Christi Beth Perrin v. State ( 2015 )


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  •                                                                                               ACCEPTED
    06-14-00232-CR
    SIXTH COURT OF APPEALS
    TEXARKANA, TEXAS
    5/13/2015 5:23:52 PM
    DEBBIE AUTREY
    CLERK
    IN THE COURT OF APPEALS FOR THE
    SIXTH DISTRICT OF TEXAS AT TEXARKANA
    FILED IN
    6th COURT OF APPEALS
    CHRISTI BETH PERRIN,                      §                         TEXARKANA, TEXAS
    APPELLANT                             §                       5/13/2015 5:23:52 PM
    §          No.   06-14-00232-CR
    DEBBIE AUTREY
    v.                                        §                               Clerk
    §
    THE STATE OF TEXAS,                       §
    APPELLEE                              §
    STATE’S FIRST MOTION FOR EXTENSION OF TIME
    TO FILE STATE’S BRIEF
    COMES NOW, the State of Texas, by and through the Criminal District
    Attorney of Collin County, Greg Willis, and tenders, pursuant to Texas Rules of
    Appellate Procedure 10.5(b) and 38.6(d), this motion for an extension of time to
    file the State’s brief. In support of this motion, the State would show the following:
    I.
    The Court below is County Court at Law Four of Collin County, Texas. The
    case is styled State of Texas v. Christi Beth Perrin, cause number 004-82924-2014.
    II.
    Appellee was convicted by a jury of driving while intoxicated and sentenced
    to six days in the county jail.
    1
    III.
    The State’s brief is due on May 13, 2015. The State has not previously
    requested an extension of time. The case is not yet set for submission. The State is
    requesting this extension so that it might adequately address the issues at hand. The
    extension is not requested for the purpose of an improper delay.
    IV.
    The State alleges good cause exists for the extension due to the
    undersigned’s schedule. The undersigned has tried two jury trials in the last ten
    days and has an active trial docket with several trials scheduled in the next month.
    The undersigned has also recently been tasked with new duties within the office,
    which have required training.
    WHEREFORE, premises considered, the State respectfully requests that the
    Court grant the State’s motion to extend the time to file its brief for thirty days,
    until June 13, 2015.
    Respectfully submitted,
    GREG WILLIS
    Criminal District Attorney
    Collin County, Texas
    JOHN R. ROLATER, JR.
    Assistant Criminal District Attorney
    Chief of the Appellate Division
    2
    /s/ Erik F. Gierczyk
    ERIK F. GIERCZYK
    Assistant Criminal District Attorney
    2100 Bloomdale Rd., Ste. 200
    McKinney, Texas 75071
    State Bar No. 24082333
    (972) 548-3657
    FAX (214) 491-4860
    egierczyk@co.collin.tx.us
    CERTIFICATE OF SERVICE
    A true copy of the State’s First Motion for Extension of Time to File State’s
    Brief has been electronically served on counsel for Appellant, John Schomburger,
    and a courtesy copy emailed to jschomburger@gmail.com, on this, the 13th day
    of May, 2015.
    /s/ Erik F. Gierczyk
    Erik F. Gierczyk
    3
    

Document Info

Docket Number: 06-14-00232-CR

Filed Date: 5/13/2015

Precedential Status: Precedential

Modified Date: 9/29/2016