Case Information
*0 FILED IN 12th COURT OF APPEALS TYLER, TEXAS 3/2/2015 2:28:28 PM CATHY S. LUSK Clerk *1 ACCEPTED 12-14-00366-CR TWELFTH COURT OF APPEALS TYLER, TEXAS 3/2/2015 2:28:28 PM CATHY LUSK CLERK
IN THE COURT OF APPEALS THE TWELFTH DISTRICT OF TEXAS TYLER, TEXAS ELIJAH BROWN CASE NO. 12-14-00366-CR
12-14-00367-CR
V. TRIAL COURT NO
10161-A THE STATE OF TEXAS 10078-A
APPEALED FROM THE 411 TH DISTRICT COURT OF TRINITY COUNTY, TEXAS THE HONORABLE KAYCEE JONES, JUDGE PRESIDING MOTION TO WITHDRAW TO THE HONORABLE COURT OF APPEALS;
COMES NOW, John D. Reeves, court appointed attorney on appeal for ELIJA BROWN Appellant, and pursuant to. Anders v. California, 386 U.S. 738,
87 S. Ct. 1396, 18 L.Ed.2d 493 (1967) and Gainous v. State, 436 S.W.2d 137 (Tex.
Crim. App. 1969). and Stafford v. State 813 S.W. 2d 503 (Tex. Crim. App. 1999),
files this Motion to Withdraw, and for good cause shows this Honorable Court the
following:
I . FACTS 1. Appellant Elijah Brown was placed on a five years deferred adjudication
probation for burglary of a habitation in cause no 10161- A and five 5 years
deferred adjudication for burglary of a habitation in 10078-A on April 15, 2014.
2. The Trinity County District Attorney’s office filed a Motion to Adjudicate in
each case on August 12, 2014 alleging eight violations of probation allegedly
committed by the appellant.
3. Appellant Elijah Brown entered a plea of not true to the allegations contained in
the State’s Motion to Adjudicate on September 30 th , 2014.
4. The trial court conducted a hearing on both cases and adjudicated the
appellant guilty and sentenced Elijah Brown to 12 years in the TDCJ-ID in both
cases to run concurrent on October 30 th , 2014.
5. On September 30 th , 2014 an Order appointing John D. Reeves as appellate
counsel was entered by the trial court.
6. Mailed on October 30 th , 2014 but not filed by the Trinity Court Clerk until
November 4 th , 2014 appeal counsel filed a Notice of Appeal.
7. On October 14 th , 2014 a request for the Clerk and Reporters records was
requested.
8. The Clerks Record was received by this Court on December 30, 2014.
9.On March 2, 2014 counsel for Appeal counsel filed an Anders brief on behalf of
Appellant with this Honorable Court, and forwarded a copy of the brief to
appellant explaining his rights regarding pro se brief.
II. ARGUMENT 9. In accordance with the requirements of Anders v. California, 386 U.S. 738, 87
S. Ct. 1396, 18 L.Ed.2d 493 (1967) and Gainous v. State, 436 S.W.2d 137 (Tex.
Crim. App. 1969). and Stafford v. State 813 S.W. 2d 503 (Tex. Crim. App. 1999),
counsel for Elijah Brown requests this Honorable Court to allow him to withdraw.
10. Appellant’s address is:
Elijah Brown
Travis State Jail TDC # 01955555
8109 FM 969
Austin, Texas 78724 11. Counsel for Appellant has forwarded a copy of the Anders brief to Appellant.
12. Good cause exists to relieve counsel, John D. Reeves, counsel for Appellant
from his representation of appellant Elijah Brown. Specifically, counsel for
Appellant can find no arguable grounds to support an appeal and finds after a
thorough review of the record that any issue brought forth would be without merit
and frivolous.
III. PRAYER WHEREFORE, PREMISES CONSIDERED, counsel for Appellant prays that this
Honorable Court grant his Motion to Withdraw without harm to the rights
guaranteed Elijah Brown by the United States Constitution and the Constitution of
the State of Texas.
Respectfully Submitted, /s/John D. Reeves John D. Reeves SBN # 16723000 1007 Grant Avenue Lufkin, Texas 75901 Ph: (936) 632-1609 Fax: (936) 632-1640 Email: tessabellus@yahoo.com CERTIFICATE OF SERVICE I hereby certify that on the foregoing instrument was served on this the 2 nd day of
March 2015 to the following counsel and parties of record.
Mr. Benny L. Schiro /s/John D. Reeves
Trinity County District Attorney _______________________
P.O. Box 400 John D. Reeves
Groveton, Texas 75845
Via electronic service
bennie.schiro@co.trinity.tx.us
Elijah Brown VIA CERTIFIED MAIL
Travis State Jail RETURN RECEIPT REQUESTED
TDC # 0195555 7014 0150 0001 1143 6985
8101 FM 969
Austin, Texas 78724
