Cole, Steven ( 2015 )


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  •                                                                                                        PD-0077-15
    COURT OF CRIMINAL APPEALS
    AUSTIN, TEXAS
    NO. PD-0077-15                           Transmitted 7/2/2015 9:20:06 AM
    Accepted 7/2/2015 9:49:49 AM
    ABEL ACOSTA
    STEVEN COLE                                        §            IN THE                                      CLERK
    Appellant                  §
    §
    VS.                                                §            COURT OF CRIMINAL APPEALS
    §
    §
    STATE OF TEXAS                                      §
    Appellee                    §           AUSTIN, TEXAS
    FIRST MOTION TO EXTEND TIME FOR FILING APPELLANT'S BRIEF
    TO THE HONORABLE COURT OF APPEALS:
    COMES NOW STEVEN COLE, by and through his attorney of record EBB B. MOBLEY.
    and respectfully moves the Court to extend the time for filing his brief in this case, and in accordance
    with the T.R.A.P. 10.5(b), submits the following facts:
    1.      Style of Case: State of Texas v. Steven Cole
    3.      Court of Appeals: No. 06-13-00179-CR slip op. 12/18/14
    July 2, 2015
    4.      Deadline for filing Appelant's Brief: July 6, 2015
    5.      Length of time requested for the extension: 30 days
    6.      The number of extensions previously granted: None
    7.      The facts relied upon to explain the need fcr the extension:
    Counsel has been preparing a petition for discretionary review of Freimel v.
    State, 06-14-00185-CR (slip op. 6-9-15), reviewed and transferred records for a post-
    Anders brief in Bledsoe v. State, 06-14-00138-CR; and is preparing a brief in Alex
    v. State, 06-15-00054-CR. Counsel has not had sufficient time to fully brief the
    application of CCP Article 38.23 in this case, an issue raised by the State for the first
    time in its merits brief herein.
    WHEREFORE, PREMISES CONSIDERED, Appellee prays that this Court extend the time
    within which to file his brief.
    Respectfully submitted.
    EBB B. MOBLEY
    Attorney at Law
    422 North Center Street-Lower Level
    P. 0. Box 2309
    Longview, TX 75606
    Facsi, e:9Q)       W 5e
    Telephone: (903) 757-3331
    (6753-8289
    /s/ !B4. L
    EBB B. MOBLEY
    State Bar License # 14238000
    ATTORNEY FOR APPELLANT
    Page 1 of 2
    STATE OF TEXAS
    COUNTY OF GREGG
    On this day, EBB B. MOBLEY, appeared before me, the undersigned notary public, and after
    I administered an oath to him, upon his oath he said the facts in this Motion are within his personal
    knowledge and are true and correct.
    EBB B. MOBLEY
    - SWORN TO AND SUBSCRIBED before me by EBB B. MOBLEY, on the 2 day of July.
    yP
    KELLY ANN WHITE
    z Notary Public, State of Texas
    TEXAS
    Juno 26, 2016               NotaZc,cteo
    CERTIFICATE OF SERVICE
    This is to certify that a true and correct copy of the above and foregoing Motion to Extend
    Time was timely provided to all counsel of record on this the 2nd day of July, 2015.
    MM
    EBB B. MOBLEY
    Page 2 of 2
    

Document Info

Docket Number: PD-0077-15

Filed Date: 7/2/2015

Precedential Status: Precedential

Modified Date: 9/29/2016