Craig Allen Jordan v. State
This text of Craig Allen Jordan v. State (Craig Allen Jordan v. State) is published on Counsel Stack Legal Research, covering Court of Appeals of Texas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
ACCEPTED 05-17-01451-CR FIFTH COURT OF APPEALS DALLAS, TEXAS 6/7/2018 5:52 PM LISA MATZ CLERK
NO. 05-17-01451-CR
FILED IN 5th COURT OF APPEALS CRAIG JORDAN § IN THE COURTDALLAS, TEXAS OF APPEALS § 6/7/2018 5:52:28 PM v. § LISA MATZ FOR FIFTH DISTRICT § Clerk THE STATE OF TEXAS § DALLAS, TEXAS
MOTION TO EXTEND TIME FOR FILING THE APPELLANT’S BRIEF
TO THE HONORABLE COURT OF APPEALS:
COMES NOW the Appellant in the above-styled and numbered causes and respectfully
moves the Court to extend time for filing the Appellant's Brief in this cause and in support
thereof would show to the Court the following:
1. This case is pending from the County Court No. 2 of Kaufman County, Texas.
The style and number of the case in the trial court is: The State of Texas v. Craig Jordan, Cause
No. 17-30308-CC2-F. The Appellant was convicted of the felony offense of Theft $1500 on
November 15, 2017 and was sentenced to ten years confinement.
2. Judgment and sentence was entered on November 15, 2017.
3. The deadline for filing the Appellant’s Brief in this case was May 16, 2018.
4. An extension of time for a period of twenty three (23) days is requested that
would make the due date June 7, 2018.
5. Two previous extension of time to file the Appellant’s Brief has been requested.
6. The reason for a request of extension of time,
Counsel was scheduled for and preparing for the following trials as well as completed the
following appeals: MOTION TO EXTEND TIME FOR FILING THE APPELLANT’S BRIEF - Page 1 a. Jury trial: The State of Texas v. Issaac Jiminez, Cause No. F17-75313, In the
Criminal District Court #6, Dallas County, Texas.
b. Appeal: Steven Simmons v. The State of Texas, Appeal No. 05-17-00786-CR.
Counsel for Appellant was recently appointed to represent Amber Cook, in
USA v. Amber Cook, Cause No. 3:18CR6-D. Counsel was required to review
discovery and travel to the jail in Mansfield, Texas to discuss the case and
potential plea with Ms. Cook.
WHEREFORE, PREMISES CONSIDERED, the Appellant respectfully requests that
this Honorable Court extend the time for filing the Appellant's Brief in this cause to June
7, 2018.
Respectfully submitted,
___/s/ Danny Oliphant_________ J. DANIEL OLIPHANT SBN 00797173 3626 N. Hall Street, Suite 622 Dallas, Texas 75219 (469) 879-8531 (Tel) (972) 552-9374 (Fax) jdoliphantjr@gmail.com
ATTORNEY FOR APPELLANT
MOTION TO EXTEND TIME FOR FILING THE APPELLANT’S BRIEF - Page 2 CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing Motion was served upon Erleigh Wiley
Criminal District Attorney of Kaufman County on June 7, 2018, by emailing to
kdecker@kaufmancounty.net.
__/s/ Danny Oliphant_________ J. Daniel Oliphant
MOTION TO EXTEND TIME FOR FILING THE APPELLANT’S BRIEF - Page 3
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