Case Information
*0 FILED IN 1st COURT OF APPEALS HOUSTON, TEXAS 5/28/2015 9:07:55 AM CHRISTOPHER A. PRINE Clerk *1 ACCEPTED 01-14-00621-CR FIRST COURT OF APPEALS HOUSTON, TEXAS 5/28/2015 9:07:55 AM CHRISTOPHER PRINE CLERK No. 01-14-00621-CR In the
Court of Appeals
For the First District of Texas At Houston
No. 1394860
In the 230th Criminal District Court Of Harris County, Texas TRAVIS BRANDON AYERS Appellant
v. THE STATE OF TEXAS Appellee
STATE’S MOTION FOR EXTENSION OF TIME IN WHICH TO FILE APPELLATE BRIEF TO THE HONORABLE COURT OF APPEALS OF TEXAS:
COMES NOW THE STATE OF TEXAS, in accordance with Rules
10.5(b)(1) and 38.6(d) of the Texas Rules of Appellate Procedure, and files this
motion for extension of time in which to file the State’s brief in this case, and, in
support thereof, presents the following:
1. In the 230th Criminal District Court of Harris County, Texas, in cause
number 1394860, appellant pled nolo contendere to the offense of
intoxication manslaughter without an agreed punishment recommendation
in The State of Texas v. Travis Brandon Ayers .
2. On July 16, 2014, after a presentence investigation hearing, the trial court
sentenced appellant to confinement in the Texas Department of Criminal
Justice, Correctional Institutions Division, for thirteen years.
3. On July 16, 2014, appellant timely written notice of appeal.
4. Appellant filed his appellate brief with this Court on January 15, 2015.
5. The State did not receive a copy of appellant’s brief, nor notice that
appellant had filed his brief, until March 19, 2015.
6. The State’s appellate brief was due on May 27, 2015.
7. This is the State’s third request for an extension.
8. An extension of time in which to file the State’s appellate brief is requested
until Monday, June 1, 2015.
9. The facts relied upon to explain the need for this extension are:
a. The State did not receive a copy of appellant’s brief, nor notice that
appellant had filed his brief, until March 19, 2015.
b. The undersigned attorney was not assigned to appellant’s case until
approximately 5:15 PM on March 20, 2015.
c. During the time in which the undersigned attorney will be researching
and preparing the State’s appellate brief for this case, she will also be
researching and preparing the State’s appellate briefs in the following
cases that are also assigned to her:
i. Ex parte Muhammad S. Ahshan , No. 01-14-00815-CR ii. Victor Todd Williams v. State of Texas ; No. 14-13-00708-CR iii. Ex parte Brent Wayne Justice ; No. 14-14-00951-CR iv. Amina Rose White v. State of Texas ; No. 01-15-00294-CR v. Jesus Tinoco v. State of Texas ; No. 14-14-00973-CR
d. Additionally, the undersigned attorney was required to prepare for
and present oral argument to the Fourteenth Court of Appeals on
Tuesday, May 12, 2015, in the case: Approximately $31,421.00 v.
State of Texas , No. 14-14-00385-CV.
e. And finally, over the weekend of May 23-24, 2015, and continuing on
Monday, May 25, 2015, the Houston area received an inordinate
amount of rainfall which resulted in widespread flash flooding. The
basement of the Harris County Criminal Justice Center (CJC), which
houses the Harris County District Attorney’s Offices, flooded because
of this storm and the CJC was without electricity for some time.
Because of the flooding and power outages, all non-essential staff of
the CJC and the DA’s Office, including the undersigned attorney,
were instructed not to report to work until Thursday, May 28, 2015.
10. As a result of these factors, the undersigned attorney has been unable to
complete the State’s reply brief in this case in the time permitted, despite
due diligence, and the requested extension of time is necessary to permit the
undersigned attorney to adequately investigate, complete, and file the
State’s appellate brief for this cause.
11. The State’s motion is not for purposes of delay, but so that justice may be
done.
WHEREFORE, the State prays that this Court will grant the State a short
and final extension of time, until Monday, June 1, 2015, for the undersigned
attorney to complete and file the State’s appellate brief in this case.
Respectfully submitted, / S / Melissa Hervey M ELISSA P. H ERVEY Assistant District Attorney Harris County, Texas State Bar No. 24053741 1201 Franklin Street, Suite 600 Houston, Texas 77002 Telephone (713) 755-5826 Fax (713) 755-5809 Hervey_Melissa@dao.hctx.net *5 CERTIFICATE OF SERVICE This is to certify that the undersigned counsel has directed the e-filing
system eFile.TXCourts.gov to serve a true and correct copy of the foregoing
document upon Joe David Wells, appellant’s attorney of record on appeal, on May
28, 2015, at the following e-mail address, through the electronic service system
provided by eFile.TXCourts.gov:
joedavidwells@gmail.com
/ S / Melissa Hervey M ELISSA P. H ERVEY Assistant District Attorney Harris County, Texas State Bar Number: 24053741 1201 Franklin Street, Suite 600 Houston, Texas 77002 Telephone (713) 755-5826 Fax (713) 755-5809 Hervey_Melissa@dao.hctx.net
