Wangare, Ousmane
This text of Wangare, Ousmane (Wangare, Ousmane) 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
PD-0112-15 No-0.
IN THE COURT OF CRIMINAL APPEALS AUSTIN/ TEXAS
FROM THE SEVENTH DISTRICT COURT OF APPEALS AMARILLO, TEXAS court of cm-mi appeals No. 07-14-00176-CR ra 02 2015
5a? ^f
OUSMANE WANGARE FILED IN APPELLANT-MOVANT COURT OF CRIMINAL APPEAL S
FEB 0^ VS
Abel Acosta, Clerk APPELLEE THE STATE OF TEXAS
MOTION FOR
SIXTY DAY EXTENSION OF TIME
TO THE HONORABLE JUDGES:
COMES NOW/ the above named appellant-movant/ acting in his own behalf/ respectfully requesting the court for a sixty. (60) say extension of time before having to file his [PDR] petition for dis cretionary review. In that/ [1] This is appellant-movant's first request for an extension of time. He is pro se and a foreign national from Africa who is not skilled nor tutored in american law. He believes he is making this request in good faith because of emritorious issues that must be researched and properly prepared. Which will take the entire sixty days of time requested;
[2j This is an appeal from the Criminal District Court 2 of Tarrant County/ Texas/ in cause number 1282179D; and was appealed to the Setoenth Court of Appeals in number 07-14-00176-CR;
[3] The Seaenth Court of. Appeals affirmed his conviction on January 7th/ 2015. Thus/ this request is timely.
CONCLUSION
Appellant-movant prays this ggobdffeith-request will be granted. Thank you.
Respectfully requested/
& OUSMANE WANGARE: au APPELLANT-MOVANT
VERIFICATION
I, OUSMANE WANGARE/ THE APPELLANT-MOVANT IN THE FOREGOING REQUEST FOR A 60-DAY EXTENSION OF TIME BEFORE HAVING TO FIL HIS [PDR[ PETITION FOR DISCRETIONARY RE- VEW, DOES HEREBY VERIFY UNDER PENALTY OF PERJURY THAT ANY FACTS RELATED HEREIN ARE TRUE. I ATTEST TO THIS BY AFFIXING MY SIGNATURE BELOW:
Cdzi&frtaMA- /l/Q/j v cc -2- Certificate of Service 1/ Ousmane Wangare/ the appellant-movant in the foregoing request for a 60-day extension of time before having to file PDR/ does here by certify that true copies of said request were placed in the Robertson Mail Box addressed to the Texas Court of'Criminal Appeals at Austing, Texas, on the 25th DAY OF JANUARY 2015. I attest to this by affixingymy signature below: l^S^ft^U?/^ SI SIGNATURE: OUSMANE/WANGARE ROBERTSON UNIT # 1920786 12071 FM 3522 ABILENE/ TX- 79601 -3-
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