Ricks, Cedric Allen ( 2015 )


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  •                                                                                         AP-77,040
    COURT OF CRIMINAL APPEALS
    AUSTIN, TEXAS
    November 30, 2015                                                 Transmitted 11/30/2015 1:08:35 PM
    Accepted 11/30/2015 2:10:32 PM
    ABEL ACOSTA
    CLERK
    IN THE
    COURT OF CRIMINAL APPEALS OF TEXAS
    CEDRIC ALLEN RICKS,                        §
    APPELLANT                         §
    V.                                         §          NO. AP-77,040
    §
    THE STATE OF TEXAS,                        §
    APPELLEE                          §
    STATE’S SECOND MOTION FOR EXTENSION OF TIME
    TO FILE THE STATE’S BRIEF
    TO THE HONORABLE COURT OF CRIMINAL APPEALS:
    COMES NOW, The State of Texas, by and through the Criminal District
    Attorney of Tarrant County, Texas, and moves the Court to extend the time for
    filing the State’s brief in this cause to February 1, 2016.
    I.
    In May 2014, Appellant was convicted of capital murder and sentenced to
    death in the 371st Judicial District Court of Tarrant County, Texas, the Hon. Mollee
    Westfall presiding. The case style and cause number below were The State of
    Texas v. Cedric Allen Ricks, No. 1361004R.
    II.
    The trial judge signed the judgment on May 16, 2014. Appeal to this Court
    was automatic. Appellant is currently incarcerated.
    1
    III.
    The clerk’s record was filed on September 15, 2014. The reporter’s record
    was filed on December 18, 2014.
    IV.
    Appellant filed his brief on August 4, 2015, after being granted extensions
    totaling 196 days. The State’s Brief is currently due on December 2, 2015. The
    State requests a sixty-day extension of time to file its brief, thus creating a new due
    date of February 1, 2016.
    V.
    The State previously was granted a 120-day extension of time to file its brief
    in this cause.
    VI.
    This extension is not requested for purposes of delay. This extension is
    necessary to allow the State adequate time in this death-penalty appeal to research
    and respond to Appellant’s twenty points of error. The State cannot complete the
    State’s brief by the current deadline, and good cause exists to extend the time for
    filing the State’s brief as requested herein.
    2
    VII.
    Counsel for Appellant, the Hon. Mary B. Thornton, informed the
    undersigned counsel for the State during a telephone conversation on November
    17, 2015, that she does not oppose the State’s motion for extension.
    VIII.
    Counsel has been reading the lengthy trial record, researching the issues, and
    drafting the State’s brief in this cause. Counsel was out of the office due to the
    death of her father and matters that she has been required to handle as a result.
    Additionally, counsel attended a CLE course the afternoon of November 13, 2015;
    assisted in gathering records in death-penalty cases handled by the Criminal
    District Attorney’s Office where DNA testing was performed; handled various
    matters relating to the death-penalty case of Christopher Chubasco Wilkins, Nos.
    AP-75,878 (direct appeal) & WR-75,229-01 (initial habeas petition), before and
    after the October 28, 2015, execution date was withdrawn; updated her lengthy
    paper entitled “State Law of Charging Instruments,” published every two years by
    Thompson Reuters; filed the State’s brief in Rafael Rodriguez v. The State of
    Texas, No. 02-14-00377-CR, on September 14, 2015; handled administrative
    duties in the post-conviction section of the Criminal District Attorney’s Office on
    August 3-14, 2015, on October 1-7, 2015, and on other days when asked to do so;
    3
    and reviewed the work of other attorneys in the post-conviction section when
    requested to do so. Counsel was out of the office the week of November 19, 2015;
    and will be out of the office the week of December 21, 2015.
    WHEREFORE, PREMISES CONSIDERED, the State respectfully requests
    that the Court extend the time for filing the State’s brief to February 1, 2016.
    Respectfully submitted,
    SHAREN WILSON
    Criminal District Attorney
    Tarrant County, Texas
    DEBRA WINDSOR
    Assistant Criminal District Attorney
    Chief, Post-Conviction
    /s/ Helena F. Faulkner
    HELENA F. FAULKNER
    Assistant Criminal District Attorney
    State Bar No. 06855600
    401 W. Belknap
    Fort Worth, Texas 76196-0201
    (817) 884-1687
    FAX (817) 884-1672
    CCAappellatealerts@tarrantcountytx.gov
    CERTIFICATE OF CONFERENCE
    On November 17, 2015, Appellant’s counsel, Mary B. Thornton, informed
    the undersigned counsel that she does not oppose this motion for extension.
    /s/ Helena F. Faulkner
    HELENA F. FAULKNER
    4
    CERTIFICATE OF SERVICE
    On November 30, 2015, a copy of the State’s motion was e-served on
    Appellant’s direct-appeal counsel Mary B. Thornton, marybrabson01@gmail.com;
    and his habeas counsel, Catherine Clare Bernhard, cbernhard@sbcglobal.net.
    /s/ Helena F. Faulkner
    HELENA F. FAULKNER
    5
    

Document Info

Docket Number: AP-77,040

Filed Date: 11/30/2015

Precedential Status: Precedential

Modified Date: 9/30/2016