Murray, Chad William ( 2014 )


Menu:
  •                                                                       PD-1230-14
    COURT OF CRIMINAL APPEALS
    AUSTIN, TEXAS
    Transmitted 12/31/2014 8:10:27 AM
    Accepted 12/31/2014 8:39:06 AM
    ABEL ACOSTA
    COURT OF CRIMINAL APPEALS                                              CLERK
    PD-1230-14                              December 31, 2014
    Chad William Murray, Appellant,
    v.
    State of Texas, Appellee.
    On Discretionary Review from
    No. 07-13-00356-CR
    Seventh Court of Appeals, Amarillo
    On Appeal from No. M0187-11
    66th Judicial District Court, Hill County
    Motion to Extend Time to File
    Appellant’s Brief
    Michael Mowla
    445 E. FM 1382 #3-718
    Cedar Hill, Texas 75104
    Phone: 972-795-2401
    Fax: 972-692-6636
    michael@mowlalaw.com
    Texas Bar No. 24048680
    Attorney for Appellant
    To the Honorable Judges of the Court of Criminal Appeals:
    Appellant Chad William Murray moves for an extension of time of 30 days
    to file the Appellant’s Brief:
    1.      On June 26, 2014, in Murray v. State, 
    440 S.W.3d 927
    (Tex. App.
    Amarillo 2014), the Court of Appeals reversed and remanded Appellant’s
    conviction.
    2.      The State filed a petition for discretionary review, which was granted.
    3.      On December 18, 2014, the State filed its Brief.
    4.      Appellant’s Brief is due on January 20, 2015.
    5.      For good cause, Appellant asks for an extension of 30 days to file the
    Appellant’s Brief, i.e., until February 19, 2015.
    6.      No previous extension to file the Appellant’s Brief has been filed.
    7.      Appellant relies on the following facts as good cause for the requested
    extension: First, undersigned Attorney for Appellant Michael Mowla recently
    made an appearance in this case, so he is still reviewing the case history and
    record.
    8.      Second, Mowla just completed a Petition for Discretionary Review in
    State v. Moore, PD-1517-14.
    9.      Further, Mowla has the following briefs, petitions for discretionary
    review, or other pleadings due soon:
    Page 2 of 5
     Appellant’s Brief in Little v. State, 05-14-00697-CR, Fifth Court of
    Appeals, due on January 4, 2015.
     Petition for Writ of Certiorari in Victorik v. Texas, Supreme Court,
    due on January 9, 2015.
     Petition for Discretionary Review in Johnson v. State, PD-1542-14,
    due on January 19, 2015.
     Response to Motion for Summary Judgment in Burress v. Blake, et al,
    4-14-cv-00035-RAS-DDB, Eastern District of Texas, due on January
    20, 2015.
     Appellant’s Brief in Von Tungeln v. State, 10-14-00329-CR, Tenth
    Court of Appeals, due on January 20, 2015.
     Petition for Discretionary Review in Thompson v. State, PD-1591-14,
    due on January 30, 2015.
     Reply Brief due in Jones v. Stephens, 4:05-CV-00638-Y, Northern
    District of Texas (death penalty case), due on February 6, 2015.
     Appellant’s Brief due in Williams v. State, 05-14-01481-CR and 05-
    14-01482-CR, Fifth Court of Appeals, due on February 8, 2015.
    10.      Of particular importance is the Reply Brief in Jones v. Stephens, a
    death penalty case that involves numerous complex issues, and in which the
    briefing has already exceeded 200 pages. The drafting of the Reply Brief has been
    a time-consuming project. Mowla asks for the additional 30 days so that the
    drafting and filing of the Appellant’s Brief does not conflict with the timing of the
    due-date of the Reply Brief in Jones v. Stephens.
    11.      Mowla has a responsibility to provide Appellant with the effective
    Page 3 of 5
    assistance of appellate counsel, see Evitts v. Lucey, 
    469 U.S. 387
    , 392 (1985), and
    Mowla believes that that the additional 30 days is necessary to provide such
    effective appellate counsel.
    12.    This Motion is not filed for purposes of delay, but so that justice may
    be served.
    Prayer
    Appellant prays that this Motion for Extension of Time to File Appellant’s
    Brief be granted.
    Respectfully submitted,
    Michael Mowla
    445 E. FM 1382 #3-718
    Cedar Hill, Texas 75104
    Phone: 972-795-2401
    Fax: 972-692-6636
    Email: michael@mowlalaw.com
    Texas Bar No. 24048680
    Attorney for Appellant
    /s/ Michael Mowla
    Michael Mowla
    Page 4 of 5
    Certificate of Service
    This certifies that on December 31, 2014, a true and correct copy of this
    document was served on David Holmes, District Attorney, Hill County, by email
    to dholmes@co.hill.tx.us, on Lisa McMinn, the State Prosecuting Attorney, by
    email to Lisa.McMinn@spa.texas.gov and information@spa.texas.gov, and John
    Messinger, john.messinger@spa.state.tx.us. See Tex. Rule App. Proc. 9.5 (2014)
    and 68.11 (2014).
    /s/ Michael Mowla
    Michael Mowla
    Page 5 of 5
    

Document Info

Docket Number: PD-1230-14

Filed Date: 12/31/2014

Precedential Status: Precedential

Modified Date: 9/28/2016