Perritt et al v. The Cupcakery, et al
Filing
69
Unopposed MOTION to Extend Deadline to Respond to Defendants' Motion to Transfer Venue by Buster Baking, Ricky B Perritt, The Cupcakery, The Woodlands Baking, LLC. (Attachments: # 1 Text of Proposed Order)(Siebman, Clyde)
UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF TEXAS
SHERMAN DIVISION
RICKY B. PERRITT, Individually;
THE CUPCAKERY, LLC, a Texas Limited
Liability Company; BUSTER BAKING,
LLC, a Texas Limited Liability Company;
THE WOODLANDS BAKING, LLC,
a Texas Limited Liability Company;
CUSTOM VERSION CORPORATION,
a Texas Corporation
Plaintiffs,
v.
PAMELA F. JENKINS, Individually; and
THE CUPCAKERY LLC, a Nevada
Limited Liability Company
Defendants.
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Civil Action No. 4:11-CV-23
UNOPPOSED MOTION TO EXTEND DEADLINE TO RESPOND TO
DEFENDANTS’ MOTION TO TRANSFER VENUE
TO THE HONORABLE COURT:
COMES NOW, Plaintiffs RICKY B. PERRITT, Individually, THE CUPCAKERY, LLC,
a Texas Limited Liability Company, BUSTER BAKING, LLC, a Texas Limited Liability
Company, THE WOODLANDS BAKING, LLC, a Texas Limited Liability Company, and
CUSTOM VERSION CORPORATION, a Texas Corporation (collectively “Plaintiffs”) and file
this Unopposed Motion to Extend the Deadline to Respond to Defendants’ PAMELA F.
JENKINS Individually and THE CUPCAKERY LLC, a Nevada Limited Liability Company
(collectively “Defendants”) Motion to Transfer Venue (Docket No. 24), and would respectfully
show unto the Court as follows:
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Plaintiffs hereby move the Court for an order extending the time for them to respond to
Defendants’ Motion to Transfer Venue in the above styled and numbered cause through May 27,
2011. Counsel for Plaintiffs has conferred with counsel for Defendants in the above styled and
numbered cause, and she has agreed to this extension on behalf of Defendants.
WHEREFORE, PREMISES CONSIDERED, Plaintiffs pray that the Court enter an order
extending the time for them to respond to Defendants’ Motion to Transfer Venue in the above
styled and numbered cause through May 27, 2011, and for such other and further relief as to
which they may show themselves justly entitled.
Respectfully submitted,
SIEBMAN, BURG, PHILLIPS & SMITH, LLP
/s/ Clyde M. Siebman
CLYDE M. SIEBMAN
State Bar No. 18341600
BRYAN H. BURG
State Bar No. 03374500
STEPHANIE R. BARNES
State Bar No. 24045696
Federal Courthouse Square
300 North Travis Street
Sherman, Texas 75090
Telephone: (903) 870-0070
Facsimile: (903) 870-0066
clydesiebman@siebman.com
bryanburg@siebman.com
stephaniebarnes@siebman.com
ATTORNEYS FOR PLAINTIFFS
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CERTIFICATE OF SERVICE
The undersigned certifies that on this 21st day of May, 2011, all counsel of record who
are deemed to have consented to electronic service are being served with a copy of this document
through the Court’s CM/ECF system under Local Rule CV-5(a)(3). Any other counsel of record
will be served by a facsimile transmission and/or first class mail.
SIEBMAN, BURG, PHILLIPS & SMITH, LLP
/s/ Clyde M. Siebman
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