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Rene Francisco Aguilera v. State
13-14-00441-CR
Tex. App.
May 15, 2015
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Background

  • Appellant Rene Francisco Aguilera appeals a habeas corpus proceeding in the Thirteenth Court of Appeals seeking relief from a guilty judgment.
  • The underlying record includes Aguilera’s recantation and Ms. Lorena Martinez’s acceptance of responsibility as alleged new evidence.
  • The trial court denied the writ and issued credibility-based findings supporting continued conviction.
  • Appellant contends the credibility determinations were not properly supported and that new evidence requires relief.
  • Relief requested: vacate the judgment or remand for further habeas proceedings due to ineffective assistance of counsel and actual innocence.

Issues

Issue Plaintiff's Argument Defendant's Argument Held
Whether the trial court abused its discretion Aguilera argues factual findings lack record support State asserts deference to trial credibility findings is proper Not de novo: appellate review of record-supported credibility needed
Whether recantation constitutes new evidence Recantation and Martinez’s acknowledgment create new evidence No new evidence without credible corroboration Recantation is new evidence for innocence review
Whether Schlup claims apply given procedural posture Schlup may be used where actual innocence is shown, not procedurally barred Schlup must follow Herrera/Elizondo sequencing Schlup can apply; bar is direct-appeal, not habeas
Whether credibility of Miller forecloses Sixth Amendment analysis Totality of representation shows ineffective counsel regardless of Miller’s credibility Credibility should defer to court’s assessment Credibility not dispositive; totality of counsel evaluated
Whether counsel of record was required to advise on consequences of plea Ms. Miller had duty to personally confirm admonitions No personal duty if another attorney advised Duty cannot be delegated; affirmative fault shown

Key Cases Cited

  • Ex parte Reed, 271 S.W.3d 698 (Tex. Crim. App. 2008) (review of factual support for the record)
  • Ex parte Navarijo, 433 S.W.3d 558 (Tex. Crim. App. 2014) (fact-findings must be supported by the record)
  • Guzman v. State, 955 S.W.2d 85 (Tex. Crim. App. 1997) (deference to credibility determinations when record supports)
  • Ex parte Garcia, 353 S.W.3d 785 (Tex. Crim. App. 2011) (standard for review under Art. 11.07/11.072)
  • Schlup v. Delo, 513 U.S. 298 (U.S. Supreme Court 1995) (new evidence of innocence available after trial)
Read the full case

Case Details

Case Name: Rene Francisco Aguilera v. State
Court Name: Court of Appeals of Texas
Date Published: May 15, 2015
Docket Number: 13-14-00441-CR
Court Abbreviation: Tex. App.