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SORRELS l UDASHlEN |ANTON ROBERT N- UDASHEN, P-C BOARD CERTlFlED-CRIMlNAL LAW and CRlMINAL APPELLATE LAW TExAs BOARD or Li-:G P Attomeys and Counselors at Law _ AL S ECIALIZ£BN rnu@sualaw.com 2311 Cedar Springs Rd. Suite 250 Dallas, TX 75201 214.468.8100 fax 214.468.8104 www.sualaw.com October 2, 2015 l\/ls. Paigc Light Assistant Court Administrator 54th District Court 501 Washington Avenue Sui_te 305 Waco, Texas 76701 RE: Ex Parte Keith Allen Jones No. 2011-1299-C2A Dear l\/Is. Light: l arn enclosing a motion for Judge .lohnson to Sign and forward to the Court of Criminal Appeals asking vt``or an extension of time to resolve the issues in Keith Jones’s writ application l tried to do this myself but could not because the Court of Criminal Appeals wants the extension request to come from the Judge instead of me. lt is necessary to extend the time so that we can have the evidentiary hearing that is set in November. Thank you for your assistance with this matter. Yours very truly, ,/ .v"- . ``,, ,. __/ Robert N. Udashen, P.C. RNU:ps E' 1 .. nc osuic v CO RECE|VED IN CC: Mr. S_terling Harmon URT OF CR|M|NAL APPEALS Assistant District Attorney `` []C]' 12 2015 l dwme@sea.elevi< exam A7’ 5 REcEl\/Et) lN 0 'D ' 1 Al: APPEALS al WW»P%/ coan 0_F sam N IN THE CoURT oF CRIMINAL APPEALS UCT 12 2915 FoR THE sTATE oF TExAs AUSTIN, TExAs _ Ab@g AC@SU'C¢§Q Ex PARTE § § § wRIT No. WR-ss, 922-01 `` § KEITH ALLEN JoNEs § MOTION TO EXTEND TIME FRAME FOR RESOLUTION OF CLAIMS RAISED IN 11.07 APPLICATION TO THE HONORABLE COURT OF CRIMINAL APPEALS: COMES NOW THE HONORABLE MATT JOHNSON, Judge presiding, 54th District Court of McLennan County, Texas, and files this Motion to Extend Time Frame for Resolution of Claims Raised in 11.07 Application and would show this Court the following: I. Applicant filed his applications for a writ of habeas corpus on March 23, 2015. The State filed its answer to the applications on April 7, 2015. On April 22, 2015, the district court timely designated the issues for resolution in Applicant’s writ applications Pursuant to Texas Rule Appellate Procedure 73.5, this Court has 180 days from the date the State received the applications to resolve any issues the court timely designated for resolution II. The issues designated for resolution by the district court have not yet been Motion to Extend Time Frame for Resolution of Claims Raised in 11.07 Application - Page 1 resolved. An evidentiary hearing is scheduled on those issues for November 13, 2015. A hearing could not be scheduled sooner than that date because of various conflicts with the district court’s schedule, the schedules of the parties’ attorneys, and the schedules of Applicant’s trial attorneys, whose testimony is needed at the evidentiary hearing. III. The district court respectfully asks that this Court extend the time frame for the district court to resolve the issues in Applicant’s writ applications to a date 45 days after the evidentiary hearing. This will give the district court time to enter findings of fact and conclusions-of law after the hearing IV. Both parties are unopposed to this motion. FOR THE ABOVE REASONS, the Honorable Matt Johnson, Judge presiding, respectfully asks that this motion be granted Respectfully submitted, The Honbrable Matt J h son Judge presiding 54th District Court of c ennan County, Texas Motion to Extend Time Frame for Resolution of Claims Raised in 11.07 Application - Page 2 \ soRREleUDAsHEN ANToN t ' ROBERTN'UDASHEN,P'C~ BOARD CERTIFIED-``CR.IMINAL LAW and CRIMINAL APPELLATE LAW naxAs BOARD oF 'Attorneys and Counselors at Law » ~‘ LEGAL spEclALlZA-I£N rnu@sualaw.com 2311 Cedar Springs R_d. Suite 250 Dallas, TX 75201 214.468.8100 fax 214.468.8104 WWW.sualaw.com october 2, 42015 ‘ Ms. Paige Lighr Assistant Court Administrator 54th District Court k 501 Washington Avenue Sui_te 305 Waco, Texas 76701 RE: Ex Parte Keith Allen Jones No. 2011-1299-C2A Dear Ms. “Light: l am enclosing a'motion for Judge Johnson to sign and forward to the Court of Criminal Appeals asking for an extension of time to resolve the