CourtListener 10706552•Texas Department of Insurance and Cassie Brown, in Her Capacity as Commissioner of the Texas Department of Insurance v. Texas Land Title Association
Texas Department of Insurance and Cassie Brown, in Her Capacity as Commissioner of the Texas Department of Insurance v. Texas Land Title Association
CourtListener 10706552Txctapp15Oct 15, 2025
Full text
ACCEPTED
15-25-00107-CV
FIFTEENTH COURT OF APPEALS
AUSTIN, TEXAS
10/15/2025 1:45 PM
No. 15-25-00107-CV CHRISTOPHER A. PRINE
CLERK
FILED IN
15th COURT OF APPEALS
IN THE FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS
AUSTIN, TEXAS 10/15/2025 1:45:14 PM
CHRISTOPHER A. PRINE
Clerk
TEXAS DEPARTMENT OF INSURANCE, AND CASSIE BROWN, IN HER CAPACITY AS
COMMISSIONER OF THE TEXAS DEPARTMENT OF INSURANCE,
Appellants,
v.
TEXAS LAND TITLE ASSOCIATION,
Appellee.
On Appeal from the 345th Judicial District Court
Travis County, Texas
Cause No. D-1-GN-25-001663
JOINT MOTION TO EXTEND TIME FOR FILING OF
APPELLEE’S BRIEF
Appellants, The Texas Department of Insurance and Cassie Brown, In Her
Capacity As Commissioner of the Texas Department of Insurance, and Appellee,
Texas Land Title Association file this joint motion for extension of deadline to file
Appellee’s brief on the grounds set forth below:
-1-
I.
This case involves a challenge to a ratemaking order pertaining to title
insurance. A new ratemaking process is under way at the Texas Department of
Insurance, and this process may well result in mooting this appeal and the underlying
litigation by the end of the year. However, in the meantime, Appellee’s brief is due
on November 10, 2025. In order to let the new ratemaking process play out, and to
conserve both judicial resources and those of the parties, Appellants and Appellee
hereby request a 60-day extension on the deadline to file Appellee’s brief.
Pursuant to Tex. R. App. P. 10.5(b), the parties state the following: (1) The
current deadline for Appellee’s Brief is November 10, 2025, which is 60 days after
the original deadline of September 10, 2025; (2) the parties to this appeal are
requesting another 60-day extension, until January 9, 2026; (3) the requested
extension, which is made jointly, is to allow a new ratemaking process to play out
which may moot this appeal and the underlying litigation; and (4) one previous
unopposed 60-day extension was requested and granted by the Court.
CONCLUSION OR PRAYER
For the reasons stated herein, Appellants and Appellee hereby requests a 60-
day extension of the deadline for filing Appellee’s Brief, making it due on January
9, 2026.
-2-
Respectfully submitted,
By Ray Chester
Ray C. Chester
State Bar No. 04189065
Andrew M. Edge
State Bar No. 24071446
McGinnis Lochridge LLP
1111 W. 6th Street, Bldg. B,
Suite 400
Austin, Texas 78703
(512) 495-6000
(512) 495-6093 (Fax)
rchester@mcginnislaw.com
aedge@mcginnislaw.com
Attorneys for Appellee
By /s/ Rosalind L. Hunt with permission
Rosalind L. Hunt
State Bar No. 24067108
Assistant Attorney Generals
Administrative Law Division
Office of the Attorney General of
Texas
P. O. Box 12548, Capitol Station
Austin, Texas 78711-2548
(512) 475-4166
(512) 320-0167 (Fax)
Rosaline. Hunt@oag.texas.gov
Attorneys for Appellants
Texas Department of Insurance
And Commissioner Cassie
Brown
-3-
CERTIFICATE OF CONFERENCE
I hereby certify that pursuant to Tex. R. App. P. 10.1(5), on the 15th day of
October, 2025, I conferred with Rosalind Hunt, lead appellate counsel for
Appellants, and Appellants join in this motion.
Ray Chester
CERTIFICATE OF SERVICE
I hereby certify that on the 15th day of October, 2025, I electronically filed
the above and foregoing document, which will send notification of such filing to:
ROSALIND L. HUNT
State Bar No. 24067108
Assistant Attorney Generals
Administrative Law Division
Office of the Attorney General of Texas
P.O. Box 12548, Capitol Station
Austin, Texas 78711-2548
Telephone: (512) 475-4166
Facsimile: (512) 320-0167
Rosalind.Hunt@oag.texas.gov
Ray Chester
-4-
Automated Certificate of eService
This automated certificate of service was created by the efiling system.
The filer served this document via email generated by the efiling system
on the date and to the persons listed below. The rules governing
certificates of service have not changed. Filers must still provide a
certificate of service that complies with all applicable rules.
Kim McBride on behalf of Ray Chester
Bar No. 04189065
kmcbride@mcginnislaw.com
Envelope ID: 106878395
Filing Code Description: Motion
Filing Description: Joint Motion to Extend Time for Filing of Appellee's
Brief
Status as of 10/15/2025 2:07 PM CST
Associated Case Party: Texas Land Title Association
Name BarNumber Email TimestampSubmitted Status
Kim McBride kmcbride@mcginnislaw.com 10/15/2025 1:45:14 PM SENT
Associated Case Party: Texas Department of Insurance
Name BarNumber Email TimestampSubmitted Status
Rosalind Hunt rosalind.hunt@oag.texas.gov 10/15/2025 1:45:14 PM SENT
Jennifer Foster Jennifer.Foster@oag.texas.gov 10/15/2025 1:45:14 PM SENT
Meridith Fischer Meridith.Fischer@oag.texas.gov 10/15/2025 1:45:14 PM SENT
John Grey John.Grey@oag.texas.gov 10/15/2025 1:45:14 PM SENT
Case Contacts
Name BarNumber Email TimestampSubmitted Status
Ray Chester rchester@mcginnislaw.com 10/15/2025 1:45:14 PM SENT
Drew Edge aedge@mcginnislaw.com 10/15/2025 1:45:14 PM SENT
James Brazell James.Brazell@oag.texas.gov 10/15/2025 1:45:14 PM SENT
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