Graham Jay Sonnenberg v. State

ACCEPTED 03-14-00530-CR 4610163 THIRD COURT OF APPEALS AUSTIN, TEXAS 3/23/2015 5:27:18 PM JEFFREY D. KYLE CLERK 03-14-00530-CR GRAHAM JAY SONNENBERG FILED IN THE COURT OF IN APPEALS 3rd COURT OF APPEALS AUSTIN, TEXAS VS. THIRD 5:27:18 3/23/2015 DISTRICT PM JEFFREY D. KYLE Clerk STATE OF TEXAS SITTING IN AUSTIN, TEXAS MOTION FOR EXTENSION OF TIME TO FILE APPELLANT'S BRIEF To the Court of Appeals, Third Supreme Judicial District: Now comes GRAHAM JAY SONNENBERG, Appellant, by and through his attorney of record in the above entitled and numbered cause, and files this his Motion for Extension of Time in which to file Appellant's Brief, and would show the following: I. On August 15, 2014, in the 427th District Court of Travis County, Texas in Cause No. D-1-DC-14-904026 entitled The State of Texas v. GRAHAM JAY SONNENBERG, the Appellant was convicted of the offenses of COUNT ONE (alleged to have been committed on October 29, 2012), Aggravated Assault Bodily Injury with a Deadly Weapon. Defendant sentenced to twenty years confinement; and COUNT TWO (alleged to have been committed on October 29, 2012), Assault Strangulation Enhanced. Defendant was sentenced to sixteen years confinement. 1 II. On August 15, 2014, and within the time required by the Texas Rules of Appellate Procedure Appellant filed his written Notice of Appeal to the Court of Appeals for the Third Supreme Judicial District of Texas. III. A Motion for New Trial was filed on the August 15, 2014, and was overruled by the court by operation of law. IV. The Record on Appeal was timely filed and the Appellant's Brief in this case is due to be filed not later than March 23, 2015, a date which is less than 15 days preceding the effective filing date of this motion for extension of time. V. That Appellant now makes his second request for an extension of time in which to file Appellant's Brief. The period of time requested is an additional thirty-five (35) days, or until April 27, 2015. VI. The facts relied upon to reasonably explain the need for an extension of time are as follows: the undersigned counsel is the only attorney representing Appellant and is Court Appointed; counsel has been engaged in the preparation for and 2 trial/hearing of various matters which have prevented counsel from preparing Appellant’s Brief. WHEREFORE, PREMISES CONSIDERED, Appellant requests this motion for extension of time be granted and that the Court extend the time for the filing of Appellant's Brief for a period of thirty five days or until April 27, 2015. Respectfully Submitted, LAW OFFICE OF DON MOREHART 316 West 12th Street, Suite 313 Austin, Texas 78701 Telephone 512-551-0404 Telecopier 512-551-0405 Don@MorehartLaw.com ATTORNEY FOR APPELLANT _ /s/ Don Morehart __ DON MOREHART SBN 14423700 CERTIFICATE OF SERVICE By my signature above/below, I hereby certify that a true and correct copy of the above and foregoing was served upon the State’s Attorney, Travis County District Attorney, VIA FAX to Appellate Section Fax 512-854-4206 on March 23, 2015. _ /s/ Don Morehart __ Don Morehart 3