Kelly Kita Sheffield v. State

ACCEPTED 03-14-00353-CR 5869622 THIRD COURT OF APPEALS AUSTIN, TEXAS 6/29/2015 4:43:39 PM JEFFREY D. KYLE CLERK NO. 03-14-00353-CR KELLY RITA SHEFFIELD § IN THE THIRD FILED IN 3rd COURT OF APPEALS AUSTIN, TEXAS v. § DISTRICT 6/29/2015 COURT4:43:39 OF PM JEFFREY D. KYLE THE STATE OF TEXAS § APPEALS OF TEXAS Clerk STATE’S FIRST MOTION TO EXTEND TIME TO FILE BRIEF TO THE HONORABLE JUSTICES OF SAID COURT: Now comes the State of Texas, Appellee in the above styled and numbered cause, and moves for an extension of time of 30 days to file Appellee’s brief, and for good cause would show the following: I. Appellant was charged by indictment with Evading Arrest with a Vehicle and Endangering a Child, both state jail felonies. She was found guilty by a jury and sentenced to two years confinement in state jail, suspended for five years for Evading, and two years confinement in state jail, suspended for five years for the Endangering offense. 1 She was also ordered to pay a $1,000 fine on each count, along with court costs. Appellant’s brief was originally due on October 10, 2014. After multiple extensions and hearings, Appellant’s brief was filed on May 28, 2015. The State’s brief is currently due on June 29, 2015. 1 Appellant was acquitted of a third charge, Tampering with Physical Evidence. 1 II. I anticipate that I will handle the brief for the State in this case. I attended an appellate law conference in Austin over three days at the end May, and I sat second chair for oral argument in 03-14-00669-CR on June 3, 2015. I also helped review and file another attorney’s brief in 03-14-00192-CR. I worked through the weekend of the 13th to file the State’s brief before midnight on June 15th in cause number 03-14-00407-CR. I have had several expunctions and nondisclosures to review, some of which required me to draft and file answers. I have also performed research related to issues that came up for other attorneys in the office. I have begun working on the State’s response in 03-14-00639-CR, which I hope to complete on or shortly after the current deadline of July 2nd, though I have had several other issues arise in recent days that have required my attention. After filing that brief, I will need to complete the State’s brief in 03-14-00818-CR. Because of the foregoing, I have not yet been able to complete a significant amount of work on a response, and respectfully request an extension of 30 days to file the State’s brief in the instant cause. This is the first extension sought by Appellee. III. WHEREFORE, PREMISES CONSIDERED, the State’s counsel respectfully prays for an extension of 30 days, until July 29, 2015, so that an 2 adequate response may be made to Appellant’s brief. This extension is not requested for purposes of delay but so that justice may be done. Respectfully submitted, /s/ Joshua D. Presley Joshua D. Presley SBN: 24088254 preslj@co.comal.tx.us Comal Criminal District Attorney’s Office 150 N. Seguin Avenue, Suite 307 New Braunfels, Texas 78130 Ph: (830) 221-1300 / Fax: (830) 608-2008 3 CERTIFICATE OF SERVICE I, Joshua D. Presley, Assistant District Attorney for the State of Texas, Appellee, hereby certify that a true and correct copy of this State’s First Motion to Extend Time to File Brief has been delivered to Appellant KELLY RITA SHEFFIELD’s attorney in this matter: Joseph E. Garcia III joeg3@sbcglobal.net 200 N. Seguin Avenue New Braunfels, TX 78130 Counsel for Appellant on Appeal By electronically sending it to the above-listed email address through efile.txcourts.gov, this 29th day of June, 2015. /s/ Joshua D. Presley Joshua D. Presley 4