Castaneda, Johnathan Renard

PD-1591&1592-15 PD-1591&1592-15 COURT OF CRIMINAL APPEALS AUSTIN, TEXAS Transmitted 12/7/2015 2:24:32 PM Accepted 12/7/2015 3:34:36 PM ABEL ACOSTA IN THE TEXAS COURT OF CRIMINAL APPEALS CLERK AUSTIN, TEXAS JOHNATHAN RENARD CASTANEDA § § VS . § CASE NO. § THE STATE OF TEXAS § MOTION FOR EXTENSION OF TIME TO THE HONORABLE JUDGES OF THE COURT OF CRIMINAL APPEALS: NOW COMES, the appellant, Johnathan Renard Castaneda, by and through his assistant public defender Jani Maselli Wood, and respectfully moves the Court to grant an additional thirty days to file the petition for discretionary review and for god cause would show: I. Mr. Castaneda was convicted of murder and aggravated sexual assault in two separate cases. He was sentenced to a mandatory life sentence for the sexual assault case and 45 years in prison for the murder. The Court of appeals affirmed both cases on November 10, 2015, in one unpublished opinion. Johnathan Renard Castaneda v. State, 2015 WL 6930466, 01-14-00389-CR, 01-14-00390-CR (Tex. App. – Houston [1st Dist.] November 10, 2015, no pet. h.). December 7, 2015 II. The petition is due on December 10, 2015. Mr. Castaneda is requesting an additional thirty days to prepare the petition until January 9, 2016. III. Undersigned counsel’s reason for the request is: Hearings: November 17 & 19, 2015 - Hearing on Motion for New Trial in Herman Whitfield v. State Filings and Oral Arguments: 11/10/2015 - PDR filed in Jimmy Earl Van-Cleave v. State, PD 1253-15 10/28/2015 - Oral argument in Marcus Jamez Lewis v. State, 14-14-00779-CR 10/26/2015 - PDR filed in William Johnson v. State, 1254-15 10/22/2015 - Oral argument in Mary Kuol v. State, 14-14-01008-CR 10/19/2015 - Motion for Reconsideration en banc filed in Carlton Penright v. State, 01-12- 00647-CR 10/16/2015 - Motion for new trial filed in Herman Whitfield v. State, Cause Number 1424070 Personal Counsel had a medical procedure and missed work on December 3-4, 2015. WHEREFORE, PREMISES CONSIDERED, appellant respectfully prays that this Court grant an additional 30 days for the petition for discretionary review. -2- Respectfully submitted, ALEXANDER BUNIN Chief Public Defender Harris County Texas /s/ Jani Maselli Wood _______________________ JANI J. MASELLI WOOD Assistant Public Defender State Bar Number 00791195 Harris County Texas 1201 Franklin, 13th Floor Houston Texas 77002 (713) 368-0001 (713) 368-9278 (Fax) Jani.Maselli@pdo.hctx.net Attorney for Appellant, Johnathan Renard Castaneda -3- CERTIFICATE OF SERVICE Pursuant to Tex. R. App. Proc. 9.5, this certifies that on December 7, 2015, a copy of the foregoing was emailed to the Harris County District Attorney’s Office and emailed to counsel for the state and the State Prosecuting Attorney’s Office (through texfile.com) at the following address: Eri Kugler Assistant District Attorney 1201 Franklin Street, 6th Floor Houston, TX 77002 kugler_eric@dao.hctx.net Lisa McMinn Lisa.McMinn@SPA.texas.gov /s/ Jani J Maselli Wood ___________________________________ JANI J. MASELLI WOOD -4-