Clark v. Cartledge

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In 2006, Keith Alan Clark was found guilty of kidnapping and assault with intent to commit criminal sexual conduct. In 2014, Clark, pro se, filed a motion for extension of time to request a certificate of appealability. At issue is whether this motion, filed within the thirty day requirement of Federal Rule of Appellate Procedure 4, is the functional equivalent of a formal notice of appeal demanded by Rule 3. The court held that a document filed by a pro se litigant as an extension of time to request a certificate of appealability qualifies as the notice of appeal required by Rule 3. Because Clark's motion was timely under Rule 4 and satisfied the notice requirements of Rule 3, the court concluded that it has jurisdiction to consider Clark's application for a certificate of appealability. View "Clark v. Cartledge" on Justia Law