Rodrick Odell Williams v. State

Court of Appeals of Texas·Decided October 19, 2015·No. 01-15-00493-CR·Published

Opinion

ACCEPTED 01-15-00493-CR FIRST COURT OF APPEALS HOUSTON, TEXAS 10/19/2015 12:00:00 AM CHRISTOPHER PRINE CLERK

CAUSE NO. 01-15-00493-CR ____________________ FILED IN - IN THE COURT OF APPEALS 1st COURT OF--APPEALS - ---- HOUSTON, - --- TEXAS FOR THE FIRST SUPREME JUDICIAL DISTRICT - - ----ID K ------ 10/18/2015 - - 7:27:11 -- PM ---- VO ------ CHRISTOPHER -- A. PRINE AT HOUSTON ---- ---- Clerk ____________________ RODERICK ODELL WILLIAMS, FILED IN Appellant, 1st COURT OF APPEALS HOUSTON, TEXAS Vs. 10/19/2015 11:28:00 AM THE STATE OF TEXAS, CHRISTOPHER A. PRINE Clerk Appellee ____________________ Appealed from the 180TH District Court Of Harris County, Texas Cause Number 1373609 ____________________

MOTION FOR EXTENSION OF TIME TO FILE APPELLANT’S BRIEF

____________________

DENA FISHER SBOT: 24034440 440 LOUISIANA, STE 200 HOUSTON, TX 77002 P: 713.222.2201 F: 713.224.2815 d2f@sbcglobal.net TO THE HONORABLE FOURTEENTH COURT OF APPEALS:

Pursuant to TEX. R. APP. P. 10.1 and 38.6(d), the Appellant, RODRICK ODELL

WILLIAMS, files this Motion to Extend Time to File Appellant’s Brief.

Appellant’s opening brief is currently due on October 18, 2015.

Counsel for Appellant requests a 30 day extension of time to file its brief, making the brief

due on November 19, 2015. This is the second request for extension of time to file the opening

brief.

Counsel for Appellant relies on the following reasons, in addition to the routine matters

that counsel must attend to in daily practice, to explain the need for the requested extension:

1. Counsel for Appellant has had the following matters set for trial or hearings in the last thirty days:

State of Texas v. Ramirez, Cause No. 201505875J – Murder

State of Texas v. Vaden, Cause No. 1448167 – Felony DWI trial

State of Texas v. Kendrick, Cause No. 20152740J – Murder

State of Texas v. Jorge Guerrero – Cause No. 201200331J – Aggravated Robbery

Counsel for Appellant seeks this extension of time to be able to prepare a cogent and

succinct brief to aid this Court in its analysis of the issues presented. This request is not sought

for delay but so that justice may be done.

All facts recited in this motion are within the personal knowledge of the counsel signing

this motion, therefore no verification is necessary under Rule of Appellate Procedure 10.2.

PRAYER FOR RELIEF

For the reasons set forth above, Appellant requests that this Court grant this Motion to

Extend Time to File Appellant’s Brief and extend the Deadline for Filing the Appellant’s Brief.

Appellant prays for all other relief to which it may be entitled. Respectfully submitted,

/s/ Dena Fisher DENA FISHER SBOT: 24034440 440 LOUISIANA, STE 200 HOUSTON, TX 77002 P: 713.222.2201 F: 713.224.2815 d2f@sbcglobal.net Counsel for Appellant

CERTIFICATE OF SERVICE

I certify that on October 18, 2015, a true and correct copy of the forgoing motion was

delivered to the Harris County District Attorney’s Office by efile.

/s/ Dena Fisher DENA FISHER SBOT: 24034440 Counsel for Appellant

Free access — add to your briefcase to read the full text and ask questions with AI

Rodrick Odell Williams v. State, (Tex. Ct. App. 2015).

Rodrick Odell Williams v. State (Rodrick Odell Williams v. State) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.