q, sqo -oLJ . • ::·<. 1 April 20, 2015 Abel Acosta,,Clerk Court of Criminal Appeals Post-Offic~:Box 12308, Capitol Station ' Austin, TX 78711-2308 Ref: Ex parte Moncier, WRIT NO. Sub: Filing of Pleadings ·Dear Mr. Acosta: Please Find enclosed herewith the original copies of my -- 1) MOTION FOR TOLLING OF THE RULES 2) "OBJECTIONS" TO NON-SERVICE OF TRIAL COURT'S "RECOMMENDATION" 3) TRAVERSE TO RESPONSE TO SUBSEQUENT HABEAS APPLICATION Please File the same in the Pap~rs of the aforesaid WRIT. Please Forward the same to the Court's Attention. Please Note my MOTION FOR TOLLING, as I have NO way to Serve you with other "originals" of my said Pleadings. Thank you. Sincerely yours, d~~~ Daniel Dewayne Moncier #388080 Allred Unit 2101 FM 369 N Iowa Park, TX 76367-6568 Postscript: Please also rind enclosed herewith the original copy of my CERTIFICATE OF SERVICE to the Collin County district Attorney's Office: I Apologize for forgetting to Enter that hereonabove. RECE\VEO ~N COURT Of ~111ft\N~ A~P~ lS. APR 271015 Abel Acosta. Clerl! IN THE COURT OF CRIMINAL APPEALS at Austin, Texas EX PARTE § HABEAS CORPUS CASE NO. WR-19,590-04 § DANIEL DEWAYNE MONCIER, § § TRIAL COURT CASE APPLICANT. § NO. Wl99-092R-84~HC4 APPLICANT'S MOTION FOR TOLLING OF THE RULES TO THE HONORABLE JUDGES OF THE SAID COURT: COMES NOW Daniel Dewayne Moncier, Applicant for,the Writ of Habeas Corpus, pro se, in the above-Styled and numbered Habeas Ac- tion, who Presents this Instrument as his. MOTION FOR TOLLING OF .THE RULES, Moves this Honorable Qourt to GRANT him the RELIEF Re- quested, and Shows this Court the following: 1. Applicant Assumes that there in a Rule of this Court that pertains to how many copies he has to File with the Court in furtherance of his Prosecution of his said APPLICATION. 2. Applicant is Indigent, and has NO way, at all, to photo- copy the original pages of THIS Pleadings, his ''OBJECTIONS", and his TRAVERSE, all of which are Submitted herewith, and Submit them to this Court's Clerk for Processing. 3. Furthermore, he has NO way to TYPE all such necessary copies, as he so Assumes is Necessary. 4. Additionally, his Legal Assistant, John Rod Thomas, is TOO ILL to Prepare all such copies. Page 1 Motion for Tolling of the Rules . . . .. 5. Also, neither Applicant nor Thomas HAS ENOUGH TYPING PA- PER or CARBONS to Make so many Assumed necessary copies. 6. WHEREFORE, ALL EXPRESS AND IMPLIED PREMISES CONSIDERED, Applicant PRAYS that this Honorable Court will GRANT him an EXEMP- TION from the applicalble Ru1-es of this Court via a TOLLING thereof. 7. SIGNED on this the 2 Ofh Day of April, 2015. Respectfully submitted, rJJ?~ ~ Daniel Dewayne Moncier #388080 Allred Unit 2101 FM 369 N Iowa Park, TX 76367-65~8 Page 2 Motion for Tolling of the Rules