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  • FRF, Inc., Trail Blazer Builders LLC VS. April Sound Property Owners AssociationOther Civil Case >$200,000 document preview
  • FRF, Inc., Trail Blazer Builders LLC VS. April Sound Property Owners AssociationOther Civil Case >$200,000 document preview
  • FRF, Inc., Trail Blazer Builders LLC VS. April Sound Property Owners AssociationOther Civil Case >$200,000 document preview
  • FRF, Inc., Trail Blazer Builders LLC VS. April Sound Property Owners AssociationOther Civil Case >$200,000 document preview
  • FRF, Inc., Trail Blazer Builders LLC VS. April Sound Property Owners AssociationOther Civil Case >$200,000 document preview
  • FRF, Inc., Trail Blazer Builders LLC VS. April Sound Property Owners AssociationOther Civil Case >$200,000 document preview
  • FRF, Inc., Trail Blazer Builders LLC VS. April Sound Property Owners AssociationOther Civil Case >$200,000 document preview
  • FRF, Inc., Trail Blazer Builders LLC VS. April Sound Property Owners AssociationOther Civil Case >$200,000 document preview
						
                                

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CAUSE NO. 21-06-07955 FRF, INC., AND TRAIL BLAZER § IN THE DISTRICT COURT OF BUILDERS, LLC, Plaintiffs, Vv 284TH JUDICIAL DISTRICT APRIL SOUND PROPERTY OWNERS’ ASSOCIATION, INC., Defendant. MONTGOMERY COUNTY, TEXAS AGREED MOTION FOR CONTINUANCE Plaintiffs FRF, Inc. and Trail Blazer Builders, LLC and Defendant April Sound Property Owners’ Association (the “Parties”) files this their Agreed Motion for Continuance and for such motion would respectfully show unto the Court the following. I FACTUAL BACKGROUND Plaintiff filed its Original Petition on June 14, 2021. Trial is set for the two-week period beginning September 6, 2022. The Parties seek additional time to address discovery, document production, third party discovery, party depositions. The Parties also seek to conduct expert discovery and the requisite designations before this matter is ready for trial. Additionally, the parties have not had an opportunity to mediate this case and desire the opportunity to conduct settlement negotiations and formally mediate prior to trial. AGREED MOTION FOR CONTINUANCE PAGE 10F 3 4 This request for continuance is not for delay only, but so that justice may be done. I. PRAYER For these reasons, the Parties request that this case be removed from the Court’s Trial Docket of September 6, 2022, that the case be reset on the Court’s Trial Docket for at least one hundred twenty (120) days from the current trial setting. Respectfully submitted, ROBERTS MARKEL WEINBERG BUTLER HAILEY PC Con Rick V. ANDERSON TBA No. 24059047 CONNOR L. BALLINGER TBA No. 24108490 2800 Post Oak Blvd, 57th Floor Houston, TX 77056 Telephone: (713) 840-1666 randerson@rmwbh.com lballinger@rmwbh.com ATTORNEYS FOR DEFENDANT APRIL SOUND PROPERTY OWNERS’ ASSOCIATION THE LAW OFFICE OF JAMES J. BURNETT Tames JY. Qoetnerr Signed with Pemmsfion JAMES J. BURNETT UL Star Bar No. 03426950 14090 Southwest Freeway, Suite 300 Sugar Land, Texas 77478 Telephone: (281) 340-2005 Fax: (210) 547-7841 AGREED MOTION FOR CONTINUANCE PAGE 2 OF 3 jburnett@jamesburnett.com ATTORNEY FOR PLAINTIFFS FRF, INC. AND TRAIL BLAZER BUILDERS, LLC CERTIFICATE OF SERVICE This is to certify that a true and correct photocopy of the Agreed Motion for Continuance and Order on Motion for Continuance have been served upon all attorney(s) of record and/or pro se parties by depositing same with the United States Postal Service by first class mail, correctly addressed and postage prepaid, or in the manner indicated, on this the 10 day of August 2022 to such attorney(s) and/or parties. James J. Burnett 14090 Southwest Freeway, Suite 300 Sugar Land, Texas 77478 Phone: (281) 340-2005 Fax: (210) 547-7841 jburnett@jamesburnett.com RICK V. ANDERSON/CoNNop/AL, . BALLINGER AGREED MOTION FOR CONTINUANCE PAGE 3 OF 3