ACCEPTED
12-15-00039-CR
TWELFTH COURT OF APPEALS
TYLER, TEXAS
12/21/2015 10:27:17 PM
Pam Estes
CLERK
Cause No. 12-15-00039-CR
FILED IN
12th COURT OF APPEALS
TYLER, TEXAS
In the Court of Appeals for the
12/21/2015 10:27:17 PM
Twelfth Judicial District at Tyler, Texas PAM ESTES
Clerk
Taurus Jenkins,
Appellant
v.
State of Texas,
Appellee
On Appeal from Cause No. 2014-0191 in the 159th
Judicial District Court of Angelina County, Texas
State’s Third Motion for Extension (Unopposed)
To the Honorable Justices of this Court:
Appellee, State of Texas, moves for a 3-day extension of time to file its
brief.
I.
Undre the Texas Rules of Appellate Procedure, the general deadline to file
an appellee’s brief is 30 days after the date the appellant’s brief was filed. Tex. R.
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App. P.38.6(b). Appellant’s Brief was filed on October 7, 2015, giving the State
until Friday November 6, 2015 to file its brief. On Thursday November 12, 2015
the State was granted a 30-day extension of time in which to file its brief, giving
the State until Monday December 7, 2015 to file its brief. On December 9, 2015
the State was granted a 14-day extension of time in which to file its brief, giving
the State until Monday December 21, 2015 to file its brief.
The State of Texas now requests a 3-day extension of time in which to file
its brief.
II.
Good cause exists for allowing the State additional time to file its brief for
the following reasons:
1. Counsel for the State suffered a broken leg and broken ankle on
November 2, 2015 which required surgery on November 10, 2015. Counsel for the
State was out of work from Monday November 2, 2015 until Friday December 11,
2015.
2. Counsel for the State has had numerous sentencing hearings (one
requiring a trial court brief), a suppression hearing, and two non-jury trials over the
last week.
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3. Counsel for the State has over 20 cases in which she is lead counsel
on that are set for jury selection on Monday January 4, 2016 which counsel is
trying to prepare for trial.
4. Counsel for the State has substantially completed the brief and is
requesting an extra three days to edit the brief.
5. Counsel for the Appellant is unopposed to this extension.
III.
From the above-listed reasons, the State has demonstrated that good cause
for the failure to be able to submit its brief by the Court’s deadline. This is the
State’s first motion for extension, and it is not brought for purposes of delay or
harrassment, but to see that justice is done.
Wherefore, Appellee State of Texas prays that the Court grant its requested
3-day extension to file its State’s Brief in this matter.
Respectfully Submitted,
/s/ April Ayers-Perez
Assistant District Attorney
Angelina County D.A.’s Office
P.O. Box 908
Lufkin, Texas 75902
(936) 632-5090 phone
(936) 637-2818 fax
State Bar No. 24090975
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ATTORNEY FOR THE
STATE OF TEXAS
Certificate of Service
I certify that on December 21, 2015, a true and correct copy of the above
document has been forwarded to Al Charanza, by electronic service through
efile.txcourts.gov.
/s/ April Ayers-Perez
Certificate of Conference
I certify that on December 21, 2015, I conferred with Al Charanza about this
motion, and certify that he was unopposed to a 3-day extension.
/s/ April Ayers-Perez
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