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WR-82,772-03 COURT OF CRIMINAL APPEALS AUSTIN, TEXAS Transmitted 3/17/2015 8:18:52 AM Accepted 3/19/2015 1:32:54 PM ABEL ACOSTA CLERK Nos. 82,772-01, 82,772-01 and 82,772-03 RECEIVED COURT OF CRIMINAL APPEALS EX PARTE § IN THE COURT OF CRIMINAL 3/19/2015 ABEL ACOSTA, CLERK § DONALD LEE GRAY § APPEALS OF TEXAS MOTION FOR REMAND To the Honorable Judges of the Court of Criminal Appeals: Donald Gray, petitioner, respectfully asks the Court to remand to the district court for consideration of his affidavit confirming restraint. As explained in his brief, Gray seeks habeas relief from three convictions for improper photography, Penal Code section 21.15, declared unconstitutional by the Court last year. Gray’s continuing restraint affidavit was filed after the district court signed adverse findings and conclusions but before the record was send to the Court. Remand is appropriate to permit the district court to evaluate the affidavit. The State’s answer to the petition recognizes that the Court has held the statute unconstitutional and appears to concede the writ would be granted, but for the affidavit of restraint. Alternatively, in the interests of judicial economy, the Court can grant the writ on the basis of Gray’s affidavit. If denied, Gray would be 1 permitted to file a successor writ under section 4(a)(2) of article 11.07, the actual innocence provision. Section 4(a)(2) allows a successor writ if the individual is actually innocent of a Penal Code violation, without any other restrictions. Here, the improper photography statute has been declared unconstitutional and therefore any conviction would be void ab initio. It would seem, therefore, that he can satisfy section 4(a)(2). An example appears in Ex parte Knipp,
236 S.W.3d 214(Tex. Crim. App. 2007), in which Court unanimously granted a successor writ under section 4(a)(2) on a double jeopardy claim that rendered the conviction invalid from inception. Gray’s position appears identical. Respectfully submitted this 16 day of March 2015, /s/ James W. Volberding ______________________________ JAMES W. VOLBERDING SBN: 00786313 First Place 100 E. Ferguson Street Suite 500 Tyler, Texas 75702 (903) 597-6622 (866) 398-6883 (fax) e-mail: jamesvolberding@gmail.com Counsel for Donald Lee Gray 2 Certificate of Compliance Pursuant to Rule 73.1(f), I hereby certify that this pleading contains 252 words, measured in MS Word for MAC version 14.3.6. /s/ James W. Volberding ____________________________________ JAMES W. VOLBERDING CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of this pleading has been delivered this 16 day of March 2015 to: Smith County District Attorney 101 N. Broadway, Fourth Floor Tyler, TX 75702 by the following means: _____ By U.S. Postal Service Certified Mail, R.R.R. _____ By First Class U.S. Mail _____ By Special Courier _______________________ _X___ By Hand Delivery _____ By Fax before 5 p.m. _____ By Fax after 5 p.m. _X___ By Electronic Filing. /s/ James W. Volberding ____________________________________ JAMES W. VOLBERDING 3
Document Info
Docket Number: WR-82,772-03
Filed Date: 3/19/2015
Precedential Status: Precedential
Modified Date: 9/29/2016