Jose Julio Sanchez v. State

ACCEPTED 12-14-00324-CR TWELFTH COURT OF APPEALS TYLER, TEXAS 4/30/2015 12:06:29 PM CATHY LUSK CLERK NO. 12-14-00324-CR JOSE JULIO SANCHEZ § IN THE COURT OF APPEALS FILED IN Appellant § 12th COURT OF APPEALS TYLER, TEXAS § 4/30/2015 12:06:29 PM V. § 12th COURT OFCATHY APPEALS S. LUSK § Clerk THE STATE OF TEXAS § Appellee § TYLER, TEXAS APPELLANT'S REQUEST FOR EXTENSION TO FILE BRIEF TO THE HONORABLE COURT OF APPEALS: NOW COMES Appellant before this Court, and Defendant in the Trial Court in Cause Number before the 2nd Judicial District Court, Cherokee County, Texas, and files this his Motion for Extension to File Brief, pursuant to Rules 10.5(b) and 38.6 (d) of the Texas Rules of Appellate Procedure, and for same would show unto the Court as follows, to-wit: I. First Motion: This is Appellant first motion for extension of the deadline for the filing of Appellant’s Brief. II. Original Brief Deadline: Appellant’s Brief was due to be filed on or before April 30, 2015. III. Sexual Assault Conviction: Counsel would show that Appellant was convicted of sexual assault and was sentenced to a 14-year sentence. 1 IV. 14Volumes of Reporter’s Record: Cathe Dickson, the Court Reporter for the Trial Court, provided fourteen volumes of the record. V. Counsel’s Work & Schedule: Counsel would show that he is a solo practitioner without staff and carries active files involving civil and criminal actions in multiple counties. Further, Counsel would show that he has been working on the appeal of the murder-life sentence in Barker v. State, Cause No.: 12-14-00345-CR during the same time as Counsel was worker on the subject appeal. VI. Insufficient Time to Complete Brief: Counsel would show that based upon the above and forgoing, that he has had insufficient time within which to complete the Brief. VII. Requested Relief: Counsel requests that the deadline for filing Appellant’s Brief be extended to May 22, 2015. The subject request for extension is not sought for delay, but only that justice may be done. VIII. Conference: Counsel would show that he conferred with opposing counsel and this Request is presented as UNOPPOSED. 2 IX. Word Count Certificate: Counsel certifies that WORD format character count is 420. Sten M. Digitally signed by Sten M. Langsjoen DN: cn=Sten M. Langsjoen, o, ou, Langsjoen email=sten@langsjoenlaw.com, c=US Date: 2015.04.30 11:58:06 -05'00' _______________________________ STEN M. LANGSJOEN WHEREFORE, PREMISES CONSIDERED, counsel requests that this Motion be granted. Respectfully submitted, Sten M. Digitally signed by Sten M. Langsjoen DN: cn=Sten M. Langsjoen, o, ou, Langsjoen email=sten@langsjoenlaw.com, c=US Date: 2015.04.30 11:58:25 -05'00' _______________________________ STEN M. LANGSJOEN Attorney for Appellant P.O. Box 539 Tyler, Texas 75710 Telephone: (903) 531-0171 Telefax: (903) 531-0187 TBA # 11922800 CERTIFICATE OF SERVICE I certify that a true and correct copy of the foregoing was delivered by certified mail, return receipt requested, and/or by "fax" transmission and/or by hand-delivery to District Attorney, Cherokee County, Texas, on this 30th day of April, 2015. Sten M. Digitally signed by Sten M. Langsjoen DN: cn=Sten M. Langsjoen, o, ou, Langsjoen email=sten@langsjoenlaw.com, c=US Date: 2015.04.30 11:58:48 -05'00' ____________________________ STEN M. LANGSJOEN 3