Derrick Demond Cooks v. State ( 2015 )


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  •                                                                                                     ACCEPTED
    12-15-00059-CR
    TWELFTH COURT OF APPEALS
    TYLER, TEXAS
    6/11/2015 9:44:36 PM
    CATHY LUSK
    CLERK
    No. 12-15-00059-CR
    DERRICK COOKS                               §     IN THE COURT OF APPEALS
    FILED IN
    Appellant                               §                     12th COURT OF APPEALS
    TYLER, TEXAS
    §
    vs.                                         §     12TH   JUDICIAL 6/11/2015
    DISTRICT  9:44:36 PM
    CATHY S. LUSK
    §                              Clerk
    THE STATE OF TEXAS,                         §
    Appellee                                §     AT TYLER, TEXAS
    APPELLANT’S SECOND MOTION FOR EXTENSION OF TIME TO FILE
    BRIEF -- FOUR DAY REQUEST
    TO THE HONORABLE COURT:
    Now comes Austin Reeve Jackson, counsel for Appellant in the above entitled and
    numbered cause, and makes this Motion, and for good cause shows the following:
    I.
    Appellant’s brief in this matter was due on 4 June 2015. A motion for extension
    of time was timely filed but has not yet been ruled on by the Court.
    II.
    While working on this case counsel has also been working on approximately 50
    open appellate cases in this and other courts to which he has been appointed by Smith
    County. This has included investigating motions for new trials (looking for and talking
    with potential witnesses, jail and office visits with new appellate appointments, trial court
    appearances for the same), requests for and reviews of reporter’s and clerk’s records,
    research, briefing, review of opinions, investigation of potential PDR issues, etc. While
    not all of these seventy or so cases have required significant attention from counsel
    during this time, many of them have which ahs resulted form counsel having been able to
    devote the full attention necessary to this case prior to today’s date.
    Because of this, counsel is requesting an additional four days to work on this brief.
    II.
    One prior extension, on which the Court has not yet ruled, has been requested and
    it is respectfully prayed that the in the interest of justice, the Court grant an extension of
    four days in this matter.
    WHEREFORE, PREMISES CONSIDERED, undersigned counsel respectfully
    prays that, in accordance with the applicable law, the Court grant this Motion.
    Respectfully submitted,
    /s/Austin Reeve Jackson
    Texas Bar No. 24046139
    112 East Line, Suite 310
    Tyler, TX 75702
    Telephone: (903) 595-6070
    Facsimile: (866) 387-0152
    CERTIFICATE OF SERVICE
    This is to certify that a true and correct copy of the above and foregoing document
    was served on counsel for the State by facsimile concurrently with its filing.
    /s/Austin Reeve Jackson
    

Document Info

Docket Number: 12-15-00059-CR

Filed Date: 6/11/2015

Precedential Status: Precedential

Modified Date: 9/29/2016