Case Information
*0 FILED IN 1st COURT OF APPEALS HOUSTON, TEXAS 2/19/2015 3:37:43 PM CHRISTOPHER A. PRINE Clerk FIRST COURT OF APPEALS 2/19/2015 3:37:43 PM CHRISTOPHER PRINE HOUSTON, TEXAS *1 ACCEPTED [1380317] CLERK CAUSE NO. 01-13-00778-CR DANIEL GONZALEZ RODRIGUEZ § IN THE COURT OF APPEALS
APPELLANT §
§ 1 ST JUDICIAL DISTRICT
VS. §
§
THE STATE OF TEXAS, §
APPELLEE § AT HOUSTON, TEXAS
CASE NO. 1380317 THE STATE OF TEXAS § IN THE DISTRICT COURT OF
§
VS. § HARRIS COUNTY, TEXAS
§ 351 ST JUDICIAL DISTRICT
DANIEL GONZALEZ RODRIGUEZ § APPELLANT'S MOTION FOR LEAVE TO FILE APPELLANT’S BRIEF TO THE HONORABLE JUDGES OF SAID COURT:
COMES NOW DANIEL GONZALEZ RODRIGUEZ, appellant, by and through his
attorney of record, KURT B. WENTZ, who files this Appellant’s Motion for Leave to File
Appellant's Brief and in support thereof would show this Court as follows:
I.
The appellant has been found guilty of kidnapping and sentenced 30 years' confinement
in the Institutional Division of the Texas Department of Criminal Justice.
II.
On July 10, 2013 the appellant gave notice of appeal.
III.
The trial court certified the appellant’s right to appeal.
IV.
This court granted the appellant's First Motion for Extension to File Appellant's Brief.
Thereafter an abatement order was entered wherein it was determined that the appellant's brief
was not timely filed. Upon the ordered hearing the appellant and his attorney were given
additional time to file the appellant's brief.
V.
The appellant’s brief is being filed contemporaneously with this motion and the appellant
requests that the Court grant this motion allowing his case to be reviewed by this Court.
VI.
The attorney for the appellant has not been able to complete the appellant's brief until this
date for the following reasons:
A. Counsel had to try a non-death capital murder case entitled The State of Texas v.
Thanh Houng in August, 2014. That trial lasted one week.
B. Counsel had to try an aggravated robbery case entitled The State of Texas v.
Enitor Cole in early September, 2014. That trial lasted one week.
C. Counsel was actively engaged in the capital murder death penalty retrial entitled
The State of Texas v. Warren Rivers . That trial began on October 6, 2014 and
concluded with a death verdict on November 18, 2014. An enormous amount of
time was spent in preparation for that trial. Because of the complexity of the case
it was not possible to work on other cases during that trial.
D. Upon the completion of the Rivers capital murder case counsel had to tend to
several other cases that had been set for trial during the month of December,
2014.
E. On December 12, 2014 counsel was able to complete and file the brief in Brian
Victorian in the 1 st Court of Appeals.
F. The father of appellate counsel died in Cleveland, Ohio in January, 2015.
Counsel had to return to Cleveland to arrange for and attend his funeral that same
month.
G. Counsel had to try the aggravated sexual assault case entitled The State of Texas
v. Richard Owings from January 30, 2015 to February 4, 2015.
H. Counsel had to try a custody case entitled In the Interest of Nathan Hajsso in the
308 th District Court of Harris County, Texas on February 10, 2015.
I. Counsel had to go to trial on the assault case entitled The State of Texas v.
Tommy Alexander in the 338 th District Court of Harris County, Texas on
February 13, 2015.
VII.
This request is not intended for the purposes of delay but only so that justice may be done
and this Court be allowed to consider the appeal of Mr. Rodriguez' case.
WHEREFORE, PREMISES CONSIDERED, the appellant prays that the Court grant
leave to file the appellant's brief in this cause.
Respectfully submitted, /s/Kurt B. Wentz____________________________ KURT B. WENTZ 5629 Cypress Creek Parkway, Suite 115 Houston, Texas 77069 *4 Phone: 281/587-0088 e-mail: kbsawentz@yahoo.com State Bar No. 21179300 ATTORNEY FOR APPELLANT CERTIFICATE OF SERVICE I, Kurt B. Wentz, hereby certify that a true and correct paper copy of the Appellant's
Motion for Leave to File Appellant's Brief was served on the Assistant District Attorney for
Harris County, Texas present handling this cause on the 19 th day of February, 2015.
/s/Kurt B. Wentz___________________________ KURT B. WENTZ
