Moore, Aaron Jacob ( 2015 )


Menu:
  •                                                                                           PD-1634-14
    COURT OF CRIMINAL APPEALS
    AUSTIN, TEXAS
    May 22, 2015                                                          Transmitted 5/21/2015 4:15:26 PM
    Accepted 5/22/2015 11:14:34 AM
    ABEL ACOSTA
    NO. PD-1634-14                                                CLERK
    AARON JACOB MOORE                         §   IN THE
    VS.                                       §   COURT OF CRIMINAL APPEALS
    THE STATE OF TEXAS                        §   STATE OF TEXAS
    STATE’S FIRST MOTION FOR EXTENSION OF TIME TO FILE
    BRIEF ON THE MERITS
    TO THE HONORABLE JUDGES OF THE COURT OF CRIMINAL APPEALS:
    The State, by and through its Fort Bend County District Attorney, asks the
    Court to grant an extension of time to submit its brief on the merits in the above-
    referenced cause. Pursuant to Texas Rule of Appellate Procedure 10.5(b), the State
    provides the following information:
    Current Deadline:                       May 22, 2015
    Length of Extension Sought:             60 days to July 21, 2015
    Number of Previous Extensions:          None
    Facts reasonably explaining the need for an extension:
    In the last thirty days, the undersigned has filed the State’s appellate brief in
    McGuire v. State, 01-14-00241-CR (FSRA), and has been working on the State’s
    appellate brief due on June 2, 2015, on a final extended deadline in McGuire v. State,
    01-14-00240-CR, a felony murder case in which the underlying felony is a third DWI,
    1
    and in which the evidence includes a test result from a warrantless blood draw made
    under Section 724.012, Texas Transportation Code. The constitutionality of this
    statute was addressed in State v. Villarreal, No. PD-0306-14, 
    2014 WL 6734178
    (Tex. Crim. App. Nov. 26, 2014). Rehearing was granted on February 25, 2015. The
    undersigned has had to review the plethora of cases decided after McNeely, review
    the PDR’s filed and briefs on the merits pending with this Court, and gather
    legislative history to summarize the existing decisions and arguments and hopefully
    contribute new arguments and authorities. Further, contrary to law, the trial court
    required redactions from the in-car video recordings of Appellant’s statements and
    failed to instruct the jury to return a verdict on each count of the indictment. The
    undersigned had to obtain a transcription of the video recording and must still write
    these anticipated cross-points of error.
    The undersigned also took a pre-planned vacation from May 1-11, 2015, and
    has had long-standing, pre-paid plans to attend a graduation and family visits from
    June 11-19, 2015. The undersigned will also be attending the Criminal Appellate
    Seminar in Austin May 27-29, 2015. A 60-day extension will allow a little more than
    four weeks to write the brief on the merits in this case and, barring unforeseen
    circumstances, no further extension will be requested. The undersigned has contacted
    Appellant’s attorney, Ms. Carmen Roe, and Appellant will not oppose this motion for
    2
    extension of time.
    The undersigned is one of three appellate attorneys, who also assist fifty other
    trial and administrative attorneys with trial issues and office policy. The State asks
    for an extension of time not for the purpose of delay, but to see that justice is done.
    Respectfully submitted,
    John F. Healey, Jr.
    SBOT # 09328300
    District Attorney, 268th Judicial District
    Fort Bend County, Texas
    /s/ Gail Kikawa McConnell
    Gail Kikawa McConnell
    SBOT # 11395400
    Assistant District Attorney
    301 Jackson Street, Room 101
    Fort Bend County, Texas 77469
    (281) 238-3205 / (281) 238-3340 (fax)
    Gail.McConnell@fortbendcountytx.gov
    CERTIFICATE OF SERVICE
    I hereby certify that a copy of the foregoing State's motion for extension of time
    was served on May 22, 2015, through the electronic filing manager or by email on
    Ms. Carmen Roe, Attorney for Appellant, ; Ms. Lisa
    McMinn, State Prosecuting Attorney, .
    /s/ Gail Kikawa McConnell
    Gail Kikawa McConnell
    3
    

Document Info

Docket Number: PD-1634-14

Filed Date: 5/22/2015

Precedential Status: Precedential

Modified Date: 9/29/2016