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  • In the Matter of the Marriage of Walla Nabil Almasri and Robert Clinton ProctorDivorce - No Children document preview
  • In the Matter of the Marriage of Walla Nabil Almasri and Robert Clinton ProctorDivorce - No Children document preview
  • In the Matter of the Marriage of Walla Nabil Almasri and Robert Clinton ProctorDivorce - No Children document preview
  • In the Matter of the Marriage of Walla Nabil Almasri and Robert Clinton ProctorDivorce - No Children document preview
  • In the Matter of the Marriage of Walla Nabil Almasri and Robert Clinton ProctorDivorce - No Children document preview
  • In the Matter of the Marriage of Walla Nabil Almasri and Robert Clinton ProctorDivorce - No Children document preview
						
                                

Preview

NOTICE: THIS DOCUMENT CONTAINS SENSITIVE DATA. CAUSE NO. 2023 -308535 IN THE MATTER OF § IN THE DISTRICT COURT THE MARRIAGE OF § 505TH JUDICIAL DISTRICT WALLA NABIL ALMARSI AND ROBERT CLINTON PROCTOR FORT BEND COUNTY, TEXAS MOTION FOR EXTENSION TIME COMES NOW, the Husban ROBERT CLINTON PROCTOR by and through the undersigned attorney, and files this Motion for Extension of Time and states: The Husband, ROBERT CLINTON PROCTOR in need of an extension of time to respond to the Wife, WALLA NABIL ALMARSI First Amended Petition for Divorce filed September 15, 2023. The undersigned attorney has been retained to represent ROBERT CLINTON PROCTOR in this matter, and will need time to review, and respond to any and all pleadings filed in this matter. The Husband, ROBERT CLINTON PROCTOR not seeking an extension of for the purpose of undue delay, and the Wife will not be prejudice by the Court granting this motion. WHEREFORE the Husband, ROBERT CLINTON PROCTOR, respectfully prays this honorable Court grant this motion, and extend the time for which the Husband, ROBERT CLINTON PROCTOR has to answer any and all pleadings filed in this matter including the First Amended Petition for Divorce e filed on September 15, 2023, and for such further relief as this Court deems just and appropriate. CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the foregoing was served in accordance with Rule 21a of the Texas Rules of Civil Procedure on January 7, 2024. Respectfully submitted, /s/ Mahira Khan ____ Mahira Q. Khan, Esquire Texas Bar No. 24131955 10730 N. 56 Street. # 208 Tampa, FL 33617 Tel. (786) 772 Email: mahira@shiblylaw.com legal@shiblylaw.com Attorney for ROBERT CLINTON PROCTOR