Padilla, Ramon v. State

August 24, 2015 Court of Criminal Appeals PO Box 12308 Austin, Texas 78711-2308 RECEIVED IN RE: No. PD- TEA COURT OF CRIMINAL APPEALS Ramon Padilla vs. State of Texas App. No- 08-12-00234-CR SEP 012015 T/C No. 20110D02154 Dear Court Clerk/ Please find enclosed my MOTION FOR EXTENSION OF TIME TO FILE PRO SE PETITION FOR DISCRETIONARY REVIEW to be filed and presented to the Court for consideration and ruling in the above styled cause. Please note that a copy of this motion has been served upon the El Paso District Attorney and the State Prosecuting Officer on this date. I would further request for the Court to note that I am incarcerated at the Smith Unit of TDCJ. Per the Rules of Appellate Procedure I must file multiple copies of each pleading with the Court. I am unable to obtain or provided copy service from TDCJ, therefore I would request such be suspended/ per this letter. Should the Court require a motion to suspend the Rules, please notify me and I will provide. Thank you for your time and assistance with this matter, it is greatly appreciated and welcomed. I await the Court's decision in these matters. Sincerely/ Ramon Padilla Appellant Pro Se TDCJ-ID *. 1809857 Smith Unit 1313 CR 19 Lamesa/ Texas 79331 enclosure(s): l(2pgs) cc: file El Paso District Attorney State Prosecuting Office IN THE COURT OF CRIMINAL APPEALS OF TEXAS RAMON PADILLA § NQ vs § APP. NO. 0S-12-0O234-CR STATE OF TEXAS § T/C N0' 20I10D02154 MOTION FOR EXTENSION OF TIME TO FILE PRO SE PETITION FOR DISCRETIONARY REVIEW TO THE HONORABLE COURT OF CRIMINAL APPEALS: COMES NOW/ RAMON PADILLA, APPELLANT PRO SE, and files this motion for an exten sion of 90 days for Appellant to file his pro se Petition for Discretionary Review. In support of this motion, Appellant would show the Court the following: I. On August 12, 2015, the Eighth Court of Appeals issued an Opinion that affirmed the conviction in the 346th District Court of El Paso County, Texas. The filing deadline for the Appellant's Pro Se Petition for Discretionary Review is September 12, 2015. Appellant has notified that he wishes to appeal the Eighth Court of Appeals' ruling. Therefore, Appellant request a 90-day extension of time for Appellant to file his Pro Se Petition for Discretionary Review. This is the first such request for extension. II. Appellant's request for extension is based upon the following facts: 1. Since the Appellant is not entitled to have appointed counsel file his Petition for Discretionary Review, the Appellant would need to retain counsel or begin preparing his PDR pro se promptly. 2. Appellant wishes to pursue a Pro Se Petition for Discretionary Review and seeks an extension of time from this Court and has filed a motion to obtain the Clerk's and Reporter's Records in the Court of Appeals. 3. Appellant is requesting an extension of ninty days rather than thirty days due to the inherent delay in getting the Records transmitted from the El Paso County District Clerk to the Institutional Division of the Texas Department of Criminal Justice and to the Appellant. The unavoidable delay in transmitting strictly controlled documents such as trial records from one governmental agency to another through postal service may be reasonably expected to consume a significant portion of a thirty day period of extension. rt Thus, ^qP^ to adequately discharge the right to file apetitBi^|^i^pellant COORTOF CRIMINAL APPEALS COURT OF CRIMINAL APPEALS SEP 03 2015 SEP 01 2015 Abel Acosta, Clerk Abel Acosta, Clerk respectfully request a 90-day extension of time in order for Appellant to properly prepare and present his Pro Se Petition for Discretionary Review. PRAYER WHEREFORE PREMISES CONSIDERED, the Appellant prays that this Honorable Court grants this motion and extend the deadline for filing the Appellant's Petition for Discretionary Review to November 12, 2015, in the interest of justice. Respectfully Submitted DATED: August 24, 2015 Ramon Padilla Appellant Pro Se TDCJ-ID # 1809857 Smith Unit 1313 CR 19 Lamesa/ Texas 79331 I, Ramon Padilla/ declare under penalty of perjury that the foregoing is true and correct and further certify that a true and correct copy has been served upon: El Paso District Attorney, 500 E. San Antonio, RM203, El Paso, Texas 79901-2496 Stae Prosecuting Attorney, PO Box 12405, Austin, Texas 78711-2405 by placing in the Smith Unit/TDCJ Prison Legal Mail System on this the 24th day of August, 2015. y /& Ramon Padilla TDCJ-Id # 1809857 Appellant Pro Se