Opinion

Roderick King v. State

Court
Court of Criminal Appeals of Texas
Filed
May 5, 2015
Status
Published
Cited by
0 cases

The opinion

ACCEPTED

06-14-00166-CR

SIXTH COURT OF APPEALS

TEXARKANA, TEXAS

5/5/2015 3:43:34 PM

DEBBIE AUTREY

CLERK

CAUSE NO. 06-14-00166-CR

FILED IN

RODERICK KING § 6th COURT

IN THE COURT OF APPEALS

OF APPEALS

TEXARKANA, TEXAS

§ 5/5/2015 3:43:34 PM

VS. § FOR THE SIXTH DISTRICT

DEBBIE AUTREY

§ Clerk

THE STATE OF TEXAS § OF THE STATE OF TEXAS

STATE'S FIRST MOTION TO EXTEND TIME

FOR FILING STATE’S BRIEF

THE STATE OF TEXAS, by and through the undersigned Assistant District

Attorney, respectfully moves the Court to extend the time for filing of the

Appellee’s Brief in accordance with Rule 10.5 of the Texas Rules of Appellate

Procedure. In support of its motion, the State respectfully offers the following:

1. The Appellee’s brief was due Monday, May 1, 2015, and I have not completed

it due to other matters with more pressing deadlines.

2. The State seeks an additional 31 days from May 1, until Monday, June 1, 2015.

The undersigned will, nonetheless, attempt to complete and file the State’s brief

prior to the extended deadline.

3. I prepared this motion on or before April 30, 2015, but inexplicably, I did not

file it that day. Until today I thought I had filed it then.

4. I did not receive Appellant’s Brief until March 6, because of a glitch in service

from Appellant’s lawyer.

5. The undersigned attorney is responsible for all post-conviction prosecution for

the Gregg County Criminal District Attorney’s Office, including direct appeals

and applications for habeas corpus, bond forfeitures and traffic citation appeals.

In the past 30 days the undersigned attorney has worked on the following:

A. Appellate brief in aggravated robbery case:

1. Cordero Brown v. State, 06-14-00115-CR, (10 volumes; 5

issues) due April 22, 2015 after one extension .

B. Responses to habeas applications:

1. Ex parte Laderick Morgan 33,311-B-H-1 March 31, 2015.

2. Ex parte Moises Renteria 38,802-A-H-1 April 1, 2015.

3. Ex parte James Pierce 37630-A.H-3 April 1, 2015.

4. Ex parte Cline 16,318-A-H-12?, WR-16.199-02, March 30, 2015

5. Ex parte Montalbano, 41,041-B-H-1 due April 25, 2015.

6. Ex parte Young, 42, 697-B-H-2, due April 28, 2015.

7. Ex parte Wyatt, 40, 788-A-H-2?, due April 28, 2015.

8. Ex parte Player, 42,164-A-H-1, due April 29, 2015

9. Ex parte Freeman, 42,132-B-H-2, due April 29, 2015.

C. PDR’s reviewed:

1. Saddler v. State, 6-14-00016-CR, March 23, 2015.

2. Pruitt v. State, 6-14-00216-CR, March 30, 2015.

6. In the next 30 days the undersigned attorney has briefing deadlines in the

following cases in addition to this one:

A. Appellate Briefs:

1. Ross v. State, 06-14-00157-CR due May 11, 2015.

2. Nelson v.State, 06-14-204 –CR due May 11, 2015.

B. Responses to 1 habeas applications

1. Ex parte Spratling, 26,307-B-H-1 due May 11, 2015.

7. Appellant relies on the following facts as good cause for the requested

extension:

A. During the past 30 days, the undersigned has submitted nine habeas

responses, as shown above, and has worked on the Brown brief, which is

now 95 percent complete. In addition, I have processed numerous traffic

court appeals and bond forfeiture cases.

B. I will be attending the Robert Dawson Conference on Criminal Appeals in

Austin on May 27-29. No previous extensions have been requested by the

State in this case.

C. This extension is not requested for purposes of delay, but so that justice may

be done.

Respectfully submitted,

/s/Zan Colson Brown

Zan Colson Brown

Texas Bar No. 03205900

Assistant District Attorney

101 East Methvin St., Suite 333

Longview, TX 75601

Telephone: (903) 236–8440

Facsimile: (903) 236–3701

E-mail: zan.brown@co.gregg.tx.us

CERTIFICATE OF SERVICE

I certify that a true and correct copy of the above and foregoing has been

forwarded to all counsel of record by electronic transmission to:

Mr. Tim Cone

P.O. Box. 413

Gilmer, Texas 75644

Timcone6@aol.com

This 5th day of May, 2015.

/s/ ZanColsonBrown

Zan Colson Brown

Assistant District Attorney

This is a copy of a public record, reproduced as it was published. It is not legal advice, and it may not be the version a court would rely on. Check the official source before you cite it.

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