In Re Natural Gas Services Group, Inc. and Charles A. Perez v. the State of Texas
Court
Court of Appeals of Texas
Decided
June 17, 2025
Jurisdiction
SA
Importance
44%
Practice Areas
Case Summary
COURT OF APPEALS EIGHTH DISTRICT OF TEXAS EL PASO, TEXAS § IN RE NATURAL GAS SERVICES No. 08-25-00157-CV GROUP, INC. and CHARLES A. PEREZ, § AN ORIGINAL PROCEEDING Relators. § IN MANDAMUS § § MEMORANDUM OPINION Relators Natural Gas Services Group, Inc. and Charles A. Perez filed an unopposed motion to dismiss this proceeding indicating that the controversy between the parties has been resolved and the original proceeding is therefore moot. In re Kellogg Brown & Root, Inc., 166 S.W.3d 732, 737 (Tex. 2005) (orig. proceeding) (“A case becomes moot if a controversy ceases to exist between the parties at any stage of the legal proceedings[.]”). Accordingly, we lift the stay previously imposed and dismiss the petition for writ of mandamus as moot. LISA J. SOTO, Justice June 17,2025 Before Salas Mendoza, C.J., Palafox and Soto, JJ.
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Status
Decided
Date Decided
June 17, 2025
Jurisdiction
SA
Court Type
federal
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Case Overview
Case Name: In Re Natural Gas Services Group, Inc. and Charles A. Perez v. the State of Texas
Citation: Unknown
Court: Court of Appeals of Texas (Federal)
Date: June 17, 2025
Jurisdiction: San Antonio (SA)
This case involves a petition for writ of mandamus filed by Natural Gas Services Group, Inc. and Charles A. Perez against the State of Texas. The relators sought relief from a prior ruling, but the case was rendered moot due to the resolution of the underlying controversy.
Key Legal Issues
- Mandamus Relief: The primary legal issue was whether the court should grant a writ of mandamus to compel action or decision from a lower court or governmental body.
- Mootness Doctrine: The court assessed whether the controversy still existed between the parties, which is a critical factor in determining the viability of the case.
Court's Decision
The Court of Appeals decided to dismiss the petition for writ of mandamus as moot. The court lifted a previously imposed stay and concluded that the controversy between the parties had been resolved, thus eliminating the need for further judicial intervention.
Legal Reasoning
The court referenced the precedent set in In re Kellogg Brown & Root, Inc., 166 S.W.3d 732, 737 (Tex. 2005), which establishes that a case becomes moot when there is no longer a controversy between the parties at any stage of the legal proceedings. The court emphasized that mandamus relief is appropriate only when there is an ongoing issue requiring resolution.
Key Holdings
- The petition for writ of mandamus was dismissed as moot due to the resolution of the underlying controversy.
- The court lifted the stay previously imposed on the proceedings.
Precedents and Citations
- In re Kellogg Brown & Root, Inc., 166 S.W.3d 732 (Tex. 2005): This case was cited to support the court's conclusion regarding mootness and the necessity of an ongoing controversy for mandamus relief.
Practical Implications
The dismissal of this case underscores the importance of the mootness doctrine in mandamus proceedings. Legal practitioners should be aware that:
- A resolution between parties can lead to the dismissal of cases, even if they have progressed through the courts.
- Understanding when a case becomes moot is crucial for effective legal strategy and client advisement.
This case serves as a reminder for legal professionals to continuously assess the status of controversies in ongoing litigation, ensuring that the matters at hand remain justiciable and relevant.
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Case Details
Legal case information
Status
Decided
Date Decided
June 17, 2025
Jurisdiction
SA
Court Type
federal
Legal Significance
Case importance metrics
Metadata
Additional information
Quick Actions
Case management tools