History
  • No items yet
midpage
Bobbie Dewayne Grubbs v. State
12-14-00210-CR
| Tex. App. | Jul 9, 2015
|
Check Treatment
Case Information

*0 FILED IN 12th COURT OF APPEALS TYLER, TEXAS 7/9/2015 3:06:48 PM CATHY S. LUSK Clerk *1 ACCEPTED 12-14-00210-CR TWELFTH COURT OF APPEALS TYLER, TEXAS 7/9/2015 3:06:48 PM CATHY LUSK CLERK

CASE NO. 12-14-00210-CR

BOBBIE GRUBBS § IN THE COURT OF APPEALS

APPELLANT §

§

VS. § TWELFTH COURT OF APPEALS

THE STATE OF TEXAS,

APPELLEE TYLER, TEXAS

MOTION FOR EXTENSION

OF TIME TO FILE APPELLEE’S BRIEF

TO THE HONORABLE JUSTICES OF THE COURT OF APPEALS:

COMES NOW The State of Texas , Appellee, by and through her District Attorney, Kenneth

B. Florence, and files this motion for an extension of 30 days in which to file the Appellee’s Brief.

In support of this motion, Appellee shows the court the following:

I. rd

Appellant was convicted in the 273 Judicial District Court of Shelby County, Texas, by a

jury, of the offense of Capital Murder. The judge assessed punishment at confinement in the Texas

Department of Criminal Justice Institutional Division, for Life, without the possibility of Parole.

II.

The deadline for filing the Appellee’s Brief was July 3, 2015. That date was the official

observance of Independence Day and all county offices were closed. That date has passed, and this

motion is accompanied by a motion for leave to file a late motion for extension of time.

III.

Appellee’s request for an extension is based upon the following facts:

1. Appellee can get the brief filed within the 30 days requested.

2. This motion is not opposed by defense counsel.

3. This motion is the State’s first motion for an extension.

4. The elected District Attorney was the only attorney in the office for 4 years, and a new Assistant

District Attorney was just approved effective June 8, 2015.

Wherefore, Appellee prays the court grant the motion for leave to late file this motion for

extension, this motion for extension, and extend the deadline for filing the Appellee’s Brief to

August 7, 2015.

Respectfully submitted,

/s/ Kenneth B. Florence

TBA # 00790698

Shelby County Assistant District Attorney

200 San Augustine Street Suite 12

Center, Texas 75935

(936) 598-2489

(936) 598-4106

CERTIFICATE OF SERVICE

I hereby certify that a true and correct copy of the State’s Motion for Extension of Time to

File Appellee’s Brief, as related above, was served upon, Stephen Shires, Attorney for Appellant, th

123 San Augustine Street, Center, Texas 75935, by facsimile (936) 598-3031, on this the 7 day of

July 2015.

/s/ Kenneth B. Florence

KENNETH B. FLORENCE

AFFIDAVIT

STATE OF TEXAS

COUNTY OF SHELBY

“My name is KENNETH B. FLORENCE; I am over the age of 18 and I am competent to

make this affidavit. I have personal knowledge of the following facts:

I have read the foregoing motion for extension of time to file Appellee’s Brief and the facts

contained therein are true and within my personal knowledge.”

Further the affiant sayeth not.

/s/ Kenneth B. Florence

Case Details

Case Name: Bobbie Dewayne Grubbs v. State
Court Name: Court of Appeals of Texas
Date Published: Jul 9, 2015
Docket Number: 12-14-00210-CR
Court Abbreviation: Tex. App.
AI-generated responses must be verified and are not legal advice.
Your Notebook is empty. To add cases, bookmark them from your search, or select Add Cases to extract citations from a PDF or a block of text.