
(806) 372-2107 (facsimile)
ATTORNEYS FOR DEFENDAN TS
CRETIC ENERGY SERVICES, LLC,
CATAPULT ENERGY SERVICES
GROUP, LLC and NGP CAPITAL
ENERGY MANAGEMENT, LLC
/s/ Jill Pennington
Jill Pennington
jcpennington@permian. law
SMITH CLARK PENNINGTON PLLC
6 Desta Drive, Suite 3333
Midland, Texas 79705
(432) 307-3333
ATTORNEY FOR DEFENDANT
LAREDO PETROLEUM
Document Filed Date
September 22, 2023
Case Filing Date
May 07, 2018
Category
OTHER PERSONAL INJURY
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