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Paul C. Ervin v. State
08-15-00025-CR
| Tex. App. | Jul 20, 2015
|
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Case Information

*0 FILED IN 8th COURT OF APPEALS EL PASO, TEXAS 7/20/2015 10:45:00 AM DENISE PACHECO Clerk *1 ACCEPTED 08-15-00025-CR EIGHTH COURT OF APPEALS 08-15-00025-CR EL PASO, TEXAS 7/20/2015 12:00:00 AM DENISE PACHECO CLERK IN THE COURT OF APPEALS EIGHTH JUDICIAL DISTRICT OF TEXAS AT EL PASO PAUL C. ERVIN, §

Appellant §

VS. § NO. 08-15-00025-CR

§

THE STATE OF TEXAS, §

Appellee §

THIRD MOTION FOR EXTENSION OF TIME IN WHICH TO FILE

APPELLANT'S BRIEF TO THE HONORABLE COURT OF APPEALS:

COMES NOW, PAUL C. ERVIN , Appellant in the above entitled

and numbered cause, by and through his attorney on appeal, DAVID A.

PEARSON, IV , and files this motion for an extension of thirty (30) days in

which to prepare and file Appellant’s Brief. In support of this motion the

Appellant would show the following:

1. This cause is styled Paul C. Ervin vs. State of Texas , and is numbered

1337034D in the trial court and No. 08-15-00025-CR in the Court of

Appeals-8th District of Texas.

2. That Appellant’s Brief in this cause was due to be filed in the Court of

Appeals on or before 13 July 2015.

3. That this is Appellant's third request for an extension of time to file the

Appellant's Brief.

4. That the Appellant hereby requests an extension of thirty (30) days, until

12 August 2015, to file the Appellant's Brief and as reasons therefore

would further show the Court that the Attorney for Appellant does not

have sufficient time to prepare Appellant’s Brief on or before 13 July

2015.

5. Appellant is indigent, in custody, and counsel is court appointed.

6. The record in this murder case on appeal consists of approximately 1190

pages of testimony and 122 exhibits. To date Undersigned Counsel has

determined his selected points of error; has completed the statement of

facts section of his brief; has completed reading of the record, and has

outlined a rough draft of the brief. Counsel is requesting until 12 August

2015 to have the necessary time to complete Appellant’s Opening Brief.

Counsel was unable to complete this brief by the 13 July 2015 due date

due to Counsel’s other appellate work in a death penalty case, and

Counsel’s ongoing defense casework, more fully explained below.

Undersigned Counsel maintains a caseload devoted exclusively to

criminal work that is heavily weighted in indigent criminal defense, and

that work requires Counsel to make court appearances daily. *3 State of Texas v. Nicholas Ryan Acree , Nos. 1386753, 1376155,

1382616, 1388825, 1410503, 1404360, 372 District Court, Tarrant

County, Murder, Unlawful possession of firearm, Engaging organized

crime (3 charges), and Possession controlled substance <1g. In these six

cases for one court-appointed client, Undersigned Counsel is

representing an individual who was indicted for 6 cases total, 4 of

which are “3g” aggravated offenses. These cases are further

complicated because the “3g” offenses involve at least 7 co-

defendants and involve alleged gang and organized crime. In the

cases against Undersigned Counsel’s client, Counsel is charged with

the responsibility of full review of over 25 digital discs disclosed by

the state, with the conservative estimate of over 50 hours at least in

length of total time to review. Counsel has expended at 20 hours to

date just in the digital media review. Ricky D. Davis v. State of Texas , No. 02-13-00468-CR, Court of

Appeals – 2nd District of Texas, Appellant’s brief due on 15 July 2015. Rodney Chase Pettigrew v. State of Texas , No. 02-14-00494-CR, Court

of Appeals – 2nd District of Texas, Capital Murder, Appellant’s brief due

on 10 August 2015.

- State v. Jacque Lamont Anderson , No. 1391500, 432 nd District Court,

Tarrant County, Sexual Assault-Continuous. In the above-referenced

case Undersigned Counsel has over 10 items in electronic recordings

and digital media to review .

- State v. Daniel Lynn Davenport , No. 1389184, 372 District Court,

Tarrant County, Sex Offender Duty Registration-Violation.

- State v. Robert Brandon Morris , No. CR15-0169, 43 rd District Court,

Parker County, Injury to Child-Serious Bodily Injury, Mental

Impairment.

-No. 323-101333-15, Tarrant County, Texas, Determinate Sentence trial. State of Texas v. James Michael Lee Chestnut , No. 15444, 29th District

Court, Palo Pinto County, Debit Card Abuse. State v. Kevin Scott Baum, Jr. , Nos. CR14-0742, CR14-0748, 415th

District Court, Parker County, Aggravated Assault Public Servant. State v. Randy James Terry , No. CR15-0046, 415th District Court,

Parker County, Engaging in Organized Criminal Activity. In the above-

referenced case Undersigned Counsel has over 95 items in electronic

recordings and digital media to review, conservative estimate of over

45 hours to fully review .

