PD-0015-15
COURT OF CRIMINAL APPEALS
AUSTIN, TEXAS
April 2, 2015 Transmitted 4/2/2015 11:47:09 AM
Accepted 4/2/2015 12:49:08 PM
ABEL ACOSTA
NO. PD-0015-15 CLERK
THE STATE OF TEXAS, § IN THE COURT OF
Appellant
vs. § CRIMINAL APPEALS
MICHAEL ERIC RENDON, § AUSTIN, TEXAS
Appellee
MOTION FOR EXTENSION OF
TIME TO FILE APPELLEE’S BRFIEF
TO THE HONORABLE COURT OF CRIMINAL APPEALS:
Now comes, Michael Eric Rendon, appellee in the instant cause, by
and through undersigned counsel, Edward F. Shaughnessy, and files this
Appellee’s Motion for Extension of Time to File Appellee’s Brief. In
support of the instant motion the Appellee would show unto this Court the
following:
A.
The Appellant is appealing a pre-trial ruling on a motion to suppress
entered by the judge of the 377th District Court of Victoria County Texas
wherein the trail Court entered an order suppressed certain evidence at the
request of the appellee prior to trial in cause number 12-8-00666-CR. The
Notice of Appeal was filed in a timely fashion in the trial Court.
B.
This is the appellee’s first request for an extension of time to file the
appellee’s brief. The appellee’s brief is due to be filed in this Court on April
2 , 2015.
C.
The appellee respectfully requests an extension of time of thirty days
until May 4, 2015 in which to file the appellee’s brief.
D.
The undersigned has recently filed briefs in the following matters:
Jeffrey Lee v. The State of Texas, Cause No. 04-14-00256-CR; Israel
Ytuarte Rodriguez v. The State of Texas, Cause No. PD-0278-14; Dustin
Charles Wilmer v. The State of Texas, Cause No. 07-14-00266-CR.
E.
The undersigned is also in the process of compiling a brief on behalf
of the appellant in the case of Jordan Lewis v. The State of Texas, Cause No.
01-14-00557-CR. Moreover the undersigned is in the process of filing a
brief on behalf of the appellant in the case of Greg Saul v. The State of
Texas 04-15- CR.
F.
In addition the undersigned serves as a part-time Criminal law
Magistrate for the District Courts of Bexar County and as a Juvenile Referee
for the Juvenile Courts of Bexar County. Counsel will be serving in those
capacities during the upcoming days.
G.
The undersigned is scheduled to appear on behalf of The State of
Texas on March 24, 2015 in the 38th Judicial District Court of Medina
County for purposes of an evidentiary hearing in the case of Ex Parte Denise
Crouch, a post-conviction writ of habeas corpus wherein this Court has
ordered findings of fact and conclusions of law.
Moreover, the undersigned is scheduled for a jury trial on March 16,
2015 in the 175th District Court of Bexar County, Texas in the case of The
State of Texas v. Raymond Rose, cause number 2013-CR-6452. Rose is
charged with 24 Counts of Aggravated Sexual Assault of a Child and
Indecency with a Child.
PRAYER FOR RELIEF
Wherefore premises considered, the Appellee would request a thirty
day extension of time file the brief in the instant case until May 4, 2015.
Respectfully submitted,
/S/ Edward F. Shaughnessy
Edward F. Shaughnessy, III
Attorney for the Appellee
206 East Locust Street
San Antonio, Texas 78212
SBN: 18134500
Phone: (210) 212-6700
Fax: (210) 212-2178
Shaughnessy727@gmail.com
CERTIFICATE OF SERVICE
I, Edward F. Shaughnessy, hereby certify that a copy of the instant
motion was served upon Brendan Wyatt Guy, attorney for the appellant, by
mailing the motion to 205 N. Bridge St. Suite 301, Victoria, Texas 77901,
on the _17_ day of March, 2015.
/S/ Edward F. Shaughnessy
Edward F. Shaughnessy, III
Attorney for the Appellee