Opinion

James Arthur Brown v. State

Court
Texas Court of Appeals, 3rd District (Austin)
Filed
Feb 26, 2015
Status
Published
Cited by
0 cases

The opinion

ACCEPTED

03-13-00760-CR

4305162

THIRD COURT OF APPEALS

AUSTIN, TEXAS

2/26/2015 4:57:37 PM

JEFFREY D. KYLE

CLERK

No. 03-13-00760-CR

FILED IN

3rd COURT OF APPEALS

IN THE AUSTIN, TEXAS

2/26/2015 4:57:37 PM

JEFFREY D. KYLE

COURT OF APPEALS Clerk

THIRD DISTRICT

AUSTIN, TEXAS

JAMES BROWN,

Appellant

v.

THE STATE OF TEXAS,

Appellee.

SECOND MOTION TO EXTEND TIME FOR FILING APPELLEE'S BRIEF

TO THE HONORABLE JUSTICES OF THE COURT OF APPEALS:

The State of Texas, by and through the District Attorney for Travis County,

respectfully moves this Court to extend the time for filing Appellee's brief. In

support of this motion, the State respectfully shows the Court as follows:

Appellee's brief in this cause is due on Friday, February 27, 2015. Appellee

has requested one prior extension to file Appellee's brief. Appellee respectfully

requests an extension of seven days until March 6, 2015.

Counsel’s recent trial schedule, including a jury trial February 23 – 24 with an

ensuing sentencing hearing February 27, and other routine courthouse duties have

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interfered with completion of the brief which is perhaps seventy-five percent

complete. Only a brief time extension is necessary for completion.

PRAYER

For these reasons, the State requests the Court to grant this motion to extend

the time for filing Appellee's brief until March 6, 2015.

Respectfully submitted,

ROSEMARY LEHMBERG

DISTRICT ATTORNEY

TRAVIS COUNTY, TEXAS

/s/ William G. Swaim III

Special Assistant District Attorney

State Bar No. 00785074

P.O. Box 1748

Austin, Texas 78767

Phone (512) 854-9637

Fax No. (512) 854-9316

Bill.Swaim@traviscountytx.gov

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CERTIFICATE OF COMPLIANCE

Pursuant to Texas Rule of Appellate Procedure 9.4(i), I hereby certify, based

on the computer program used to generate this motion, that this motion contains 343

words, excluding words contained in those parts of the brief that Rule 9.4(i) exempts

from inclusion in the word count.

/s/ William G. Swaim III

Special Assistant District Attorney

CERTIFICATE OF SERVICE

I certify that, on this the 26th day of February, 2015, a copy of the foregoing

motion was sent, via U.S. mail, email, or electronically through the electronic file

manager, to the following attorney for the appellant:

Tanisa Jeffers, Esq. Brian

Bernard, Esq. Bernard &

Associates 1203 Baylor

Street Austin, TX 78703

Fax: 512.478.9827

Email: tanisaL@hotmail.com

attorneybernard@yahoo.com

/s/ William G. Swaim III

Special Assistant District Attorney

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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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