OPINION ON REMAND FROM THE TEXAS COURT OF CRIMINAL APPEALS
Appellant was convicted of credit card abuse, and the trial court determined punishment at 10-years probation and a $2,000 fine. This Court affirmed that conviction with one justice dissenting. Olurebi v. State,
In his petition for discretionary review to the Court of Criminal Appeals, appellant argued that this Court erred in holding the trial court properly overruled his motion to quash the indictment for failure to define the term “fictitious credit card.” Olurebi,
The record reveals that the case was prosecuted and defended under the assumption that fictitious credit card meant a card issued to a nonexistent card holder. Chevron’s investigator, Jim Barnes, testified that Chevron issued the card to Wale Lawson. All of his testimony went to the falsifications on the credit card application and his investigation, which led him to appellant. Barnes never claimed that the card was not issued by Chevron.
The State’s case rested on the theory that appellant used a card belonging to a fictitious person in order to obtain property and services. Appellant presented a defense that tried to show that the card was not issued to a fictitious person. During trial, no one disagreed that Chevron had issued the card.
Therefore, we find that the trial court’s error in failing to quash the indictment, because it was ambiguous, had no impact on appellant’s ability to present his defense. Olwrebi,
We affirm the judgment.
