Medina-Gonzalez, Marco Polo ( 2014 )


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  •                                                                                      PD-1661-14
    COURT OF CRIMINAL APPEALS
    PD-1661-14                                            AUSTIN, TEXAS
    December 29, 2014                                                Transmitted 12/19/2014 6:04:03 PM
    Accepted 12/29/2014 11:13:38 AM
    ABEL ACOSTA
    CLERK
    NO. ___________________
    MARCO                         POLO       §     IN THE COURT OF
    MEDINA-GONZALEZ                          §
    §
    VS.                                      §     CRIMINAL APPEALS
    §
    STATE OF TEXAS                           §     OF TEXAS
    MOTION TO EXTEND TIME TO
    FILE PETITION FOR DISCRETIONARY REVIEW
    TO THE HONORABLE JUDGES OF SAID COURT:
    Now comes Marco Polo Medina-Gonzalez, Appellant in the above styled
    and numbered cause, and moves for an extension of time of 90 days to file a
    petition for discretionary review, and for good cause shows the following:
    1.      On November 20, 2014, the Court of Appeals affirmed appellant's
    conviction.     Marco Polo Medina-Gonzalez v. State, 10-13-00394-CR.            This
    petition is therefore due on December 20, 2014.
    2.      Counsel has been unable to complete the petition for the following
    reasons:
    In addition to Appellate Counsel’s regular solo practice, he had an appellate
    brief due December 15, 2014 in the Thirteenth Court of Appeals for the State of
    Texas.      The record consisted of more than 800 pages for this appeal -- No.
    13-14-00031-CR, State of Texas v. Aaron Anthony Torres--in which the defendant
    was convicted of: 1 count continuous sexual abuse of a child, 3 counts aggravated
    sexual assault of a child, and 4 counts indecency with a child by contact.
    Additionally
    3.       Appellant request an extension of ninety (90) days to file his
    petitioner and submits the following as the reason for such request:
    a) The Holidays
    b) Appellate Counsel currently has the following court settings:
    a. Jury trial beginning 1/12/2015 in United State v. Andrew
    Toliver, cause number W-14-CR-258, in the Western District of
    Texas Waco Division, wherein the Defendant is charged with
    Possession of a Controlled Substance.
    b. Jury trial beginning 1/13/2015 in State v. Lamar Sterling, in the
    19th District Court of McLennan County, wherein Defendant is
    charged with:
    i. Tampering with Physical Evidence, cause number
    2014-1268-C1;
    ii. Possession of Controlled Substance, cause number cause
    number 2013-567-C1;
    iii. Possession of Controlled Substance in a drug free zone,
    cause number 2013-2117-C1.
    c. 1/21/2015-1/26/2015 CLE seminar 2015 National Appellate
    Defense & Persuasive Writing Skills Institute with the National
    Legal aid & Defender Association.
    d. 2/3/2015 priority jury trial beginning in State v. Ronny
    Standifer, cause number 2013-122-C1 in the 19th District Court
    of McLennan County, Texas wherein Defendant is charged
    with Aggravated Assault.
    e. 2/23/2015 jury trial beginning in State v. Mekamie Olivarez,
    cause number 2014-521-C2 in the 54th District Court of
    McLennan County, Texas where Defendant is charged with
    Possession of Controlled Substance.
    f. 2/24/2015 jury trial beginning in State v. Willie Lloyd in the
    19th District Court of McLennan County where Defendant is
    charged with:
    i. Theft of Service cause number 2013-1295-C1
    ii. Theft by Check cause number 2012-1861-C1
    g. 2/24/2015 jury trial beginning in State v. Tina Johnson Fox
    where Defendant is charged by Theft in cause number
    2014-1239-C1 in the 19th District Court.
    h. 2/15/15-2/18/15 Appellate Counsel serves as the Presiding
    Judge of the Marlin Municipal Court and is expected to attend
    the annual mandatory judge’s seminar with the TMCEC.
    4.    Appellant is currently incarcerated.
    WHEREFORE, PREMISES CONSIDERED, appellant respectfully
    requests an extension of 90 days, i.e. until March 21, 2015, to file a petition for
    discretionary review.
    Respectfully submitted,
    Law Office of Denton B. Lessman
    100 N. 6th Street, Ste. 702
    Waco, TX 76701
    Tel: (254) 776-4544
    Fax: (254) 776-4551
    Digitally signed by Denton B. Lessman
    DN: cn=Denton B. Lessman, o=Law
    Office of Denton B. Lessman, ou,
    email=DLessmanAtty@aol.com, c=US
    Date: 2014.12.19 18:00:06 -06'00'
    By:
    Denton B. Lessman
    State Bar No. 24042474
    DLessmanAtty@aol.com
    Attorney       for     Marco                    Polo
    Medina-Gonzalez
    CERTIFICATE OF SERVICE
    This is to certify that on December 19, 2014, a true and correct copy of the
    above and foregoing document was served on the District Attorney's Office,
    McLennan County, Texas, by electronic service through the Electronic Filing
    Digitally signed by Denton B.
    Lessman
    Manager.                                                    DN: cn=Denton B. Lessman, o=Law
    Office of Denton B. Lessman, ou,
    email=DLessmanAtty@aol.com, c=US
    Date: 2014.12.19 18:00:18 -06'00'
    Denton B. Lessman
    

Document Info

Docket Number: PD-1661-14

Filed Date: 12/29/2014

Precedential Status: Precedential

Modified Date: 9/28/2016