PD-1176&1177-15
PD-1176&1177-15 COURT OF CRIMINAL APPEALS
AUSTIN, TEXAS
Transmitted 9/10/2015 11:50:04 AM
Accepted 9/14/2015 2:05:28 PM
ABEL ACOSTA
NOS. _______________ CLERK
MALCOLM MCCLENON § IN THE COURT OF CRIMINAL
VS. § APPEALS FOR THE STATE
THE STATE OF TEXAS § OF TEXAS AT AUSTIN
ON APPEAL FROM THE
RD
363 JUDICIAL DISTRICT COURT
OF DALLAS COUNTY, TEXAS
IN CAUSE NOS. F12-54585-W & F12-54586-W
FOR THE FIFTH DISTRICT OF TEXAS
AT DALLAS IN CAUSE NOS. 05-14-00833-CR & 05-14-00834-CR
APPELLEE’S MOTION TO EXTEND THE TIME FOR FILING THE
APPELLEE’S PETITION FOR DISCRETIONARY REVIEW
TO THE HONORABLE JUDGES OF THE COURT OF CRIMINAL APPEALS:
COMES NOW the Appellant, Malcolm McClenon, and respectfully
requests that the time for the filing of the Appellant’s Petition For Discretionary
Review in the above-styled and -numbered causes be extended. In support of this
motion the Appellee would show the Court the following:
I.
Appellant was convicted of the offenses of unlawful possession of a
controlled substance and unlawful possession of a firearm by a felon and was
given sentences of 15 and 10 years, respectively. On August 11, 2015, in Opinion
Nos. 05-14-00833-CR & 05-14-00834-CR, the Court of Appeals affirmed the
judgments of the trial court.
September 14, 2015
II.
The Appellant’s Petition For Discretionary Review is due on or before
September 10, 2015. Appellee respectfully requests an extension of time until
October 10, 2015.
III.
No previous extension of time has been requested.
IV.
The Appellant would show the Court that a reasonable explanation exists
for the requested extension. The facts on which the Appellant relies to reasonably
explain the need for this extension are as follows:
Before the undersigned attorney can begin work on the Petition in this case,
the undersigned attorney must prepare and file the briefs in Gage, No. 05-15-
00538-CR;Jefferson, No. 05-15-00477-CR; Simmons, No. 05-15-00162-CR; and
Ramiro, Nos. 08-15-00227-CR, 08-15-00228-CR, 08-15-00229-CR & 08-15-
00230-CR, all of which have already been granted extensions.
WHEREFORE, PREMISES CONSIDERED, the Appellant respectfully
requests that the time for the filing of the Appellee’s Petition For Discretionary
Review be extended until October 10, 2015.
Respectfully submitted,
Lynn Richardson /s/ Kathleen A. Walsh
Chief Public Defender Kathleen A. Walsh
Dallas County Assistant Public Defender
State Bar No. 20802200
133 N. Riverfront Blvd., LB-2
Dallas, TX. 75207-4399
(214) 653-3550 (telephone)
(214) 653-3539 (fax)
kwalsh@dallascounty.org
CERTIFICATE OF SERVICE
I hereby certify that a true copy of the foregoing motion was served on the
Appellate Division of the Dallas County Criminal District Attorney’s Office, on
the 10th day of September, 2015 by electronic transmission to
DCDAAppeals@dallascounty.org.
/s/ Kathleen A. Walsh
Kathleen A. Walsh