Riverside Stategic Capital Fund I, LP, RSCF Blocker True Health, LLC, RSCF I-A Blocker True Health, LLC v. CLG Investments, LLC

CourtListener 10773068Txctapp15Jan 7, 2026

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ACCEPTED
15-25-00137-CV
FIFTEENTH COURT OF APPEALS
AUSTIN, TEXAS
1/7/2026 5:06 PM
NO. 15-25-00137-CV CHRISTOPHER A. PRINE
CLERK
FILED IN
IN THE COURT OF APPEALS 15th COURT OF APPEALS
FOR THE FIFTEENTH DISTRICT OF AUSTIN, TEXAS
TEXAS AT AUSTIN 1/7/2026 5:06:46 PM
CHRISTOPHER A. PRINE
Clerk
RIVERSIDE STRATEGIC CAPITAL FUND I, LP, RSCF BLOCKER TRUE
HEALTH, LLC, AND RSCF I-A BLOCKER TRUE HEALTH, LLC,
Appellants,
v.
CLG INVESTMENTS, LLC, ET AL.,
APPELLEES.

On Appeal from the Business Court of Texas, First Division
(1B) Hon. Bill Whitehill, Presiding; Cause No. 25-BC01B-
0006

UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE BRIEF OF
APPELLEES

Appellees CLG Investments, LLC, Christopher Grottenthaler, Covert

Investment Operations, LLC, True Health Diagnostic Management, LLC, Richard

Covert, Timothy Tatarowicz, Alba Durata, LLC, Melinda Milburn, Jack Novak,

Dana Hovind, Tom Wippman, Mark Thomas Smith, Alexandra Nettesheim, Kyle

Nettesheim, Robert Osterhoff, RJ Investments, Matt Milburn, Michael Clements,

Michael Osterhoff, Karen Miller, Edward McCann, Daniel Grottenthaler, Anita

Grottenthaler, Christian Richards, Christopher Kling, Kevin Nellis, Carol Nellis,

Bruce Zivian, Ryan Nellis, and Ancelmo E. Lopes (the “Remaining Appellees”),

1
file this unopposed motion for a 31-day extension of time to file their Brief of

Appellees, and respectfully show the Court as follows:

DUE DATE

The current deadline for filing the Brief of Appellees for the Remaining

Appellees is January 9, 2026. No previous extension has been sought by the

Remaining Appellees regarding this brief. The Remaining Appellees seek a 31-

day extension until Monday, February 9, 2026, to file their Brief of Appellees. 1

REASONS FOR EXTENSION OF TIME

Fernando De Leon, LCG Ventures, LLC, LCG Venture II, LCG, and Leon

Capital Partners, LLC (the “LCG Appellees”) previously filed for and received an

extension until February 9, 2026. Counsel for the Remaining Appellees

mistakenly believed the extension applied to all Appellees. Appellants and

Appellees agree that a uniform briefing schedule benefits all parties and would

prefer that all Appellees file a responsive brief on the same date.

Additionally, the Remaining Appellees’ counsel has been involved in other

matters and matters with deadlines quickly approaching. In particular:

• Oral Argument in the Fifth Circuit Court of Appeals on January 8, 2026 in
Case Number 25-10572, Ayers v. Neugebauer.

• Responding to a Motion for New Trial on January 4, 2026 in the Cause
No. 21-6505-442, Pedestal SVN Investments, LLC v. SVN Med, LLC et al.,

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The Remaining Appellees seek a 31-day extension because a 30-day extension places the
deadline on Sunday, February 8, 2026
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before the 442nd District Court of Denton County, Texas.

• Preparing for a February 2026 jury trial setting including numerous
pretrial filings in Case No. 20-000409-CA, Tower Hill Signature Ins. Co.
v. SFR Services, LLC, et al., pending before the 19th Judicial Circuit Court
of Martin County, Florida.

