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Griselda Aza v. State
14-14-00241-CR
| Tex. App. | May 29, 2015
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Case Information

*0 FILED IN 14th COURT OF APPEALS HOUSTON, TEXAS 5/29/2015 9:30:09 AM CHRISTOPHER A. PRINE Clerk *1 ACCEPTED 14-14-00241-CR FOURTEENTH COURT OF APPEALS HOUSTON, TEXAS 5/29/2015 9:30:09 AM CHRISTOPHER PRINE CLERK In the

Court of Appeals For the

First District of Texas At Houston  Nos. 1366175 and 1366176 In the 174 th District Court Of Harris County, Texas  GRISELDA AZA Appellant V.

THE STATE OF TEXAS Appellee  STATE’S MOTION FOR FINAL EXTENSION OF TIME TO FILE BRIEF

 TO THE HONORABLE COURT OF APPEALS:

THE STATE OF TEXAS, pursuant to T EX . R. A PP . P. 2 & 10.5, moves for

an extension of time in which to file its appellate brief and in its motion, would

show the Court the following:

1. The appellant was charged in cause number 1366175 with the

intoxication manslaughter of Darlene Carter committed on October 28,

2012 (CR5 – 17). She was also charged in cause number 1366176 with

the intoxication manslaughter of Alphonse Jackson committed on that

same day (CR6 – 16). She pled guilty to the charges without an agreed

recommendation on punishment, and the trial court thereafter assessed

punishment on February 21, 2014 at fifteen years in prison for each case

(CR5 – 56) (CR5 – 52). The appellant filed notice of appeal the next

week, and the trial court certified that she had waived her right to appeal

(CR5 – 44, 59) (CR6 – 33, 55).

2. The State’s brief was originally due on April 10, 2015, but this Court

granted extensions until June 11, 2015. The State hereby requests a final

30-day extension for the filing of the State’s brief.

3. The following facts are relied upon to show good cause for an extension

of time to allow the State to file its brief:

a. The record in this case is over 120 megabytes in length split over

ten files and is taking some time to process.

b. Extensive rainfall during the last week of May 2014 caused the

undersigned attorney’s office to close for two days during which

the undersigned attorney was told to remain at home and therefore

was unable to work on the brief in this case.

c. The undersigned attorney was responsible for screening every bill

filed in the Texas Legislature to determine its possible impact on

the Harris County District Attorney’s Office, and this task has

consumed a large amount of time since pre-filing started in the

Texas Legislature in November 2014.

d. The undersigned attorney researched and answered by email more

than 140 legal questions of trial prosecutors since the appellant

filed his brief. The undersigned attorney researched and answered

even more such questions by phone during that time period. And

the undersigned attorney had an oral argument during this period.

e. The undersigned attorney is responsible for supervising six other

appellate prosecutors, and has spent a substantial amount of time

reviewing the briefs of those prosecutors, attending their oral

arguments, and assisting in the preparation of both during that time

period. The undersigned attorney has also been responsible for

training a new appellate prosecutor, which requires more intense

supervision and editing, and therefore, more of a time

commitment.

f. The undersigned attorney was required to present argument at the

Texas Court of Criminal Appeals in Austin on May 20, 2015,

which required several days of preparation, presentation, and

travel.

g. The undersigned attorney has had a family vacation planned from

June 1 through June 11, 2015 since early in 2014. The

undersigned counsel has made many non-refundable expenditures

in an effort to secure favorable rates during the trip

h. The undersigned attorney has been involved in completing the

following written appellate projects since the appellant filed his

brief:

(1) Kelvin O’Brien v. The State of Texas

No. 01-14-00229-CR Brief filed March 30, 2015 (2) Antonio Perez v. The State of Texas

No. 01-12-01001-CR Motion for rehearing filed March 31, 2015 (3) Brogan Melchior v. The State of Texas

Brief to be filed April 13, 2015 (4) Elder Somoza v. The State of Texas

Brief filed April 15, 2015 *4 (5) In the Interest of B.D.S. v. The State of Texas

No. 01-14-00762-CV Brief filed April 28, 2015 (6) Jose Vasquez v. The State of Texas

No. PD-0078-15

Brief on PDR filed May 12, 2015 (7) Antonio Perez v. The State of Texas

No. 01-12-01001-CR PDR filed May 12, 2015 (8) Johnathan Castaneda v. The State of Texas

Brief filed May 18, 2015 WHEREFORE, the State prays that this Court will grant the requested extension.

Respectfully submitted, /s/ Eric Kugler E RIC K UGLER Assistant District Attorney Harris County, Texas 1201 Franklin, Suite 600 Houston, Texas 77002-1923 (713) 755-5826 Kugler_eric@dao.hctx.net TBC No. 796910 *5 CERTIFICATE OF SERVICE This is to certify that a copy of the foregoing instrument will be served by

efile.txcourts.gov to:

Bob Wicoff

Assistant Public Defender

Harris County, Texas

1201 Franklin, 13th Floor

Houston, Texas 77002

Bob.Wicoff@pdo.hctx.net

/s/ Eric Kugler E RIC K UGLER Assistant District Attorney Harris County, Texas 1201 Franklin, Suite 600 Houston, Texas 77002-1923 (713) 755-5826 Date: May 29, 2015

Case Details

Case Name: Griselda Aza v. State
Court Name: Court of Appeals of Texas
Date Published: May 29, 2015
Docket Number: 14-14-00241-CR
Court Abbreviation: Tex. App.
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