On September 13, 2013 a
Motion-Secondary
was filed
involving a dispute between
Ht Houston Gp L L C (A Delaware Limited Liability Company General,
Ht Houston Portfolio L P,
and
Harris County Appraisal District,
for APPEAL APPRAISAL BOARD
in the District Court of Harris County.
Preview
ATTACHMENT TO
AGREED MOTION FOR CONTINUANCENO. 2013-53891
HT HOUSTON PORTFOLIO LP.,
A DELAWARE LIMITED PARTNERSHIP,
HT HOUSTON GP, L.L.C., A
DELAWARE LIMITED LIABILITY
COMPANY, GENERAL PARTNER,
IN THE DISTRICT COURT OF
Plaintiff,
HARRIS COUNTY, TEXAS
HARRIS COUNTY APPRAISAL
DISTRICT,
Defendant. 234" JUDICIAL DISTRICT
OP LOD WD tO ED LOD COD LO? 60> 6 LOD LOR LOD CO? WO?
AGREED AMENDED DOCKET CONTROL ORDER
The following docket control order shall apply to this case unless modified by the Court.
If no date is given below, the item is governed by the Texas Rules of Civil Procedure.
1. JOINDER. All parties must be added and served, whether by amendment
or third party practice, by this date. THE PARTY CAUSING SUCH
JOINDER SHALL A COPY OF THIS DOCKET CONTROL ORDER
AT THE TIME OF SERVICE.
2. EXPERT WITNESS DESIGNATION: Expert witness designations are
required and must be served by the following dates. The designation must
include the information listed in Rule 194.2(f). Failure to timely respond
will be governed by Rule 193.6
huasT 4
as (@) Septombex8, 2014 Experts for parties seeking affirmative relief.
wy coins
(6) Obobene 2014 All other experts.
3. STATUS CONFERENCE. Parties shall be prepared to discuss all aspects
of the case, including ADR, with the court on this date. TIME:
Failure to appear will be grounds for dismissal for want of prosecution.
4. DISCOVERY LIMITATIONS. The discovery limitations of Rule 190.2,
if applicable, or otherwise of Rule 190.3 apply unless changed below:
(a) Total hours per side for oral depositions.
(b) Number of interrogatories that may be served by each party on any other
party.5. ALTERNATIVE DISPUTE RESOLUTION.
(a) By this date the parties must either (1) file an agreement for ADR stating
the form of ADR requested and the name of an agreed mediator, if
applicable; or (2) set an objection to ADR. If no agreement or objection is
filed, the court may sign an ADR order.
(b) ADR conducted pursuant to the agreement of the parties must be
completed by this date.
6. November 7,2014 DISCOVERY PERIOD ENDS. All discovery must be conducted before
the end of the discovery period. Parties seeking discovery must serve
requests sufficient far in advance of the end of the discovery period that
the deadline for responding will be within the discovery period. Counsel
may conduct discovery beyond this deadline by agreement. Incomplete
discovery will not delay trial.
7. DISPOSITIVE MOTIONS AND PLEAS. Must be heard by oral hearing
or submission.
(@) November 24, 2014 If subject to an interlocutory appeal, dispositive motions or pleas must be
heard by this date.
(b) November 24,2014 Summary judgment motions not subject to an interlocutory appeal must be
heard by this date.
(©) October 8.2014 Rule 166a(i) motions may not be heard before this date.
8. November 7, 2014 CHALLENGES TO EXPERT TESTIMONY. All motions to exclude
expert testimony and evidentiary challenges to expert testimony must be
filed by this date, unless extended by leave of court.
9. November 7,2014 PLEADINGS. All amendments and supplements must be filed by this
date. This order does not preclude prompt filing of pleadings directly
responsive to any timely filed pleadings.
10. DOCKET CALL, Parties shall be prepared to discuss all aspects of trial
with the court on this date. TIME: 8:30 AM. Failure to appear will be
grounds for dismissal for want of prosecution.
11. December 8, 2014 TRIAL DATE. If not assigned by the second Friday following the date, the
case will be reset.
DATE:
JUDGE PRESIDINGAGREED:
VINSON & ELKINS LLP - OLSON IN, L.L.P.
Patrick W. Mizell John J. Hightower
Texas Bar No. 14233980
Glen A. Rosenbaum
Texas Bar No. 17266800
Russell T. Gips
Texas Bar No. 24069788
Liane Noble
Texas Bar No. 24079059
1001 Fannin, Suite 2500
Houston, Texas 77002-6760
Telephone: 713-758-2932
Facsimile: 713-615-5912
pmizell@velaw.com;
grosenbaum@velaw.com; rgips@velaw.com;
Inoble@velaw.com
ATTORNEYS FOR PLAINTIFF
State Bar No. 09614200
G. Todd Stewart
State Bar No. 19209700
Wortham Tower, Suite 600
2727 Allen Parkway
Houston, Texas 77019-2133
Telephone: (713) 533-3800
Facsimile: (713) 533-3888
jhightower@olsonllp.com
tstewart@olsonllp.com
ATTORNEYS FOR DEFENDANT
Document Filed Date
March 27, 2014
Case Filing Date
September 13, 2013
Category
APPEAL APPRAISAL BOARD
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