Weylin W. Alford v. State ( 2015 )


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  •                                                                                               ACCEPTED
    01-15-00226-CR
    FIRST COURT OF APPEALS
    HOUSTON, TEXAS
    9/14/2015 11:03:03 AM
    CHRISTOPHER PRINE
    CLERK
    No. 01-15-00226-CR
    In the                          FILED IN
    1st COURT OF APPEALS
    Court of Appeals                     HOUSTON, TEXAS
    for the                   9/14/2015 11:03:03 AM
    First District of Texas            CHRISTOPHER A. PRINE
    Clerk
    At Houston
    
    No. 1450840
    In the 177th District Court
    Of Harris County, Texas
    
    WEYLIN WAYNE ALFORD
    Appellant
    v.
    THE STATE OF TEXAS
    Appellee
    
    STATE’S MOTION FOR EXTENSION OF TIME
    IN WHICH TO FILE AN APPELLATE BRIEF
    
    TO THE HONORABLE COURT OF APPEALS OF TEXAS:
    COMES NOW THE STATE OF TEXAS, in accordance with Rules
    10.5(b)(1) and 38.6(d) of the Texas Rules of Appellate Procedure, and files this
    motion for an extension of time in which to file the State’s Brief in this cause, and,
    in support thereof, presents the following:
    1. On February 24, 2015, appellant was convicted of aggravated assault of a
    public servant and sentenced to 35 years in the Institutional Division of the
    Texas Department of Criminal Justice.
    2. Appellant filed a timely written notice of appeal.
    3. The State’s Brief is due on September 14, 2015.
    4. An extension of time in which to file the State’s Brief is requested until
    October 14, 2015. No previous extensions have been granted.
    5. The following facts are relied upon to show good cause for the requested
    extension:
    i.   The undersigned attorney has been engaged in the preparation
    of the State’s Brief in Cause Nos. 14-15-00051-CR & 14-15-
    00052-CR, Glen Dale Carter, Appellant v. The State of Texas,
    Appellee, which was filed on August 27, 2015.
    ii.   The undersigned attorney has been engaged in the preparation
    of the State’s Brief in Cause No. 14-14-00638-CR, Jaime
    Arturo Sanchez, Appellant v. The State of Texas, Appellee,
    which was filed on September 11, 2015.
    iii.   The undersigned attorney has been engaged in the preparation
    of the State’s Brief in Cause Nos. 14-15-00073-CR & 14-15-
    00074-CR, Jesse Clyde Roderick, Appellant v. The State of
    Texas, Appellee, which is due to be filed on October 8, 2015.
    WHEREFORE, the State prays that this Court will grant an additional
    extension of time until October 14, 2015 in which to file the State’s Brief in this
    cause.
    Respectfully submitted,
    /s/ Heather A. Hudson
    HEATHER A. HUDSON
    Assistant District Attorney
    Harris County, Texas
    1201 Franklin, Suite 600
    Houston, Texas 77002
    (713) 755-5826
    State Bar No. 24058991
    hudson_heather@dao.hctx.net
    curry_alan@dao.hctx.net
    CERTIFICATE OF SERVICE
    This is to certify that a copy of the foregoing instrument has been submitted
    for service by e-filing to the following address:
    Daucie Schindler
    Assistant Public Defender
    1201 Franklin, 13th Floor
    Houston, Texas 77002
    Tel: (713) 274-6717
    Fax: (713) 368-9278
    Daucie.Schindler@pdo.hctx.net
    /s/ Heather A. Hudson
    HEATHER A. HUDSON
    Assistant District Attorney
    Harris County, Texas
    1201 Franklin, Suite 600
    Houston, Texas 77002
    (713) 755-5826
    State Bar No. 24058991
    Date: September 14, 2015
    

Document Info

Docket Number: 01-15-00226-CR

Filed Date: 9/14/2015

Precedential Status: Precedential

Modified Date: 9/30/2016