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Brandee Michelle Nichols v. State
12-14-00287-CR
Tex. App.
Apr 6, 2015
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Case Information

*0 FILED IN 12th COURT OF APPEALS TYLER, TEXAS 4/6/2015 4:35:28 PM CATHY S. LUSK Clerk *1 ACCEPTED 12-14-00287-cr TWELFTH COURT OF APPEALS TYLER, TEXAS 4/6/2015 4:35:28 PM CATHY LUSK CLERK IN THE

TWELFTH COURT OF APPEALS CAUSE NO. 12-14-00287-CR BRANDEE MICHELLE NICHOLS § ON APPEAL FROM THE

Appellant 114 TH DISTRICT COURT

VS. §

THE STATE OF TEXAS,

Appellee § SMITH COUNTY, TEXAS

THIRD MOTION FOR EXTENSION OF TIME TO FILE THE APPELLANT’S BRIEF

TO THE HONORABLE COURT OF APPEALS AND THE JUSTICES THEREOF:

COMES NOW APPELLANT, BRANDEE MICHELLE NICHOL, the Appellant, and moves the Court for an Third Extension of Time to File the Appellant’s Brief in

this cause and in support thereof would show the Court as follows:

I.

The Reporter’s Record was filed on December 3, 2014. According to the correspondence

the Appellant’s Brief is due to be filed on Monday, April 6, 2015.

II.

Appellant, respectfully request that pursuant to T.R.A.P. 10.5(d) 38.6 (d)

that the Court grant an Extension of Time to file Appellant’s Brief until the 7 day of April,

2015, and in support thereof would respectfully show the Court that during the previous thirty

(30) days Counsel has been involved in the following:

1. Appellant’s Counsel has also been involved in capital murder pre-trials in the case

styled the State of Texas v. Calvert . This case has been especially time intensive due to the

nature of the case, ie a pro se Defendant in a death penalty case inn Smith County, Texas . The

Trial Court has ordered standby counsel to prepare a collateral defense in the event the defendant

decides he wants representation. This case is set to commence jury selection on April 23, 2015.

Counsel has also been meeting with the Defendant and the DA in Wood County in conjunction

with the State v. McDaniel a capital murder prosecution. On Wednesday, April 1, 2015, there

was a mulit- defendant federal drug bust and Counsel spent most of Wednesday in Federal Court

and meeting with his client in the Gregg County Jail on Thursday. Counsel has been researching

issues and preparing his brief, the brief is 90% complete and Trial Counsel request an additional

day to finish the brief, shepardize cases etc.

2. Undersigned Counsel has been involved with other numerous federal cases and state

misdemeanor and felony cases in the preceding 30 day period.

3. Undersigned Counsel respectfully requests this Honorable Court to extend the time for

filing the Appellant’s Brief until the 7th day of April, 2015, in order to afford the undersigned

Counsel the necessary time to finish the Appellant’s Brief.

WHEREFORE PREMISES CONSIDERED, the undersigned Counsel, respectfully prays

that his Honorable Court extend the time for filing Appellant’s Brief in this cause until the 7

day of April, 2015.

Respectfully submitted, JEFF L. HAAS Attorney at Law 908 First City Place Tyler, Texas 75702 *3 (903) 593-8338 /s/ Jeff Haas JEFF L. HAAS STATE BAR NO. 08659600 ATTORNEY FOR APPELLANT CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the above and foregoing Motion for Extension of Time to File Appellant’s Brief has been delivered to the District Attorney's Office of

Smith County, Texas, on this the 6 day of April, 2015.

/s/ Jeff Haas JEFF L. HAAS

Case Details

Case Name: Brandee Michelle Nichols v. State
Court Name: Court of Appeals of Texas
Date Published: Apr 6, 2015
Docket Number: 12-14-00287-CR
Court Abbreviation: Tex. App.
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