Case Information
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NO. 0 F H-00091 CA NYLE NEILER "VS. PD-0956-15 THE STARE OF TEXAS
CAUPT OF RREPALS, CPIEHENIAL COUPT OF RREPALS, RECEIVED IN FUSSLN, TEXF:EQUART OF CRIMINAL APPEALS
JUL 272015 To THE HONORARVE JUZES OF SAID COUPT:
Cores new NYLE HILLER, Appellant Ro. Se in the atoue sluled and numbered Cause on appeal and pursuant to Article 641.5 of the Rules of Appellate Proadure files this Motion for Extension of Time to File Appellants Petition for Discretionary Review, and in the support of said motion would shou this Heorable Court the telkising:
I.
Ro. Se Appellant Miller, bule, humbly seeks this extension of time to file his tefition for Discretionary Review as he has requested transcripts not provided him although reguTested with the Clet his Record and Hyporters Record, from proceedings in Motion hearirars of and prior to trial of Cause No. 2611-0R-5062. Appellants seCord request of these transcripts, via motion, was received in the Fauth Court of Appeals, Sen Antonio and filed on July 17, 2015. It is not known to Appellant how long he will be waiting receipt of repentent in in transcripts to cite properly the illegal proceedings arising theresplminat appelas
JUL 272015
II.
Appellants request is sought also in the interest of juzice as he is currently incrocerated in the Revar County Adult Detention Center and he has firted access to the Law Library in which to obtain access, and utilize materials to procure his petition to this Honorable Court at only 1 (one) hour twice a week. This time is not guaranteed as the access to the Law Library is a first cone, first "served" basis which puts Appellants atthugly warned, at a slight disadvantage but does not render his salught extenation of fine void. See 4500000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000000
*2 III.
Appellant filed his Motion for Baboaring in the Fourth Court of Appeals on July 1, 2015 and said motion was denied on July 8, 2015, thus making his Motion for Discretionary Review due on August 1, 2015. This is Appellants first such request and is seeking a minimum of 30 days in which to ensure, with limited access to resources, that his petition couples with all applicable Articles and Rules and this also allows reintention of transcripts aforementioned to ensure proper citing. This motion, if granted, will have the due date of petition from August 1, 2015 to September 5, 2015.
Wheffers, Prehises Considered, Appellant pays that his Motion for Extension of Time to File Appellants Retition for Discretionary Review be granted by this Herdable Court.
Respectfully Submitted, Appellant Re-Se
CEPITIFICATE OF SERVITRE
I hereby certify that a true copy of the foregoing motion was delivered via the U.S. Es. to Day Brants, Assistant District Attorney, 300 Dalarcon, San Antonio, Texas, 18265.
Appellant Re-Se
CREDER
On this the day of 2015, came on to be heard Appellants Motion for Extension of Time to File Appellants Retition for Discretionary Review, and said motion is heresy
[PERMINTED (PERIED)] Signed this day of 2015.
Justice Residing
2.
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UNSWORN DECLARATION BY INMATE
I, KVE NILLEE, SID YEN?
Being presently incarcerated in the Bexar County Adult Detention Center, San Antonio, Texas declare under Penalty of Perjury that the foregoing instrument is true and correct. Signed on this the day of , 2015.
