Roland I. Odom v. State ( 2015 )


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  •                                                                                                ACCEPTED
    12-15-00151-CR
    TWELFTH COURT OF APPEALS
    TYLER, TEXAS
    8/31/2015 2:35:15 PM
    CATHY LUSK
    CLERK
    NO. 12-15-00151
    ROLAND ODOM                               § IN THE 12TH COURT OF APPEALS
    §                       FILED IN
    12th COURT OF APPEALS
    V.                                        § TYLER DIVISION TYLER, TEXAS
    §                8/31/2015 2:35:15 PM
    STATE OF TEXAS                            § STATE OF TEXAS CATHY S. LUSK
    Clerk
    COUNSEL’S MOTION TO WITHDRAW
    TO THE HONORABLE COURT OF APPEALS:
    NOW COMES Counsel, having file Appellant’s Brief finding no reversible
    errors, requests that he be allowed to withdraw from this appeal, pursuant to Rule 6.5
    of the Texas Rules of Appellate Procedure, and for same would show as follows:
    I.
    Anders Brief Filed:
    On 08-31-15, Counsel filed Appellant’s Brief and reporter to the appellate
    court there absence of a reversible error and the waiver of the appeal by Appellant.
    II.
    Deadlines & Settings:
    To Counsel’s knowledge, there are no hearing set in this matter and there have
    been no announcements of pending submission dates.
    III.
    Client’s Address:
    Mr. Odom last known address is:
    Roland I. Odom, Inmate No.: 00580038
    Joe F. Gurney Transfer Unit
    1385 FM 3328
    Palestine, Texas 75803
    1
    IV.
    Letter to Client:
    Counsel sent a copy of Appellant’s Brief to Appellant and explained
    Appellant’s rights regarding delivery of the records in the case; his right to object to
    Appellant’s Brief prepared by Counsel; and his right to submit his own Brief to this
    Court.
    V.
    Requested Relief:
    Counsel requests permission to withdraw from the representation of Appellant.
    VI.
    Conference:
    Counsel would show that he conferred with opposing counsel and this Request
    is presented as UNOPPOSED.
    VII.
    Certificate of Compliance (TRAP, Rule 9.4 (i)(3)):
    Counsel certified that this document was prepared using WORD format and
    the word-count in this documents is 364.
    Sten M.          Digitally signed by Sten M. Langsjoen
    DN: cn=Sten M. Langsjoen, o, ou,
    Langsjoen
    email=sten@langsjoenlaw.com, c=US
    Date: 2015.08.31 13:47:30 -05'00'
    _______________________________
    STEN M. LANGSJOEN
    2
    WHEREFORE, PREMISES CONSIDERED, Counsel requests that this
    Motion be granted.
    Respectfully submitted,
    Sten M.              Digitally signed by Sten M. Langsjoen
    DN: cn=Sten M. Langsjoen, o, ou,
    Langsjoen
    email=sten@langsjoenlaw.com, c=US
    Date: 2015.08.31 13:47:49 -05'00'
    _______________________________
    STEN M. LANGSJOEN
    Attorney for Appellant
    P.O. Box 539
    Tyler, Texas 75710
    Telephone: (903) 531-0171
    Telefax: (903) 531-0187
    TBA # 11922800
    CERTIFICATE OF SERVICE
    I certify that a true and correct copy of the foregoing was delivered by
    certified mail, return receipt requested, and/or by "fax" transmission and/or by
    hand-delivery to District Attorney, Cherokee County, Texas, and was delivered by
    certified mail, return receipt requested, and by regular mail to Inmate Roland
    Odom, on this 31st day of August 2015.
    Sten M.
    Digitally signed by Sten M.
    Langsjoen
    DN: cn=Sten M. Langsjoen, o, ou,
    Langsjoen
    email=sten@langsjoenlaw.com,
    c=US
    Date: 2015.08.31 13:48:09 -05'00'
    ____________________________
    STEN M. LANGSJOEN
    3
    

Document Info

Docket Number: 12-15-00151-CR

Filed Date: 8/31/2015

Precedential Status: Precedential

Modified Date: 9/29/2016