# State v. John Allen Wachtendorf, Jr.

> Texas Court of Appeals, 3rd District (Austin) · February 12, 2015

URL: https://www.frixlaw.com/law-library/cases/4051711

## Case

- **Court:** Texas Court of Appeals, 3rd District (Austin)
- **Decided:** February 12, 2015
- **Precedential status:** Published
- **Opinion:** Opinion
- **Cited by:** 0 later opinions in the Frix Law Library

## Citator (automated)

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- Full citator and citing cases: https://www.frixlaw.com/law-library/cases/4051711

## Opinion text

ACCEPTED
03-14-00633-CR
4133786
THIRD COURT OF APPEALS
AUSTIN, TEXAS
2/12/2015 4:27:02 PM
JEFFREY D. KYLE
CLERK
NO. 03-14-00633-CR

STATE OF TEXAS § IN THE COURT OF APPEALS
FILED IN
3rd COURT OF APPEALS
§ AUSTIN, TEXAS
v. § THIRD DISTRICT
2/12/2015 4:27:02 PM
§ JEFFREY D. KYLE
Clerk
JOHN ALLEN WACHTENDORF § AUSTIN, TEXAS

MOTION FOR EXTENSION OF TIME TO FILE BRIEF

NOW COMES THE STATE OF TEXAS, Appellant, by and through her

Assistant District Attorney, and moves the Court, pursuant to Texas Rule of Appellate

Procedure 38.6(d), to extend the deadline for filing the State’s brief. In support of its

motion, the State would show the Court the following:

1. The State’s Brief in this case is due on February 16, 2015.

2. No previous extensions of time have been requested by the State or granted by this
Court.

3. The undersigned Assistant District Attorney, assumed the duties of the appellate

prosecutor for the Williamson County District Attorney’s Office on November 3,

2014.

4. The undersigned is the sole Assistant District Attorney in the Williamson County

District Attorney’s Office assigned to the appellate division, and must, in addition

to handling writs and direct appeals, advise the trial prosecutors on motions to

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suppress, jury charges, issues that arise during trial, and other legal matters as they

come up during the course of the prosecution of a case.

5. Upon assuming office, the undersigned Assistant District Attorney found numerous

matters unresolved by his predecessor, many of which appear to have been

unattended for some time, and to which he must now attend. These include the

following Writs of Habeas Corpus: Ex Parte Markum Woodrow Peavey WR-

70,212-03, 08-1604-K26A, Ex Parte Cory Dale Morgan WR-81,867-01, 12-1212-

K368A, Ex Parte Stephen Farrell Eikelboom, WR-81,534-01, WR-81,534-02, WR-

81,534-03, Ex Parte Robert Brown, 05-307-K277A, Ex Parte Austen Joseph Ross,

07-379-K368A, Ex Parte David Wayne Grasman 03-168-K277A, Ex Parte Beau

Prestidge 08-1340-K368A, Ex Parte Antonio Gonzalez Rodriguez 00-430-K368B,

Ex Parte Scott Patrick Hudson 09-1620-K277A, Ex Parte Robert Jesse Padilla 06-

921-K368A, Ex Parte Johnny Moreno 07-712-K368B, Ex Parte Dionisio Balderas

Moreno 07-469-K368B, Ex Parte Daniel Robert Lock 97-780-K277A, and Ex

Parte Robert Carlos Campos 08-1015-K26A.

6. On January 29, 2015, the undersigned Assistant District Attorney filed a State’s

Response to Appellant’s Motion to Dismiss in this cause.

7. Since assuming his position, the undersigned Assistant District Attorney has filed

answers to applications for writs of habeas corpus in Ex Parte Edward Lamonyne

2
King 10-1235-K26A, and Ex Parte Daniel Robert Lock 94-085-K277A, affidavits,

supplemental documentation, and/or proposed findings of fact and conclusions of

law regarding applications for writs of habeas corpus in Ex Parte Stephen Farrell

Eikelboom, WR-81,534-01, WR-81,534-02, WR-81,534-03, Ex Parte Robert

Brown WR-71,460-4, and Ex Parte Antonio Gonzalez Rodriguez 00-430-K368B,

obtained and filed an affidavit requested by the Court of Criminal Appeals in Ex

Parte Cory Dale Morgan WR-81,867-01, 12-1212-K368A.

8. The State still has a variety of appeals and writs of habeas corpus to which he must

respond.

9. For the foregoing reasons, The State respectfully requests that the deadline for

filing its brief in the above stated cause be extended for an additional sixty (60)

days from the current due date of February 16, 2015, to April 17, 2015.

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WHEREFORE, PREMISES CONSIDERED, the State of Texas respectfully

requests that this Court grant its motion for an extension of time and extend the State’s

deadline to file its brief to April 17, 2015.

Respectfully submitted,

Jana Duty
District Attorney
Williamson County, Texas

/s/ John C. Prezas
John C. Prezas
Assistant District Attorney
State Bar Number 24041722
405 Martin Luther King #1
Georgetown, Texas 78626
(512) 943-1248
(512) 943-1255 (fax)
jprezas@wilco.org

Certificate of Service

This is to certify that on February 12, 2015, a copy of the foregoing motion has
been sent to Appellant’s attorney of record, Ms. Kristen Jernigan, 207 S. Austin Ave.
Georgetown, Texas 78626, kristen@txcrimapp.com by eservice.

/s/ John C. Prezas
John C. Prezas

4

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Source: Frix Law Library, https://www.frixlaw.com/law-library/cases/4051711. Public record. Not legal advice.
