Darrell Wayne Love v. State ( 2015 )


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  •                                                                                            ACCEPTED
    03-15-00462-CR
    7936862
    THIRD COURT OF APPEALS
    AUSTIN, TEXAS
    11/20/2015 5:10:34 PM
    JEFFREY D. KYLE
    CLERK
    CAUSE NO. 03-15-00462-CR
    _________________________________________________
    FILED IN
    3rd COURT OF APPEALS
    AUSTIN, TEXAS
    IN THE COURT OF APPEALS   11/20/2015 5:10:34 PM
    FOR THE THIRD DISTRICT OF TEXAS JEFFREY D. KYLE
    AUSTIN DIVISION               Clerk
    _________________________________________________
    DARRELL WAYNE LOVE                         §
    §
    v.                                         §
    §
    STATE OF TEXAS                             §
    _______________________________________________
    APPELLANT’S SECOND MOTION TO EXTEND
    TIME TO FILE APPELLANT’S BRIEF
    _______________________________________________
    Justin Bradford Smith
    Texas Bar No. 24072348
    Harrell, Stoebner, & Russell, P.C.
    2106 Bird Creek Drive
    Temple, Texas 76502
    Phone: (254) 771-1855
    FAX: (254) 771-2082
    Email: justin@templelawoffice.com
    ATTORNEY FOR APPELLANT
    Appellant’s Second Motion to Extend Time to File Appellant’s Brief              Page 1
    Darrell Wayne Love v. State; Cause No. 03-15-00462-CR
    TO THE HONORABLE COURT OF APPEALS:
    COMES NOW, Appellant, DARRELL WAYNE LOVE, who files this
    Second Motion for Extension of Time to File Appellant’s Brief, and shows unto
    the Court as follows:
    I.
    Appellant’s brief is due on or before November 23, 2015.
    II.
    Appellant seeks an additional sixty (60) days to file his brief, which should
    make his brief due on or before January 22, 2015.                    Appellant’s counsel is
    requesting so much time, both on this case and others, because his briefing
    schedule is quite packed: as of the writing of this motion, he has nine briefs due in
    the next roughly two weeks. A great deal of time was lost preparing for oral
    argument and in the capital murder appeal, which record is voluminous, identified
    below, but a second factor necessitating a greater-than-usual request for more time
    is that Appellant’s counsel was appointed to represent a party in L.H. v. Texas
    Department of Family and Protective Services, 03-15-00673-CV, which is an
    accelerated appeal in a parental rights termination case which also has a large
    record. As the Court knows, this Court has little leeway to grant extensions in
    those appeals.
    Appellant’s Second Motion to Extend Time to File Appellant’s Brief                   Page 2
    Darrell Wayne Love v. State; Cause No. 03-15-00462-CR
    III.
    Facts relied on to reasonably explain the need for an extension include the
    following:
    1.            Preparation for oral argument that was held on November 5,
    2015 in the capital murder case of Sherill Ann Small v. State,
    Cause No. 14-15-00039-CR. The record is voluminous (23
    volumes of the Reporter’s Record; 1 Unsealed Clerk’s Record;
    1 Sealed Clerk’s Record; 2 Supplemental Clerk’s Record), and
    preparation was frequent since the case was set for oral
    argument on September 24, 2015. (e.g., October 23, 2015;
    October 24, 2015; October 26, 2015; October 27, 2015;
    October 28, 2015; October 29, 2015; October 30, 2015;
    November 2, 2015; November 3, 2015; November 4, 2015;
    November 5, 2015) (only includes dates since instant brief
    became due). Also, Appellant’s counsel had to travel to and
    from Houston for oral argument, meaning the whole day was
    lost to this case.
    2.            Drafting brief, reviewing record and performing legal research
    for brief due on November 25, 2015 in Santos Salinas, Jr. v.
    Appellant’s Second Motion to Extend Time to File Appellant’s Brief           Page 3
    Darrell Wayne Love v. State; Cause No. 03-15-00462-CR
    State; Cause No. 13-15-00310-CR (Work performed November
    9, 2015, November 11, 2015; November 12, 2015; November
    13, 2015; November 16, 2015; November 17, 2015; November
    18, 2015; November 19, 2015; November 20, 2015).
    3.            Review record in L.H. v. Texas Department of Family and
