Ex Parte Jose C. Loredo
Ex Parte Jose C. Loredo
Opinion
ACCEPTED 03-15-00301-CR 6873222 THIRD COURT OF APPEALS AUSTIN, TEXAS 9/10/2015 3:59:17 PM JEFFREY D. KYLE CLERK
NO. 03-15-00301-CR FILED IN COURT OF APPEALS 3rd COURT OF APPEALS AUSTIN, TEXAS FOR THE 9/10/2015 3:59:17 PM JEFFREY D. KYLE Clerk AUSTIN SUPREME JUDICIAL DISTRICT
EX PARTE JOSE LOREDO
APPEAL FROM
THE COUNTY COURT AT LAW #1
HAYS COUNTY, TEXAS TRIAL COURT CAUSE NO. 095790-A
First Motion For Extension of Time in Which to File State's Brief
( Whitney Borgman Asst. Criminal District Attorney S. Stagecoach Trail, Suite 2057 San Marcos, Texas 78666 Ph: (512) 878-6544/Fax: (512) 393-2246 State Bar No. 24082224 [email protected] Attorney for the State of Texas TO THE HONORABLE JUSTICES OF THE THIRD COURT OF APPEALS: The State files this First Motion for Extension of Time in Which to File State's Brief, and in support states: 1. The State's current deadline for filing its brief is September 10,2015.
2. This is the State's first Motion for Extension of Time in which to file its brief.
3. The State respectfully requests an extension of approximately thirty days, until October 10, 2015 in which to file its brief 4. Good cause exists for the State's request for extension of time in which to file its brief The attorney of record is currently the prosecutor in a CPS jury trial.
5. This circumstance has significantly delayed the completion of this brief 6. This extension is not being sought to cause undue delay, but to seek justice.
7. For the foregoing reasons, the State respectfully requests that the Court grant an approximate thirty day extension for filing Appellee's Brief, until October 10, 2015.
Respectfully submitted,
Whitney Borg Asst. Criminal District Attorney Hays County Government Center South Stagecoach Trail, Ste. 2057 San Marcos, Texas, 78666 512-878-6544 [email protected] .tx.us State Bar No. 24082224 Attorney for the State of Texas
The foregoing Appellant Motion for Extension of Time in Which to File Appellant's Brief was subscribed and sworn to before me by Whitney Borgman on this the 10th of September, 2015.
Whitney Bor \) RHONDA WIEDERSTIIN n MY COMMISSION EXPIRES Septeirf)er9,2018
2iOuJkAJiU Notary Public in and tor the State of Texas CERTIFICATE OF SERVICE
I certify that on September 10, 2015, I served the above motion by email to David A. Mendoza at [email protected], in accordance with the Texas Rules of Appellate Procedure.
Whitney Bofgman
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