Tom Benson v. State

Procedural entryThis page is a short order in Tom Benson v. State. Read the opinion of the Court — 2015 Tex. App. LEXIS 9238
Court of Appeals of Texas·Decided April 27, 2015·No. 03-15-00121-CR·Published

Opinion

ACCEPTED

03-15-00121-CR

5050942

THIRD COURT OF APPEALS

AUSTIN, TEXAS

4/27/2015 4:10:53 PM

JEFFREY D. KYLE

CLERK

NO. 03-15-00121-CR

FILED IN

3rd COURT OF APPEALS

IN THE COURT OF APPEALS AUSTIN, TEXAS THIRD DISTRICT OF TEXAS 4/27/2015 4:10:53 PM AT AUSTIN, TEXAS JEFFREY D. KYLE Clerk

TOM BENSON

Appellant,

vs.

THE STATE OF TEXAS,

Appellee.

APPELLANT'S UNOPPOSED MOTION TO EXTEND TIME TO FILE BRIEF

TO THE HONORABLE JUSTICES OF THE COURT OF APPEALS:

Appellant, Tom Benson asks this Court to grant an extension of time to file his brief.

Introduction

I. Appellant is Tom Benson; appellee is The State of Texas. 2. There is no specific deadline to file this motion to extend time. See Tex. R. App. P. 38.6(d).

APPELLANT'S UNOPPOSED MOTION TO MOTION TO EXTEND TIME TO FILE BRIEF AND ORDER CLERK TO SHOW CAUSE WHY SUPPLEMENTAL CLERK'S RECORD NOT FILED AS ORDERED PAGE I OF 4

Argument & Authorities

3. The Court has the authority under Texas Rule of Appellate Procedure 38.6(d) to extend the time to file a brief. 4. Appellant's brief is due on April 27, 2015. 5. Appellant requests the Court to extend the date his brief is due until May 5, 2015. 6. No extension has been granted to extend the time to file Appellant's brief. 7. Appellant needs additional time to file his brief because some technical difficulties have arisen with the preparation of the brief in the manner the rules now reqmre.

Conclusion

8. The appellant needs and requests an extension until May 5, 2015 to file his brief and the State of Texas does not opposed the request.

Prayer

9. For these reasons, Appellant asks the Court to grant an extension of time to file his brief until May 5, 2015.

APPELLANT'S UNOPPOSED MOTION TO MOTION TO EXTEND TIME TO FILE BRIEF AND ORDER CLERK TO SHOW CAUSE WHY SUPPLEMENTAL CLERK'S

Respectfully submitted,

Isl Tom Benson

-------------

Tom Benson, Prose

900 Jackson Street, Suite 750 Dallas, Texas 75202-4461

Texas Bar I.D. 02170500

(214) 742-9898

tomrbenson@gmail.com

Certificate of Conference I certify that on April 27, 2015, my office communicated by email with Mr.

Tim Labadie, Assistant Travis County Attorney to tim.labadie@traviscountytx.gov , Attorney for Appellee The State of Texas who stated that he is unopposed to the relief requested in the foregoing motion.

Isl Tom Benson

Tom Benson

APPELLANT'S UNOPPOSED MOTION TO MOTION TO EXTEND TIME TO FILE BRIEF AND ORDER CLERK TO SHOW CAUSE WHY SUPPLEMENTAL CLERK'S

CERTIFICATE OF SERVICE

I certify that I have on this 27th day of April, 2015, before 5:00 P.M., caused a true and correct copy of the foregoing Appellant's UNOPPOSED MOTION TO EXTEND TIME TO FILE BRIEF to Mr. Tim Labadie, Assistant Travis County Attorney by email to tim.labadie@traviscountytx.gov.

Isl Tom Benson

Tom Benson

APPELLANT'S UNOPPOSED MOTION TO MOTION TO EXTEND TIME TO FILE BRJEF AND ORDER CLERK TO SHOW CAUSE WHY SUPPLEMENTAL CLERK'S

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

Tom Benson v. State, (Tex. Ct. App. 2015).

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