Stephanie Maie Heintzlemann v. State

Court of Appeals of Texas·Decided October 23, 2015·No. 03-15-00258-CR·Published

Opinion

ACCEPTED 03-15-00258-CR 7517768 THIRD COURT OF APPEALS AUSTIN, TEXAS 10/23/2015 1:56:55 PM JEFFREY D. KYLE CLERK NO. 03-15-00258-CR FILED IN 3rd COURT OF APPEALS AUSTIN, TEXAS IN THE COURT OF APPEALS 10/23/2015 1:56:55 PM JEFFREY D. KYLE Clerk THIRD DISTRICT OF TEXAS

SITTING IN AUSTIN, TEXAS

STEPHANIE MAIE HEINTZLEMANN

Appellant

VS.

THE STATE OF TEXAS

The State

Appealed from the District Court of Burnet County, Texas, 33th/ 424th Judicial District

MOTION FOR AN EXTENSION OF TIME TO FILE APPELLANT’S BRIEF

ALICE PRICE State Bar No. 00768177 apgregg50@hotmail.com 408 South Liveoak St. Lampasas, TX 76550 512/556-4777 Phone 512/556-4779 Fax

ATTORNEY FOR APPELLANT NO. 03-15-00258-CR

IN THE COURT OF APPEALS

THIRD DISTRICT OF TEXAS

Appealed from the District Court of Blanco County, Texas, 33rd Judicial District

TO THE HONORABLE COURT OF APPEALS:

Now comes, STEPHANIE MAIE HEINTZLEMANN, Appellant, and

files his Motion for an Extension of Time to File Appellant’s Brief, and

pursuant to Rule 10.5(b), Texas Rules of Appellate Procedure, would show

unto the Court the following:

a. The deadline for filing Appellant’s Brief is November 2, 2015. b. The length of time requested for the extension of time is 30

days.

c. Appellant requests an extension of time to be able to properly

prepare Appellant’s arguments for the brief.

d. The number of extensions of time which have been previously

requested regarding Appellant’s Brief is one.

e. I have been involved in numerous cases in the 27th district court

in Lampasas, Texas and 424th and 33rd courts in Burnet county that

have required much court time and time away from my office. I was

also diagnosed with Shingles earlier this week, and the medication

that one receives for this treatment is not helping my energy level.

My son’s back injury continues to improve, but the number of

appointments to doctors and physical therapists continues as well.

This turn of events has taken up an unexpected amount of my time,

that I was devoting to the preparation of this brief.

Respectfully submitted,

/s/ Alice Price ALICE PRICE State Bar No. 00768177 408 South Liveoak St. Lampasas, TX 76550 512/556-4777 Phone 512/556-4779 Fax ATTORNEY FOR APPELLANT CERTIFICATE OF SERVICE

I, ALICE PRICE, hereby certify that a true and correct copy of the foregoing Motion for an Extension of Time to File Appellant’s Brief was delivered to the office of Mr. Gary Bunyard, Assistant District Attorney for Burnet/Blanco 33/424th District courts, via facsimile number (325) 247- 5274.

Date: October 23, 2015

/s/ Alice Price ALICE PRICE

CERTIFICATE OF CONFERENCE

I, ALICE PRICE, hereby certify that my office has contacted and

conferred with Assistant District Attorney for Burnet County, Gary Bunyard,

on October 23rd, via telephone. The state has no objection to my motion for

an extension of time.

/s/ Alice Price_______ ALICE PRICE

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

Stephanie Maie Heintzlemann v. State, (Tex. Ct. App. 2015).

Stephanie Maie Heintzlemann v. State (Stephanie Maie Heintzlemann v. State) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.