Opinion

Travis Shane Brown v. State

Court
Court of Criminal Appeals of Texas
Filed
Jan 26, 2015
Status
Published
Cited by
0 cases

The opinion

ACCEPTED

06-14-00233-CR

SIXTH COURT OF APPEALS

TEXARKANA, TEXAS

1/23/2015 4:02:16 PM

DEBBIE AUTREY

CLERK

No. 06-14-00233-CR

TRAVIS SHANE BROWN § IN THE SIXTH DISTRICT

FILED IN

6th COURT OF APPEALS

TEXARKANA, TEXAS

V. § COURT OF1/26/2015

APPEALS 4:02:16 PM

DEBBIE AUTREY

THE STATE OF TEXAS § AT TEXARKANA, Clerk

TEXAS

ON APPEAL FROM

CRIMINAL DISTRICT COURT NO. 3

OF DALLAS COUNTY, TEXAS

IN CAUSE NO. F14-18343-J

MOTION TO WITHDRAW AS COUNSEL ON APPEAL

TO THE HONORABLE JUDGES OF SAID COURT:

COMES NOW the undersigned attorney, and respectfully requests that she

be discharged as the attorney of record for the Appellant. In support of this motion

the undersigned attorney would show the Court the following:

I.

The Appellate Division of the Dallas County Public Defender’s Office was

appointed by the trial court to represent Appellant in the appeal of this conviction.

The undersigned attorney is the attorney assigned to the case.

II.

After a full review of the record in this cause, the undersigned attorney is of

the opinion that there are no arguable points of error or issues upon which an

appeal can be predicated. The undersigned attorney has filed an Anders brief with

this Court in support of this motion to withdraw.

III.

The undersigned attorney has informed Appellant that, in her professional

opinion, the appeal is without merit. The undersigned attorney has also explained

that Appellant has the right to review the record and file a pro se brief if he so

desires and has sent Appellant a copy of the record. Appellant has also been

informed by the undersigned attorney that he may request an extension of time

from this Honorable Court to file a pro se brief if he so desires.

IV.

Appellant’s last known address is:

Travis Shane Brown

TDCJ #01958914

Hutchins State Jail

1500 East Langdon Road

Dallas, Texas 75241

WHEREFORE, PREMISES CONSIDERED, the undersigned attorney prays

that this Court will grant this Motion to Withdraw as Counsel on Appeal in the

above entitled and numbered cause.

Respectfully submitted,

Lynn Richardson

Chief Public Defender

/s/ Julie Woods

Julie Woods

Assistant Public Defender

State Bar No. 24046173

Frank Crowley Courts Building

133 N. Riverfront Blvd., LB-2

Dallas, Texas 75207-4399

(214) 653-3550 (telephone)

(214) 875-2363 (fax)

Julie.Woods@dallascounty.org

2

CERTIFICATE OF SERVICE

I hereby certify that a true copy of the foregoing motion was served on the

Dallas County Criminal District Attorney’s Office (Appellate Section), 133 N.

Riverfront Blvd., LB-19, 10th Floor, Dallas, Texas 75207, by eServe on January

23, 2015.

/s/ Julie Woods

Julie Woods

3

This is a copy of a public record, reproduced as it was published. It is not legal advice, and it may not be the version a court would rely on. Check the official source before you cite it.

A word about cookies

We need a few to keep you signed in and the library working. The rest help us see which pages people use and where they get stuck. They stay off unless you say yes.