Mark Anthony Young v. State

ACCEPTED 06-14-00086-CR SIXTH COURT OF APPEALS TEXARKANA, TEXAS 4/29/2015 10:14:30 AM DEBBIE AUTREY CLERK CASE NOS. 06-14-00086-CR In The FILED IN 6th COURT OF APPEALS TEXARKANA, TEXAS COURT OF APPEALS 4/29/2015 10:14:30 AM SIXTH DISTRICT OF TEXAS DEBBIE AUTREY AT TEXARKANA Clerk MARK ANTHONY YOUNG, Appellant VS. THE STATE OF TEXAS, Appellee On Appeal from the 354th Judicial District Court ofHuntCoun~,Texas Trial Court Cause Nos. 29,236 Honorable Richard A. Beacom, Jr., Judge Presiding STATE'S FIRST MOTION FOR EXTENSION OF TIME TO FILE STATE'S BRIEF IN RESONSE TO APPELLANT'S RESPONSE TO ANDERS BRIEF NOBLE DAN WALKER, JR. District Attorney, in and for Hunt County, Texas STEVE LILLEY Assistant District Attorney State Bar Number- 24046293 P.O. Box 441 4th Floor, Hunt County Courthouse Greenville, Texas 75401 Telephone Number- (903) 408-4180 Facsimile Number- (903) 408-4296 Email: slilley@huntcounty.net STATE'S FIRST MOTION FOR EXTENSION OF TIME TO FILE STATE'S BRIEF Comes now, The State of Texas, and files this, her First Motion for Extension of Time to File State's Brief. I. The current filing deadline for the State's brief was April27, 2014. II. The State requests this extension of time to file her brief due to an accidental oversight of the fact that Appellant had filed a pro se brief with this court. The State was informed by the former appellate attorney in the cause Jason Duff that he intended to file an Anders brief in this case. On April 28, 2015, the attorney responsible for the jury trial and any appeal in this cause was made aware that Appellant had filed a pro se brief several months later. The State sincerely apologizes for this mistake and we are making efforts to ensure that recent issues regarding notice to individual attorneys responsible for handling appeal matters in each case will not resurface. Ill. After a review of Appellant's brief, the State requests this honorable court for an extension of one month from the date of the filing of this 2 request for extension, that is May 28, 2015. IV. The State has made no previous requests for extensions to file her brief in this case. V. For the reasons stated hereinabove, it is respectfully requested that this Court grant the State of Texas until May 28, 2015, to file her brief. / (./Steve Lilley Assistant District Attorney Hunt County, Texas P.O. Box 441 Greenville, Texas 75403-0441 Phone: 903/408-4180 Fax: 903/408-4296 Email: slilley@huntcounty.net CERTIFICATE OF SERVICE This is to certify that a true copy of this Motion to Extend Time to File State's Brief has been forwarded to Appellant, acting pro se by mailing him a copy at the address provided in his br~·ef. . ~ ~/ / /Steve Lilley M------ 3