ACCEPTED
04-15-00100-CR
FOURTH COURT OF APPEALS
SAN ANTONIO, TEXAS
6/24/2015 11:24:12 AM
KEITH HOTTLE
CLERK
No. 04-15-00100-CR
IN THE FILED IN
4th COURT OF APPEALS
FOURTH COURT OF APPEALS SAN ANTONIO, TEXAS
OF TEXAS 6/24/2015 11:24:12 AM
AT SAN ANTONIO, TEXAS KEITH E. HOTTLE
Clerk
BRANDON MASTER APPELLANT
V.
THE STATE OF TEXAS APPELLEE
FIRST MOTION TO EXTEND TIME
TO FILE APPELLANT’S BRIEF
TO THE HONORABLE JUSTICES OF THE FOURTH COURT OF
APPEALS OF TEXAS:
COMES NOW, BRANDON MASTER, the appellant in the above styled and
numbered cause, pursuant to Texas Rules of Appellate Procedure 10.5(b) and
38.6(d), through the undersigned counsel, files this motion to extend time to file the
appellant’s brief. In support of this motion the appellant respectfully shows the
following:
I. Deadline for filing the appellant’s brief:
The current deadline for filing the appellant’s brief is June 19, 2015.
TEX.R.APP.P. 4.1(a) and 38.6(a)(2).
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II. Length of the extension sought:
Counsel for appellant seeks a five (5) day extension to file the appellant’s
brief, until June 24, 2015. See TEX. R. APP. P. 4.1(a).
III. Facts relied on to reasonably explain request for extension:
Counsel for appellant seeks this extension of time to file the appellant’s brief
for the following reasons:
A. Since the record was filed, on May 20, 2015, the undersigned has filed briefs,
motions, or related documents in the following cases:
1. Joseph Rios v. The State of Texas, No. 04-15-00261-CR (Appellant’s
response filed on May 22, 2015);
2. Kevin Balditt v. The State of Texas, No. 04-15-00281-CR (Appellant’s
response filed on May 22, 2015);
3. Brian Gorham v. The State of Texas, No. 04-15-00304-CR (Appellant’s
response filed on June 2, 2015).
B. The undersigned has upcoming deadlines in the following cases:
1. Gilbert M. Zepeda v. The State of Texas, No. 04-14-00775-CR
(Appellant’s brief due to be filed on July 6, 2015);
2. Brandon Master v. The State of Texas, No. 04-15-00100-CR (Appellant’s
brief due to be filed on June 19, 2015);
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3. Brandon Master v. The State of Texas, No. 04-15-00101-CR (Appellant’s
response due to be filed on June 19, 2015);
4. Sabrina Nicole Angel v. The State of Texas, No. 04-15-00235-CR
(Appellant’s response due to be filed on July 1, 2015);
5. Sabrina Nicole Angel v. The State of Texas, No. 04-15-00236-CR
(Appellant’s response due to be filed on July 1, 2015);
6. Julio Zuniga v. The State of Texas, No. 04-15-00245-CR (Appellant’s
brief due to be filed on July 3, 2015);
7. Ramon Davidson v. The State of Texas, No. 04-15-00209-CR (Appellant’s
brief due to be filed on July 20, 2015);
8. LeAndre V. Hill v. The State of Texas, No. 04-15-00164-CR (Appellant’s
brief due to be filed on July 23, 2015).
C. The undersigned attended CLE on May 27-29, 2015, and on June 17-20,
2015, for a total of 6 working days out of the office.
D. May 25, 2015 was a county holiday.
E. July 3, 2015 is a county holiday.
F. The undersigned took vacation leave on June 4, 2015 and June 5, 2015.
IV. Number of previous extensions requested:
This is the first extension of time requested in this case.
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V. Not for delay:
This extension of time is not sought for the purpose of delaying the resolution
of this appeal. Undersigned counsel will file the Appellant’s Brief
contemporaneously with the filing of this motion. He does not believe the
additional time requested will prejudice or inconvenience the State.
VI. Appellant’s status:
The Appellant was sentenced to 10 years of imprisonment and is presently
incarcerated in the TDCJ-ID. No appeal bond was requested.
PRAYER
THEREFORE, counsel for the appellant prays that this Court issue an order
granting the extension of time of five (5) days to file the appellant’s brief in the
above case, and grant all such relief as is fair and just.
Respectfully submitted,
RICHARD B. DULANY, JR.
Texas Bar No. 06196400
Assistant Public Defender
Bexar County Public Defender’s Office
101 W. Nueva St., Suite 370
San Antonio, Texas 78205
(210) 335-0701
(210) 335-0707 fax
Richard.Dulany@bexar.org
/s/ Richard B. Dulany, Jr.
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___________________________________
RICHARD B. DULANY, JR.
ATTORNEY FOR APPELLANT
CERTIFICATE OF SERVICE AND COMPLIANCE
The undersigned does hereby certify that a copy of the above motion was
delivered by electronic service to the State’s Attorney: Nicholas A. LaHood,
Criminal District Attorney, Bexar County District Attorney’s Office, Appellate
Section, 101 W. Nueva St., Suite 710, San Antonio, Texas 78205, on June 24, 2015.
The word count is 722.
/s/ Richard B. Dulany, Jr.
___________________________________
RICHARD B. DULANY, JR.
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