Paul Wayne Harris v. State

ACCEPTED 14-14-00514-CR FOURTEENTH COURT OF APPEALS HOUSTON, TEXAS 2/2/2015 10:21:00 AM CHRISTOPHER PRINE CLERK NO. 14-14-00514-CR PAUL WAYNE HARRIS § IN THE COURT OF APPEALS FILED IN 14th COURT OF APPEALS HOUSTON, TEXAS VS. § FOURTEENTH JUDICIAL DISTRICT 2/2/2015 10:21:00 AM CHRISTOPHER A. PRINE Clerk STATE OF TEXAS § HOUSTON, TEXAS STATE’S FIRST MOTION FOR EXTENSION OF TIME TO THE HONORABLE JUSTICES OF THE FOURTEENTH COURT OF APPEALS: Pursuant to Texas Rule of Appellate Procedure 38.6(d), the State, by and through its Fort Bend County District Attorney, asks this Court to grant an extension of time to submit its appellate brief in the above-referenced cause. Pursuant to Texas Rule of Appellate Procedure 10.5(b), the State provides the following information: Current Deadline: February 2, 2015 Length of Extension Sought: 60 days to April 3, 2015 Number of Previous Extensions: None Facts reasonably explaining the need for an extension: In the last thirty days, the undersigned assistant district attorney completed the State’s response to the petition for writs of mandamus and prohibition in Ex rel James Albert Turner v. Brady G. Elliott, Judge 268th District Court, No. WR-80,559-02 1 (leave to file denied January 26, 2015); the State’s petition for discretionary review in Moore v. State, No. PD-1634-14; and assisted and continues to assist in the preparation for a retrospective competency jury trial in a death penalty case, State of Texas v. Albert James Turner, Cause No. 10-DCR-054233, set for February 3, 2015. The undersigned has been assigned to write the State’s appellate brief in Gamez v. State, No. 14-14-00203-CR, due March 8, 2015, on an extended deadline, and the State’s supplemental answer in Ex parte Sandbloom, WR-79,922-02, issues to be resolved before March 10, 2015, on remand by the Court of Criminal Appeals. The undersigned is one of three appellate attorneys assisting forty-nine trial and administrative attorneys with research and trial support. 2 The State asks for an extension of time not for delay only, but to see that justice is done. Barring unforeseen circumstances, the State will not seek any further extension of time. Respectfully submitted, John F. Healey, Jr. SBOT # 09328300 District Attorney, 268th Judicial District Fort Bend County, Texas /s/ Gail Kikawa McConnell Gail Kikawa McConnell SBOT # 11395400 Assistant District Attorney 301 Jackson Street, Room 101 Fort Bend County, Texas 77469 (281) 238-3205/(281) 238-3340 (fax) CERTIFICATE OF SERVICE I hereby certify that a copy of the foregoing State's motion for extension of time was served on February 2, 2015, on Mr. David Alan Disher, Attorney for Appellant through the electronic filing manager or by email. /s/ Gail Kikawa McConnell Gail Kikawa McConnell 3