• Preparing for a February 2, 2026 jury trial setting in Case No. 23-CF-
000937, State of Florida v. McGraw, pending before the 20th Judicial
Circuit Court of Lee County, Florida.

EXTENSION SOUGHT IN THE INTEREST OF JUSTICE

This extension is not sought for the purpose of delay but in the interest of

justice, to allow the Remaining Appellees to fully brief the issues to the Court,

with all parties filing briefs on the same schedule.

APPELLANTS DO NOT OPPOSE THIS MOTION
Counsel for Appellants do not oppose this motion for extension of time.

For these reasons, the Remaining Appellees respectfully request that the

Court grant this motion and extend the deadline for filing the Remaining

Appellees’ Brief of Appellees by 31 days, up to and including February 9, 2026.

Dated: January 7, 2026. Respectfully submitted,

/s/ Ryan Downton
Ryan Downton
THE TEXAS TRIAL GROUP
Texas Bar No. 24036500
875 Carr 693, Ste. 103
Dorado, PR 00646
Phone: 512-680-7947
Ryan@TheTexasTrialGroup.com
*Ryan Downton is licensed in Texas, not

3
Puerto Rico

ATTORNEYS FOR REMAINING
APPELLEES

CERTIFICATE OF CONFERENCE

I certify that on January 6, 2025, counsel for Remaining Appellees
conferred with Lane Webster, counsel for Appellants, regarding the extension
requested herein. Mr. Webster stated that Appellants do not oppose the relief
requested in this motion.

/s/ Ryan Downton
Ryan Downton

CERTIFICATE OF SERVICE

I certify that on January 7, 2026, a true and correct copy of the foregoing
instrument was served via e-filing on all counsel of record.

/s/ Ryan Downton
Ryan Downton

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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.

Ryan Downton on behalf of Ryan Downton
Bar No. 24036500
ryan@thetexastrialgroup.com
Envelope ID: 109784902
Filing Code Description: Motion
Filing Description: Motion for Extension of Time
Status as of 1/8/2026 7:05 AM CST

Case Contacts

Name BarNumber Email TimestampSubmitted Status

LaDawn Nandrasy 4715800 ladawn.nandrasy@wickphillips.com 1/7/2026 5:06:46 PM SENT

Sean Lemoine sean.lemoine@wickphillips.com 1/7/2026 5:06:46 PM SENT

Rashella Widdoes - Paralegal widdoes@RoggeDunnGroup.com 1/7/2026 5:06:46 PM SENT

Colin PBenton colin.benton@wickphillips.com 1/7/2026 5:06:46 PM SENT

Lanette Fidone lanette.fidone@wickphillips.com 1/7/2026 5:06:46 PM SENT

Samantha Tandy samantha.tandy@wickphillips.com 1/7/2026 5:06:46 PM SENT

Zachary Farrar Zachary.Farrar@wickphillips.com 1/7/2026 5:06:46 PM SENT

Harvey Joseph Joseph@roggedunngroup.com 1/7/2026 5:06:46 PM SENT

Karina Enriquez karina.enriquez@wickphillips.com 1/7/2026 5:06:46 PM SENT

Lane Webster webster@RoggeDunnGroup.com 1/7/2026 5:06:46 PM SENT

Rogge Dunn dunn@roggedunngroup.com 1/7/2026 5:06:46 PM SENT

Barb Morgan barb.morgan@wickphillips.com 1/7/2026 5:06:46 PM SENT

Associated Case Party: Riverside Strategic Capital Fund I, L.P., RSCF Blocker True
Health, LLC, RSCF I-A Blocker True Health, LLC

Name BarNumber Email TimestampSubmitted Status

Adam Gogolak AMGogolak@wlrk.com 1/7/2026 5:06:46 PM SENT

William Savitt WDSavitt@wlrk.com 1/7/2026 5:06:46 PM SENT

Michael Avi-Yonah MSAviYonah@wlrk.com 1/7/2026 5:06:46 PM SENT

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