Kenya Abdule Martin v. State

ACCEPTED 07-15-00079-CR SEVENTH COURT OF APPEALS AMARILLO, TEXAS 9/21/2015 10:44:32 PM Vivian Long, Clerk NO. 07-15-00079-CR KENYA ABDULE MARTIN § IN THE SEVENTH FILED COURT IN 7th COURT OF APPEALS § AMARILLO, TEXAS v. § 9/21/2015 10:44:32 PM § VIVIAN LONG THE STATE OF TEXAS § OF APPEALS CLERK OF TEXAS MOTION TO EXTEND TIME TO FILE THE APPELLANT’S BRIEF TO THE HONORABLE JUSTICES OF THE COURT OF APPEALS: COMES NOW Kenya Abdule Martin, appellant, and files this Motion to extend the time to file his Brief until September 28, 2015. I. The appellant’s Brief is due on September 21, 2015. Two prior extensions have been sought and granted. Undersigned counsel is aware that his previous motion, filed September 7, 2015, stated it would be his final one in this case; counsel sincerely apologizes for filing yet another motion. After counsel filed the second motion, however, a court reporter present at a pretrial hearing – not the reporter who transcribed the trial – filed a supplemental volume to the reporters record on September 8, 2015. In addition, this appeal is a complicated one with several issues to be researched and raised. In light of all this, undersigned counsel requests the Court’s indulgence for one further week to properly prepare the appellant’s Opening Brief. II. Undersigned counsel further represents the following clients whose briefs or other appellate pleadings were filed on the indicated dates in the 30 days preceding the filing of this motion, and has not yet had time to prepare the brief in this case: Denton v. State, 07-15-181/2-CR – Opening Brief filed 8/27/15 Benefield v. State, 02-14-00099-CR – PDR filed 8/28/15 Finch v. State, 07-15-104-CR – Reply Brief filed 9/3/15 French v. State, 11-14-284-CR – Reply Brief filed 9/3/15 Counsel also represented a prisoner in a parole revocation case in the second week in September, in Randall County. WHEREFORE, the appellant prays the Court grant an extension of time to file the Appellant’s Brief to September 28, 2015. Respectfully submitted, /s/ JOHN BENNETT John Bennett Post Office Box 19144 Amarillo, Texas 79114 (806) 282-4455 Fax: (806) 398-1988 State Bar Number 00785691 Email: AppealsAttorney@gmail.com Attorney for the appellant 2 CERTIFICATE OF SERVICE This is to certify that a true and correct copy of the above Motion was served by email on September 21, 2015, on Jack Owen, Esq., Assistant District Attorney for Potter County, to him at jackowen@co.potter.tx.us. /s/ JOHN BENNETT John Bennett 3