On September 20, 2016 a
Trial Materials
was filed
involving a dispute between
Rowan Companies Inc,
Titan Technical Training,
Whitney, Randall,
and
Mook, John Patrick "Jp",
Rowan Companies Inc,
Wolfe, Thomas Greenberry,
Mook, J P,
Whitney, Randall,
Wolfe, Tom,
for Debt/Contract - Debt/Contract
in the District Court of Harris County.
Preview
RANDALL WHITNEY D/B/A
TITAN TECHNICAL TRAINING,
HARRIS COUNTY, TEXAS
ROWAN COMPANIES, INC.,
JUDICIAL DISTRICT
ROWAN COMPANIES, INC.,
HARRIS COUNTY, TEXAS
TOM WOLFE,
JUDICIAL DISTRICT
ROWAN COMPANIES, INC.’S AMENDED PARTY/ATTORNEY LIST
AND TRIAL SCHEDULING STATEMENT
Pursuant to Texas Rule of Civil Procedure 166 and the Court’s Trial Preparation Order,
Defendant/Counter-Plaintiff Rowan Companies, Inc. (“Rowan”) submits the following:
PARTY/ATTORNEY LIST:
Randall Whitney d/b/a
Titan Technical Training
State Bar No. 00785220
Pasadena, Texas 77504-2828
Cell: (713) 703-0081
michaelwest@westandwest.com
1097530.1
ARSHALL AW
The Galleria
Facsimile: (713) 871-1111
taheri@marshalltaheri.com
DEFENDANT:
MYSER ESELKA L.L.P.
State Bar No. 24012887
State Bar No. 24056972
Jacquelyn R. Rex
State Bar No. 24098317
Facsimile: (713) 221-2320
THIRD-PARTY DEFENDANT:
The Law Offices of Alex R. Hernandez, Jr. PLLC
Philip Simpkins
State Bar No. 24002947
1700 Post Oak Place, Suite 600
Facsimile: (888) 278-9044
p.simpkins@alexhernandezcase.com
TRIAL SCHEDULING STATEMENT:
Trial Length
This case is preferentially beginning June 22, 2021. Rowan anticipates that trial will take
1097530.1
As of the date this statement is filed, counsel for Rowan Companies, Inc., has no
Additionally, Eliot Doyle, whom Rowan intends to call as a witn
works in Aberdeen, Scotland. Due to COVID-19 travel restrictions, Mr. Doyle will need to
appear and testify via video conferencing in compliance with the Thirty-Eighth Emergency
Also, Bethany Wolfe, whom Rowan intends to call as a witness, has a previously
scheduled vacation on June 24 and 25. We would ask that we take Ms. Wolfe out of order on
Rowan Companies, Inc. reserves the right to supplement or amend the Trial Scheduling
Statement.
Respectfully submitted,
MYSER ESELKA L.L.P.
State Bar No. 24012887
State Bar No. 24056972
Jacquelyn R. Rex
State Bar No. 24098317
Facsimile: (713) 221-2320
COUNTER-PLAINTIFF ROWAN
COMPANIES, INC.
1097530.1
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing instrument was served on all
counsel of record via email and the Court’s electronic filing system on June 14, 2021.
/s/ David Isaak
1097530.1
Document Filed Date
June 14, 2021
Case Filing Date
September 20, 2016
Category
Debt/Contract - Debt/Contract
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