Desiree Chumbley v. State ( 2015 )


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  •                                                                                                                         ACCEPTED
    12-15-00103-CR
    TWELFTH COURT OF APPEALS
    TYLER, TEXAS
    12/8/2015 12:18:45 PM
    Pam Estes
    CLERK
    NO. 12-15-00103-CR
    Desiree Chumbley                                            §     IN THE DISTRICT COURT OF APPEALS
    vs.                                                         §     12 TH JUDICIAL DISTRICT   FILED IN
    The State of Texas                                          §     STATE OF TEXAS      12th COURT OF APPEALS
    TYLER, TEXAS
    12/8/2015 12:18:45 PM
    2 nd   REQUEST FOR EXTENSION OF TIME TO FILE BRIEF
    PAM ESTES
    Clerk
    TO THE HONORABLE JUSTICES OF SAID COURT:
    Now comes Appellant in the above entitled and numbered cause, by and through his court appointed
    atto rney, and, purs uant to Rule 38.6 of the Texas Rules of Appellate Procedure, files this his 2nd Request
    for Extension of Time to File Brief to the 12th Court of Appeals of the State of Texas, sitting in Tyler, Texas.
    In support of same, Appellant would respectfully show the following as good cause:
    1.      This cause is on appeal from the 2nd Judicial District Court of Cherokee County, Texas.
    2.      The case below was styled The State of Texas vs. Desiree Chumbley and was numbered 19193.
    3.      App ellant was convicted by a Jury of the offense of Burglary of a Habitation - Enhanced and was
    assessed a se nte nce of 60 years con fine men t in th e Te xas Dep artm ent of C rimin al Justice,
    Institutional Division, with 380 days credit.
    4.      Notice of Appeal and Motion for New Trial were filed on April 22, 2015.
    5.      Both the Clerk’s Record and the Reporter’s Record ha ve previously been filed with the Court.
    6.      It is the undersigned’s understanding that Appellant’s Brief is due on December 7, 2015.
    7.      Appellant requests an extension of time of 30 days from the scheduled date per this honorable
    court’s cale nda r to f ile th e Br ief, i.e. January 7, 2016. This would allow the opportunity for counsel
    to adequately review this material, research it and draft an appropriate argument based upon it.
    8.      It is Counsel’s understanding that this is the second request for such an extension.
    9.      Appellant relies upon the following facts as good cause for the requested extension:
    Counsel is a sole practitioner.           Counsel was not trial counsel and, therefore, has to familiarize
    himself with the trial actions from discussions with the Defendant and trial counsel, a nd from
    reviewing the record        as and when it was forwarded to him. Counsel also s erv es a s th e so le
    presiding Judge for the cities of Rusk, Alto, Wells and Cuney and, as such, must maintain his judicial
    dockets and responsibilities without substitution. Accordingly, additional time is required for effective
    ass ista nce of c oun sel o n ap pea l.
    In addition to the above, Counsel would show that he has had a conflict of time because of his daily
    (7 days a week) duties as a Magistrate conducting Magistration Dockets for the cities of Rusk, Alto,
    W ells an d Cu ney.
    In addition to his daily duties as a Magistrate, Counsel has his Judicial Duties as Municipal
    Court Judge for Pre-Trial Dockets, as well as Show Cause Dockets, and Jury and Bench
    Tria ls for one bench trial and six jury trials from the time of scheduled date through the
    requested date.
    Further, Counsel had his own medical appointments for his Leukemia treatment and
    Diabetes follow-up.
    Fina lly, Counsel would advise this Honorable Court that he was previously scheduled for
    orth ope dic surgery on his hand. Dr. Camp has indicated that post surgic al rec ove ry,
    including reha bilitat ion s hou ld be app roxim ate ly 2 - 3 w eek s. D uring this time, counsel will
    hav e ex trem ely limit ed u se o f his han ds, if any at all.
    Because of the above, counsel has been and will be unable to complete the necessary research and
    preparation of the appellate brief without an extension of time. It is expected that the instant request will be
    the last such request in this matter and counsel should be able to file a fina lized ver sion of his brief with in
    this time. Request is made herein that this honorable Court grant this reque st.
    Respectfully submitted,
    LAW OFFICE OF FORREST K. PHIFER                                Forrest K. Phifer
    P.O. Box 829                                                   SBOT 15908570
    Rusk, Texas 75785-0829
    (903) 721-1842                                                 By:/S/ Forrest K. Phifer
    CERTIFICATE OF CONFERENCE
    I, the undersigned, herein certify that I have conferenced with the Prosecuting Attorney on December
    8, 2015 and she has indicated NO OBJECTIONS to the merits of this motion.
    By: /S/ Forrest K . Phifer
    CERTIFICATE OF SERVICE
    This is to certify that on December 8, 2015, a true and correct copy of the above and foregoing
    document was serv ed o n th e Pr ose cut ing A ttor ney's Off ice, Che roke e Co unt y, Ru sk, Tex as, by ele ctro nic
    delive ry.
    /S/ Forrest K. Phifer
    

Document Info

Docket Number: 12-15-00103-CR

Filed Date: 12/8/2015

Precedential Status: Precedential

Modified Date: 9/29/2016