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Jerrold Joseph Winward v. State
09-17-00149-CR
| Tex. App. | Dec 13, 2017
|
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Case Information

*0 FILED IN 9th COURT OF APPEALS BEAUMONT, TEXAS 12/13/2017 3:38:04 PM CAROL ANNE HARLEY Clerk FILED IN 9th COURT OF APPEALS BEAUMONT, TEXAS 12/13/2017 3:38:04 PM CAROL ANNE HARLEY Clerk *1 ACCEPTED 09-17-00149-CR NINTH COURT OF APPEALS BEAUMONT, TEXAS 12/13/2017 3:38 PM CAROL ANNE HARLEY CLERK

NO. 09-17-00149-CR

JERROLD JOSEPH WINWARD § IN THE COURT OF APPEALS FOR

§

V. § THE NINTH DISTRICT OF TEXAS,

§

THE STATE OF TEXAS § AT BEAUMONT, TEXAS

____________________________________________________

STATE’S MOTION FOR

EXTENSION OF TIME TO FILE BRIEF

____________________________________________________

TO THE HONORABLE JUSTICES OF THE COURT OF APPEALS:

COMES NOW the State of Texas, by the undersigned assistant district

attorney, and moves the Court for an extension of time to file its appellate brief in the

above-captioned cases. The State would respectfully show the Court the following:

1. On April 7, 2017, the appellant entered a plea of guilty of driving while

intoxicated-subsequent offense and the court assessed his punishment at

imprisonment for twelve years.

2. On April 7, 2017, the appellant filed notice of appeal.

3. On November 13, 2017, the appellant filed his brief in this Court.

4. The State’s brief is due December 13, 2017.

5. The State has not previously requested an extension of time to file its

brief.

6. The State hereby requests a 30-day extension of time to file its brief, until

January 12, 2017.

7. Good cause exists for the requested extension of time, for the following

reasons:

In the past thirty days, the undersigned counsel for the State has

been required to prepare and file the State’s brief in Ex parte Elizabeth

Ann Garrels , No. PD-0710-17; the State’s answer to application for

post-conviction writ of habeas corpus in Ex parte Nicole Nadra

Baukus , Cause No. 12-06-07085-CR-(1); and the State’s brief in Galen

Dwayne Baugus v. The State of Texas , Cause No. 09-16-00495-CR.

Further, the undersigned counsel is assigned to represent the

State in Montgomery County’s misdemeanor expunction cases, and has

been required to attend to duties pursuant to that assignment.

Further, our office was closed November 23rd and 24th for the

Thanksgiving holiday.

Consequently, counsel has not had sufficient time to prepare an

adequate State’s brief in this case.

THEREFORE, the State requests an extension of time to file its brief until

January 12, 2017, in this case.

Respectfully submitted,

BRETT W. LIGON

District Attorney

Montgomery County, Texas

/s/ Brent Chapell

BRENT CHAPELL

Assistant District Attorney

Montgomery County, Texas

S.B.T. No. 24087284

207 W. Phillips, Second Floor

Conroe, Texas 77301

(936) 539-7800

E-mail:brent.chapell@mctx.org

CERTIFICATE OF SERVICE

I hereby certify that a true and correct copy of the foregoing motion is being

sent by e-mail to Heather E. Hoblit, attorney for the appellant, at

h.e.hoblit@hoblitlaw.com, on the date of the filing of the original with the Clerk of

this Court.

/s/ Brent Chapell

BRENT CHAPELL

Assistant District Attorney

Montgomery County, Texas

Case Details

Case Name: Jerrold Joseph Winward v. State
Court Name: Court of Appeals of Texas
Date Published: Dec 13, 2017
Docket Number: 09-17-00149-CR
Court Abbreviation: Tex. App.
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