ACCEPTED
06-14-00174-CR
SIXTH COURT OF APPEALS
TEXARKANA, TEXAS
7/17/2015 12:44:02 PM
DEBBIE AUTREY
CLERK
NO. 06-14-00174-CR
FILED IN
RODERICK BEHAM, § 6th COURT
ON APPEAL OF APPEALS
FROM THE
TEXARKANA, TEXAS
Appellant §
7/17/2015 12:44:02 PM
§ 5th JUDICIAL DISTRICT
DEBBIE AUTREY
VS. § Clerk
§
STATE OF TEXAS, § COURT OF BOWIE COUNY
Appellee § TEXAS
SECOND MOTION TO EXTEND TIME FOR FILING STATE’S BRIEF
TO THE HONORABLE JUDGE OF SAID COURT:
COMES NOW the State of Texas by and through her below named Criminal
District Attorney and pursuant to Texas Rules of Appellate Procedure and hereby
requests a thirty (30) day extension of the time period for the filing of the State’s
Brief and in support of the same should show the Court as follows:
I.
1. This case is pending from the 5TH Judicial District of Bowie County, Texas.
2. The case is styled State of Texas v. Roderick Beham, Cause No. 14F0004-005.
3. Appellant was found guilty to the offense of Aggravated Robbery and sentenced
to twenty-five (25) years in the Institutional Division of the Texas Department of
Criminal Justice.
5. Appellant’s Brief was filed on , May 15, 2015 making the State’s Brief originally
due on or about June 15, 1015.
6. The State has previously requested one extension of time for filing a brief, making
State’s brief due on July 15, 2015.
7. The Brief was not timely prepared in this matter due to the press of the business,
both trial and appellate. Said business includes, but is not limited to, the following
since Appellant’s brief was filed:
Preparation for the trial and pre-indictment dockets for the 5th District Court
on May 18, 2015.
Pre-trial conferences and trial preparation for the State of Texas v. Antonio
Moore, 14F0611-102, Felony Murder and 14F0612-102, Intoxication Assault.
The trial was May 19-21, 2015.
Preparation and attendance at the Grand Jury Proceedings on May 28, 2015.
Preparation for the trial and pre-indictment dockets for the 202nd District
Court on May 22, 2015.
Preparation for the trial and pre-trial indictment dockets for the 5th District
Court on June 1, 2015.
Preparation and attendance at oral arguments before this Court in Justin
Sander v. State of Texas, 06-14-00079-CR which was on June 3, 2014.
Preparation of the State’s brief in Kevin Fahrni v. State of Texas, 06-14-
00148-CR, which is due on June 17, 2015 and in which the State has already
had to request a motion for extension to file its brief.
Preparation for the pre-trial docket in the 5th District Court on June 15, 2015.
In addition to the aforementioned work matters, the attorney for the State
handling this appeal was out of the country on vacation from June 4-13, 2015.
Preparation of the State’s brief in Kevin Fahrni v. State of Texas, 06-14-
00148-CR, which was due on June 17, 2015.
Preparation for the pre-trial docket in the 5th District Court on June 15, 2015.
In addition to the aforementioned work matters, the attorney for the State
handling this appeal was out of the country on vacation from June 4-13, 2015.
Preparation of the State’s brief in Reginald Reece v. State of Texas, 6-14-
00192-CR, which was filed on June 22, 2015.
Preparation and attendance at the pre-trial and trial dockets in the 5th District
Court on June 29, 2015.
Pre-trial meetings and preparation for the trial of State of Texas v. Delbert
Sisemore, Aggravated Robbery, Burglary of Habitation, Possession of a
Controlled Substance, during the week of June 22, 2015.
Trial of State of Texas v. Delbert Sisemore was held on June 30-July 1, 2015.
Pre-trial meetings and preparation for the trial of State of Texas v. Gary
Carson, 14F0102-102, 14F0103-102, and 14F0161-102, Assault on a Public
Servant (x3) on July 7-9, 2015.
Preparation and attendance at the Trial dockets in the 5th District Court on July
13, 2015.
Trial of State of Texas v. Gary Carson 14F0102-102, 14F0103-102, and
14F0161-102, Assault on a Public Servant (x3) was set for jury selection on
July 14, 2015. The Defendant Failed to Appear and trial has been rescheduled
for August 11, 2015.
II.
The State’s attorney has been diligent in pursuing this appeal and is not
seeking this extension for the purpose of delay.
Since this motion is the State’s Second Motion for Extension, the State is only
requesting an additional seven (7) days to complete the State’s Brief in this cause.
The State’s attorney is confident the brief can be submitted on or before July 22,
2015.
PRAYER
WHEREFORE, on the bases of Rule 73 of the Texas Rules of Appellate Procedure,
the State respectfully requests this Court to grant the Motion for Extension of Time
for the filing of the State’s Brief.
Respectfully submitted,
__/s/ Lauren N. Sutton______
LAUREN N. SUTTON
Texas Bar No. 24079421
601 Main Street
Texarkana, TX 75501
ASSISTANT DISTRICT
ATTORNEY
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the above and foregoing Motion to
Extend Time for Filing State’s Brief was forwarded to Mr, Alwin Smith, counsel
for Appellant, on this the 17th day of July, 2015.
__/s/ Lauren N. Sutton______
LAUREN N. SUTTON