PD-0258-15
PD-0258-15 COURT OF CRIMINAL APPEALS
AUSTIN, TEXAS
Transmitted 3/9/2015 3:54:15 PM
Accepted 3/10/2015 10:06:39 AM
ABEL ACOSTA
Cause Number CLERK
CHARLES LEE HODGES, §
APPELLANT, §
§ IN THE TEXAS COURT
VS. §
§ OF CRIMINAL APPEALS
THE STATE OF TEXAS, §
APPELLEE. §
APPELLANT’S FIRST MOTION FOR EXTENSION OF TIME
TO FILE PETITION FOR DISCRETIONARY REVIEW
TO THE HONORABLE JUDGES OF SAID COURT:
Now comes CHARLES LEE HODGES, Appellant in the above styled and
numbered cause, by and through his attorney of record, WM. REAGAN WYNN, and
pursuant to Rules 10.5(b) and 68.2(c), Texas Rules of Appellate Procedure, files this
First Motion for Extension of Time to File Petition for Discretionary Review , and for
such Motion would respectfully show the Court as follows:
1. Trial Court: 297th Judicial District Court, Tarrant County, Texas.
2. Date of Judgment and Sentence: January 22, 2013.
3. Trial Court Cause Number: 11181223.
4. Style of Cause: State of Texas v. CHARLES LEE HODGES
5. Offense For Which Appellant Was Convicted: Indecency With A Child.
6. Punishment Assessed: 8 Years TDCJ.
March 10, 2015
7. Appellant is currently incarcerated.
8. Date Notice of Appeal filed: February 19, 2013.
9. Court of Appeals: Second Court of Appeals.
10. Style of Cause in Court of Appeals: CHARLES LEE HODGES v. The State of
Texas.
11. Court of Appeals’ Cause Number: 02-13-00073-CR.
12. Date Court of Appeals’ Judgment and Opinion Entered: December 18, 2014.
13. Date Motion for Rehearing Filed: January 26, 2015.
14. Date Motion for Rehearing Overruled: February 5, 2015.
15. Current Due Date for Petition for Discretionary Review: March 9, 2015.
16. Length of Time Requested for Extension: 30 days, to April 8, 2015.
17. Number of Prior Extensions of Time: 0.
18. The facts The facts relied upon to reasonably explain the need for an extension:
a. Undersigned counsel was set for trial beginning Monday, March 2, 2015
in the matter of State of Texas v. John W. Gifford, cause number
1367384, pending in Criminal District Court Number Three of Tarrant
County. Mr. Gifford was accused of murder. Undersigned Counsel
appeared ready for trial on March 2, 2015; however, Mr. Gifford
accepted a plea offer. Preparation has consumed a significant portion of
undersigned counsel’s time and effort.
b. Undersigned counsel prepared and filed Appellant’s Opening Brief on
March 6, 2015 in the matter of Keith Alexander v. The State of Texas,
Cause Number 08-14-00102-CR, currently pending in the Eighth Court
of Appeals
APPELLANT’S FIRST MOTION FOR EXTENSION OF TIME TO FILE PETITION FOR DISCRETIONARY REVIEW
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c. This extension is not requested for the purposes of delay, but so that
justice may be done and undersigned counsel may effectively represent
Appellant in this matter.
WHEREFORE, PREMISES CONSIDERED, Appellant prays that this Court
will extend the time within which to file the Petition for Discretionary Review until
the 8th day of April, 2015.
Respectfully submitted,
/s/ Wm. Reagan Wynn
WM. REAGAN WYNN
State Bar Number: 00797708
rwynn@kearneywynn.com
KEARNEY | WYNN
One Museum Place
3100 West 7th Street, Suite 420
Fort Worth, Texas 76l07
(8l7) 336-5600
(817) 336-5610 (fax)
CERTIFICATE OF CONFERENCE
On March 9, 2015, conference was held with Cyndi Burgess and Debra
Windsor of the Tarrant County District Attorney’s office and indicated the State has
no objection to an extension of time.
/s/ Wm. Reagan Wynn
WM. REAGAN WYNN
APPELLANT’S FIRST MOTION FOR EXTENSION OF TIME TO FILE PETITION FOR DISCRETIONARY REVIEW
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CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing instrument has
been delivered to the office of Debra Windsor of the Appellate Section of the Tarrant
County District Attorney via U.S. First Class Mail on the 9th day of March, 2015.
/s/ Wm. Reagan Wynn
WM. REAGAN WYNN
APPELLANT’S FIRST MOTION FOR EXTENSION OF TIME TO FILE PETITION FOR DISCRETIONARY REVIEW
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