Perry, Ex Parte James Richard "Rick" ( 2015 )


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  •                                                                                       PD-1067-15
    COURT OF CRIMINAL APPEALS
    AUSTIN, TEXAS
    Transmitted 11/9/2015 7:11:14 PM
    November 9, 2015                                                    Accepted 11/10/2015 8:14:23 AM
    PD-1067-15                                       ABEL ACOSTA
    CLERK
    In the Court of
    Criminal Appeals of Texas
    EX PARTE JAMES RICHARD “RICK” PERRY
    On Petition for Discretionary Review from the District Court for the 390th Judicial
    District Travis County, Texas, Case No. D-1-DC-14-100139, and the Texas Court
    of Appeals for the Third District, at Austin, Case No. 03-15-00063-CR
    UNOPPOSED MOTION OF EUGENE VOLOKH TO APPEAR
    PRO HAC VICE AND MOTION OF JAMES C. HO IN SUPPORT OF SAME
    Eugene Volokh                               James C. Ho
    California Bar No. 194464                   Texas Bar No. 24052766
    Gary T. Schwartz Professor of Law           Prerak Shah
    SCOTT & CYAN BANISTER                          Texas Bar No. 24075053
    FIRST AMENDMENT CLINIC                      Bradley G. Hubbard
    UCLA SCHOOL OF LAW                             Texas Bar No. 24090174
    385 Charles E. Young Dr. East               GIBSON, DUNN & CRUTCHER LLP
    Los Angeles, CA 90095                       2100 McKinney Avenue, Suite 1100
    Tel.: (310) 206-3926                        Dallas, TX 75201-6912
    volokh@law.ucla.edu                         Tel.: (214) 698-3264
    Fax: (214) 571-2917
    jho@gibsondunn.com
    pshah@gibsondunn.com
    bhubbard@gibsondunn.com
    UNOPPOSED MOTION OF EUGENE VOLOKH
    Eugene Volokh (“Movant”) respectfully moves that he be admitted to
    appear, sign all pleadings, and take whatever action is necessary to represent
    amicus curiae Constitutional and Criminal Law Experts in this case (the Texas
    Proceeding). In support of this motion and in compliance with Rule XIX of the
    Rules Governing Admissions to the Bar of Texas, the undersigned states the
    following:
    1.     Movant is the Gary T. Schwartz Professor of Law at the UCLA
    School of Law. His office is at 405 Hilgard Ave., Los Angeles, CA 90095, and the
    telephone number at his office is (310) 206-3926. His fax number is (310) 206-
    7010 and his email address is volokh@law.ucla.edu.
    2.     In the Texas Proceeding, Movant will be associated with the
    following Texas attorney:
    James C. Ho
    State Bar No. 24052766
    GIBSON, DUNN & CRUTCHER LLP
    2100 McKinney Avenue, Suite 1100
    Dallas, TX 75201-6912
    Tel.: (214) 698-3264
    Fax: (214) 571-2917
    jho@gibsondunn.com
    3.     Within the past two years, Movant has appeared or sought leave to
    appear in the following cases or causes in Texas courts:
    Ex Parte Thompson, No. No. PD-1371-13, in the Court of Criminal
    Appeals of Texas (pro hac vice admission granted April 14, 2014)
    2
    Service Employees International Union Local 5 v. Professional
    Janitorial Service of Houston, Inc., No. 13-0882, in the Supreme
    Court of Texas (pro hac vice admission granted Nov. 15, 2013)
    Auspro Enterprises, LP v. Texas Dep’t of Transportation, No. 03-14-
    00375, in the Third Court of Appeals of Texas
    4.     Movant is licensed to practice in the following courts:
    U.S. Supreme Court
    U.S. Courts of Appeals:
    Second Circuit
    Fourth Circuit
    Sixth Circuit
    Seventh Circuit
    Ninth Circuit
    Eleventh Circuit
    U.S. District Courts:
    Northern District of California
    California State Courts
    Movant is an active member and in good standing with each of these courts.
    5.     Movant has not been the subject of a disciplinary action by the bar or
    courts of any jurisdiction in which he is licensed within the preceding five years.
    6.     Movant has not been denied admission to the courts of any state or to
    any federal court during the preceding five years.
    7.     Movant is familiar with the State Bar Act, the State Bar Rules, and the
    Texas Disciplinary Rules of Professional Conduct governing the conduct of
    members of the State Bar of Texas, and will, at all times, abide by and comply with
    3
    the same so long as the Texas Proceeding is pending and said applicant has not
    withdrawn as counsel therein.
    8.    Movant refers the Court to his Affidavit attached hereto as Exhibit A.
    Attached hereto as Exhibit B is a copy proof of payment by Movant of the
    nonresident attorney fee to the Texas Board of Law Examiners.
    9.    Accordingly, Movant requests that the Court grant this motion to
    appear pro hac vice in the Texas Proceeding.
    Respectfully submitted,
    /s/ Eugene Volokh
    Eugene Volokh
    Gary T. Schwartz Professor of Law
    UCLA School of Law
    405 Hilgard Ave.
    Los Angeles, CA 90095
    volokh@law.ucla.edu
    (310) 206-3926
    4
    UNOPPOSED MOTION OF RESIDENT ATTORNEY
    The undersigned states that he finds Movant Eugene Volokh to be a
    reputable attorney and recommends that Movant be granted permission to
    participate in the Texas Proceeding before this Court.
    Respectfully submitted,
    /s/ James C. Ho
    James C. Ho
    Texas Bar No. 24052766
    GIBSON, DUNN & CRUTCHER LLP
    2100 McKinney Avenue, Suite 1100
    Dallas, TX 75201-6912
    Tel.: (214) 698-3264
    Fax: (214) 571-2917
    jho@gibsondunn.com
    5
    CERTIFICATE OF CONFERENCE
    The undersigned certifies that counsel for amici curiae conferred with
    counsel for former Governor Rick Perry and counsel for the State of Texas about
    these motions for pro hac vice admission, and confirmed that neither party is
