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Patrick Heaney v. State
03-16-00610-CR
| Tex. App. | Oct 4, 2016
|
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Case Information

*1 TRIAL COURT CASE No. 1:DIDC-14-205206 CASE OF APPENDIX NO. 1: 03-16-00610 CR October 4, 2016 The State of Texas OCT 042016 TWO Sick Heavily DETHEST G RULE To the HAGGARD SUSTICES OF SAID COURT:

COMES MAJ, PATRICK HEANEV, APPELLANT and ASSpectfully ASK the COURT to compel the District Clerk of the 403rd District Court in Travis County to file records as requested, for they pertains to my defence. Rewant to Texas Sales of appellate procedure, File 345 and no page 8 of appellants Appell N03127, DEDEP Appellate Record; portions of record will subsistentiate claims made during my case and their not having been introduced, proves that this defendant was obtained by the District Clerk. Legal Duty imposed on office holders is "duty related to official's office" and willful violations of such duty comes withio definition of "official misconduct." Appellant is being denied Due Process of Law by the District Clerk deny ing appellant The opportunity to be heard DISCAlt Court Round 5, 14: The Process as used is state and federal constitutions, welches and means that as accused shall, is a criminal case, be accorded that fundamental fairness necessary to due administration of Justice. Appellant is being denied due Process which is assented to the very concept of Justice Veress's Law. Texas Court, Act 1319, 229p.24-25, State 773 5W-2d, 730. Thus causing a Jurisdictional matter is the Courts. Appellant request the Court to compel The Court Clerk to respond to appellant's corros ponderance pursuat to Tex. 8de d App 7, 345 (1d) dated 9-20-16 to Ms. Velun Price, Tex. 8 App 24-6 (63(1) dated 9-20-16 to Ms. Roeanne Davenport, and 'Relings requested as Appellants N0711E of APPENDI and MONDO FOR USU TRIAL corrospondence dated 9-21-16 to Ms. Kamala White 408 District Court coordinator, Appellant has shown his due diligence to develope the appellate record, the office holders of the 403rd District Court whose duty to conform to particular standard of conduct have violated appellant's protected rights. Appellant has is his possession document, finds that are not in the record which would support points of error in regard to his involuntary plan allegation and ask this Court to compel The Havorable Brade Kennedy, Judge of the 403rd District Court to 84d, as Appellants MONDO FOR USU TRIAL, which is properly before the court, and appellant has requested a ruling of this mention as required by Id de Blakaday 254 5W-3d, 659, 661 (2008), and Id de Millarceal 96 5W-3d 708, 710 (2003). The above notice of APPELLANT and MONDO FOR USU TRIAL were filed in the 403rd District Court through the Court of Appell, Third District of Texas, which shows this court that these documents were properly filed and pending before the 403rd District Court. The 403rd District Court and its officials it have to correspond with appellants

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II.

The Documents requested have been shown to this court previously as recently as 9-26-16: visit of Maddamess - Rehearing No. 03-16-00154. CV by appellant. Appellant received those documents through the State Bor of Texms, and they show that the State did not follow stipulations agreed to with appellant concerning the disjugent of causes DISC. 14. 301810; DISC. 14. 400226; DISC. 14. 400227. Therefore, the plan was witnessing or involuntary. Texms Court code and 22.10864 also Elowes v. State 935 30.2d. at 133; and North Leachin v. Alford 4000525,31, 913ct.149164. Appellant requests those documents to be made part of appellate record.

III.

Appellant was requested Court appointed counsel pursugut to Article 1051 Texms Code of Criminal Procedure is his Notice of Appeal, he has included in his notice of Appeal, a declaration in support of Right to Representation, along with an efficient, at is digency. Appellant also included as Office to appoint counsel, he respectfully asks this Court to inform appellant of a attorney.

IV.

WILKELFORD PENNSES COHNSEEDS Appellant respectfully moves this Court to Compel the named officials of the Tribins County, 103rd District Court to do their duty and rule of Appellants MOTION FOR NEW IRRAL, OPDER - APPALLATE RECORD as stated in 2nd NOTICE OF APPEAL, and for the Court Clerk and Court regarder to follow Texms Rules of Appellante Procedure rules 215 and 216 respectively. And to inform appellant of his appointed counsel is this 'craiser

Respectfully Submitted, Paterile Treasury - Appellant Paterile Treasury 1987843 Hughes visit No. 2, Box 4400 Gentersville, VA 76597

20t3

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WISSED DELLAFATION

I, PATELK HENNEY, TDEJ "METEUS Being presently incarcerated is The Towns Department of Criminal Justice at the Hughes Unit in Cornell County, Texas, Verify and beckare under penalty of perjury that the foregoing is TRUE and CORECET. executed as this 24 th day of September is the year 2016. Retest Meany - declarant

CERTIFICATE OF SEPULS

I hewday certify that of thin the 21 th day of September 2016 I have requested by letter that the clerk of this court #E-MALL a true and correct copy of the above and foregoing MOIID M COMPET to both the 103rd District Court clerk and the Tenais County District Attorney of Austin, Texas.

TRIPLE Meany - appollant

ORDER

Do this the day of 2016 came to be heard appollant's MOTION M COMPET and afterdue consideration it is ORDERED that this MOTION should be: GRANTED /

Sustine Breaking.

*4 The Honorable Jeffrey D. Kyle Court of Appeals - Clerk

Dear Mr. Kyle,

RE: 03-16-00 610-CR Enclosed please find appellant's MOTION TO COMPET, I am reguating that you like this motion and bring it to the attention of the Court.

Please satisfy appellant's CERTIFICATE OF SERVICE by 8th man COPY of this MOTION TO COMPET. I the 103th District Court and to the Tervis County District Attorney, for appellant in is dight with no access or means of copier.

Please like/stump and extract this cover letter for my records showing that the above was not here filed.

I respectfully ask to check if no other key been appointed in this matter, as is appellants 2nd BOTLE OF APPEAL. And if do Please send some of ATEMSM and ADORES, TO ADDRESS BACON.

Respectfully,

RECEIVED DET 042816 THIRD COURT OF APPEAL BETTERY Q. 6012

PATISE HEXP RECEIVED DET 042816 THIRD COURT OF APPEAL BETTERY Q. 6012

PATISE HEXP RECEIVED DET 042816 thoghes 0301 G. 2, 8st 4400

GATEWILLE, TX. 76597

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Case Details

Case Name: Patrick Heaney v. State
Court Name: Court of Appeals of Texas
Date Published: Oct 4, 2016
Docket Number: 03-16-00610-CR
Court Abbreviation: Tex. App.
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