Simon, Thomas Allen ( 2015 )


Menu:
  •                                                                      WR-83,783-01,02
    DOCKET NO. __________
    RECEIVED
    COURT OF CRIMINAL APPEALS
    IN THE                               8/26/2015
    ABEL ACOSTA, CLERK
    COURT OF CRIMINAL APPEALS
    AT AUSTIN, TEXAS
    IN RE:
    THOMAS ALLEN SIMON,
    Relator
    MOTION FOR LEAVE TO FILE
    PETITION FOR WRIT OF MANDAMUS AND
    WRIT OF PROHIBITION
    TO THE HONORABLE COURT OF CRIMINAL APPEALS:
    Thomas Allen Simon, Relator, moves this Court to grant him leave to
    file his Petition for Writ of Mandamus and Writ of Prohibition, and shows:
    1.         Concomitantly with filing of this Motion, Relator is tendering to
    the Clerk of the Court his Petition for Writ of Mandamus and Writ of
    Prohibition. That Petition is incorporated into this Motion, by reference,
    for all intents and purposes, as though set forth herein verbatim.
    2.         Relator represents that his Petition for Writ of Mandamus
    1
    presents an issue of great importance which may be paraphrased as follows:
    may a judge ignore a defendant’s Due Process rights and this Court’s
    pronouncements of law by removing appointed counsel on a whim, without
    notice that complies with due process and without a proper hearing.
    3.          Relator suggests that this issue is of great importance, not only
    to him, but to the criminal jurisprudence of Texas. The issue of appointed
    counsel being removed by the trial court, in light of this Court’s Opinion in
    Stearns v. Clinton, is unfortunately becoming more and more prevalent in
    Texas. 
    780 S.W.2d 216
    (Tex.Crim.App. 1989); See, e.g., In re Brandon Jay
    Carter, Cause No. WR-83,286-01, In The Texas Court of Criminal Appeals.
    4.          Relator therefore prays that this Honorable Court grant him
    leave to file his Petition for Writ of Mandamus and Writ of Prohibition.
    Relator prays for general relief.
    2
    Respectfully submitted,
    /s/ Tracy D. Cluck
    _____________________________
    Tracy D. Cluck
    Texas Bar No. 00787254
    12600 Hill Country Blvd., Suite R-275
    Austin, Texas 78738
    Tel: (512) 329-2615
    Fax: (512) 329-2604
    tracy@tracyclucklawyer.com
    L.T. “Butch” Bradt #02841600
    14015 Southwest Freeway, Suite 4
    Sugar Land, Texas 77478
    (281) 201-0700
    Fax: (281) 201-1202
    ltbradt@flash.net
    Attorneys for Relator, Thomas Allen Simon
    CERTIFICATE OF SERVICE
    I, the undersigned attorney, in accordance with the Rule 9.5, T.R.A.P.,
    certify that a true and correct copy of the foregoing Petition was delivered
    to the following on August 25, 2015 by e-mail:
    Honorable Evan C. Stubbs
    424th Judicial District Court
    Burnet County Annex North
    1701 E. Polk Street, Ste. 74
    Burnet, Texas 78611
    424distjudge@gmail.com
    Wiley B. “Sonny” McAfee, Jr., District Attorney
    Gary Bunyard, Ass’t District Attorney
    3
    Burnet County Annex North
    1701 E. Polk Street, St. 24
    Burnet, Texas 78611
    Wiley1450@yahoo.com
    g.bunyard@co.llano.tx.us
    Gary Prust
    1607 Nueces St.
    Austin, Texas 78701
    Tel: (512) 469-0092
    Fax: (512) 469-9102
    gary@prustlaw.com
    /s/ Tracy D. Cluck
    ____________________
    Tracy D. Cluck
    4
    

Document Info

Docket Number: WR-83,783-01

Filed Date: 8/26/2015

Precedential Status: Precedential

Modified Date: 9/29/2016