Robertson, Anthony Boyd
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Opinion
PD-0998-15 COURT OF CRIMINAL APPEALS AUSTIN, TEXAS AUGUST 6, 2015 Transmitted 8/3/2015 12:00:00 AM Accepted 8/6/2015 10:22:00 AM PD-0998-15 PDR No. ____________________ ABEL ACOSTA CLERK
Court of Appeals No. 03-13-00381-CR
ANTHONY BOYD ROBERTSON § IN THE TEXAS COURT OF § v. § CRIMINAL APPEALS § STATE OF TEXAS § AT AUSTIN, TEXAS
PETITIONER’S MOTION FOR EXTENSION OF TIME TO FILE PETITION FOR DISCRETIONARY REVIEW
TO THE HONORABLE JUSTICES OF SAID COURT:
Now comes ANTHONY BOYD ROBERTSON, Petitioner in the above styled
and numbered cause, and moves this Court for a 60-day extension to file his Petition
for Discretionary Review, and would show as follows:
1. Petitioner has been convicted for the offense Assault with Bodily Injury
– Family Violence (Repeat Offender), and has been assessed sentence of 14 years.
2. The Third District Court of Appeals issued an unpublished decision in
this case on July 23, 2015. Anthony Boyd Robertson v. State of Texas, 03-13-00381
(Tex.App.- Austin, July 23, 2015). The PDR in this case is due on or before August
24, 2015.
3. The undersigned counsel is appointed and his appointment has
terminated following the decision in this case. Nevertheless, counsel believes the
1 opinion by the Court of Appeals has potential issues for a Petition for Discretionary
Review. Counsel has advised Petitioner by letter on this date regarding the potential
issues, as well as the status of his representation.
4. In order to preserve Petitioner’s right to file a Petition for Discretionary
Review, counsel intends to meet with the trial court on the week of August 3 to
determine whether appellate representation will continue. Due to the presence of
impending trial deadlines in August/September and a Reply Brief due in federal court
relating to a death penalty case, Counsel requires extra time to prepare a PDR.
5. In the alternative, if the trial court does not continue the undersigned
counsel’s representation, Petitioner needs time to retain counsel, or to obtain the
record and other necessary documents in which to prepare a PDR,.
6. Accordingly, te undersigned counsel requests this Court extend the
deadline to file the PDR in this case by 60 days from the current due date.
5. Mr. Robertson’s personal information for the purposes of notices by this
Court is as follows:
Mr. Anthony Boyd Robertson # 01863976 TDC Jordan Unit 1992 Helton Road Pampa, TX 79065
2 WHEREFORE, PREMISES CONSIDERED, Petitioner prays that this
Court grant this Motion, and grant an additional 60 days to file a PDR in this case
Respectfully submitted,
Law Office of Alexander L. Calhoun 4301 W. William Cannon Dr., Ste. B-150, # 260 Austin, TX 78749 Tele: 512/ 420-8850 Fax: 512/ 233 - 5946 Cell: 512/ 731-3159 Email: alcalhoun@earthlink.net
BY:_/s/ Alexander L Calhoun Alexander L. Calhoun State Bar No.: 00787187
Attorney for Anthony Boyd Robertson
CERTIFICATE OF SERVICE
I hereby certify that on July 30, 2015, a copy of the above and foregoing motion
has been served by mail upon the Hays County District Attorney's Office, at the
following address:
Hays County District Attorney Hays County Government Center 712 South Stagecoach Trail, Ste. 2507 San Marcos, TX 78666.
upon the State Prosecution Attorney by U.S. Mail at the following address:
3 State Prosecuting Attorney P.O. Box 13046 Capitol Station Austin, Texas 78711
and upon Appellant by U.S. Mail to the following address:
Mr. Anthony Boyd Robertson # 01863976 TDC Jordan Unit 1992 Helton Road Pampa, TX 79065
/s/ Alexander L Calhoun Alexander L. Calhoun
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