Roger Dale Whitener v. State
This text of Roger Dale Whitener v. State (Roger Dale Whitener v. State) is published on Counsel Stack Legal Research, covering Court of Appeals of Texas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
ACCEPTED 12-15-00006-CR TWELFTH COURT OF APPEALS TYLER, TEXAS 3/30/2015 3:27:51 PM CATHY LUSK CAUSE NO. 12-15-00006-CR CLERK
ROGER WHITENER § IN THE § VS. § TWELFTH COURT FILED IN § 12th COURT OF APPEALS THE STATE OF TEXAS § OF APPEALS TYLER, TEXAS 3/30/2015 3:27:51 PM MOTION TO CATHY S. LUSK Clerk EXTEND TIME TO FILE APPELLANT’S BRIEF
TO THE HONORABLE JUSTICES OF SAID COURT:
Now comes Appellant in the above styled and numbered cause, and moves this
Court to grant an extension of time to file appellant's brief, pursuant to Rule 38.6 of
the Texas Rules of Appellate Procedure, and for good cause shows the following:
1. This case is on appeal from the 294th Judicial District Court of Van Zandt
County, Texas.
2. The case below was styled State of Texas v. Roger Whitener and numbered
CR13-00643.
3. Appellant was convicted of Injury to an Elderly on October 30, 2014.
4. Appellant was assessed a sentence of eight (8) years confinement in the Texas
Department of Criminal Justice-Institutional Division.
5. Notice of Appeal was given on January 12, 2015.
6. The Clerk's Record was filed on February 27, 2015; the Reporter's Record was
filed on February 27, 2015.
7. The Appellant’s Brief is due on March 30, 2015. Counsel requests the Court an
extension of thirty (30) days due to the number of briefs with deadlines.
8. Appellant requests an extension of time due to the following facts and
circumstances.
Since the Reporter’s Record in this case was completed, Counsel has filed:
A. Proposed Findings of Fact and Conclusions of Law for Writ of
Habeas Corpus in State of Texas v. Daphne Ausborne on March
13, 2015; and B. Appellant’s Brief in Torvos Simpson v. USA on March 25, 2015 in
the 5th Circuit Court of Appeals.
9. Counsel has appeared in numerous hearings in state and federal court over the
last thirty days, including hearings in the Eastern District of Texas - Tyler
Division, and hearings in Smith and Van Zandt Counties. Additionally, Counsel
attended the capital murder seminar in Plano, Texas on March 23, 2015 through
March 26, 2015.
10. Lastly, Appellant’s Counsel has the following briefs pending:
A. Appellant’s Brief in Larry Michael Maples v. State of Texas, cause
no. 12-14-00337-CR on April 1, 2015
B. Appellant’s Brief in Fredrick Perkins v. State of Texas, cause no.
12-14-00290-CR on April 3, 2015 with no further extensions;
C. Appellant’s Brief in Donald Ernest Powell v. State of Texas, cause
no. 12-14-00355-CR on April 3, 2015;
D. Appellant’s Brief in Jolly Neely v. State of Texas, cause no. 12-14-
00309-CR on April 10, 2015 with no further extensions;
E. Appellant’s Brief in Robert Bagwell v. State of Texas, cause no.
12-14-00248-CR on April 10, 2015 with no further extensions;
F. Petition for Discretionary Review in Joseph Sullivan v. State of
Texas, cause no. PD-00270-15 on April 13, 2015 with no further
extensions;
G. Appellant’s Brief in Oscar Perkins v. State of Texas, cause no. 12-
15-00001-CR on April 23, 2015;
H. Appellant’s Brief in Jason Claire Reese v. State of Texas, cause
no. 12-14-00363-CR on May 5, 2015;
I. Appellant’s Brief in Harold Bass v. State of Texas, cause no. 12-
15-00071-CR upon the completion of the Reporter’s Record;
J. Appellant’s Brief in Joe Pittman v. State of Texas, cause no. 12- 15-00009-CR upon the completion of the Reporter’s Record; and
K. Appellant’s Brief in Christopher Thurman v. State of Texas, cause
no. 12-15-00007-CR upon the completion of the Reporter’s Record.
11. Appellant requests an extension of time due to the above referenced facts and
12. Appellant prays that this Court grant this Motion to Extend Time to File
Appellant’s Brief for a period of thirty (30) days, and for such other and further
relief as the Court may deem appropriate.
Respectfully submitted,
Law Office of James W. Huggler, Jr. 100 E. Ferguson, Suite 805 Tyler, Texas 75702 Tel: (903) 593-2400 Fax: (903) 593-3830
By: /S/ James W. Huggler, Jr. James W. Huggler, Jr. State Bar No. 00795437 Attorney for APPELLANT CERTIFICATE OF SERVICE
This is to certify that on March 30, 2015, a true and correct copy of the above
and foregoing document was served on Michael West, Smith County District Attorney's
Office, 100 North Broadway, Tyler, Texas 75702, by regular mail, fax, hand delivery,
or electronic filing.
/S/ James W. Huggler, Jr. James W. Huggler, Jr.
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