Carter, Brandon Jay ( 2015 )


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  •                                                                      WR-83,286-01,02
    DOCKET NO. __________
    IN THE                             RECEIVED
    COURT OF CRIMINAL APPEALS             COURT OF CRIMINAL APPEALS
    5/15/2015
    AT AUSTIN, TEXAS                    ABEL ACOSTA, CLERK
    IN RE:
    BRANDON JAY CARTER,
    Relator
    MOTION FOR LEAVE TO FILE
    PETITION FOR WRIT OF MANDAMUS AND
    WRIT OF PROHIBITION
    TO THE HONORABLE COURT OF CRIMINAL APPEALS:
    Brandon Jay Carter, 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
    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
    1
    a hearing.
    3.     Relator suggests that this issue is of great importance, not only to
    him, but to the criminal jurisprudence of Texas.
    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.
    Respectfully submitted,
    /s/ D. Chris Hesse
    David Christopher Hesse
    S.B.O.T. # 24049081
    112 West 8th Avenue, Suite 301
    Amarillo, Texas 79101
    Tel: (806) 350-6785
    Fax: (806) 350-6786
    Chris@PanhandleCriminalDefense.Attorney
    Attorney for Relator, Brandon Jay Carter
    Of Counsel:
    L.T. “Butch” Bradt #02841600
    14015 Southwest Freeway, Suite 4
    Sugar Land, Texas 77478
    (281) 201-0700
    Fax: (281) 201-1202
    ltbradt@flash.net
    Michael Mowla #24048680
    445 E. FM 1382 #3-718
    Cedar Hill, Texas 75104
    (972) 795-2401
    Fax: (972) 692-6636
    2
    michael@mowlalaw.com
    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:
    Honorable Thomas R. Culver, III
    240TH Judicial District Court
    Fort Bend County Justice Center
    1422 Eugene Heimann Circle
    Courtroom: Room 3E
    Richmond, Texas 77469
    Becky.Fisher@fortbendcountytx.gov
    John F. Healey, Jr., District Attorney
    Gail Kikawa McConnell, Ass’t District Attorney
    1422 Eugene Heimann Circle
    Richmond, TX 77469
    Gail.McConnell@fortbendcountytx.gov
    Harris S. Wood, Jr.
    701 North Post Oak Road #425
    Houston, Texas 77024
    Fax: (281) 579-1586
    hwoodatty@yahoo.com
    On May 11, 2015.
    /s/ D. Chris Hesse
    D. Chris Hesse
    3
    

Document Info

Docket Number: WR-83,286-01

Filed Date: 5/15/2015

Precedential Status: Precedential

Modified Date: 9/29/2016