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PD-1514-14 COURT OF CRIMINAL APPEALS FILED IN COURT OF CRIMINALAPPEALS AUSTIN, TEXAS Transmitted 5/13/2015 12:58:41 PM May 13, 2015 Accepted 5/13/2015 1:08:07 PM ABEL ACOSTA CLERK ABEL ACOSTA, CLERK NO. PD-1514-14 STATE OF TEXAS § IN THE COURT OF § VS. § CRIMINAL APPEALS RONNIE DABNEY MOTION TO EXTEND TIME TO FILE BRIEF TO THE HONORABLE JUDGES OF SAID COURT: Now comes RONNIE DABNEY, appellee in the above styled and numbered cause, and moves for an extension of time of 45 days to file a brief and for good cause shows the following: 1. This Court granted Appellant's The State of Texas Petition for Discretionary Review. The brief in support of Appellant's petition was due 30 days thereafter. See Tex. R. App. Proc. 70.1. On or about May 1, 2015, Appellee received a notice by electronic filing that Appellant's (The State of Texas) had not been filed in a timely fashion. This caused confusion to counsel for Appellee as he believed that the State's brief had been rejected for some reason. Accordingly, Appellee's counsel was waiting for Appellant to submit another brief before responding and filing Appellee's brief. 2. Additionally, Counsel has been unable to complete the brief for the following reasons: 1. From March 23, 2015 to April 21,2015, counsel with the assistance of the Texas Lawyer's Assistance Program entered into an alcohol rehabilitation facility in Austin, Texas. Counsel was out of the office until April 22,2015. After being gone for a month, counsel was way behind. Counsel has had trial settings and contested hearings since his release from rehab. Counsel is specially set on a medical malpractice trial in the 78th District Court of Wichita County, Texas on 5/18/15. The case is going to take 6-8 days to try and requires a great deal of preparation 3. Counsel filed the brief in the Court of Appeals in Fort Worth and accordingly, has done a great deal of research on the issues before the Court. Counsel is requesting until June 15, 2015 to file the brief on behalf of Appellee. WHEREFORE, PREMISES CONSIDERED, appellant respectfully requests an extension of 45 days, i.e. until June 15, 2015, to file a brief in support of Petition for Discretionary Review. Respectfully submitted, Mark Barber, Attorney at Law 900 8th Street, Suite 116 Wichita Falls, TX 76301 Tel: (940) 761-3009 Fax:(940)761-4060 By:A/Mark H. Barber Mark H. Barber State Bar No. 01708050 Mbarberlaw@aol.com Attorney for RONNIE DABNEY CERTIFICATE OF SERVICE This is to certify that on May 12, 2015, a true and correct copy of the above and foregoing document was served on the District Attorney's Office, Wichita County, Texas, by electronic service through the Electronic Filing Manager. MarkH. Barber Mark H. Barber CERTIFICATE OF CONFERENCE This is to certify that on May 12, 2015, I conferred with the Assistant District Attorney who is handling the appeal for the State of Texas and he advised that he is unopposed to this motion. /s/MarkH. Barber
Document Info
Docket Number: PD-1514-14
Filed Date: 5/13/2015
Precedential Status: Precedential
Modified Date: 9/29/2016