Zuliani, Gerald Christopher

CourtTexas Supreme Court
DecidedDecember 4, 2015
DocketPD-1569-15
StatusPublished

This text of Zuliani, Gerald Christopher (Zuliani, Gerald Christopher) is published on Counsel Stack Legal Research, covering Texas Supreme Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Zuliani, Gerald Christopher, (Tex. 2015).

Opinion

PD-1569&1570&1571&1572-15 PD-1569&1570&1571&1572-15 COURT OF CRIMINAL APPEALS AUSTIN, TEXAS Transmitted 12/4/2015 11:47:27 AM Accepted 12/4/2015 1:20:55 PM ABEL ACOSTA No. PD- CLERK

IN THE COURT OF CRIMINAL APPEALS OF TEXAS

GERALD CHRISTOPHER ZULIANI,

Defendant – Appellant

vs. December 4, 2015 THE STATE OF TEXAS

Plaintiff – Appellee

On Petition for Discretionary Review from the Third Court of Appeals at Austin, Texas Seeking Review of Appeal Nos. 03-13-00490-CR, 03-13-00491-CR, 03-13-00492-CR, and 03-13-00495-CR, from Travis County, Texas, Hon. P. David Wahlberg, District Judge Presiding

APPELLANT’S MOTION FOR EXTENSION OF TIME TO FILE PETITION FOR DISCRETIONARY REVIEW

TO THE HONORABLE COURT OF CRIMINAL APPEALS OF TEXAS:

Appellant Gerald Christopher Zuliani files Appellant’s Motion for

Extension of Time to File Petition for Discretionary Review (“PDR”), and

respectfully states as follows: The unpublished opinion of the Third Court of Appeals affirming four

of appellant Zuliani’s five convictions was issued Friday, May 29, 2015.

Appellant timely filed motions for rehearing in the affirmed convictions in

Nos. 03-13-00490-CR, 03-13-00491-CR, 03-13-00492-CR and 03-13-

00495-CR, on Monday, June 15, 2015. The Third Court overruled the

rehearing motions on Monday, November 30, 2015. The deadline for filing

a petition for discretionary review is Friday, December 29, 2015.1

Mr. Zuliani asks this court for a 30 day extension of time after the

current deadline to file his PDR, which would make it due by Friday,

January 29, 2016. The undersigned counsel currently has two briefs due in

December in the United States Court of Appeals for the Fifth Circuit: (1)

No. 14-10156, United States v. Pamela Adenuga, Appellant’s Brief due Dec.

15, 2015 (30 day extension granted); and (2) No. 15-10728, United States v.

Christopher Stephen Martin, Appellant’s Brief due Dec. 21, 2015 (30 day

extension requested, but 21 day extension granted). Appellant’s counsel is

working on completing these two briefs timely, as it is uncertain whether the

Fifth Circuit will grant any additional extensions in these two cases.

1 Appellant’s theft conviction in No. 03-13-00493-CR was reversed and a judgment of acquittal was rendered by the Third Court in its opinion. Therefore, appellant is not filing a PDR from that now-reversed conviction.

2 Additionally, the holiday season in late December will prevent counsel from

being able to complete this PDR by the Dec. 30 deadline. Counsel will also

be competing in four events at the United Country Western Dance Council

World Championships in Nashville, Tennessee from January 4 to 10, 2016,

and will not return to Austin until January 11, 2016. For these reasons,

appellant Gerald Christopher Zuliani requests a 30 day extension of time to

file his PDR, which would extend the deadline from December 30, 2015 to

January 29, 2016.

This motion requesting an extension of time is not being brought for

the purpose of delay only, but so that a properly drafted PDR may be

presented to this court for its consideration in deciding whether to grant

discretionary review.

3 Respectfully submitted,

/s/ Gregory Sherwood

GREGORY SHERWOOD Attorney P.O. Box 200613 Austin, Texas 78720-0613 (512) 484-9029 State Bar No. 18254600 email: gsherwood@mail.com

Attorney on PDR for Appellant Gerald Christopher Zuliani

Certificate of Service

I hereby certify that a true copy of this document was served on December 4, 2015 by email to the Travis County District Attorney’s Office, 509 W. 11 th Street, 2 nd Floor, Austin, Texas 78701 at email addresses AppellateTCDA@co.travis.tx.us and scott.taliaferro@co.travis.tx.us and the Office of the State Prosecuting Attorney, P.O. Box 13046, Austin, Texas 78767 at email address information@spa.texas.gov.

Certification of Word Count Compliance

According to the WordPerfect program used to create this document, there are 464 words in this motion, excluding the portions listed in Tex. R. App. P. 9.4(i)(1).

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