Nunn, David Glynn Jr.
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Opinion
PD-0402-15 PD-0402-15 COURT OF CRIMINAL APPEALS AUSTIN, TEXAS Transmitted 4/9/2015 10:43:51 AM Accepted 4/15/2015 2:29:52 PM ABEL ACOSTA PD No:- - - - - - CLERK
DAVID GLYNN NUNN, JR. IN THE TEXAS COURT
vs. OF CRIMINAL APPEALS
STATE OF TEXAS AUSTIN, TEXAS
MOTION FOR EXTENSION OF TIME TO FILE APPELLANT'S PRO-SE PETITION FOR DISCRETIONARY REVIEW
TO THE HONORABLE TIJDGES OF SAID COURT:
COMES NOW, Appellant, by and through the undersigned attorney, who has
personal knowledge of the matters contained herein, and files this Motion for Extension of
Time to File Appellant's Pro-Se Petition for Discretionary Review, and in support thereof
would show:
I.
Appellant was convicted of fraudulent use or possession of identifying information
of the elderly and sentenced to 18 years in the Texas Department of Criminal Justice -
Institutional. The trial court was the 337th District Court of Harris County, Texas. The
trial court cause number was: 1420647. On April 9, 2015, the Fourteenth Court of Appeals
in Houston, Texas, affirmed appellant's conviction in appellate cause number:
14-14-00704-CR.
II.
The current deadline for filing appellant's petition for discretionary review is May
11, 2015.
April 15, 2015 III.
No previous extension of time to file petitions for discretionary review has been
requested by appellant.
IV.
The undersigned is not pursuing further appellate review on behalf of Mr. Nunn. The
undersigned is notifying appellant of his right to pursue a petition for discretionary review.
v. Appellant is requesting an additional thirty (30) day extension until June 11 , 2015 ,
in which to file his pro-se petition for discretionary review in this matter.
VI.
This request is not made for the purpose of delay but to insure Appellant's right to
appellate review in this matter.
VIL
Appellant's last known address within the Texas Department of Criminal Justice is:
Mr. David Glynn Nunn, Jr. TDCJ-ID # 1946852 Garza East Transfer Facility 4304 Highway 202 Beeville, Texas 78102-8981
WHEREFORE, PREMISES CONSIDERED, the undersigned prays that the Court
grant this Motion for Extension of Time to File Appellant's Pro-Se Petition for
Discretionary Review until June 11, 2015. Respectfully submitted,
ta~ WayneT.H~ SBOT: 09656300 4615 Southwest Freeway, Suite 600 Houston, Texas 77027 (713) 623-8312
CERTIFICATE OF SERVICE
On April 9, 2015, a true and correct copy of this motion was mailed to:
Harris County District Attorney's Office Appellate Division 1201 Franklin, 6th Floor Houston, Texas 77002
Mr. David Glynn Nunn, Jr. (Address noted above)
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