Aldana, Jose L.
Aldana, Jose L.
Opinion
PD-0725-15 PD-0725-15 COURT OF CRIMINAL APPEALS AUSTIN, TEXAS Transmitted 6/12/2015 3:19:17 PM Accepted 6/12/2015 3:46:32 PM ABEL ACOSTA IN THE CLERK COURT OF CRIMINAL APPEALS JOSE L. ALDANA, § APPELLANT § V. § NO. PD-____-15 § THE STATE OF TEXAS, § APPELLEE § STATE’S MOTION TO EXTEND TIME TO FILE PETITION FOR DISCRETIONARY REVIEW COMES NOW the State of Texas, by and through Sharen Wilson, the Tarrant County Criminal District Attorney and files this motion to extend the time for thirty days to file a petition for discretionary review.
I.
The court of appeals below is the Court of Appeals for the Eighth Court of Appeals District. The style and number of the case in the El Paso Court is Aldana v. State, No. 08-13-00243-CR.
II.
On May 14, 2015, the El Paso Court issued an opinion reversing the trial court’s judgment. See Aldana v. State, No. 08-13-00243-CR (Tex. App.—El Paso May 14, 2015) (unpublished). The State did not file a motion for rehearing.
June 12, 2015 III.
The current deadline for filing the State’s petition for discretionary review is June 15, 2015. The State now requests an extension of 30 days – until July 15, 2015 – to file the State’s petition. The State has not previously requested an extension of time to file a petition for review in this case.
IV.
This extension is not for the purposes of delay, but rather so that undersigned counsel may adequately set forth the State’s position in its grounds for review. The undersigned has been working not only on this PDR, but on the State’s reply briefs in Guzman v. State, No. 02-14-00297-CR and Gray v. State, No. 02-14-00249-CR; and petitions for review in Isbell v. State, No. PD-0469-15 and Pinkston v. State, No. PD-0444-15.
Wherefore, the State prays that the Court grant an extension of 30 days to July 15, 2015 for filing the State’s petition for discretionary review.
Respectfully submitted, SHAREN WILSON Criminal District Attorney Tarrant County, Texas DEBRA WINDSOR Assistant Criminal District Attorney Chief, Post-Conviction /s/ James Gibson_____________ JAMES GIBSON, Assistant Criminal District Attorney W. Belknap Street Fort Worth, Texas 76196-0201 (817) 884-1687 FAX (817) 884-1672 State Bar No. 00787533 [email protected]
CERTIFICATE OF SERVICE A copy of the State's Motion to Extend Time to File Petition for Discretionary Review has been e-served to opposing counsel, the Hon. Leigh W.
Davis, [email protected], 1901 Central Dr., Suite 708 LB 57, Bedford, Texas 76021 and to the State Prosecutor, Hon. Lisa C. McMinn, [email protected], P.O. Box 13046, Austin, Texas 78711on June 12, 2015.
/s/ James Gibson JAMES GIBSON H:\GIBSON.G17\MOTIONS\Aldana; ext to file pdr.docx
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