- State v. David Lane Basham , No. 1398744, Criminal District Court

Three, Tarrant County, Aggravated Robbery.

Undersigned Counsel has devoted numerous out-of-court hours to

prepare the above-referenced cases for trial. In most of the above-

referenced cases Undersigned Counsel has logged numerous hours

reviewing electronic recordings and digital media .

7. During the last ninety days Attorney for Appellant has completed the

following: Steven Lawayne Nelson v. State , AP-76,924, capital murder, petition for

writ of certiorari filed in U.S. Supreme Court on 13 July 2015.

Undersigned Counsel expended over 22 hours from June to July 2015

to complete the petition for writ of certiorari. State v. Joseph Robert Dodson , No. 1316921, 297 th District Court,

Tarrant County, Capital Murder, resolved by plea 10 June 2015 after

logging numerous hours.

-State v. Ricardo Veliz , No. 1365527, 213th, Tarrant County, Unlawful

Possession Firearm-Felon-Habitual, resolved at jury trial 1 June 2015. Roderick Dixon v. State of Texas , No. 02-14-00379-CR, 02-14-00380-

CR, 02-14-00381-CR, 02-14-00382-CR, Court of Appeals-2 District of

Texas, Appellant’s brief filed on 11 May 2015.

- State v. Ervinson L. Wiley , No. 1321241, 213 th District Court, Tarrant

County, Aggravated Sexual Assault, plea just prior to jury trial set 11

May 2015.

- State of Texas v. Michael D. Washington , No. 1390122, 372 nd District

Court, Assault Bodily Injury-Family Violence with Previous Assault

Bodily Injury-Family Violence, Habitual Count, plea at jury trial setting

4 May 2015. State v. Daniel Benjamin Baker , No. CR14-0611, 43 rd District Court,

Parker County, Aggravated Sexual Assault-Child, Indecency Child-

Contact, plea 21 May 2015. State v. Pedro Miguel Ibarra-McDonald , No. 18195, 271st District

Court, Wise County, Aggravated Robbery, plea 4 May 2015. Jennifer Banner Wolfe v. State , PD-0292-15, Court of Appeals-2

District of Texas; PDR filed in Court of Criminal Appeals on 29 April

2015.

8. Personal Time and Professional Responsibilities: Attorney for Appellant

has scheduled summer vacation time in part to attend C.L.E. training.

This CLE training is also necessary in order for Undersigned Counsel to

maintain his CLE hours for felony and misdemeanor court-appointments

and for Board Certification, Criminal Law and Criminal Appellate Law,

recertification requirements. Undersigned Counsel in May completed 10

hours in capital case C.L.E. in order to maintain qualifications for

appointment to death penalty cases in the Eighth Judicial Region.

Undersigned Counsel also has some brief summer vacation time to spend

with his family.

9. This motion is not filed for the purpose of delay, but rather so that there

will be sufficient time for the work to be done in a proper manner and for the

effective assistance of counsel.

WHEREFORE, PREMISES CONSIDERED, the Undersigned Counsel

respectfully prays that this Honorable Court extend the time for filing

Appellant’s Brief in this cause until 12 August 2015.

Respectfully Submitted, DAVID A. PEARSON, P.L.L.C. By:________________________ David A. Pearson, IV ATTORNEY FOR APPELLANT 222 W. Exchange Ave., Ste. 103 Fort Worth, Texas 76164 (817) 625-8081 FAX: (817) 625-8038 Bar ID# 15690465 E-MAIL: david@lawbydap.com CERTIFICATE OF SERVICE *8 I certify that a true and correct copy of the foregoing Third Motion for Extension of Time for Filing Appellant's Brief was e-served

(coaappellatealerts@tarrantcounty.com) to the Tarrant County District

Attorney’s Office, Hon. Debra Windsor, Chief-Post Conviction, Assistant

District Attorney, on the 18th day of July 2015.

David A. Pearson, IV CERTIFICATE OF CONFERENCE I certify that a conference was held with Hon. Helena Faulkner, Assistant District Attorney, Tarrant County, Texas, on the 16th day of July

2015, and the State DOES/DOES NOT oppose the Appellant’s foregoing

motion.

David A. Pearson, IV

Case Details

Case Name: Paul C. Ervin v. State
Court Name: Court of Appeals of Texas
Date Published: Jul 20, 2015
Docket Number: 08-15-00025-CR
Court Abbreviation: Tex. App.
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