NO. PD-1486-14 IN THE COURT OF CRIMINAL APPEALS court of criminal appeals OF TEXAS MAR 02 2015 AbetAoo8t8,Cteric ERNEST BENL MCINTfRE Petitioner, Appellant V. THE STATE OF TEXAS Appellee FILED IN COURT OF CRIMINAL APPEALS MAR 03 2015 Abel Acosta, Clerk MOTION FOR EXTENSION OF TIME TO FILE MOTION FOR REHEARING CONSIDERATION Ernest Benl Mclntyre 202 Avenue F, Apt. #2 Moody, TX. 76557 (254) 853-9146 PETITIONER,APPELLANT PRO SE NO. PD-1486-14 ERNEST BENL MCINTYRE § IN THE § V. § COURT OF CRIMINAL APPEALS § THE STATE OF TEXAS § OF TEXAS MOTION FOR EXTENSION OF TIME TO FILE MOTION FOR REHEARING CONSIDERATION TO THE HONORABLE JUSTICES OF THE COURT: COMES now, Ernest Benl Mclntyre, Petitioner, Movant pro se, and files this Motion for Extension of Time to file Motion for rehearing consideration, and in support would show: 1. Movant filed a petition for discretionary review on January 9, 2015, which was refused by this Court on February 25, 2015 2. Movant desires to move this Court for rehearing consideration of his petition for discretionary review which is due on or before March 12, 2015 3. Movant is not able to meet this deadline because he is currently released on appeal bond with a condition that he not have computer access which hinders Movant's research ability. See EXHIBIT A. Additionally, Movant is pro se and the closest law library to Movant's residence is in Waco, Texas, approximately 80 miles. An additional 30 days is hereby requested so that Movant may file a meritorious motion for Rehearing consideration and not for delay. There have been no other extensions requested for said motion. PRAYER WHEREFORE, PREMISES CONSIDERED, Movant prays for an additional 30 days in which to file for rehearing consideration. Respectfully Submitted, Ernest Benl Mclntyre a 202 Avenue F, Apt.#2 Moody, TX. 76557 (254) 853-9146 PETITIONER,MOVANT PRO SE CERTIFICATE OF SERVICE This is to certify that a true copy of the foregoing was served on each party as indicated below of this 27th day of February, 2015, via U.S. mail, postage pre-paid. Tim Copeland Bob Odom 930 S. Bell Blvd.,Ste.408 P.O. Box 540 Cedar Park, TX. 78613 Belton, TX. 76513-0540 Court appointed appellate Appellate counsel for State attorney for Movant (Withdrawn) State Prosecuting Attorney Lisa C. McMinn P.O. Box 12405, Capitol Station Austin, TX. 78711-2405 Ernest BenTMclntyre 0 BELL COUNTV DIST 0«T Fax.254333537? Dec 12 2012 11;4Eam P0Q1/Q01 VEILED Vv~~V*>"-*•"'"' »••'••"-"»•[>• ni> o'clock CAUSE NO. 66f893 BEC 12 2Gt2 SMEL1A NORMAN District Court, Bell County. Texes By: Suoan Monigtrafto. Deputy Clark THE STATE OFTEXAS § INTHE !f**Jt» VS. § DISTRICT COURT OF ERNEST BENLMCINTYRE § BEJU. COUNTY, TEXAS ORDER CONTAINING CONDITIONS OF APPEAL BOND On this the 12* day of December 2012, came to be heard the above styled and numbered cause. The Court, having previously set an appeal bond in the amount of S90,000, now enters the following Order containing conditions ofsaid bond: . ^ ~ 1 The defendant is to remain in Bell County, Texas.©£ *- ' * "^ 2, The defendant is to report weekly as directed to Bell County CSCD sex offenders officer and participate in sex offender treatment as directed by community supervision. 9* 3. The defendant is to undergo random UA testing as requested by CSCD. 4. The defendant shall have no contact, direct or indirect, with females under eighteen (18) years of age. 5. The defendant shall have no access to computers or the internet 6. The defendant shall not go within 1,000 feet of a school ?one. ENTERED THIS thf. F. J/ *-~-"~ t-"^ day of December. 2012. EXHIBIT A