Anthony Scott Plaster v. State
Opinion
ACCEPTED 14-15-00154-CR FOURTEENTH COURT OF APPEALS HOUSTON, TEXAS 12/8/2015 10:41:27 AM CHRISTOPHER PRINE CLERK
No. 14-15-00154-CR FILED IN 14th COURT OF APPEALS HOUSTON, TEXAS ANTHONY PLASTER § IN THE COURT OF APPEALS 12/8/2015 10:41:27 AM § CHRISTOPHER A. PRINE V. § 14TH JUDICIAL DISTRICT Clerk § THE STATE OF TEXAS § AT HOUSTON, TEXAS
APPELLEE’S MOTION TO EXTEND TIME TO FILE THE BRIEF
TO THE HONORABLE COURT OF APPEALS:
Appellee asks the Court to extend the time to file its brief.
Introduction
1. Appellant is Anthony Plaster; Appellee is the State of
Texas. No rule provides a deadline to file this motion to extend. See TEX.
R. APP. P. 38.6(d). The Appellant is unopposed to this motion.
Argument and Authorities
2. The Court has the authority under Texas Rule of
Appellate Procedure 38.6(d) to extend the time to file the brief. Appellant’s
brief was filed on November 9, 2015. Appellee’s brief is due on December
9, 2015. Appellee requests 30 days to file its brief, extending the time until
January 8, 2016. No prior extension has been granted to extend the time to
file the Appellee’s brief.
1 3. Appellee request additional time to file its brief because
the undersigned counsel has been finishing two other complicated briefs,
with extensive records, that have deadlines close in time to the instant case.
Counsel has made a diligent effort to complete all briefs within the time
designated by the rules. Counsel has been faced with a large end-of-the-year
conclusion volume in his other cases as well. As a result, counsel will not be
able to complete the brief by the current due date.
Prayer
4. For these reasons, Appellee asks the Court to grant an
extension of time to file its brief until January 8, 2016.
Respectfully submitted,
/s/ Trey D. Picard _____________________________________ Trey D. Picard State Bar No. 24027742 Assistant Criminal District Attorney 111 East Locust St., Suite 408A Angleton, Texas 77515 (979) 864-1233 (979) 864-1712 Fax treyp@brazoria-county.com
ATTORNEY FOR THE APPELLEE, THE STATE OF TEXAS
2 CERTIFICATE OF CONFERENCE
As required by Texas Rule of Appellate Procedure 10.1(a)(5), I
certify that I have conferred, or made a reasonable attempt to confer, with all
other parties, which are listed below, about the merits of this motion with the
following results:
Faye Gordon opposes motion Attorney at Law does not oppose motion 201 E. Myrtle St. Angleton, Texas 77515 agrees with motion (979) 849-3330 would not say whether faye@fayegordonlaw.net motion is opposed did not return my message Attorney for the Appellant regarding the motion
/s/ Trey D. Picard ______________________________ Trey D. Picard Assistant Criminal District Attorney
3 CERTIFICATE OF SERVICE
As required by Texas Rule of Appellate Procedure 6.3 and
9.5(b), (d), (e), I certify that I have served this document on all other parties,
which are listed below, on December 8, 2015:
Faye Gordon By: Attorney at Law personal delivery 201 E. Myrtle St. Angleton, Texas 77515 mail (979) 849-3330 commercial delivery faye@fayegordonlaw.net electronic delivery / fax Attorney for the Appellant
/s/ Trey D. Picard ______________________________ Trey D. Picard Assistant Criminal District Attorney
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