issues in Keith Jones’s writ application l » tried to do this myself but could not because the Court of Criminal-Appeals wants the extension request to come from the Judge instead of me. lt is necessary to extend the time so that we can have the evidentiary hearing that is set in November. ' Thank you for your assistance with this matter. ' Yours very truly, l Robert N. Udashen, P.C. f RNU:ps Enclosure ' cc: 4 Mr. Sterling Harmon Assistant District Attorney» IN THE COURT oF CRIMINAL APPEALS F.oR THE sTATE _oF TEXAS " __ AUsTIN, TExAs, Ex PARTE WRIT NO. WR-83, 922-01 CoJCmCo'->OODCO'J KEITH ALLEN JoNEs 1 MoTIoN To EXTEND TIME l FRAME FOR RESOLUTION OF CLAIMS _ RAISED IN 11.07 APPLICATION ’ TO THE HONORABLE COURT OF CRIMINAL APPEALS: COMES NOW THE HONORABLE' MATT JOHNSON, Judg'e presiding, 54th District Court of McLennan County, Texas, and files_this Motion to Extend Time Frame for Resolution of Claims Raised in 11.07 Application and wouldshow this Court the following: l. Applicant filed his applications for a writ of habeas corpus on March 23, 2015 . The State filed its answer to the applications on April 7, 2015'. On April 22,2015, the ' b district court timely designated the issues for resolution in Applicant’s writ applications Pursuant to Texas Rule Appellate Procedure 73.5, this Court has 180 days from the date the State received the applications to resolve any issues th'e court timely designated for resolution ll. _The issues designated for resolution by the district court have not yet been Motion.to Extend Time _Frame for Resolution of Claims Raised in 11.07 Application - Page 1 vresolved. An evidentiary hearing is scheduled on those issues for November 13, 2015 . A hearing could not be scheduled sooner than that date because of various conflicts with the district co_urt’s schedule, the schedules of the parties’ attorneys, and the schedules of Applicant’s trial attorneys, whose testimony is needed at-the evidentiary'hearing. lll. The district court respectfully asks that this Court extendthe time frame for the g l . district court to r|esolve the issues in Applicant’s writ applications to a date 45 days after the evidentiary hearing This will give the district court time to enter findings of fact and conclusions -of la;w_ after the hearing IV. Both parties are unopposed to this motion FOR"THE ABOVE REASONS, the Honorable Matt Johnson, Judge presiding, respectfully asks that this motion be granted Respectfully submitted, dltlll< The _Hon``orable Matt J ‘ son Judge presiding ' 54th District Court of c ennan County, Texas Motion to Extend Time Frame for Resolution of Claims Raised in 11.07 Application - Page 2 soRRE__LSlUDAsHEN|ANToN .1 ~_ ROBERTN UDAS’HEN P c. BoARD csRnFiED_cRiMiNAL LAW and cRiMiNAL APPF.LLATE LAW 4 rExAs isoAizt) 0 Attom_eys and Counselors at Law . F LEGAL SPECIAUZATION rnu@sualaw.com 2311 Cedar Springs Rd._ , Suite 250 Dallas, TX 75201', 214.468.8100 fax 214.468.8104 www.sualaw.corn October 2, 2015 RECEWED 11\1 COURT CFCR!?.’HNAL APFEALS Ms. Paige Light n Assistant Cour_t Administrator . . GCT l 2 2915 54th District Court _ _ v .. 501 Washington Avenue `` . _ AB@: ACQS?U§C§@¥!< Sui_te 305 v `` ' ``Waco, Texas 76701 RE: Ex Parte Keith Allen Jones No. 2011-1299-C2A ._ Dear Ms. Light: l am enclosing a motion for 'Judge Johnson to sign and forward to the Court of Criminal Appeals asking for an extension of time to resolve the issues in Keith Jones’s writ application l tried to do this myself but could not because the Court of Criminal Appeals wants the extension ’ iequest to come from the Judge instead of me lt is necessary to extend the time so that we can have the evidentiary hearing that is set in November. Thank you for your assistance with this matter. Yours very truly, n iam/net RobertN. Udashen, P. C. RNU:ps Enclosure cc: \ Mr. Sterling&H_armon Assistant District Attorney `` - KEITH ALLEN JoNEs IN THE COURT oF CRIMINAL A``PPEALS _ FoR THE sTATE oF TEx_AS AUsTIN, TEXAS Ex PARTE WRIT'NO. WR-83, 922-01 w$cmomooo
Document Info
Docket Number: WR-83,922-01
Filed Date: 10/12/2015
Precedential Status: Precedential
Modified Date: 9/30/2016