CourtListener 10663996•Jorge R. Guevara, M.D. v. Texas Medical Board
Jorge R. Guevara, M.D. v. Texas Medical Board
CourtListener 10663996Txctapp1526 ago 2025
Testo completo
ACCEPTED
15-25-00036-CV
FIFTEENTH COURT OF APPEALS
AUSTIN, TEXAS
8/26/2025 7:32 AM
CHRISTOPHER A. PRINE
CASE NO. 15-25-00036-CV CLERK
__________________________________________________________________
FILED IN
15th COURT OF APPEALS
AUSTIN, TEXAS
IN THE COURT OF APPEALS 8/26/2025 7:32:45 AM
FOR THE FIFTEENTH DISTRICT OF TEXAS AT AUSTIN A. PRINE
CHRISTOPHER
__________________________________________________________________
Clerk
JORGE R. GUEVARA, M.D.,
Appellant,
v.
TEXAS MEDICAL BOARD
Appellee.
__________________________________________________________________
APPELLEE TEXAS MEDICAL BOARD’S SECOND UNOPPOSED
MOTION FOR EXTENSION OF TIME TO FILE APPELLEE’S
BRIEF
__________________________________________________________________
TO THE HONORABLE FIFTEENTH COURT OF APPEALS:
In accordance with Texas Rules of Appellate Procedure 10.5(b) and
38.6(d), Appellee the Texas Medical Board (TMB) respectfully requests a
30-day extension of time to file its brief. In support of the motion,
Appellee TMB would show the following:
1. The deadline for filing Appellee’s brief is August 29, 2025.
2nd Unopposed Motion for Extension of Time
Page 1 of 5
2. Appellee TMB requests a 30-day extension from the current
deadline to file its brief. If granted, this extension would cause Appellee’s
brief to be due on September 29, 2025.
3. Counsel for TMB requires an extension due to multiple
competing deadlines. Between counsel’s first and second request for an
extension of time, counsel has been preparing for her first oral argument
before the Texas Supreme Court, submitted a petition for review to the
Texas Supreme Court, provided general counsel services at three board
meetings, drafted an appellate brief in Omietimi v. Texas Board of
Nursing, Case No. 15-25-00033-CV, before the 15th Court of Appeals, and
prepared for a hearing on the merits scheduled for August 27, 2025 before
the 250th Judicial District of Travis County. She will need 30 more days
to finish the brief in the above-captioned case.
4. Counsel for Appellant Dr. Guevara does not oppose the
requested extension.
5. One previous motion for extension of time to file Appellee’s
brief has been granted.
2nd Unopposed Motion for Extension of Time
Page 2 of 5
WHEREFORE, PREMISES CONSIDERED, Appellee TMB
respectfully requests that this honorable Court grant its motion for
extension of time.
Respectfully submitted,
KEN PAXTON
Attorney General of Texas
BRENT WEBSTER
First Assistant Attorney General
RALPH MOLINA
Deputy First Assistant Attorney
General
AUSTIN KINGHORN
Deputy Attorney General for Civil
Litigation
ERNEST C. GARCIA
Chief, Administrative Law Division
/s/Kathy Johnson
KATHY JOHNSON
Assistant Attorney General
Texas State Bar No. 24126964
Ted A. Ross
Assistant Attorney General
State Bar No. 24008890
Office of the Attorney General
Administrative Law Division
P.O. Box 12548, Capitol Station
2nd Unopposed Motion for Extension of Time
Page 3 of 5
Austin, Texas 78711-2548
Telephone: (512) 475-4164
kathy.johnson@oag.texas.gov
ATTORNEYS FOR APPELLEE
TEXAS MEDICAL BOARD
CERTIFICATE OF CONFERENCE
I hereby certify that I have conferred with Hayley Ellison, counsel
for Appellant Dr. Guevara, by email on August 25, 2025. Appellant does
not oppose the granting of the relief requested in this motion.
/s/Kathy Johnson
KATHY JOHNSON
ASSISTANT ATTORNEY GENERAL
2nd Unopposed Motion for Extension of Time
Page 4 of 5
CERTIFICATE OF SERVICE
I certify that a true and correct copy of the foregoing motion was
served on the following counsel of record for Appellant by electronic
service and/or e-mail on August 26, 2025:
Hayley Ellison
Davis & Santos, PLLC
719 S. Flores St.
San Antonio, TX 78204
P: 210-853-5882
hellison@dslawpc.com
ATTORNEY FOR APPELLANT
/s/Kathy Johnson
KATHY JOHNSON
ASSISTANT ATTORNEY GENERAL
2nd Unopposed Motion for Extension of Time
Page 5 of 5
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.
Jeff Lutz on behalf of Kathy Johnson
Bar No. 24126964
jeff.lutz@oag.texas.gov
Envelope ID: 104833744
Filing Code Description: Motion
Filing Description: 2025 0826 2nd MET
Status as of 8/26/2025 7:41 AM CST
Case Contacts
Name BarNumber Email TimestampSubmitted Status
Jason M.Davis jdavis@dslawpc.com 8/26/2025 7:32:45 AM SENT
Ted Ross 24008890 Ted.Ross@oag.texas.gov 8/26/2025 7:32:45 AM SENT
Jeff Lutz jeff.lutz@oag.texas.gov 8/26/2025 7:32:45 AM SENT
Hayley Ellison Hellison@dslawpc.com 8/26/2025 7:32:45 AM SENT
Katherine Johnson 24126964 kathy.johnson@oag.texas.gov 8/26/2025 7:32:45 AM SENT
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