Liverman, Roger ( 2015 )


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  •                                                                                   PD-1595-14
    COURT OF CRIMINAL APPEALS
    AUSTIN, TEXAS
    Transmitted 3/6/2015 10:07:05 AM
    March 6, 2015
    Accepted 3/6/2015 10:12:28 AM
    ABEL ACOSTA
    IN THE COURT OF CRIMINAL         APPEALS                            CLERK
    OF TEXAS
    THE STATE OF TEXAS,                      §
    APPELLANT                             §
    §
    v.                             §           No. PD-1595-14
    §
    ROGER LIVERMAN,                          §
    APPELLEE                              §
    FROM THE SECOND DISTRICT OF TEXAS AT FORT WORTH
    IN CAUSE NUMBER 02-13-00176-CR
    AND
    FROM THE 362ND JUDICIAL DISTRICT COURT
    DENTON COUNTY, TEXAS
    IN CAUSE NUMBER F-2012-0136-D
    STATE’S MOTION FOR EXTENSION OF TIME TO FILE BRIEF
    TO THE HONORABLE COURT OF CRIMINAL APPEALS:
    The State of Texas, by and through the Denton County Criminal District
    Attorney, Paul Johnson, and the undersigned counsel, tenders this motion for an
    extension of time to file the State’s brief pursuant to Texas Rules of Appellate
    Procedure 10.5(b), 38.6(d), and 70.3. In support of this motion, the State submits
    the following:
    I.
    Appellee was convicted of Securing Execution of Document by Deception
    and sentenced to 10 years, probated for 10 years.      Appellee is not presently
    incarcerated.
    II.
    The State’s petition for discretionary review was granted on February 4,
    2015. The State’s brief on the merits is due on March 6, 2015. The State
    respectfully requests an extension of time to file the State’s brief until March 13,
    2015. The case has not yet been set for submission.
    III.
    The State submits that a reasonable explanation exists for the requested
    extension. The facts on which the State relies to reasonably explain the need for
    this extension are as follows:
    Since the petition was granted in this case, the undersigned was the attorney
    on a hearing on an application for writ of habeas corpus in Ex Parte Andre
    Derosier, F-2002-0330-E (whc 1), on February 5, 2015; filed a brief in State v.
    Welborn, 02-14-00464-CR; and had oral argument in the Second District Court of
    Appeals in O’Bryan v. State, 02-14-00313-CR on February 17, 2015.               The
    undersigned attended the Actual Innocence CLE in Plano, Texas from February
    18-20, 2015. Further, Denton County was closed for inclement weather February
    23-24, 2015, after 10:00 a.m. on February 27, 2015, and March 5, 2015.
    WHEREFORE, premises considered, the State respectfully requests that
    this Court grant the instant motion and extend the time for filing the State’s Brief
    until March 13, 2015.
    Respectfully submitted,
    PAUL JOHNSON
    Criminal District Attorney
    Denton County, Texas
    _____________________________
    LARA TOMLIN
    Assistant District Attorney
    State Bar No. 24075169
    1450 East McKinney Street
    Denton, Texas 76209
    (940) 349-2600
    ATTORNEY FOR APPELLEE,
    THE STATE OF TEXAS
    CERTIFICATE OF CONFERENCE
    I hereby certify that Matthew J. Kita, Attorney for Appellant, does not object
    to the State’s request for an extension.
    ______________________________
    LARA TOMLIN
    CERTIFICATE OF SERVICE
    A true copy of the State’s Motion for Extension Of Time has been served on
    Counsel for Appellee, Matthew J. Kita, P.O. Box 5119, Dallas, Texas, 75208, and
    to Matthew Paul, State Prosecuting Attorney, P.O. Box 12405, Austin, Texas,
    78711-2405, on this, the 6th day of March 2015.
    ______________________________
    LARA TOMLIN
    

Document Info

Docket Number: PD-1595-14

Filed Date: 3/6/2015

Precedential Status: Precedential

Modified Date: 9/29/2016