Brandon Master v. State ( 2015 )


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  •                                                                                             ACCEPTED
    04-15-00100-CR
    FOURTH COURT OF APPEALS
    SAN ANTONIO, TEXAS
    6/24/2015 11:26:28 AM
    KEITH HOTTLE
    CLERK
    NO. 04-15-00100-CR
    FILED IN
    4th COURT OF APPEALS
    IN THE                         SAN ANTONIO, TEXAS
    FOURTH COURT OF APPEALS                6/24/2015 11:26:28 AM
    OF TEXAS                            KEITH E. HOTTLE
    AT SAN ANTONIO, TEXAS                          Clerk
    BRANDON MASTER,
    Appellant
    VS.
    THE STATE OF TEXAS,
    Appellee
    MOTION TO WITHDRAW AS COUNSEL
    TO THE HONORABLE COURT OF APPEALS:
    Comes now, and RICHARD B. DULANY, JR., Assistant Public Defender,
    counsel for Appellant in the above-styled appeal, and respectfully requests
    permission to withdraw as counsel.
    I.
    The Bexar County Public Defender’s office was appointed on March 16,
    2015 to represent Appellant in this appeal from the revocation of probation in trial
    court case number 2010CR4791W, obtained upon Appellant’s plea of true to the
    trial court.
    II.
    Undersigned counsel has conducted a diligent review of the record and
    pertinent case law, and counsel finds the appeal to be wholly frivolous. Counsel
    has filed a brief pursuant to Anders v. California, 
    386 U.S. 738
    (1967) and High v.
    State, 
    573 S.W.2d 807
    (Tex.Crim.App. 1978), in which counsel relates that he has
    diligently searched the record and has failed to find any meritorious issues for
    review on appeal.
    III.
    Counsel has provided Appellant, by Certified Mail, a copy of the brief filed
    in this case, along with a letter outlining Appellant’s rights under Anders, including
    the right to review the appellate record and file a pro se brief.
    IV.
    Counsel has provided Appellant with a motion for pro se access to the
    appellate record to sign, date, and return to this Court for filing. See Kelly v. State,
    
    436 S.W.3d 313
    , 318-19 (Tex. Crim. App. 2014).
    V.
    Counsel has provided Appellant a copy of this Motion to Withdraw
    contemporaneously with filing of said brief.
    VI.
    For the above reasons, counsel respectfully requests permission to withdraw
    from further representation of Appellant.
    Respectfully submitted,
    /s/ Richard B. Dulany, Jr.
    ____________________________________
    RICHARD B. DULANY, JR.
    Assistant Public Defender
    Bexar County Public Defender’s Office
    101 W. Nueva St., Suite 370
    San Antonio, Texas 78205
    richard.dulany@bexar.org
    (210) 335-0701
    FAX (210) 335-0707
    Texas Bar No. 06196400
    ATTORNEY FOR APPELLANT
    CERTIFICATE OF SERVICE AND COMPLIANCE
    I HEREBY CERTIFY that a true and correct copy of the above and
    foregoing Motion To Withdraw as Counsel has been delivered electronically to the
    Bexar County District Attorney’s Office, Appellate Division, Paul Elizondo
    Tower, 101 Nueva St., Suite 710, San Antonio, Texas 78205, on June 24, 2015.
    I further certify that a true and correct copy of the foregoing motion was
    served upon Brandon Master, TDCJ# 01653759, Garza West Transfer Facility,
    4250 HWY 202, Beeville, TX 78102, by certified mail, return receipt requested,
    Article No. 7012 1640 0002 4217 6719, on June 24, 2015.
    This document contains 439 words.
    /s/ Richard B. Dulany, Jr.
    ____________________________________
    RICHARD B. DULANY, JR.
    

Document Info

Docket Number: 04-15-00100-CR

Filed Date: 6/24/2015

Precedential Status: Precedential

Modified Date: 9/28/2016