PD-0683-15 PD-0683-15
COURT OF CRIMINAL APPEALS
AUSTIN, TEXAS
Transmitted 6/3/2015 4:46:25 PM
No. ________________ Accepted 6/4/2015 11:49:26 AM
ABEL ACOSTA
TO THE COURT OF CRIMINAL APPEALS OF TEXAS CLERK
Adrian Deshawn Patton
Petitioner
v.
June 4, 2015
The State of Texas
Respondent
On Appeal from the 75 District Court of Liberty County, in Cause No. CR29871,
th
the Hon. Mark Morefield, Presiding, and the February 15, 2015, Opinion of the
14 Court of Appeals in Case No. 14-14-00102-CR
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1 MOTION FOR EXTENSION OF TIME
st
FOR FILING (OUT OF TIME) PETITION FOR DISCRETIONARY REVIEW
TO THE HONORABLE JUDGES OF THE COURT OF CRIMINAL APPEALS:
Now comes ADRIAN DESHAWN PATTON, Petitioner in the above
captioned cause, and moves the Court to extend the time for filing Petitioner’s
Petition for Discretionary Review and/or to file an out of time Petition for
Discretionary Review, and in support of this Motion would show the following:
1. Petitioner’s Petition for Discretionary Review is currently due on March 7,
2015.
2. Appointed Appellate Counsel inadvertently missed sending Appellant notice
of his appellate deadlines with regard to filing of a PDR and a copy of the
Court of Appeals’ Memorandum Opinion as called for under Rule 48.4.
3. Given the lapse of the time for Appellant/Petitioner to receive the notice of
deadlines and his ability to request the PDR timely, Appointed Appellate
Counsel is filing this request for an extension of time/out of time PDR on Mr.
Patton’s behalf, but is not otherwise making an appearance of counsel for the
purposes of the filing or litigating of a PDR.
4. For the foregoing reasons, undersigned Appellant/Petitioner Patton requests
a 30 day extension from today’s date to complete his Petition for
Discretionary Review.
5. No previous extensions have been requested in this case.
6. This request is not for delay, but so justice may be done.
7. Contact information for future notices to Pro Se Appellant/Petitioner Adrian
Deshawn Patton can be forwarded to:
Adrian Patton 1899028
Darrington Unit
59 Darrington Rd.
Rosharon, TX 77583
WHEREFORE, PREMISES CONSIDERED, Appellant/Petitioner prays that
the Court grant this Motion for Extension of Time and/or Out of Time PDR and all
other relief the Court deems fit.
Respectfully submitted,
Dan P. Bradley
Attorney at Law
P.O. Box 7107
Houston, Texas 77248
Tel. 713-819-5529
Fax: 877-655-2797
dbradleylaw@gmail.com
By: /s/ Dan P. Bradley
Dan P. Bradley
State Bar No. 00783703
CERTIFICATE OF SERVICE
This is to certify that a true and correct copy of the above and foregoing “1 st
Motion for Extension of Time for Filing (Out of Time) Petition for Discretionary
Review” was this day hand-delivered, eFiled, mailed postage pre-paid or
transmitted via telecopier (fax) to the office of the District Attorney of Liberty
County, 1923 Sam Houston, Liberty, TX 77575; and to office of the Hon. Lisa
McMinn, State's Prosecuting Attorney, via eFile, on June 3, 2015.
/s/ Dan P. Bradley
Dan P. Bradley