Vasquez, Richard ( 2015 )


Menu:
  •                                                                    WR-59,201-03
    COURT OF CRIMINAL APPEALS
    AUSTIN, TEXAS
    Transmitted 11/17/2015 11:23:32 AM
    Accepted 11/17/2015 12:55:29 PM
    ABEL ACOSTA
    WR 59,201-03                                                CLERK
    RECEIVED
    COURT OF CRIMINAL APPEALS
    EX PARTE RICHARD VASQUEZ                   11/17/2015
    ABEL ACOSTA, CLERK
    ***
    IN THE DISTRICT COURT
    148TH DISTRICT
    NUECES COUNTY, TEXAS
    Returnable to
    THE TEXAS COURT OF CRIMINAL APPEALS
    AUSTIN, TEXAS
    ***
    STATE’S MOTION TO LIFT STAY OF EXECUTION AND
    TO DISMISS AS ABUSIVE SUBSEQUENT 11.071
    APPLICATION FOR WRIT OF HABEAS CORPUS
    Douglas K. Norman
    State Bar No. 15078900
    Assistant District Attorney
    105th Judicial District of Texas
    901 Leopard, Room 206
    Corpus Christi, Texas 78401
    (361) 888-0410
    (361) 888-0399 (fax)
    douglas.norman@nuecesco.com
    Attorney for the State
    1
    WR-59,201-03
    EX PARTE                                      §   IN THE DISTRICT COURT
    §
    §   148TH JUDICIAL DISTRICT
    §
    RICHARD VASQUEZ                               §   NUECES COUNTY, TEXAS
    COMES NOW the State of Texas, by and through its Assistant District
    Attorney for the 105th Judicial District of Texas, and pursuant to Texas Code
    of Criminal Procedure arts. 11.071 and 11.073, files this motion to lift stay
    of execution and to dismiss as abusive the present subsequent application for
    writ of habeas corpus.
    By its order of April 20, 2015, this Court more than six months ago
    stayed Applicant’s execution, pending further order. No additional briefing
    was ordered, nor has the posture of the case changed in the interim. For the
    reasons expressed in its previously-filed motion to dismiss, the State
    respectfully requests the Court to revisit the issue of whether Applicant is
    entitled to relief in this matter.
    2
    PRAYER
    WHEREFORE, the State prays that the Court will lift stay of
    execution and dismiss as abusive the present subsequent application for writ
    of habeas corpus.
    Respectfully submitted,
    /s/ Douglas K. Norman
    ___________________
    Douglas K. Norman
    State Bar No. 15078900
    Assistant District Attorney
    105th Judicial District of Texas
    901 Leopard, Room 206
    Corpus Christi, Texas 78401
    (361) 888-0410
    (361) 888-0399 (fax)
    CERTIFICATE OF SERVICE
    This is to certify that a copy of this document was e-served on
    November 17, 2015, on Applicant’s attorneys, Mr. Andrew M. Edison,
    Andrew.edison@emhllp.com,          and      Mr.       James       Chambers,
    james.chambers@emhllp.com.
    /s/ Douglas K. Norman
    ___________________
    Douglas K. Norman
    3
    

Document Info

Docket Number: WR-59,201-03

Filed Date: 11/17/2015

Precedential Status: Precedential

Modified Date: 9/30/2016