On December 31, 2014 a
MTN:OTHER MOTION
was filed
involving a dispute between
Antongiorgi , Isabelle Maria,
Schram Mcdonnell Llc,
Schram , Richard,
George Mundanthanam Md Pa,
Mundanthanam , George,
Josh Crum Md Pa,
Crum , Josh,
Mark Mcdonnell Dpm Pa,
Mcdonnell , Mark,
South Oaks Family Medicine Pa,
Cox , Geoffrey,
Steigler , Ashley,
and
Ventas Inc,
Lillibridge Healthcare Real Estate Trust Lp,
Lhret Ascension Austin Partner Gp Llc,
Lhret Ascension Austin Partner Ii Gp Llc,
Lhret Ascension Austin Lp,
Lhret Ascension Austin Ii Lp,
Thl 191 Jv Llc,
Lhret 191 Llc,
Lillibridge Healthcare Services Inc,
Metevier , Dan,
for FRAUD (GEN LIT )
in the District Court of Travis County.
Preview
CAUSE NO. D-1-GN-14-005444
SCHRAM MCDONNELL, LLC DBA
AUSTIN ORTHOPEDIC SPECIALISTS;
RICHARD SCHRAMM, MD, PA; RICHARD
SCHRAMM, MD, INDIVIDUALLY; GEORGE
MUNDANTHANAM, MD, PA; GEORGE
MUNDANTHANAM, MD, INDIVIDUALLY;
JOSH CRUM, MD, PA; JOSH CRUM, MD,
INDIVIDUALLY; MARK MCDONNELL,
DPM, PA; MARK MCDONNELL DPM,
INDIVIDUALLY; SOUTH OAKS FAMILY
MEDICINE, PA; GEOFFREY COX, MD,
INDIVIDUALLY; AND ASHLEY
STEIGLER, MD, INDIVIDUALLY
PLAINTIFFS,
vs.
VENTAS, INC.; LILLIBRIDGE
HEALTHCARE REAL ESTATE TRUST,
LP; LHRET ASCENSION AUSTIN
PARTNER GP, LLC; LHRET ASCENSION
AUSTIN PARTNER II GP, LLC; LHRET
ASCENSION AUSTIN, LP; LHRET
ASCENSION AUSTIN Il, LP; THL 191 JV,
LLC; LHRET 191, LLC; LILLIBRIDGE
HEALTHCARE SERVICES, INC.; AND
DAN METEVIER
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DEFENDANTS. §
§
3/4/2015 10:17:29 AM
Velva L. Price
District Clerk
Travis County
D-1-GN-14-005444
IN THE DISTRICT COURT OF
TRAVIS COUNTY, TEXAS
345™ JUDICIAL DISTRICT
UNOPPOSED MOTION OF LLOYD E FERGUSON IN SUPPORT OF
MOTION AND APPLICATION OF ROGER H. STETSON REQUESTING
PERMISSION TO PARTICIPATE
TO THE HONORABLE JUDGE OF SAID COURT:
COMES NOW Lloyd E. Ferguson, an attorney of record for Defendants, and
requests the Court grant the Unopposed Motion and Application of Non-Resident
Attorney Roger H. Stetson Requesting Permission to Participate (“Motion”) as counselfor Defendants in the above-styled and numbered cause. In accordance with Rule XIX
of the Rules Governing Admission to the Bar of Texas, Lloyd E. Ferguson would show:
lam a licensed practicing attorney in the State of Texas. Mr. Stetson has filed
his Application for Pro Hac Vice admission with the Board of Law Examiners and paid
the appropriate fee as evidenced by the non-resident acknowledgment letter attached to
his Motion as Exhibit A. | find the Applicant Roger H. Stetson, to be a reputable
attorney and recommend to the Court that the Applicant be granted permission to
participate in the above-styled and numbered cause.
Respectfully submitted,
/s/ Lloyd E. Ferguson
LLOYD E. FERGUSON
STATE BAR NO. 06918150
STRASBURGER & PRICE, LLP
720 BRAZOS STREET, SUITE 700
AUSTIN, TEXAS 78701
(512) 499-3600
(512) 499-3660 Fax
Buddy.Ferquson@Strasburger.com
ATTORNEYS FOR DEFENDANTS
Unopposed Motion in Support of Motion and Application of
Roger H. Stetson - Page 2 of 3CERTIFICATE OF CONFERENCE
| certify that | have conferred with counsel for Plaintiffs and they have indicated
no opposition to the relief sought in this Motion.
/s/ Lloyd E. Ferguson
LLOYD E. FERGUSON
CERTIFICATE OF SERVICE
| hereby certify that on this the 4th day of March, 2015, the above and foregoing
has been served on the following via electronic service pursuant to the Texas Rules of
Civil Procedure:
Donald R. Taylor dtaylor@taylordunham.com
Isabelle M. Antongiorgi ima@taylordunham.com
TAYLOR DUNHAM AND RODRIGUEZ LLP
301 Congress Avenue
Suite 1050
Austin, Texas 78701
ATTORNEYS FOR PLAINTIFFS
/s/ Lloyd E. Ferguson
LLOYD E. FERGUSON
Unopposed Motion in Support of Motion and Application of
Roger H. Stetson - Page 3 of 3
1617428.1/SPA/37253/0101/030415
Document Filed Date
March 04, 2015
Case Filing Date
December 31, 2014
Category
FRAUD (GEN LIT )
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