Christopher Jack v. State ( 2015 )


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  •                                                                                     ACCEPTED
    01-15-00848-CR
    FIRST COURT OF APPEALS
    HOUSTON, TEXAS
    11/23/2015 12:59:59 AM
    CHRISTOPHER PRINE
    CLERK
    FIRST COURT OF APPEALS
    FILED IN
    01-15-00848-CR                  1st COURT OF APPEALS
    HOUSTON, TEXAS
    11/23/2015 12:59:59 AM
    CHRISTOPHER A. PRINE
    Christopher Jack, Appellant                     Clerk
    v.
    State of Texas, Appellee
    On Appeal from the 183rd Judicial District Court
    Harris County, Texas
    Cause Number 1283618
    Motion to Extend Time to File
    Appellant’s Brief
    Michael Mowla
    P.O. Box 868
    Cedar Hill, TX 75106
    Phone: 972-795-2401
    Fax: 972-692-6636
    michael@mowlalaw.com
    Texas Bar No. 24048680
    Attorney for Appellant
    To the Honorable Justices of the Court of Appeals:
    Appellant moves for an extension of time of 30 days to file the Appellant’s
    Brief [See Tex. Rule App. Proc. 10.5(b) and 38.6(c)]:
    1.     This case is on appeal from the 183rd District Court of Harris County,
    Texas.
    2.     The case below is styled the State of Texas v. Christopher Jack, and is
    numbered 1283618.
    3.     On April 18, 2012, sentence was imposed in open court.
    4.     Appellant was convicted of Aggravate Assault with a Deadly
    Weapon.
    5.     Appellant is presently on community supervision.
    6.     Appellant filed an application for writ of habeas corpus under Article
    11.072 of the Code of Criminal Procedure seeking an out-of-time appeal, which
    was granted by the trial court on September 18, 2015. (CR, 140). On September
    28, 2015, a timely Notice of Appeal was filed. (CR, 138-139).
    7.     The reporter’s record was filed on November 17, 2015.
    8.     The clerk’s record was filed on November 13, 2015.
    9.     The Appellant’s Brief is due on December 17, 2015.
    10.    Appellant requests an extension of time of 30 days from the present
    due date to file the Appellant’s Brief, i.e., until January 16, 2016.
    2
    11.      No previous extension to file the Appellant’s Brief has been filed.
    12.      Appellant relies on the following facts as good cause for the requested
    extension: during the past week, Attorney for Appellant completed a reply brief in
    Collins v. State, 08-15-00103-CR, in the 8th Court of Appeals, which is a complex
    murder case. Further, Attorney for Appellant also filed a brief in Geiger v. State,
    08-15-00213-CR, also in the 8th Court of Appeals
    13.      Further, Attorney for Appellant has the following briefs, petitions for
    discretionary review, or other pleadings due soon:
     United States v. Carroll, 3:15-cv-03521-N, Brief in support of motion
    under 28 U.S.C. § 2255, due November 30, 2015 in the Northern
    District of Texas.
     United States v. Ziba, 15-10873, appellant’s brief due on December
    16, 2015 in the Fifth Circuit.
     Ex parte Juarez, 34946-CR, writ of habeas corpus scheduled to be
    filed on December 31, 2015 in the 40th District Court, which is a
    continued challenged to a sentence based on the holdings in Miller v.
    Alabama, 
    132 S. Ct. 2455
    (2012).
     Nguyen v. State, 06-15-00127-CR, appellant’s brief due on January 4,
    2016 in the Sixth Court of Appeals.
     Lowe v. State, PD-1427-15, PDR due on January 4, 2016 in the Court
    of Criminal Appeals.
    14.      In addition, Mowla has been working on two complex death penalty
    habeas cases - Ex parte Thomas, F86-85539, in the 194th Judicial District Court,
    and Green v. Director, 3:15-cv-02197-M-BH, in the Northern District of Texas.
    3
    15.    Finally, Attorney for Appellant continues work on several other
    habeas cases involving the underlying issue in Miller v. Alabama, 
    132 S. Ct. 2455
    (2012).
    16.    Attorney for Appellant has a responsibility to provide Appellant with
    the effective assistance of appellate counsel, see Evitts v. Lucey, 
    469 U.S. 387
    , 392
    (1985), and Attorney for Appellant believes that that the additional time is
    necessary to provide such effective appellate counsel.
    17.    Attorney for Appellant thus requests the extension so that he may
    properly prepare the Appellant’s Brief.
    18.    This Motion is not filed for purposes of delay, but so that justice may
    be served.
    Prayer
    Appellant prays that this motion for extension of time to file the Appellant’s
    Brief be granted.
    Respectfully submitted,
    Michael Mowla
    P.O. Box 868
    Cedar Hill, TX 75106
    Phone: 972-795-2401
    Fax: 972-692-6636
    michael@mowlalaw.com
    Texas Bar No. 24048680
    Attorney for Appellant
    4
    /s/ Michael Mowla
    Michael Mowla
    Certificate of Service
    I certify that on November 23, 2015, a true and correct copy of this document was
    served on Alan Curry of the Harris County District Attorney’s Office, Appellate
    Division, 1201 Franklin Street Suite 600, Houston, Texas 77002, by email to
    curry_alan@dao.hctx.net.
    /s/ Michael Mowla
    Michael Mowla
    5
    

Document Info

Docket Number: 01-15-00848-CR

Filed Date: 11/23/2015

Precedential Status: Precedential

Modified Date: 9/30/2016