Long, Christopher

PD-0259-15 PD-0259-15 COURT OF CRIMINAL APPEALS AUSTIN, TEXAS Transmitted 3/9/2015 4:50:45 PM Accepted 3/10/2015 10:32:39 AM PDR#: TO BE ASSIGNED ABEL ACOSTA CLERK COURT OF APPEALS NUMBER 13-13-00579-CR IN THE COURT OF CRIMINAL APPEALS FOR THE STATE OF TEXAS CHRISTOPHER LONG, APPELLANT, v. March 10, 2015 STATE OF TEXAS, APPELLEE. FIRST UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE PETITION FOR DISCRETIONARY REVIEW TO THE HONORABLE COURT OF CRIMINAL APPEALS: COMES NOW, APPELLANT, CHRISTOPHER LONG'S COURT APPOINTED COUNSEL FOR DIRECT APPEAL, and files this motion to request that the time for filing a Petition for Discretionary Review in this cause be extended by 90 days and as reasonable explanation for the extension, would show the following: I. Appellant's Motion for Rehearing in this cause was denied by the 13th Court of Appeals, on or about, February 6, 2015. Appellant's Petition for Discretionary Review is due on, or about, March 9, 2015. II. This extension is not sought for purposes of delay. The undersigned, is Appellant's court appointed attorney for direct appeal and requests that Appellant be granted an additional 90 days to file a PDR due to the following. The undersigned has been unable to find a current mailing address for Appellant. The undersigned has therefore been unable to inform Appellant that he may file a Petition for Discretionary Review (PDR) with the Court of Criminal Appeals, but also, that he is not entitled to a court appointed lawyer to file a PDR for him. III. The undersigned respectfully requests that the Court extend the time for filing a Petition for Discretionary Review in order that the undersigned can provide notice to, and opportunity for, Appellant to review the record more extensively, hire an attorney (if possible) to assist with the preparation of a Petition for Discretionary Review, or prepare and file a Petition for Discretionary Review pro se. Due to the foregoing, the undersigned respectfully requests a 90 day extension for filing of the Petition for Discretionary Review and to allow the Appellant to continue pursuing this appeal. IV. There has been no previous request for extension. v. The undersigned has conferred with the State regarding this motion and the State is not opposed to this request. WHEREFORE, Appellant requests the Court of Criminal Appeals extend the time for filing Appellant's Petition for Discretionary Review, and for such other and further relief to which the undersigned is justly entitled. Respectfully submitted, LUIS A. MARTINEZ, P.C. 209 W. Juan Linn P.O. Box410 Victoria, Texas 77902-0410 (361) 676-2750 (Telephone) (361) 575-8454 (Telefax) Email: Lamvictoriacounty@gmail.com Luis A. · artinez State Bar No. 2401021 CERTIFICATE OF SERVICE This is to certify that a true, correct and complete copy of the foregoing instrument has been served the attorney(s) in this cause on the 9th day of March, 2015. Via Email: THE HON. ROB LASSMAN Attorney for Appellee (On Appeal) De Witt County Assistant District Attorney DeWitt County Courthouse 115 N. Gonzalez Cuero, Texas 77954 VERIFICATION THE STATE OF TEXAS § § COUNTY OF \J ;c\-o;l l\ § BEFORE ME, the undersigned Notary Public, on this day personally appeared LUIS A. MARTINEZ, who being by me duly sworn, on his oath deposed and said that he is the attorney in the above-entitled and numbered cause of action and has read the forgoing motion, and the facts stated therein are within his personal knowledge and are true and corr ct. SUBSCRIBED AND SWORN TO BEFORE ME, on the q~ day of N\liCJ\. , 2015_, to certify which witness my hand and official seal. e BRIE HANCHm . ~.i'f:t~ No:ry Publlc, Stele of Texas Y Commleslon Expires JULY 80, 2018 i NOTARY P :C in and for the STATE OF TEXAS