Stevenson, Eric Dwayne ( 2015 )


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  •                                                                                         PD-0122-15
    COURT OF CRIMINAL APPEALS
    AUSTIN, TEXAS
    Transmitted 8/25/2015 10:25:01 AM
    Accepted 8/25/2015 10:28:31 AM
    IN THE COURT OF CRIMINAL APPEALS                                     ABELAC°erk
    OF TEXAS
    FILED IN
    COURT OF CRIMINAL APPEALS
    ERIC DWAYNE STEVENSON,
    August 25, 2015
    APPELLANT
    R                                 ABELACOSTA, CLERK
    V.                                     §        NO. PD-0122-15
    THE STATE OF TEXAS,                    §
    APPELLEE                           §
    STATE'S MOTION FOR LEAVE TO FILE A POST-SUBMISSION
    SUPPLEMENTAL BRIEF
    TO THE HONORABLE COURT OF CRIMINAL APPEALS:
    COMES NOW, the State of Texas, pursuant to Texas Rule of
    Appellate Procedure 70.4, and files this motion for leave to file a
    post-submission supplemental brief.         In support of its motion, the State
    would show the Court the following:
    Both parties have filed their briefs and this cause was submitted on
    August 5, 2015.
    II.
    The State requests leave to file a supplemental brief in order to apprise
    the Court of recent changes by the Texas Legislature to the statutory
    language for criminally prosecuting sexually violent predators for violating
    their   civil   commitment   requirements   which   impact    the   appellant's
    convictions.    See 2015 Tex. Sess. Law Serv. Ch. 845 (S.B. 746) §13 (to be
    codified at Tex. Health & Safety Code Ann. § 841.082(a)) & 2015 Tex. Sess.
    Law Serv. Ch, 845 (S.B. 746) §19 (to be codified at Tex. Health & Safety
    Code Ann. §841.085(a)).
    WHEREFORE, PREMISES CONSIDERED, the State prays that the
    Court grant this motion for leave to file the State's post-submission
    supplemental brief and that the Court file the State's post-submission
    supplemental brief.
    Respectfully submitted,
    SHAREN WILSON
    Criminal District Attorney
    Tarrant County, Texas
    DEBRA WINDSOR
    Chief, Post-Conviction
    /s/ Steven W. Conder
    Criminal District Attorney
    401 W. Belknap
    Fort Worth, Texas 76196-0201
    (817)884-1687
    FAX (817) 884-1672
    State Bar No. 04656510
    COAAppellatealerts@tarrantcountvtx.qov
    CERTIFICATE OF SERVICE
    True copies of the State's post-submission supplemental brief have
    been electronically served on opposing counsel, the Hon. Scott Walker
    (scott(5)lawverwalker.com), 222 W. Exchange Avenue, Fort Worth, Texas
    76164; and the State Prosecuting Attorney, the Hon. Lisa McMinn
    (information@spa.texas.gov), P.O. Box 13046, Austin, Texas 78711-3046,
    on this, the 25th day of August, 2015.
    /s/ Steven W. Conder
    STEVEN W. CONDER
    d 8.Stevenson eric dwayne.mi/leave to supplement
    

Document Info

Docket Number: PD-0122-15

Filed Date: 8/25/2015

Precedential Status: Precedential

Modified Date: 9/29/2016