Harold Lloyd Bass, Jr. v. State ( 2015 )


Menu:
  •                                                                                                ACCEPTED
    12-15-00071-CR
    TWELFTH COURT OF APPEALS
    TYLER, TEXAS
    7/24/2015 3:05:20 PM
    CATHY LUSK
    CAUSE NO. 12-15-00071-CR                                                 CLERK
    HAROLD BASS, JR.                          §   IN THE
    §
    VS.                                       §   TWELFTH COURT
    FILED IN
    §                      12th COURT OF APPEALS
    THE STATE OF TEXAS                        §   OF APPEALS              TYLER, TEXAS
    7/24/2015 3:05:20 PM
    MOTION TO                               CATHY S. LUSK
    Clerk
    EXTEND TIME TO FILE APPELLANT’S BRIEF
    TO THE HONORABLE JUSTICES OF SAID COURT:
    Now comes Appellant in the above styled and numbered cause, and moves this
    Court to grant an extension of time to file appellant's brief, pursuant to Rule 38.6 of
    the Texas Rules of Appellate Procedure, and for good cause shows the following:
    1.     This case is on appeal from the 114TH Judicial District Court of Smith County,
    Texas.
    2.     The case below was styled State of Texas v. Harold Bass, Jr. and numbered
    114-1453-14.
    3.     Appellant was convicted of Aggravated Assault with a Deadly Weapon.
    Appellant was assessed a sentence of twenty-five (25) years confinement in
    TDCJ-ID.
    5.     Notice of Appeal was given on March 11, 2015.
    6.     The Clerk's Record was filed on May 21, 2015; the Reporter's Record was filed
    on June 30, 2015.
    7.     The Appellant’s Brief is due on July 30, 2015. Counsel requests the Court an
    extension of thirty (30) days due to the number of briefs with deadlines.
    8.     Appellant requests an extension of time due to the following facts and
    circumstances.
    Since the Reporter’s Record in this case was completed, Counsel has filed:
    A.    Appellant’s Brief in Donald Powell v. State of Texas, cause number 12-
    14-00355-CR on July 6, 2015;
    B.    Appellant’s Petition for Discretionary Review in Fatima Rahman v. State
    of Texas, cause number PD-0724-15 on July 13, 2015;
    C.    A subsequent writ of habeas corpus in Ex parte Clifton Williams, cause
    number WR-71,296-02 with the Court of Criminal Appeals on July 15,
    2015;
    D.    Appellant’s Brief in Ricky Harris v. State of Texas, cause number 12-15-
    00104-CR on July 20, 2015; and
    E.    Appellant’s Brief in Oscar Perkins v. State of Texas, cause number 12-
    15-00001-CR on July 22, 2015.
    9.    Counsel has appeared in numerous hearings in state and federal court over the
    last thirty days, including hearings in the Eastern District of Texas - Tyler
    Division, and hearings in Smith and Van Zandt Counties.
    10.   Lastly, Appellant’s Counsel has the following briefs pending:
    A.    Appellant’s Brief in Christopher McLemore v. State of Texas, cause
    number 12-15-00091-CR on August 5, 2015;
    B.    Appellant’s Brief in Joe Pittman v. State of Texas, cause number 12-15-
    00009-15 on August 12, 2015;
    C.    Appellant’s Brief in John T. Congleton v. State of Texas, cause number
    12-15-00124-CR on August 19, 2015;
    D.    Appellant’s Brief in Brittany Michelle Barrett v. State of Texas, cause
    numbers 12-15-00145-CR, 12-15-00146-CR, and 12-15-00147-CR upon
    completion of the Clerk’s Record and Reporter’s Record;
    E.    Appellant’s Brief in Gaylord Stevens v. State of Texas, cause numbers
    12-15-00162-CR, 12-15-00163-CR and 12-15-00164-CR upon the
    completion of the Reporter’s Record;
    F.    Appellant’s Brief in Sidney Lynch v. State of Texas, cause number 12-15-
    00167-15 upon the completion of the Reporter’s Record;
    G.    Appellant’s Brief in Hubert Benjamin v. State of Texas, cause number
    12-15-00172-CR upon the completion of the Reporter’s Record; and
    H.     Appellant’s Brief in Charlie Joseph Motes v. State of Texas, cause
    number 12-15-00111-CR when reset by the Court.
    Counsel is also on the planning committee for, and attending the State Bar of
    Texas Advanced Criminal Law Course in San Antonio from July 27th through
    30th, 2015 and the moderator for the half day panel on July 30th.
    11.   Appellant requests an extension of time due to the above referenced facts and
    circumstances.
    12.   Appellant prays that this Court grant this Motion to Extend Time to File
    Appellant’s Brief for a period of thirty (30) days, and for such other and further
    relief as the Court may deem appropriate.
    Respectfully submitted,
    Law Office of James W. Huggler, Jr.
    100 E. Ferguson, Suite 805
    Tyler, Texas 75702
    Tel: (903) 593-2400
    Fax: (903) 593-3830
    Jhugglerlaw@sbcglobal.net
    By: /S/ James W. Huggler, Jr.
    James W. Huggler, Jr.
    State Bar No. 00795437
    Attorney for APPELLANT
    CERTIFICATE OF SERVICE
    This is to certify that on July 24, 2015, a true and correct copy of the above and
    foregoing document was served on Mike West, Smith County District Attorney’s Office,
    100 North Broadway Ave., 4th Floor, Smith County Courthouse, Tyler, Texas 75702,
    by regular mail, fax, hand delivery, or electronic filing.
    /S/ James W. Huggler, Jr.
    James W. Huggler, Jr.
    

Document Info

Docket Number: 12-15-00071-CR

Filed Date: 7/24/2015

Precedential Status: Precedential

Modified Date: 9/29/2016