Gomez, Cesar
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Opinion
PD-0138-15 NO.
CESAR GOMEZ $ IN THE COURT OF RECRVH& ..*
• CRIMINAL APPEALS ^ ^ THE STATE OF TEXAS * OF TEXAS _v — INI PRO SE MOTION FOR EXTENSION OF TIME C0URT OF CRIMINAL APPEALS TO FILE PETITION FOR DISCRETIONARY REVIEW FEB 06 T^
TO THE HONORABLE COURT OF CRIMINAL APPEALS: Abel Acosta, Clerk COMES NOW the Appellant/Petitioner in the above-styled and
numbered cause and respectfully moves this Honorable Court to
extend the time for filing the Appellant's Petition for
Discretionary Review in this cause and in support thereof would
show to the Court the following:
1. The style and number of this case in the Court of
Appeals, is: Ce,*a4. Gom^z m. I^jW iioie o£ ljc.x
2. The style and number of the case in the trial court is:
Jjfct 54.4U.ft. Oi C^3LM v. CfcAtiA. Gqwlz; Cause No. 241-0529-12; from the 24ist District Court of Smith County, Texas.
3. The conviction was affirmed in the Tyler Court of Appeals
on January 21/ 2015.
4. The deadline for filing the Appellant's Petition for
Discretionary Review in this cause is February 20# 2015.
5. An extension of time for a period of sixty (60) days is
requested that would make the due date Tuesday* April 21*
2015.
Page 1 6. No prior request for extension of time has been made.
7. The facts relied upon to show good cause for the
requested extension of time are, as follows: The
Appellant was represented by counsel during the appeal of
this conviction to the Court of Appeals. After
convictions were affirmed, the trial court refused to
appoint counsel to file Petition for Discretionary
Review. Therefore, additional time is needed for the
Appellant to either prepare and file the Petition pro se
or to seek legal assistance in filing the Petition.
WHEREFORE, PREMISES CONSIDERED, The Appellant respectfully
request that this Honorable Court extend time for filing the
Petition for Discretionary Review in this cause to Tuesday, April
21, 2015.
Respectfully submitted.
CESAR GOMEZ TDCJ-ID « 1839985 EASTHAM STATE FARM 2665 PRISON ROAD * 1 LOVELADY, TEXAS 75851
CC/ FILE Smith County District Attorney Matt Bringham
Hag e 2 CERTIFICATE OF SERVICE I, Cesar Gomez, do hereby swear (or certify, clarify or state) that the foregoing is true and correct, and a true and correct copy of the foregoing Motion for Extension of time to File Petition for Discretionary review has been served on the Respondent at: The Smith county District Attorney, Matt Bringham, 1Q0 N. Broadway ave, Tyler, Texas 75702, by placing the same in the Institutional Internal Mailing System first-class postage pre-paid on this the 2nd day of February, 2015. I further state this the same foregoing was placed in the mail to the Court of Criminal Appeals, P.O.Box 12308, Austin, Texas 78711-2308 on the same date. 28 U.S.C. § 174 6 Executed on this the 2nd day of February, 2015.
CejbCKX" ^Of^^Z Cesar Gomez TDCJ-ID # 1839985 Eastham State Farm 2 665 Prison road # 1 Lovelady, Texas 7 585'
Page 3
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