Williams, Helene Marie ( 2015 )


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  •                                                                                         WR-83,529-02
    COURT OF CRIMINAL APPEALS
    AUSTIN, TEXAS
    Transmitted 7/28/2015 4:59:03 PM
    Accepted 7/29/2015 8:18:56 AM
    ABEL ACOSTA
    No. WR-83,529-02                                        CLERK
    IN THE COURT OF CRIMINAL APPEALS OF TEXAS
    RECEIVED
    COURT OF CRIMINAL APPEALS
    7/29/2015
    ABEL ACOSTA, CLERK
    AMENDED APPLICATION FOR A WRIT OF HABEAS CORPUS
    SEEKING RELIEF FROM TWO FELONY CONVICTIONS
    35th Judicial District Court of Mills County, Texas
    Cause Numbers 2787 and 2788
    The Honorable Judge Stephen Ellis, Presiding
    Ex Parte Helene Marie Williams, Applicant
    To the Honorable Court of Criminal Appeals:
    This application is filed under Article 11.07 of the Code of Criminal
    Procedure, seeking relief from two felony convictions that occurred on the same
    day, August 14, 2013, in the same court. Trial counsel informed applicant that she
    would be eligible for good conduct time, and she is not, so her plea was
    involuntary.
    Memorandum of Law in Support of 11.07 Applications
    Respectfully submitted,
    Landon Northcutt, 166 S. Belknap
    Stephenville, Texas 76401
    Phone 254-968-2613, fax 254-968-5402
    SBN 24014544
    Attorney for Applicant-Helene Marie Williams
    Application for Writ of Habeas Corpus for Helene Marie Williams                      Page 1
    Identity of Parties and Counsel
    Applicant                                Helene Marie Williams
    Appointed Trial Counsel                  Larry Meadows
    Appellate Counsel                        Landon Northcutt
    Prosecutor                               Sam C. Moss
    Table of Contents
    Identity of Parties and Counsel                                              2
    Index of Authorities                                                         3
    Statement of the Case                                                        4
    Issue Presented                                                              4
    Trial Counsel told the Applicant she was eligible for early release on parole when
    she is not, and her plea was therefore involuntary.
    Statement of Facts                                                           5
    Summary of the Argument                                                      6
    Argument                                                                     7
    Prayer for Relief                                                            10
    Certificate of Service                                                         10
    Application for Writ of Habeas Corpus for Helene Marie Williams                  Page 2
    Index of Authorities
    Statutes:
    Texas Government Code
    § 508.145(d)                                                             7
    § 508.145(e)                                                             8
    Treatises:
    Performance Guidelines for Non-Capital Criminal Defense Representation
    Texas Bar Journal, Volume 74, No. 7, pages 616 to 637                    8
    Application for Writ of Habeas Corpus for Helene Marie Williams              Page 3
    Statement of the Case
    Applicant pled true on August 14, 2013 to portions of a motion to revoke
    probation in Cause No. 2787, a two count indictment charging Indecency with a
    Child. Pursuant to a plea agreement, the Trial Court sentenced her to eight years in
    the Institutional Division-TDCJ.
    On the same day, Applicant pled true to portions of a motion to revoke
    probation in Cause No. 2788, a one count indictment charging Sexual Assault.
    Pursuant to a plea agreement, the Trial Court sentenced her to eight years in the
    Institutional Division-TDCJ.
    Also that day, Applicant plead guilty to the offense of possession of a
    Controlled Substance-Drug Free Zone, Cause No. 2931, pursuant to a plea
    agreement, the Trial Court sentenced her to four years in the Institutional Division-
    TDCJ.
    Applicant is presently confined in the Murray Unit, 1916 North Highway 36
    Bypass, Gatesville, Texas 76596 as inmate # 01878697. Her date of birth is
    December 23, 1988, and she is not eligible for good conduct time.
    Application for Writ of Habeas Corpus for Helene Marie Williams                   Page 4
    Issue Presented
    Applicant received ineffective assistance of counsel in the revocation
    proceeding, in that her court appointed attorney did not property inform her of her
    rights and options. Applicant is not parole eligible for her indecency with a child
    conviction and her conviction for possession in a drug free zone, so she also
    received ineffective assistance of counsel in that plea, so her plea is involuntary.
    Statement of Facts
    The motions to proceed with an adjudication of guilt, provided that the
    Defendant violated various terms of her deferred adjudication probation. See
    Appendix A and Appendix B Motions to Proceed with Adjudication of Guilt.
    Before Applicant plead true to the motions to proceed, she received incorrect
    advice from her court appointed attorney. See Appendix C Affidavit of Helene
    Marie Williams. Her affidavit provides:
    My court-appointed lawyer on my revocation was Larry Meadows. He came to
    see me in county and after our introductions he told me I was looking at 5
    years. A short time later my discovery packet was sent to me with my offer of
    8 years. I called Mr. Meadows and told him that I would agree to shock
    probation, or SAFP, or 2-3 years in prison but not 8 years. He said he would
    Application for Writ of Habeas Corpus for Helene Marie Williams                   Page 5
    see what he could do. Next time we talked was on my court date August 14,
    2013. He pulled me aside and said the DA stayed at 8 but offered me 4 for my
    possession of controlled substance in a drug free zone. He told me I would
    come up for parole in 18 months or so and he also promised that I would not
    spend more than four years in prison. He said the DA would not come down
    anymore so I signed.
