Mitchell Hollis Wright v. State

Court of Appeals of Texas·Decided January 21, 2015·No. 03-14-00468-CR·Published

Opinion

ACCEPTED

03-14-00468-CR

3852611

THIRD COURT OF APPEALS

AUSTIN, TEXAS

1/21/2015 5:01:27 PM

JEFFREY D. KYLE

CLERK

COURT OF APPEALS

THIRD JUDICIAL DISTRICT OF TEXAS FILED IN 3rd COURT OF APPEALS

AUSTIN, TEXAS

AUSTIN, TEXAS

1/21/2015 5:01:27 PM

JEFFREY D. KYLE

MITCHELL HOLLIS WRIGHT § COURT OF APPEALS Clerk §

V. § § 03-14-00468-CR § 03-14-00469-CR §

THE STATE OF TEXAS § DISTRICT COURT NO.

CR23,384/CR23,385

MOTION TO EXTEND TIME TO FILE APPELLANT BRIEF

TO THE HONORABLE JUDGE OF SAID COURT:

COMES NOW the undersigned attorney who Pursuant to TRAP 10.5 (b) who states:

I.

Appellee’s brief was due on December 15, 2014. Appellee was unaware of the

filing of Appellant’s brief as the attorney for appellant used the personal email of an

Assistant District Attorney in this office and notice was not received. Appellant’s

attorney now has the correct email for notifications to our office. Appellee requests a

thirty (30) day extension from this date for the filing of Appelee’s brief. Appellee has

not previously sought an extension.

Certificate of Counsel

Pursuant to TRAP 10.0(a)(5), the undersigned counsel certifies that he

conferred with Justin Bradford Smith, Appellent’s counsel who does not oppose this

Motion.

/s/ W.W. Torrey W.W. Torrey Milam County District Attorney

Wherefore, Premises considered, Counsel prays that his Motion to Extend Time

be in all regards granted.

Respectfully submitted,

/s/ W.W. Torrey W.W. Torrey County and District Attorney 204 N. Central Cameron, Texas 76520 (254) 697-7013 (254) 697-7016 Facsimile State Bar No. 20144700 Email: daoffice@milamcounty.net

I, the undersigned attorney of record, swear under oath that the above Motion is

true and correct.

/s/ W.W. Torrey________________ W.W. Torrey County and District Attorney

SIGNED under oath before me on January 21, 2015.

_/s/ Donelle J. Keen____________ Notary Public, State of Texas

CERTIFICATE OF SERVICE

I certify that a true and correct copy of the above and foregoing Motion st

was delivered via facsimile to Justin Bradford Smith at 254-771-2082 on this the 21

day of January, 2015.

_/s/ W.W. Torrey_______________ W.W. Torrey County and District Attorney

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