    opposed to the relief sought in these motions. If this Court denies the motion to
    share oral argument filed simultaneously with these motions, these motions for pro
    hac vice admission may be denied as well.
    /s/ James C. Ho
    James C. Ho
    6
    CERTIFICATE OF SERVICE
    I hereby certify that, on November 9, 2015, a true and correct copy of the
    foregoing was served via electronic mail on the following counsel of record for all
    parties in this case:
    Lisa C. McMinn                             David L. Botsford
    State Prosecuting Attorney                 BOTSFORD & ROARK
    P.O. Box 13046                             1307 West Avenue
    Austin, Texas 78711                        Austin, TX 78701
    Michael McCrum                             Anthony G. Buzbee
    District Attorney Pro Tem                  THE BUZBEE LAW FIRM
    Travis County, Texas                       JPMorgan Chase Tower
    700 N. St. Mary’s St., Suite 1900          600 Travis Street, Suite 7300
    San Antonio, TX 78205                      Houston, TX 77002
    David M. Gonzalez                          Thomas R. Phillips
    Assistant District Attorney Pro Tem        BAKER BOTTS LLP
    Travis County, Texas                       98 San Jacinto Boulevard, Suite 1500
    206 East 9th Street, Suite 1511            Austin, TX 78701
    Austin, TX 78701
    Counsel for the State of Texas             Counsel for Applicant
    /s/ James C. Ho
    James C. Ho
    7
    EXHIBIT A
    AFFIDAVIT OF EUGENE V OLOKH
    I, Eugene Volokh, on oath, depose and state that this Affidavit is in support
    of the motion that I be admitted to the Court of Criminal Appeals for the State of
    Texas pro hac vice.
    1.    I reside in California and I am a law professor at the UCLA School of
    Law.
    2.    I was admitted to practice law in California on February 23, 1998.
    3.    I am currently in good standing before the various courts to which I
    have been admitted and have not been the subject of any disciplinary proceeding.
    4.    I am over 18 years of age, I have never been adjudged incompetent,
    and I am competent to testify to the facts herein stated.
    5.    I have read the foregoing Motion to Appear Pro Hae Vice, and the
    facts stated therein and in this Affidavit are true and correct.
    ``
    EUll; Volokh
    SUBSCRIBED AND SWORN TO BEFORE ME this_ day of November, 2015.
    ~\~se.- ``JJ: O.,J1Lbm1'a- ':hl~wfn,t A-40~Wt+- s~i-J1r~
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    L       Notary Public
    CALIFORNIA JURAT WITH AFFIANT STATEMENT                                                                    GOVERNMENT CODE § 8202
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    D See Statement Below (Lines 1-6 to be completed only by document signer[s], not Notary)
    Signature of Document Signer No. 1                             Signature of Document Signer No. 2 (if any)
    A notary public or other officer completing this certificate verifies only the identity of the individual who signed the
    document to which this certificate is attached, and not the truthfulness, accuracy, or validity of that document.
    State of California                                           Subscribed,,,_ and sworn to (01 Bffi1 ffleel) before me
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    (and (2}_ _ _ _ _ _ _ _ _ _ _ _ ),
    Name(;) of Signer(~
    proved to me on the basis of satisfactory evidence
    to be the person~ who appeared before me.
    Signature~ /2aCe-                Signatu;eQNotary Public
    Seal
    Place Notary Seal Above
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    Though this section is optional, completing this information can deter alteration of the document or
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    EXHIBIT B: BOARD OF LAW EXAMINERS ACKNOWLEDGMENT LETTER
    Board of Law Examiners
    Appointed by the Supreme Court of Texas
    P.O. Box 13486 * Austin, Texas 78711-3486
    Acknowledgment Letter
    Non-Resident Attorney Fee
    November 09, 2015
    To: Eugene Volokh
    Via: volokh@law.ucla.edu
    According to Texas Government Code §82.0361, “a nonresident attorney
    requesting permission to participate in proceedings in a court in this state shall
    pay a fee of $250 for each case in which the attorney is requesting to
    participate.”
    This Acknowledgement Letter serves as proof that the Board of Law
    Examiners has received $250 in connection with the following matter:
    Non-resident attorney: Volokh
    Case: PD-1067-15
    Texas court or body: Texas Court of Criminal Appeals
    After satisfying the fee requirement, a non-resident attorney shall file a
    motion in the Texas court or body in which the non-resident attorney is
    requesting permission to appear. The motion shall contain the information and
    statements required by Rule XIX(a) of the Rules Governing Admission to the Bar
    of Texas. The motion must be accompanied by this Acknowledgment Letter and
    by a motion from a resident practicing Texas attorney that contains the
    statements required by Rule XIX(b).
    The decision to grant or deny a non-resident attorney’s motion for permission
    to participate in the proceedings in a particular cause is made by the Texas court
    or body in which it is filed.
    For more information, please see Rule XIX of the Rules Governing Admission
    to the Bar of Texas and §82.0361 of the Texas Government Code, which can be
    found on the Board’s website.
    Sincerely,
    Susan Henricks
    Executive Director
    

Document Info

Docket Number: PD-1067-15

Filed Date: 11/10/2015

Precedential Status: Precedential

Modified Date: 9/29/2016