Johnny Ray Walker v. State ( 2015 )


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  •                                                                                              ACCEPTED
    05-14-01229-CR
    FIFTH COURT OF APPEALS
    DALLAS, TEXAS
    6/15/2015 11:05:15 AM
    LISA MATZ
    CLERK
    No. 05-14-01229-CR
    JOHNNY RAY WALKER                          §                         FILED
    IN THE COURT OF A     IN
    PPEALS
    5th COURT OF APPEALS
    §                         DALLAS, TEXAS
    vs.                                        §         FOR THE FIFTH  DISTRICT
    6/15/2015 11:05:15 AM
    §                           LISA MATZ
    Clerk
    THE STATE OF TEXAS                         §         OF TEXAS AT DALLAS
    STATE’S FIRST MOTION TO EXTEND THE TIME
    FOR FILING THE STATE’S BRIEF
    TO THE HONORABLE COURT OF APPEALS:
    COMES NOW the State of Texas, through the Criminal District
    Attorney of Dallas County, and files this Motion to Extend the Time for
    Filing the State’s Brief, and shows the following:
    I.
    On September 18, 2014, a jury found Appellant guilty of murder and
    assessed his punishment at 99 years’ confinement. Appellant filed his brief
    on May 20, 2015.
    II.
    The State’s brief is due on June 19, 2015. The State requests a 30-day
    extension of time, until July 19, 2015, to file its brief.
    1 of 3
    III.
    The State has not requested any prior extensions in this case.
    IV.
    The State relies on the following grounds to reasonably explain its
    need for an extension:
    (1)   Undersigned counsel has not yet received the full reporter’s
    record in this case.
    (2)   Counsel has the duty of representing the State in writ of habeas
    corpus proceedings and has several habeas cases on her docket
    that require her immediate attention.
    (3)   Counsel is responsible for filing the State’s briefs on direct appeal
    in Stephen Dayne Bradford v. The State of Texas (No. 05-14-01610-
    CR) and Kirk Steven Jackson v. The State of Texas (No. 05-14-
    00297-CR) this month.
    (4)   This appeal is not yet set for submission.
    WHEREFORE, PREMISES CONSIDERED, the State respectfully
    requests that the time for filing the State’s brief be extended to July 19, 2015.
    2 of 3
    Respectfully submitted,
    /s/ Christine Ou
    SUSAN HAWK                                     CHRISTINE OU
    Criminal District Attorney                     Assistant District Attorney
    Dallas County, Texas                           State Bar No. 24083605
    Frank Crowley Courts Building
    133 N. Industrial Blvd., LB-19
    Dallas, Texas 75207-4399
    (214) 653-3625
    (214) 653-3643 fax
    Christine.Ou@dallascounty.org
    CERTIFICATE OF SERVICE
    I hereby certify that a true copy of the foregoing motion has been
    served     on     Allan      Fishburn,         attorney    for    Appellant,    at
    allanfishburn@yahoo.com, via the electronic service function of the Texas
    courts e-filing system on June 15, 2015.
    /s/ Christine Ou
    CHRISTINE OU
    Assistant District Attorney
    3 of 3
    

Document Info

Docket Number: 05-14-01229-CR

Filed Date: 6/15/2015

Precedential Status: Precedential

Modified Date: 9/29/2016