Guanche, Erik Santana ( 2015 )


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  •                                                                                        PD-0190-15
    COURT OF CRIMINAL APPEALS
    AUSTIN, TEXAS
    Transmitted 6/4/2015 12:18:28 PM
    Accepted 6/4/2015 1:58:50 PM
    ABEL ACOSTA
    NO. PD-0190-15                                                CLERK
    IN THE
    COURT OF CRIMINAL APPEALS
    OF TEXAS
    NO. 01-13-00851-CR
    IN THE COURT OF APPEALS
    FOR THE
    FIRST JUDICIAL DISTRICT OF TEXAS
    HOUSTON, TEXAS
    THE STATE OF TEXAS                        §         APPELLEE
    §
    V.                                        §
    §
    ERIC SANTANA GUANCHE                      §         APPELLANT
    APPEAL FROM COUNTY CRIMINAL COURT AT LAW NO. 7
    HOUSTON, TEXAS
    TRIAL COURT NO. 1869024
    APPELLANT’S MOTION FOR LEAVE EN BANC TO FILE MOTION FOR
    REHEARING EN BANC ON APPELLANT’S PETITION FOR
    DISCRETIONARY REVIEW
    Appellant asks the Court for leave En Banc to file the included out of time
    Motion for Rehearing En Banc of Appellant’s Petition for Discretionary Review.
    The purpose of this motion is to again urge the court to reconsider hearing this
    important case. Apart from issues in the Petition, there are very different legal
    interpretations between the legislative and executive branches of Texas
    government and the judicial branch in Texas.
    1                       June 4, 2015
    CONCLUSION AND PRAYER
    Wherefore, the appellant prays that this court grant this motion and allow
    Appellant to file the attached Motion as well.
    CERTIFICATE OF SERVICE
    This is to certify that a true and correct copy of the attached and foregoing
    document will be electronically served on the Harris County District Attorney and
    the State Prosecuting Attorney.
    Respectfully submitted,
    /S/ Rick Soliz
    Rick Soliz
    T.B.N. 00785013
    P.O. Box 4051
    Houston, Texas 77210
    713-228-1900
    Pro Bono Attorney for Appellant
    2
    NO. PD-0190-15
    IN THE
    COURT OF CRIMINAL APPEALS
    OF TEXAS
    NO. 01-13-00851-CR
    IN THE COURT OF APPEALS
    FOR THE
    FIRST JUDICIAL DISTRICT OF TEXAS
    HOUSTON, TEXAS
    THE STATE OF TEXAS                      §          APPELLEE
    §
    V.                                      §
    §
    ERIC SANTANA GUANCHE                    §          APPELLANT
    APPEAL FROM COUNTY CRIMINAL COURT AT LAW NO. 7
    HOUSTON, TEXAS
    TRIAL COURT NO. 1869024
    APPELLANT’S MOTION FOR REHEARING EN BANC ON
    APPELLANT’S PETITION FOR DISCRETIONARY REVIEW
    TO THE HONORABLE JUSTICES OF SAID COURT:
    NOW COMES, ERIC SANTANA GUANCHE, Appellant in the above
    entitled and numbered cause, by and through his attorney of record, Rick Soliz,
    and submits this Motion for Rehearing En Banc of Appellant’s Petition for
    Discretionary Review. For good cause, Appellant shows as follows. Appellant’s
    timely Motion for Extension of Time to file a Motion for Rehearing and Motions
    for Leave to File an out of time Motion for Rehearing have been denied (original
    3
    timely motion was denied after deadline to timely file motion for rehearing). The
    Texas legislative and executive branches have promulgated law that has been in
    existence approaching two decades. The law was reviewed and approved by both
    houses of government and signed by our governor. This law requires licensed
    court interpreters for court proceedings involving non English speaking people
    accused of crimes. Violation of such law is subject to up to one year in jail and a
    substantial fine as a class a misdemeanor. The Texas legislative and executive
    branches expect enforcement of such law and have not intended for any party or
    court to be above enforcement of this law or to be protected by any entity from
    abiding by this state’s criminal laws. Appellant has provided relevant case law and
    a memorandum from the United States Justice Department that supports the
    expectations of these two Texas branches.
    On the other side of the issue, the court below disagrees with those two branches of
    government. The court below interprets such plain language of the law to mean
    that Harris County Court number seven is exempt from this criminal law and its
    punishment and may utilize unlicensed court interpreters in proceedings specified
    as mandatory by this Texas law (applicable Texas Government Code section as
    briefed in the petition for discretionary review). The court below sees no issue
    with Harris County Court number seven violating criminal law daily and utilizing
    4
    unlicensed interpreters in court proceedings thousands of times over many years.
    The court below, resides in Harris County, Texas, and members are not racially
    diverse as are the other two branches of government. Moreover, the court’s
    members have substantial contacts with Harris County courts, and do not believe
    that this infestation of crime, in the atmosphere of court number seven, affects the
    due process rights of Appellant or any Spanish speaking minority defendant
    accused of a crime. This illegal conduct does in fact deprive Appellant and most
    Spanish speaking racial minorities of their due process rights.
    Counsel hereby certifies that these circumstances and grounds are significant
    and without this court’s intervention and guidance, the issue will remain in conflict
    among the different arms of Texas government and our United States government.
    Finally, Appellant certifies his Motion is not made for delay, but made in
    good faith to see that justice is done.
    CONCLUSION AND PRAYER
    Wherefore, the appellant prays that this court grant this motion and allow
    Appellant to file his Motion for Rehearing En Banc of his Petition for
    Discretionary Review.
    5
    CERTIFICATE OF SERVICE
    This is to certify that a true and correct copy of the attached and foregoing
    document will be electronically served on the Harris County District Attorney and
    the State Prosecuting Attorney.
    Respectfully submitted,
    /S/ Rick Soliz
    Rick Soliz
    T.B.N. 00785013
    P.O. Box 4051
    Houston, Texas 77210
    713-228-1900
    Pro Bono Attorney for Appellant
    6
    

Document Info

Docket Number: PD-0190-15

Filed Date: 6/4/2015

Precedential Status: Precedential

Modified Date: 9/29/2016