- PD-0600-15 COURT OF CRIMINAL APPEALS AUSTIN, TEXAS Transmitted 7/17/2015 3:06:15 PM Accepted 7/17/2015 5:06:35 PM ABEL ACOSTA CAUSE NO. PD-0600-15 CLERK COURT OF APPEALS CAUSE NO. 11-12-00319-CR IN THE COURT OF CRIMINAL APPEALS KEVIN ROYCE PEEK )( ON APPELLANT’S APPELLANT/PETITIONER )( )( PETITION FOR DISCRETIONARY V. )( REVIEW )( THE STATE OF TEXAS )( FROM THE ELEVENTH APPELLEE )( COURT OF APPEALS MOTION FOR EXTENSION OF TIME TO FILE RESPONSE NOW COMES the State of Texas, Appellee in the above-entitled and numbered cause, and in support of this its Motion for Extension of Time to File Response would respectfully show the Court as follows: Appellant was convicted of Possession of a Controlled Substance with Intent to Deliver – Drug Free Zone in this cause in the 35th Judicial District Court of Brown County, Texas, in Cause No. CR21821, styled, The State of Texas vs. Kevin Royce Peek. Appellant was found guilty and sentenced to Life in the institutional Division - Texas Department of Criminal Justice on September 7, 2012. The Eleventh Court of Appeals affirmed Appellant’s conviction on April 16, 2015. Appellant filed a Petition for Discretionary Review with this Court on June 17, 2015. July 17, 2015 The State’s response is due on July 17, 2015. The number of extensions previously requested is: NONE. Due to time constraints created as a result of: preparation of a Brief on State of Texas vs. Lanny Bush, Coleman County Case No. 2602, a capital case; participation in Court Docket on June 22, 2015; preparation for and participation in Motion to Revoke and Motion to Adjudicate Docket on July 6, 2015 (31 cases); Court Docket on July 7, 2015; preparation for and participation in the Mills County Court Docket on July 8, 2015; Court Docket on July 9, 2015; preparing for trial, drafting subpoenas, and witness meetings on cases set on the Brown County trial docket for July 13, 2015; preparation for bench trial in State of Texas vs. Brandi Stokes, CR23435 on July 21, 2015; preparation for trial and drafting subpoenas for July 27, 2015, trial docket; the State requests an additional thirty (30) days for the preparation of its brief. The request is made not for the purpose of delay but that justice may be done. Respectfully submitted, /S/ElishaBird ELISHA BIRD Assistant District Attorney State Bar No. 24060339 200 S. Broadway, Brownwood, TX 76801 Tel: 325-646-0444 Fax: 325-643-4053 CERTIFICATE OF SERVICE The undersigned certifies that on the 17th day of July, 2015, a true and correct copy of the foregoing Motion was delivered by fax to the office of Connie J. Kelley, Attorney at Law (512) 478-2318 and by email to Lisa McMinn, State Prosecuting Attorney at information@spa.texas.gov. /S/ElishaBird ELISHA BIRD CERTIFICATE OF COMPLIANCE This document complies with the typeface requirements of Tex. R. App. P. 9.4(e) because it has been prepared in a conventional typeface no smaller than 14- point for text and 12-point for footnotes. This document also complies with the word-count limitations of Tex. R. App. P. 9.4(i), if applicable, because it contains 503 words, excluding any parts exempted by Tex. R. App. P. 9.4(i)(1). /S/ Elisha Bird ELISHA BIRD
Document Info
Docket Number: PD-0600-15
Filed Date: 7/17/2015
Precedential Status: Precedential
Modified Date: 9/29/2016