Stanley, Terry Andrew ( 2015 )


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  •      PD-0708&0709&0710-15
    CAUSE NOS.   : F13-40506-N
    F13-40507-N
    F13-40508-N
    THE STATE OF TEXAS                           IN THE JUDICIAL DISTRICT
    V.                                           COURT NO:195th OF
    STANLEY, TERRY ANDREW                        DALLAS COUNTY, TEXAS
    MOTION FOR EXTENSION OF TIME
    RECEIVED IN
    COURTOFCRJMMAf APPEALS
    RULE 68.2 (c) of TEX.R.APP.P.              W°9 ^!5
    TO THE HONORABLE JUDGE OF SAID COURT,                    ^b®MC0Sta.Clerk
    COMES NOE STANLEY, TERRY ANDREW, APPELLANT of the above menti
    oned cause numbers and style and moves this Honorable Court to
    GRANT HIM EXTENSION OF TIME: 90 DAYS (ninety days), Due to the
    following reasons:
    I
    On May 29,2015, the Appellant recieved his letter: OPINION
    FILED IN
    OF DISMISSAL from the COURT OF APPEALS, FIFTH DIS.T^I^TjpOJpi^EX^S
    DALLAS Dated MAY 21, 2015.                               jy^j ]_Q 22'3
    II
    Abel Acosta, Clerk
    On May 29, 2015, the Appellant recieved a letter Dated MAY 22,
    2015, from his Court Appointed Attorney RIANN C. MOORE Admonished
    the Appellant to file a Pitition For Discretionary Review persuant
    to rule 68.2 (c) of the Tex.R.App.P.
    Ill
    The Appellant would like to exercise has rights to file a Pet
    ition For Discretionary Review, therefore, The Petitioner is reque
    sting this Honorable Court To GRANT him an EXTENSION OF TIME: 90
    DAYS in which to prepare and file his Petition For Discretionary
    (1)
    Review.
    IV
    In order for the Appellant to prepare-his:Petition For Discre
    tionary Review, He needs to use his COURT RECORDS.
    V
    Enclosed herewith is Appellant's letter addressed to the Court
    Staff of The Said Court in which the Appellant is requesting the
    Court Staff to send him copies of ALL the Court Records, Therefore
    he neds the requested EXTENSION OF TIME so that he can have enough
    time to prepare his Petition For Discretionary Review.
    VI
    The Appellant also needs to use his Court Records in order to
    prepare and file his MOTION FOR REHEARING.
    ;PRAYER
    The Appellant prays this HONORABLE COURT TO GRANT HIM THIS
    MOTION OF EXTENSION OF TIME.
    RESPECTFULLY SUBMITTED,
    SIGNED ON THIS 7          DAY QfJ^*".
    ^—
    2015 A.D
    STANLEY, TERRY ANDREW
    1908398
    WYNNE    UNIT
    810 FM    2821
    HUNTSVILLE,TX.77349-0001
    (2)
    CAUSE NO.    F13-40506-N
    F13-405Q7-N
    F13-40508-N
    THE   STATE OF TEXAS                            IN THE JUDICIAL DISTRICT
    V.                                              COURT NO:   195th OF
    STANLEY, TERRY ANDREW                           DALLAS COUNTY, TEXAS
    TO COURT STAFF:
    COURT COORDINATOR:     CLAIR FOSTER
    COURT REPORTER:   SANDRA HUGHES
    CHIEF CLERK:   ROBERTA WILLIAMS
    DISTRICT CLREK:   GARY FITZSIMMONS
    Dear Court Staff,
    FOSTER, HUGHES, WILLIAMS AND DISTRICT CLERK FITZSIMMONS,
    RE: REQUEST FOR COURT RECORDS PURSUANT TO RULE 34 (a) FED.
    R.CIV.P.; ART. 39.14 and ART. 39.15 (a)(c) TEX.CODE CRIM.PRO. SEE
    ALSO THE FREEDOM OF INFORMATION ACT,5 U.S.C.§ 552 and/or THE PRIV-
    ACY ACT 5 U.S.C. AND 552a
    The Appellant, Stanley, Terry Andrew, hereby request you to send
    ALL of his Court Records including the photographs/videos from his
    cell phone which is in the Court, also the Court Docket Sheet and
    police report.
    The Appellant asserts that he will not use his court records for
    commercial purposes, but for legal matters:
    Appellant needs ALL of his court records so that he can use them
    in order to resolve his court case in the Judicial Court No. 195th
    of Dallas County, Texas.
    If any expenses in the excess of $100.00 (one hundred) dollars
    are incurred in connection with this request, of his court records,
    pursuant to THE FREEDOM OF INFORMATION ACT,5 U.S.C.§ 552and or THE
    PRIVACY ACT,5 U.S.C. § 552a, please obtain Appellants approval and
    send him quotation before any such charges are incurred.
    The Appellant will expect a response within 20 (twenty) working
    days as provided by law. If his request is denied in whole or in
    (1)
    part, he expects a detailed justification for withholding his rec
    ords .
    The Appellant also request any segregable portions that are not
    exempt to be disclosed.
    Futhermore the Appellant contains that his request of his court
    records is not the first request. He has already sent you/ the court
    request letters for his court records on the dates indicated below,
    but    to no avail:
    27th OCTOBER    
    2014 A.D. 30th
    DECEMBER 
    2014 A.D. 29th
    JANUARY 2015 A.D.
