Donna Shelton v. the State of Texas

CourtCourt of Appeals of Texas
DecidedNovember 13, 2024
Docket09-22-00189-CR
StatusPublished

This text of Donna Shelton v. the State of Texas (Donna Shelton v. the State of Texas) is published on Counsel Stack Legal Research, covering Court of Appeals of Texas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Donna Shelton v. the State of Texas, (Tex. Ct. App. 2024).

Opinion

In The

Court of Appeals

Ninth District of Texas at Beaumont

________________ NO. 09-22-00189-CR ________________

DONNA SHELTON, Appellant

V.

THE STATE OF TEXAS, Appellee

________________________________________________________________________

On Appeal from the 258th District Court San Jacinto County, Texas Trial Cause No. CR12,871 ________________________________________________________________________

MEMORANDUM OPINION

A jury found Donna Shelton1 (“Donna” or “Appellant”) guilty of attack by

dog resulting in serious bodily injury, a third-degree felony. See Tex. Health &

Safety Code Ann. § 822.005. The jury assessed Appellant’s punishment at ten years’

incarceration in the Department of Criminal Justice but suspended the sentence and

1The record reflects that Donna Shelton is also known as Donna Leigh Thompson. 1 placed her on community supervision for ten years, along with a joint restitution to

the victim of $20,000. See id.; Tex. Penal Code Ann. § 12.34. 2

In three issues on appeal, Appellant argues that the trial court erred in its jury

charge causing her egregious harm, that the trial court improperly commented on the

weight of the evidence, and that the evidence is insufficient to support her conviction

of attack by a dog. We affirm.

Background

Joshua James

Officer Joshua James (“Officer James”) testified that he is an officer with the

Panorama Village Police Department and was previously employed as a deputy with

the San Jacinto County Sheriff’s Office. On November 28, 2017, he was dispatched

to a call on Ridgewood Drive in Shepard. When he arrived, he saw a female lying

on the ground with a “blue or grey pit bull circling her.” As he approached the

woman, the dog continued to circle her and growled at Officer James as the woman

was attempting to crawl away. He described the dog as “[v]ery, very aggressive[,]”

and he testified he could see the dog’s hair standing up, and the dog was snarling

and showing his teeth. Officer James testified he had to pull his gun on the dog.

Subsequently, EMS arrived, bandaged the woman and took her away to the hospital.

2Appellant was tried together with her husband, James Shelton, IV, for the

same crime. James Shelton was also convicted and filed an appeal with this Court. We address his appeal in Cause Number 09-22-00188-CR. 2 Officer James identified the owner of the dog as Donna Shelton who lived directly

to the left of where the attack occurred. Photographs of the victim’s injuries and the

scene were admitted.

Stacy Warren

Stacy Warren3 (“Stacy”) testified she lives next door to James and Donna

Shelton. She stated the Sheltons owned four pit bull dogs in November 2017.

According to Stacy, there is a chain link fence separating her property from the

Sheltons’ property, but in September 2017 during Hurricane Harvey, a tree from the

Sheltons’ yard fell on the fence. When the tree fell, “it lifted the fence up[,]” allowing

the Sheltons’ dogs access to Stacy’s yard. Stacy testified this allowed the Sheltons’

dogs to come into her yard “[m]any” times. According to Stacy, her family had to

carry a stick to check their mailbox because “the gray pit, if you turned your back

on it, it would come after you.” Stacy sent a Facebook message to Donna telling her

about the dogs. A screenshot of the message was entered into evidence. This message

stated the following, “hun, this is [Stacy] next door. Your dogs are – are loose and

in my yard. I don’t see any lights on at your place.” Stacy testified this message was

sent November 21, 2017. According to Stacy, Donna replied and apologized and

3We refer to the victim and her family members by pseudonyms to protect

their privacy. See Tex. Const. art. I, § 30(a)(1) (granting crime victims “the right to be treated with fairness and with respect for the victim’s dignity and privacy throughout the criminal justice process”). 3 said the dogs were digging under the front gate. Stacy testified the Sheltons knew

before the dog attack that there was an issue with their dogs getting out of their yard.

She recalled another time when the Sheltons’ dogs came under the fence and

attacked her dogs. Her husband intervened and scared the Sheltons’ dogs away.

