CourtListener 10773104•Jeremy McKnight v. Spotlight Karaoke, LLC
Jeremy McKnight v. Spotlight Karaoke, LLC
CourtListener 10773104Txctapp1502.01.2026
Gesamter Gesetzestext
ACCEPTED
15-25-00177-CV
FIFTEENTH COURT OF APPEALS
AUSTIN, TEXAS
1/2/2026 4:07 PM
NO. 15-25-00177-CV CHRISTOPHER A. PRINE
CLERK
FILED IN
In The Court of Appeals 15th COURT OF APPEALS
for the Fifteenth Judicial District AUSTIN, TEXAS
Austin, Texas 1/2/2026 4:07:52 PM
CHRISTOPHER A. PRINE
Clerk
JEREMY MCKNIGHT,
Appellant,
v.
SPOTLIGHT KARAOKE, LLC,
Appellee.
Appealed from the 395th Judicial District
Georgetown, Texas
Cause No. 24-0495-C395
MOTION FOR EXTENSION OF
TIME TO FILE APPELLANT’S BRIEF
TO THE HONORABLE JUSTICES OF THE FIFTEENTH COURT OF
APPEALS:
NOW COMES Appellant, Jeremy McKnight, and pursuant to Tex. R. App. P.
38.6(d) and Tex. R. App. P. 10.5(b), files his Motion for Extension of Time to File
Appellant’s Brief.
Appellant requests a thirty-day (30) extension from the original due date to file his
Brief. Appellant filed its Notice of Appeal on September 29, 2025 and his Brief is due on
January 8, 2028. Appellant’s requests an extension to February 6, 2026. This is
Appellant’s First Motion for Extension of Time to File Appellant’s Brief.
1
Appellant’s counsel is unable to meet the January 8, 2026, deadline for the
following reasons:
1. December 19, 2025 to January 1, 2026 - Counsel was out of the office for the
holidays;
2. December 12, 2025 – Counsel attended a deposition in Cause No. 2024-49923;
Huyen Nguyen, et al. v. Sarina Cantu; In the 189th Judicial District Court of Harris
County, Texas; and
3. December 16, 2025 - Counsel attended mediation in Cause No. 2024-40431;
Kimberly Johnson v. Dereje Mekonnen Ali, et al.; In the 189th Judicial District Court of
Harris County, Texas.
For the above reasons, Appellant’s Counsel will be unable to complete Appellant’s
Brief by January 8, 2026. Appellant respectfully requests an additional thirty (30) days
from the original due date to complete preparing the Brief.
This request is not made for the purposes of delay, but so justice may be served.
WHEREFORE, Appellant moves the Court to grant its Motion for Extension of
Time to File Appellant’s Brief, extend the due date for Appellant’s Brief to February 6,
2026, and prays for all other and further relief, both in law and equity, to which it may be
entitled.
2
Respectfully submitted,
HUSAIN LAW + ASSOCIATES, P.C.
By: /s/ Joshua R. Leske
JOSHUA R. LESKE
State Bar No. 24060162
5916 Winsome Lane, Suite 400
Houston, Texas 77057
O: 713.800.1200
E: jleske@hlalawfirm.co
E-Serve: eserve@hlalawfirm.com
COUNSEL FOR APPELLANT
CERTIFICATE OF SERVICE
I certify that a true and correct copy of the foregoing instrument was filed and
served electronically to the Court and all known counsel of record on January 2, 2026.
/s/ Joshua R. Leske
JOSHUA R. LESKE
3
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.
Joshua Leske
Bar No. 24060162
jleske@hlalawfirm.com
Envelope ID: 109616291
Filing Code Description: Motion
Filing Description: Motion for Extension of Time to File Appellant's Brief
Status as of 1/2/2026 4:15 PM CST
Case Contacts
Name BarNumber Email TimestampSubmitted Status
Joshua Leske jleske@hlalawfirm.com 1/2/2026 4:07:52 PM SENT
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