    Protective Services, 03-15-00673-CV.            (Work performed on
    November 10, 2015; November 12, 2015; November 17, 2015;
    November 18, 2015.
    4.            Review record and perform legal research for brief due on
    November 30, 2015 in In the Matter of C.P., 03-15-00276-CV.
    (Work performed on November 6, 2015).
    5.            Briefs due on November 30, 2015 in Raymond Ross Mormino,
    II v. State, Cause Nos. 10-15-00167-CR and 10-15-00173-CR.
    6.            Work related to new appeals of four cause numbers in Eian
    Hurlburt v. State, 10-15-00400-CR, 10-15-00401-CR, 10-15-
    00402-CR, 10-15-00402-CR.            (e.g., draft notices of appeal,
    requests for clerk’s records, etc.) (Work performed on October
    23, 2015; October 26, 2015; November 6, 2015; November 13,
    2015).
    Appellant’s Second Motion to Extend Time to File Appellant’s Brief                 Page 4
    Darrell Wayne Love v. State; Cause No. 03-15-00462-CR
    7.            Work related to new appeal, Frank Ortegon v. State, 01-15-
    00880-CR. (e.g., request clerk’s and reporter’s records) (Work
    performed November 16, 2015).
    8.            Work related to new appeal, David Joseph Gonzalez v. State
    (notice of appeal not yet processed); Trial Court Cause Number
    73,960, 426th District Court, Bell County, Texas. (e.g., motion
    for new trial, request records, telephone conference with client)
    (Work performed November 19, 2015).
    9.            Brief due in Stanley Abney v. State, 03-15-00421-CR on
    November 23, 2015.
    10.           Brief due in Terri Lang v. State, 03-15-00332-CR, on
    November 30, 2015.
    11.           Deadline to file a reply brief in Jonathan Lee Fehr v. State, 03-
    15-00231-CR is December 1, 2015.
    12.           Brief due in Michael Warren v. Krystal Charlene Ulatoski, 03-
    15-00380-CV, on December 3, 2015.
    13.           Brief due in Fernando Smith v. State, Cause No. 10-15-00263-
    CR on December 7, 2015.
    Appellant’s Second Motion to Extend Time to File Appellant’s Brief              Page 5
    Darrell Wayne Love v. State; Cause No. 03-15-00462-CR
    14.           Presented CLE to the Williamson County Bar Association on
    November 10, 2015 at the Georgetown Country Club.
    Preparation included November 6, 2015, November 9, 2015 and
    the morning of November 10, 2015.
    15.           Time which will be lost for the Thanksgiving Holidays
    (November 26, 2015; November 27, 2015) as well as Christmas
    and New Year’s.
    16.           Attended part of Fall Bench/Bar CLE on October 22, 2015.
    17.           Miscellaneous work related to cases not having cause numbers
    because not yet pending (e.g., coordinating pre-suit mediation)
    or    are    transactional    (contract    revision/review/research)
    (performed variously over the course of the last month).
    IV.
    One previous extension has been requested and granted in this matter.
    PRAYER
    WHEREFORE, PREMISES CONSIDERED, Appellant asks this Court to
    extend his time for filing his brief to sixty (60) days from the date his brief is
    currently due.
    Appellant’s Second Motion to Extend Time to File Appellant’s Brief                 Page 6
    Darrell Wayne Love v. State; Cause No. 03-15-00462-CR
    Respectfully submitted:
    /s/ Justin Bradford Smith
    Justin Bradford Smith
    Texas Bar No. 24072348
    Harrell, Stoebner, & Russell, P.C.
    2106 Bird Creek Drive
    Temple, Texas 76502
    Phone: (254) 771-1855
    FAX: (254) 771-2082
    Email: justin@templelawoffice.com
    ATTORNEY FOR APPELLANT
    CERTIFICATE OF SERVICE
    I hereby certify that, on November 20, 2015, a true and correct copy of the
    Appellant’s Second Motion to Extend Time to File Appellant’s Brief was provided
    to counsel via the method indicated below:
    Bob Odom
    Bell County District Attorney’s Office
    P.O. Box 540
    Belton, Texas 76513
    Email: DistrictAttorney@co.bell.tx.us
    VIA ESERVICE
    Attorneys for State of Texas
    /s/ Justin Bradford Smith
    Justin Bradford Smith
    Appellant’s Second Motion to Extend Time to File Appellant’s Brief              Page 7
    Darrell Wayne Love v. State; Cause No. 03-15-00462-CR
    

Document Info

Docket Number: 03-15-00462-CR

Filed Date: 11/20/2015

Precedential Status: Precedential

Modified Date: 9/30/2016