According to Stacy, the dogs were “always coming over” to their yard by crawling

under the fence, or just sitting at the back fence “staring at us.” Stacy described the

Sheltons’ attempts to block the dogs access to her yard as “blocks or wood or

something like that[,]” but contended “[t]hey were still coming through where they

were trying to block.” Stacy testified the Sheltons were aware their remedial efforts

did not prevent the dogs from coming into her yard. Under cross-examination, Stacy

acknowledged that the Sheltons filed an insurance claim to repair the fence after the

hurricane and that apart from the Facebook message, she never personally told the

Sheltons their dogs were coming into her yard.

The Sheltons’ dogs attacked Stacy on November 28, 2017. On that day,

Stacy’s husband was at work and Stacy was at home with her adult grandson. Stacy

testified the Sheltons’ oldest dog was the first to come into the yard by coming

“underneath the fence in back.” When she observed the dog, Stacy put her own dogs

in the house and went to take the Sheltons’ dog back to their yard. Stacy called the

dog by its name and the dog walked next to Stacy’s side as she guided the dog up

her driveway to go to the Sheltons’ house. Stacy denied having anything in her hands

4 or touching the dog. As she was walking with the dog, another one of the Sheltons’

dogs came under the fence and “started growling and barking” at Stacy. Then the

other two dogs crawled under the fence and began to growl and bark at Stacy. At

this point, all four of the Sheltons’ dogs were in Stacy’s yard. According to Stacy,

the “[n]ext thing I know, they’re knocking me down on the ground and pulling me

into the yard.” The attack lasted for 45 minutes with all four dogs attacking Stacy.

Stacy’s grandson tried to intervene, but the dogs tried to attack him. Stacy was able

to call 911 while being attacked. When the officers arrived, one of the dogs was still

circling around Stacy.

After the attack, Stacy stayed in the hospital for forty-two days and had

multiple surgeries. Stacy testified she had injuries to her scalp, face, ears, shoulders,

armpits, back, legs, and feet. Stacy needed multiple skin grafts, staples, stiches, and

surgeries to address her injuries. After being released, Stacy has continued to have

surgeries, and said she continues to take injections daily. According to Stacy she

carries scars on her body from the attack, and the injures to her legs and feet caused

permanent damage, including a condition called “drop foot[,]” which permanently

affects her gait. Photographs of her injuries were admitted at trial.

Dane Abshire

Dane Abshire (“Abshire”) testified that he is Stacy’s grandson, and at the time

of the dog attack he was living with his grandparents in their home. On that day, he

5 was upstairs in their home playing video games when he received a call from his

grandmother on her cell phone.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Kotteakos v. United States
328 U.S. 750 (Supreme Court, 1946)
Jackson v. Virginia
443 U.S. 307 (Supreme Court, 1979)
Ngo v. State
175 S.W.3d 738 (Court of Criminal Appeals of Texas, 2005)
Middleton v. State
125 S.W.3d 450 (Court of Criminal Appeals of Texas, 2003)
Word v. State
206 S.W.3d 646 (Court of Criminal Appeals of Texas, 2006)
Hooper v. State
214 S.W.3d 9 (Court of Criminal Appeals of Texas, 2007)
Williams v. State
235 S.W.3d 742 (Court of Criminal Appeals of Texas, 2007)
Delgado v. State
235 S.W.3d 244 (Court of Criminal Appeals of Texas, 2007)
Marin v. State
851 S.W.2d 275 (Court of Criminal Appeals of Texas, 1993)
Olveda v. State
650 S.W.2d 408 (Court of Criminal Appeals of Texas, 1983)
Johnson v. State
871 S.W.2d 183 (Court of Criminal Appeals of Texas, 1993)
Abdnor v. State
871 S.W.2d 726 (Court of Criminal Appeals of Texas, 1994)
Daniell v. State
848 S.W.2d 145 (Court of Criminal Appeals of Texas, 1993)
King v. State
953 S.W.2d 266 (Court of Criminal Appeals of Texas, 1997)
Malik v. State
953 S.W.2d 234 (Court of Criminal Appeals of Texas, 1997)
Caldwell v. State
971 S.W.2d 663 (Court of Appeals of Texas, 1998)
Atkinson v. State
923 S.W.2d 21 (Court of Criminal Appeals of Texas, 1996)
Green v. State
912 S.W.2d 189 (Court of Criminal Appeals of Texas, 1995)
Dinkins v. State
894 S.W.2d 330 (Court of Criminal Appeals of Texas, 1995)
Williams v. State
937 S.W.2d 479 (Court of Criminal Appeals of Texas, 1997)

Cite This Page — Counsel Stack

Bluebook (online)
Donna Shelton v. the State of Texas, Counsel Stack Legal Research, https://law.counselstack.com/opinion/donna-shelton-v-the-state-of-texas-texapp-2024.