History
  • No items yet
midpage
Garza, Rodolfo
WR-82,771-02
| Tex. App. | Oct 13, 2015
|
Check Treatment
Case Information

*0 RECEIVED 10/13/2015 ABEL ACOSTA, CLERK *1 WR-82 , 771-01,02,03,04,05 AUSTIN, TEXAS Transmitted 10/13/2015 3:58:48 PM Accepted 10/13/2015 4:47:16 PM ABEL ACOSTA NOS. WR-82,771-01, WR-82,771-02, WR-82,771-03, WR-82,771-04 & WR-82,771-05 CLERK

EX PARTE § IN THE COURT OF CRIMINAL

§ APPEALS

§ § OF TEXAS

APPLICANT’S FIRST UNOPPOSED MOTION FOR EXTENSION OF TIME

TO THE HONORABLE JUDGES OF SAID COURT:

Applicant Rodolfo Garza (hereinafter referred to as “Applicant”), by through his newly

retained undersigned counsel, respectfully submits this, his First Unopposed Motion for

Extension of Time, and in support thereof would show this Court as follows:

I.

Applicant recently retained the undersigned to represent him in the above-styled

proceeding.

II.

On June 17, 2015, this Court entered an Order setting forth deadlines by which the trial

court was to take certain actions in this matter, as described more fully therein, within ninety (90)

days and one hundred and twenty (120) days, respectively, of that Order,

III.

The undersigned requires at least thirty (30) days to properly investigate this matter,

including, but not limited to reviewing offense reports, plea papers, sentencing transcripts, and

related materials concerning the numerous convictions at issue in this case, interviewing trial

counsel, and reviewing all pleadings and affidavits that have previously been filed.

IV.

Consequently, the undersigned respectfully requests that this Court issue a new Order to

replace that of June 17, 2015, setting forth new deadlines of ninety (90) and one hundred (120)

days for the trial court to take the actions described more fully therein.

V.

The undersigned conferred with Matagorda County District Attorney Steven Reis

concerning the relief requested in this motion, and learned that the State of Texas is not opposed

to same. Moreover, this is Applicant’s first request for such an extension of time.

WHEREFORE, PREMISES CONSIDERED, Applicant Rodolfo Garza respectfully

requests that this unopposed motion be, in all things, granted, and that this Court enter a new

Order setting forth new deadlines to replace those previously described in this Court’s Order of

June 17, 2015.

Respectfully submitted,

LAW OFFICES OF D. CRAIG HUGHES

D. CRAIG HUGHES

State Bar No. 10211025

7322 Southwest Freeway - Suite 1100

Houston, Texas 77074

(713) 535-0683

(713) 981-3805 (FAX)

dcraighughes @msn.com (email)

THE LAW OFFICE OF

KYLE VERRET, PLLC

/ J. Kyle Verret

___________________________

J. KYLE VERRET

State Bar No. 24042932

11200 Broadway, Suite 2743

Pearland, TX 77584

Phone / Fax: (281) 764-7071

2029 Strand, Suite 3, Galveston, TX 77550

Phone / Fax: (409) 515-5004

Email: kyle@verretlaw.com

CERTIFICATE OF SERVICE

The undersigned certifies that he forwarded a true and correct of the foregoing motion via

facsimile transmission to Matagorda County District Attorney Steven Reis on this the 13 th day of

October, 2015.

D. Craig Hughes

Case Details

Case Name: Garza, Rodolfo
Court Name: Court of Appeals of Texas
Date Published: Oct 13, 2015
Docket Number: WR-82,771-02
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.