Case Information
*0 FILED IN 5th COURT OF APPEALS DALLAS, TEXAS 9/1/2015 8:58:57 AM LISA MATZ Clerk *1 ACCEPTED 05-15-00687-CR FIFTH COURT OF APPEALS DALLAS, TEXAS 9/1/2015 8:58:57 AM LISA MATZ CLERK NO. 5-15-00687 UNITED STATES COURT OF APPEALS
FOR THE FIFTH CIRCUIT
DALLAS, TEXAS CHRISTY ALLANE RODRIGUEZ, Appellant
V.
THE STATE OF TEXAS, Appellee
From the 397 th Judicial District Court,
Grayson County, Texas, Trial Court Cause No.: 064768
* * * * * APPELLATE COUNSEL’S MOTION TO WITHDRAW
* * * * * September 1, 2015 MATTHEW D. HAMILTON
Bar I.D. No. 24073146 Counsel for Appellant 123 W. HOUSTON Street
903/892-8500 (Telephone)
903/892-8550 (Facsimile) *2 NO. 5-15-00687 UNITED STATES COURT OF APPEALS
FOR THE FIFTH CIRCUIT
DALLAS, TEXAS CHRISTY ALLANE RODRIGUEZ, §
Appellant. §
§ V. § CASE NO. 5-15-00687
§ THE STATE OF TEXAS, §
Appellee. §
ON APPEAL FROM THE
397 th Judicial District Court,
Grayson County, Texas, Trial Court Cause No.: 064768
* * * * * APPELLANT COUNSEL’S MOTION TO WITHDRAW
* * * * * TO THE HONORABLE COURT OF APPEALS, FIFTH DISTRICT OF TEXAS
AT DALLAS:
Comes now, MATTHEW D. HAMILTON, counsel for the Appellant, move
this Court for an Order allowing counsel to withdraw as appellate counsel of record
for CHRISTY ALLANE RODRIGUEZ. In support of this motion, Counsel would
show the Court that based on his professional evaluation of the record, and
concluded that no reversible error or jurisdictional defects were present and that
there were no arguable issues for appeal. Because counsel is unable to raise any
arguable issues for appeal, they are required to move for leave to withdraw. See
Stafford v. State , 813 S.W.2d 503 (Tex.Crim.App. 1991).
WHEREFORE, the above premises considered, it is requested that appellate
counsel be granted leave to withdraw on these grounds.
Respectfully submitted, ROBERT T. JARVIS LAW FIRM 123 W. HOUSTON Tel: (903) 892-8500 Fax: (903) 892-8550 By:___ /S/Matthew D. Hamilton MATTHEW D. HAMILTON Texas State Bar No. 24073146 Counsel for the Appellant, CHRISTY ALLANE RODRIGUEZ *4 Certificate of Service I hereby certify that on the 1 ST day of September, 2015, a true and correct copy
of the Appellate Counsel’s Motion to Withdraw was delivered to the following:
Via Facsimile
Mrs. Karla Baugh Hackett
Grayson County District Attorney’s Office
200 S. Crockett
/S/Matthew D. Hamilton MATTHEW D. HAMILTON
