Jonathan Matthew Escobedo v. State

ACCEPTED 04-14-00904-cr FOURTH COURT OF APPEALS SAN ANTONIO, TEXAS 11/13/2015 3:50:25 PM KEITH HOTTLE CLERK No. 04-14-00904-CR IN THE COURT OF APPEALS FILED IN FIRST COURT OF APPEALS DISTRICT OF TEXAS 4th COURT OF APPEALS HOUSTON, TEXAS SAN ANTONIO, TEXAS 11/13/15 3:50:25 PM ____________________________________________________________ KEITH E. HOTTLE JOHNATHAN MATTHEW ESCOBEDO, Clerk Appellant v. THE STATE OF TEXAS, Appellee ______________________________________________________________________________ On Appeal from the 81st/218th District Court Atascosa County, Texas Cause Number 13-09-0117-CRA ______________________________________________________________________________ STATE’S MOTION FOR EXTENSION OF TIME TO FILE BRIEF ______________________________________________________________________________ Rene M. Pena District Attorney 81st JUDICIAL DISTRICT OF TEXAS Marc Ledet Assistant District Attorney 81st / 218th JUDICIAL DISTRICT OF TEXAS 1327 3RD STREET Floresville, Texas 78026 Tele: (830) 393-2200 Fax: (830) 393-2205 E-Mail: marcledet@81stda.org State Bar No. 24002459 Attorneys for the State of Texas STATE’S FIRST MOTION FOR EXTENSION OF TIME TO FILE BRIEF The State of Texas, under the authority of Rules 10.5(b) and 38.6(d), Texas Rules of Appellate Procedure asks the Court to extend time to file the State’s Brief from NOVEMBER 13, 2015, up to and including NOVEMBER 20, 2015, a period of seven (7) days. 1. Appellant was found guilty in Atascosa County, Texas for Murder. 2. The State’s Brief is presently due on NOVEMBER 13, 2015. 3. The State of Texas respectfully requests an additional seven (7) days to file its brief, that is, an extension of time until November 20, 2015. 4. Only one previous extension has been requested by the State, and this its second\ and last extension, is only for 7 days more. 5. The State of Texas requests this extension based on the following reasons: A. The 81st Judicial District Attorney’s Office covers five (5) counties and over two hundred miles. Our office does not have an appellate section. All appellate work is done at times when prosecutors are not in court, not preparing for trial, or not preparing for grand jury. B. The State was delayed in receiving a copy of Appellant’s brief and also has a special Grand Jury scheduled for Monday, November 16, 2106. C. For these reasons, the State asks the Court to grant an extension of thirty (30) days to November 13, 2015, within which the State may file its brief in this cause. Respectfully submitted, Rene M. Pena District Attorney 81st JUDICIAL DISTRICT OF TEXAS TEXAS BAR NUMBER 00792752 /S/ MARC LEDET Marc Ledet Assistant District Attorney 81st JUDICIAL DISTRICT OF TEXAS 1327 3RD STREET Floresville, Texas 78026 Telephone (830) 393-2200 Telecopier (830) 393-2205 TEXAS BAR NUMBER 24002459 Attorneys for the State of Texas Certificate of Service I hereby certify that the above and foregoing was sent to Richard Langlois, 217 Ardent Grove, San Antonio, TX 78215 on the 13th day of November, 2015 in accordance with the Texas Rules of Procedure. /S/ Marc Ledet