    My 8 years turned out to be a 3g offense so I have to do at least 4 years on it
    to even qualify for parole. It is possible that I will spend anywhere from 5-8
    years in prison.
    Affidavit of Helene Marie Williams, Appendix D.
    The conviction for possession in a drug free zone does not provide for early
    parole. See Appendix E, Judgment of Conviction by Court for Possession of a
    Controlled Substance-Drug Free Zone.
    Summary of the Argument
    Court appointed trial counsel did not inform Applicant that she had a right to a
    hearing. He told her that the sentence offered in cause No. 2787 would not be a 3g
    offense, when it is a 3g offense. He did not tell her that possession in a drug free
    zone requires a five year minimum sentence or the actual time served before
    eligibility for parole is available. This is ineffective assistance of counsel, and
    Application for Writ of Habeas Corpus for Helene Marie Williams                  Page 6
    Applicant’s convictions should be set aside and new punishment hearings should
    be held.
    Argument
    “An inmate serving a sentence for an offense described by Section
    3g(a)(1)(A), (C), (D), (E), (F), (G), (H), (I), (J), (K), (L), or (M), or (N), Article
    42.12, Code of Criminal Procedure, an offense for which the judgment contains an
    affirmative finding under Section 3g(a)(2) of that article, an offense under Section
    20A.03, Penal Code, or an offense under Section 71.02 or 71.023, Penal Code, is
    not eligible for release on parole until the inmate's actual calendar time served,
    without consideration of good conduct time, equals one-half of the sentence or 30
    calendar years, whichever is less, but in no event is the inmate eligible for release
    on parole in less than two calendar years.” Tx. Govt. Code §508.145(d).
    Indecency with a child is an offense for which good conduct time does not
    enter into the calculations for parole eligibility. Trial counsel gave the Applicant
    unacceptable legal advice, which in turn caused Applicant to accept an erroneous
    plea agreement.
    “An inmate serving a sentence for which the punishment is increased under
    Section 481.134, Health and Safety Code, is not eligible for release on parole until
    the inmate's actual calendar time served, without consideration of good conduct
    Application for Writ of Habeas Corpus for Helene Marie Williams                 Page 7
    time, equals five years or the term to which the inmate was sentenced, whichever is
    less.” Tx. Gov’t. Code §508.145(e).
    Possession in a drug free zone is an offense for which good conduct time
    does not enter into the calculations for parole eligibility. Trial counsel gave more
    unacceptable legal advice.
    The State Bar of Texas developed and adopted Performance Guidelines for
    Non-Capital Criminal Defense Representation in January of 2011. The Guidelines
    were published in the Texas Bar Journal, Volume 74, No. 7, pages 616 to 637, in
    the July 2011 issue. “The Guidelines are not disciplinary rules nor are they black
    and-white standards for the judicial evaluation of ineffective assistance. They are,
    instead, a set of tools to be used by criminal defense lawyers, judges, and county
    officials to improve our criminal justice system.” Guidelines at p 617.
    The Guidelines provide, in relation to a lawyers duty in plea negations, as
    follows: (beginning at page 627):
    Guideline 6.2 The Contents of the Negotiations
    Application for Writ of Habeas Corpus for Helene Marie Williams               Page 8
    A. In conducting plea negotiations, counsel should attempt to become familiar with
    any practices and policies of the particular jurisdiction, judge, and prosecution that
    may impact the content and likely results of a negotiated plea agreement.
    B. In order to develop an overall negotiation plan, counsel should be fully aware
    of, and make the client fully aware of:
    1. The minimum and maximum term of imprisonment and fine or restitution that
    may be ordered, any mandatory punishment, and the possibility of forfeiture of
    assets;
    2. The potential for recidivist sentencing, including habitual offender statutes and
    sentencing enhancements, and all other applicable sentencing statutes or case law;
    the client must comply in order to avoid revocation or adjudication;
    3. The effects of good-time or earned-time credits on the sentence of the client, the
    period that must be served according to statute before the client becomes eligible
    for parole, and the general range of sentences for similar offenses committed by
    defendants with similar backgrounds; .
    Application for Writ of Habeas Corpus for Helene Marie Williams                 Page 9
    Counsel gave Applicant defective advice, and she accepted a plea based on
    incorrect advice. The plea was therefore involuntary to possession in a drug-free
    zone.
    Prayer
    Applicant requests that her conviction for indecency with a child and
    possession in a drug-free zone be set aside, and that her cases be remanded to the
    trial court for re-consideration of the motion to revoke her deferred adjudication
    probation and for resentencing on the possession in a drug-free zone.
    Respectfully submitted,
    /s/ Landon Northcutt
    Landon Northcutt, 166 S. Belknap
    Stephenville, Texas 76401
    Phone 254-968-2613, fax 254-968-5402
    SBN 24014544
    Application for Writ of Habeas Corpus for Helene Marie Williams                 Page 10
    Certificate of Service
    A copy of this document was delivered to:
    Appellant:                               Helene Marie Williams, TDC # 01878697
    Murray Unit, 1916 North Hwy 36 Bypass
    Gatesville, Texas 76596
    State’s Attorney                                 Sam C. Moss, District Attorney
    Brown County DA’s Office
    Courthouse
    Brownwood, Texas 76801
    Dated:          July 28, 2015                    ____/s/ Landon Northcutt________
    Landon Northcutt
    Application for Writ of Habeas Corpus for Helene Marie Williams                           Page 11
    

Document Info

Docket Number: WR-83,529-02

Filed Date: 7/29/2015

Precedential Status: Precedential

Modified Date: 9/29/2016