David Michael Dollins v. State
Opinion
ACCEPTED 06-14-00133-CR SIXTH COURT OF APPEALS TEXARKANA, TEXAS 1/27/2015 2:27:39 PM DEBBIE AUTREY CLERK
No. 06-14-00133-CR
FILED IN IN THE 6th COURT OF APPEALS TEXARKANA, TEXAS 1/27/2015 2:27:39 PM COURT OF APPEALS DEBBIE AUTREY Clerk FOR THE SIXTH SUPREME
JUDICIAL DISTRICT OF TEXAS
TEXARKANA
DAVID MICHAEL DOLLINS,
Appellant
V.
THE STATE OF TEXAS,
Appellee
Appealed in Cause No. F-8840
8th Judicial District Court of Franklin County, Texas
APPELLEE MOTION FOR EXTENSION
1 By:/s/ Nicholas C. Harrison Nicholas C. Harrison Assistant District Attorney State Bar No 24062768 P.O. Box 882 Sulphur Springs, Texas 75483 (903) 885-0641
2 NO. 06-14-00133-CR
THE STATE OF TEXAS § IN THE COURT OF APPEALS
VS. § 6TH SUPREME JUDICIAL DISTRICT
DAVID MICHAEL DOLLINS § TEXARKANA, TEXAS
TO THE HONORABLE JUSTICES OF THE COURT OF APPEALS:
NOW COMES the State of Texas by and through her District Attorney for the Eighth
Judicial District of Franklin County, Texas, regarding the above styled and numbered cause, and
would respectfully request an extension of time for filing the State’s brief in said case pursuant to
Rule 73 of the Texas Rules of Appellate Procedure, and would respectfully show the following:
I.
The Brief for the State on appeal was due to be filed on or before 9th day of February
2015.
II.
That the State respectfully requests this Honorable Court to grant an extension of time of
30 days. In connection therewith, the State would show the following facts relied upon in good
faith to show good cause to the Honorable Court of Appeals regarding this motion for extension
of time:
The attorney for the State of Texas responsible for writing the Appellee’s brief will be
trying a multiple-indictment Indecency with a Child case during the week of February
2, 2015. 3 This request for an extension of time is sought not for delay but to provide the State with
an adequate amount of time to properly respond to the Appellant’s brief so that justice may be
done.
WHEREFORE, PREMISES CONSIDERED, the State of Texas respectfully requests and
prays that the Honorable Court of Appeals grant an extension up to the present day to prepare
and file an Appellee Brief.
Respectfully submitted,
Nicholas C. Harrison Assistant District Attorney
By:/s/ Nicholas C. Harrison Nicholas C. Harrison Assistant District Attorney State Bar No 24062768 P.O. Box 882 Sulphur Springs, Texas 75483 (903) 885-0641
4 CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the above and foregoing instrument was forwarded to the attorney for the Defendant on January 27, 2015.
By:/s/ Nicholas C. Harrison Nicholas C. Harrison Assistant District Attorney State Bar No 24062768 P.O. Box 882 Sulphur Springs, Texas 75483 (903) 885-0641 (903) 885-0640 (fax)
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