*1 IN THE COURT OF CRIMINAL APPEALS OF TEXAS FILED IN
COURT OF CRIMINAL APPEALS March 24, 20l£ JOEY FAUST, Appellant ABEL ACOSTA, CLERK § NO. PD-0893-14 §
THE STATE OF TEXAS, Appellee §
RAMON MARROQUIN, Appellant §
§ NO. PD-0894-14 §
THE STATE OF TEXAS, Appellee §
ON DISCRETIONARY REVIEW OF CAUSE NUMBERS
02-13-00222-CR and 02-13-00223-CR IN THE COURT OF APPEALS FOR THE SECOND DISTRICT OF TEXAS
APPELLANTS' MOTION FOR LEAVE TO FILE
APPELLANTS' POST-SUBMISSION BRIEF
(817) 338-4900/Fax (817)332-6818 *2 STATEMENT OF HELPFULNESS
OF POST-SUBMISSION BRIEF During oral argument several questions were asked about other court opinions related to certain issues before the Court in this appeal. A post- submission brief provides the Court with answers to those questions citing, pertinent language from the opinions the Court inquired about. Furthermore, the sincere questions of the Court indicate a desire to fully understand the relationship of First Amendment speech protection as it applies to proper law enforcement to protect public tranquility and safety.
WHEREFORE, PREMISES CONSIDERED, Appellants Joey Faust and Ramon Marroquin respectfully pray that the Court grant leave to file Appellant's Post-Submission Brief.
Respectfully submitted, Telephone: (817) 338-4900 Facsimile: (817)332-6818 JOEY DARRELL FAUST AND RAMON MARROQUIN *3 CERTIFICATE OF SERVICE
A true and correct copy of Appellant's Motion for Leave to File Post- Submission Brief has been served on Charles M. Mallin, Assistant Tarrant County District Attorney, 401 W. Belknap St., Fort Worth, Texas 76196-0201, on this 23rd
day of March, 2015, via electronic mail.
J. Shelby Sharpe