    Please see the enclosed copies of correspondence to the Honora
    ble Court:
    A.    MOTION FOR CONVICTING RECPRDS
    B.    DESIGNATION OF RECORDS ON APPEAL
    Your cooperation is highly appreciated.
    Regards
    Sincerly,
    Stanley, Terry Andrew
    APPELLANT
    1908398
    WYNNE UNIT
    810 FM 2821
    HUNTSVILLE,TX.77349-0001
    DATE
    '-l-¥-/s
    (2)
    CAUSE NOS:Fl3-40506-N
    F13-40507-N
    F13-40508-N
    THE STATE OF TEXAS                                         IN THE JUDICIAL
    V.                                                         DISTRICT COURT NO.195th
    STANLEY, TERRY ANDREW                                      DALLAS COUNTY
    TEXAS
    MOTION FOR CONVICTING RECORDS
    CjOMESNOW"^ ST^NL^}TERRYyANBKEJ^v,Defendant,in the above mentioned style and case
    numbers and moves the Honorable Judicial District Court.
    The Defendant is hereby requesting this Honorable Court to send him all of his
    convicting records including the yellow paper.
    The Defendant also asserts that on January 17,2014, a security officer, an emp
    loyee of the Dallas County Jail, made him sign certian documents in the absence of his
    Court Appointed Attorney M/S Stephanie Hudson Hence, the Defendant is requesting this
    Honorable Court to send him the documents which he signed on January 17,2014.
    Respectfully Submitted,
    Signed on'this 27th Day of October      20WATD.
    Stanley,Terry Andrew
    # 1908398
    Wynne Unit
    810 FM 2821
    Huntsville,Texas 77349
    PRO-SE
    CAUSE NOS.   : F13-40506-N
    F13-40507-N
    F13-40508-N
    THE STATE OF TEXAS                                IN THE COUNTY CRIMINAL
    V.                                                     COURT NO.y/j^of
    STANLEY, TERRY ANDREW                             DALLAS COUNTY, TEXAS
    DESIGNATION OF RECORD ON APPEAL
    TO THE HONOABLE JUDGE OF SAID COURT:
    NOW COMES DEFENDANT/APPELLANT,
    TERRY ANDREW STANLEY, and submits this Designation of records on
    appeal, and request that the following items be contained in the
    record of this appeal;
    1. A complete statement of the facts of the motion to supress any
    pre-trial or post trial hearings, or other matters connected in or
    with this case where the court reporter was present and transcribe:: t
    ing the proceedings.
    2.   The indictment.
    3. Any special pleas and motions of the defendant and motions of the
    state.
    4. Any written waivers.
    5. Courts'    docket sheet.
    6. Charge of court of both guilt or innocence and punishment.
    7. Any special requested charges submitted by defendant.
    8. Court's finding of fact and conclusion of law.
    9. Court's Judgement and sentence.
    10. Motion for new trial.
    11. Notice of appeal.
    12. Any notes from the jury and the courts response thereto.
    13. All exhibits.
    14. All jurors information sheets and information of peremptory
    strikes.
    15. Any other matter contained within the courts file.
    16. Any order appointing a visiting or returned Judge to preside
    this case.
    17. Any subpoenas or request for subpoenas.
    (1)
    18. Any notes written by the Judge in the courts file.
    19. Any letter written by the defendant to the court.
    20. Any pass slips in the file.
    21. The defendant's application for probation,if any.
    Wherefore primises concidered the Defendant/Appellant
    respetfully request that these matters be contained within
    the record of appeal.
    Respectfully Submitted,
    Signed on this S?<3*^   day of ZXce^L^ 2014
    Terry Andrew Stanley 1908398
    Wynne Unit C2-3-33b
    810 Fm 2821
    Huntsville,Tx. 77349-0001
    (2).
    I324003uEonn of; Declaration
    NOTICE
    Offender Notary Public Service
    If Terry Andrew Stanley,swear under penalty of perjury, that the forgoing is true
    and correct to the best of my knowledge.
    Signed on this r     day of J"/^        %ffrg?o<^ frx7).
    respectfully submitted,
    Terry Andrew Stanley 1908398
    Wynne Unit C2-3-33b
    810 FM 2821
    Huntsville,Texas 77349
    PRO-SE /
    Date:
    DECLARATION OF PROOF OF SERVICE
    PRISON MAILBOX RULE4 FED. R. APP. P.
    TERRY ANDREW STANLEY 1908398 declares under penalty of purjury pursuant to
    28 U.S.C.§ 1746 that he mailed a copy of enclosed documents to the District
    Attorney Mr. Craig Watkins and the Chief Clerk for the 195th Judicial Court
    Dallas Texas M/S Roberta Williams by placing them in the Wynne Unit prison
    mailbox 810 FM 2821 Huntsville, Texas 77349-0001 on the Date of L-S'-ST
    2015 A.D.
    And to the COURT OF CRIMINAL APPEALS AUSTIN TEXAS
    Terry Stanley 1908398
    DATE:^ ~y-/J~
    

Document Info

Docket Number: PD-0710-15

Filed Date: 6/10/2015

Precedential Status: Precedential

Modified Date: 9/29/2016