Hardin, Kevin Todd

PD-0422-15 NO. COURT OF APPEALS NO. 03-14-00236-CR 0| COURT OF CRIMINAL APPFAIS IN THE COURT OF CRIMINAL APPEALS OF TEXAS ^PR 1»7 2015 Abel Acosta, Clerk KEVIN TODD HARDIN, pi, nn ,k, Appellant/PetitionerrnilDT^ r"-£U IN COm°FCRIMINAL APPEALS v' APR 17 2015 THE STATE OF TEXAS, Ah.t . Appellee/Respondent Moe'Acosta, Clerk On appeal from the Third Court of Appeals Austin, Texas PETITIONER'S MOTION TO EXTEND THE TIME FOR FILING PETITION FOR DISCRETIONARY REVIEW TO THE HONORABLE COURT OF CRIMINAL APPEALS: COMES NOW the Appellant/Petitioner, Kevin Todd Hardin, and respectfully requests that the time for filing of Petitioner's Petition for Discretionary Review in the above styled and num bered cause be extended. In support of this motion Petitioner would show the Court the following: I. Petitioner was convicted of evading arrest with a vehicle and was sentenced to 99 years' imprisonment. On March 25, 2015, in Opinion No. 03-14-00236-CR, the Third Court of Appeals affirmed the judgment of the trial court. 1 II. Petitioner's Petition for Discretionary Review is due on or before April 24, 2015. Petitioner respectfully requests an exten sion of time until June 23, 2015. III. No previous extension of time has been requested. IV. Petitioner would show the Court that a reasonable explanation exists for the requested extension. Petitioner is currently incar- l cerated in the Mark W. Michael Unit of the Texas Department of Criminal Justice - Institutional Division in Tennessee Colony, Texas. Petitioner has limited access to the Unit law library in which to prepare his Petition for Discretionary Review. Petitioner is also proceeding pro se. PRAYER WHEREFORE, PREMISES CONSIDERED, Kevin Todd Hardin respect fully requests that the time for the filing of Petitioner's Peti tion for Discretionary Review be extended until June 23, 2015. Respectfully submitted, KEVIN TODD HARDIN PETITIONER TDCJ No. 1920319 Mark W. Michael Unit 2664 FM 2054 Tennessee Colony, Texas 75886 CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the fore going motion has been served by placing same in the United States Mail, postage prepaid, addressed to: Burnet County District At torney's Office, P.O. Box 725, Llano, Texas 78643 and State Prose cuting Attorney, P.O. Box 13046, Austin, Texas 78711-3046 on this 7th day of April, 2015. KEVIN TODD HARDIN