# Daniel Sherman Brown v. State

> Texas Court of Appeals, 1st District (Houston) · December 2, 2015

URL: https://www.frixlaw.com/law-library/cases/4074065

## Case

- **Court:** Texas Court of Appeals, 1st District (Houston)
- **Decided:** December 2, 2015
- **Precedential status:** Published
- **Opinion:** Opinion
- **Cited by:** 0 later opinions in the Frix Law Library

## Citator (automated)

- No negative treatment found by the automated citator. That is not the same as a confirmation that the case is good law; read the citing cases.
- Full citator and citing cases: https://www.frixlaw.com/law-library/cases/4074065

## Opinion text

ACCEPTED
01-15-00292-CR
FIRST COURT OF APPEALS
HOUSTON, TEXAS
12/2/2015 3:08:02 PM
CHRISTOPHER PRINE
Nos. 01-15-00291-CR 01-15-00292-CR, & 01-15-00293-CR CLERK

IN THE
FILED IN
1st COURT OF APPEALS
Court of Appeals HOUSTON, TEXAS

For the First Judicial District of Texas 12/2/2015 3:08:02 PM
CHRISTOPHER A. PRINE
At Houston Clerk

__________

DANIEL SHERMAN BROWN,
Appellant
v.

THE STATE OF TEXAS
Appellee
_________
Cause numbers: 1414895, 1422157, & 1422158
In the 183rd Judicial District Court
Of Harris County, Texas
_________

Appellant’s Motion for Extension of Time Within
Which to file the Appellant’s Brief
__________

TO THE HONORABLE FIRST COURT OF APPEALS:

Daniel Sherman Brown, the appellant, under TEX. R. APP. P. 10.1 & 10.5(b),

moves for an extension of time within which to file his appellate brief. In support

of his motion, the appellant submits the following:

(A) The appellant’s brief is due on November 20, 2015.
(B) The appellant seeks an extension of time to file the appellant’s brief
until, December 4, 2015.
(C) The appellant relies upon the following facts to reasonably explain the
need for an extension:
Despite the undersigned’s best effort, she was unable to
complete the appellant’s brief by the due date and requests a
short extension to do so.

(D) Two previous motions requesting an extension of time to file the
appellant’s brief have been requested and granted.

WHEREFORE, the appellant prays that this Court will grant the requested

extension until December 4, 2015.

Respectfully submitted,

__/s/__Kelly Smith___________
KELLY ANN SMITH

CERTIFICATE OF COMPLIANCE & SERVICE

Pursuant to TEX. R. APP. P. 9.5 & 9.4, this certifies that this document

contains 279 words and a copy of the foregoing was served on the State at the

following address: Devon Anderson, District Attorney, 1201 Franklin, 6th Floor,

Houston, Texas 77002.

__/s/__KellySmith______________
KELLY ANN SMITH
Texas Bar No. 00797867

P.O. Box 10751
Houston, TX 77206
281-734-0668
Kelly.A.Smith.06@gmail.com

2

---

Source: Frix Law Library, https://www.frixlaw.com/law-library/cases/4074065. Public record. Not legal advice.
