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Jenkins, James Alan
PD-0832-15
| Tex. App. | Oct 13, 2015
|
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Case Information

*1 PD-0832-15 COURT OF CRIMINAL APPEALS AUSTIN, TEXAS Transmitted 10/13/2015 11:54:30 AM Accepted 10/13/2015 12:18:49 PM ABEL ACOSTA CLERK October 13, 2015

Honorable Abel Acosta

Clerk of the Court of Criminal Appeals

P.O. Box 12308

Capitol Station

Austin, TX 78711

RE: The State of Texas v. James Alan Jenkins

Court of Criminal Appeals No. PD-0832-15

Dear Mr. Acosta:

Enclosed please find an original Unopposed Motion for Extension of Time to File State’s Brief in the above referenced matter. I would ask that you please file this brief in your usual manner.

By copy of this letter, I am forwarding a copy of same to the Attorney for Appellee.

Yours truly,

Enclosure

cc: George Sechrist, Attorney for Appellee

Lisa McMinn, State Prosecuting Attorney P os t Of fic e B ox 12548 , Aust in , Texa s 7 8 7 1 1 - 2 5 4 8 • ( 5 1 2 ) 4 6 3 - 2 1 0 0 • www. t exa satt o r n eygen era l. go v

CASE NO. PD-0832-15

THE STATE OF TEXAS, § IN THE COURT

APPELLANT §

§ OF CRIMINAL APPEALS §

JAMES ALAN JENKINS, § OF TEXAS

APPELLEE §

STATE’S FIRST UNOPPOSED MOTION FOR EXTENSION OF

TIME TO FILE STATE’S BRIEF

COMES NOW, the State of Texas, by and through its Assistant District Attorney, Jon R. Meador, and tenders, pursuant to Texas Rules of Appellate Procedure 10.5(b) and 38.6(d), this motion for an extension of time to file the State’s brief. In support of this motion, the State would show:

1. The court below is the Fourteenth District Court of Appeals,

which in cause number 14-13-00662-CR, reversed the judgment of the 359th Judicial District Court of Montgomery County Texas in cause no. 12-03-02579-CR, there styled the State of Texas v. James Alan Jenkins;

2. This Court granted the State’s petition for discretionary

review on September 16, 2015;

3. The State’s brief is due on October 16, 2015;

4. The State is asking for a three-week extension making the

new deadline November 6, 2015;

5. This is the first request for an extension;

6. Appellee’s Counsel, George McCall Secrest, Jr. does not

oppose this motion for an extension of time; 7. The State is requesting this extension so that it might

adequately address the complex issues involved in this case, and it is not requested for the purpose of an improper delay; 8. The State alleges good cause exists for this request to the

undersigned’s schedule. At the time this Court granted the State’s Petition for Discretionary Review (PDR), Counsel was in the middle of drafting responses in other cases in federal court and has since the granting of the PDR filed five answers or responsive pleadings in federal court. Additionally, this case involves issues of first impression and are complex. Since the court of appeals reversed the trial court’s judgment, the State’s position has changed making the drafting of an initial brief more time-intensive. Consequently, the undersigned attorney is asking for an additional twenty-one days to file his brief.

WHEREFORE, premises considered, the State respectfully requests that this Court grant the State’s first motion for extension of time for two weeks, until November 6, 2015.

Respectfully submitted,

/s/ Jon R. Meador Jon R. Meador

300 W. 15th Street

Austin, Texas 78701

(512) 395-4425

State Bar No. 24039051

CERTIFICATE OF SERVICE

A true copy of the State’s First Motion to Extend Time has been mailed to Counsel for Appellant, George McCall Secrest, Jr., Bennett & Secrest, LLP, 808 Travis, 24th Floor, Houston, Texas 77002-4177, and the State Prosecuting Attorney, Lisa McMinn, P.O. Box 13046, Capitol Station, Austin, Texas 78711-3046.

Case Details

Case Name: Jenkins, James Alan
Court Name: Court of Appeals of Texas
Date Published: Oct 13, 2015
Docket Number: PD-0832-15
Court Abbreviation: Tex. App.
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