Ken Paxton, in His Official Capacity as Attorney General for the State of Texas and the Office of the Attorney General for the State of Texas v. Delia Garza, in Her Official Capacity as Travis County Attorney; John Creuzot, in His Official Capacity as Dallas County Criminal District Attorney; And Brian Middleton, in His Official Capacity as District Attorney of Fort Bend County (268th Judicial District)

Court of Appeals of Texas·Decided July 18, 2025·No. 15-25-00116-CV·Published

Opinion

ACCEPTED 15-25-00116-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 7/18/2025 3:49 PM No. 15-25-00116-CV CHRISTOPHER A. PRINE CLERK RECEIVED IN In the Court of Appeals for the Fifteenth 15th COURT OF APPEALS Judicial District – Austin, Texas AUSTIN, TEXAS 7/18/2025 3:49:30 PM CHRISTOPHER A. PRINE KEN PAXTON, IN HIS OFFICIAL CAPACITY AS THE ATTORNEY GENERAL FOR THE STATE OF Clerk TEXAS AND THE OFFICE OF THE ATTORNEY GENERAL FOR THE STATE OF TEXAS,

APPELLANT,

V.

DELIA GARZA, IN HER OFFICIAL CAPACITY AS THE TRAVIS COUNTY ATTORNEY, ET AL.; JOHN CREUZOT, IN HIS OFFICIAL CAPACITY AS DALLAS COUNTY CRIMINAL DISTRICT ATTORNEY, ET AL.; AND BRIAN MIDDLETON, IN HIS OFFICIAL CAPACITY AS THE DISTRICT ATTORNEY OF FORT BEND COUNTY (268TH DISTRICT COURT), ET AL.,

APPELLEES.

LETTER BRIEF OF AMICUS CURIAE THE TEXAS CRIMINAL DEFENSE LAWYERS ASSOCIATION

AARON M. DIAZ KYLE THERRIAN Co-Chair, TCDLA Amicus Committee Co-Chair, TCDLA Amicus Committee St. Mary’s University School of Law Rosenthal, Kalabus & Therrian 2507 NW 36th Street 7200 State Highway 121, Ste 400 San Antonio, Texas 78228 McKinney, Texas 75070 P: (210) 436-3840 F: (210) 431-5700 P: (972) 369-0577 F: (972) 369-0572 adiaz39@stmarytx.edu kyle@texasdefensefirm.com SBN 24108453 SBN 24075150

ANNE BURNHAM Nicole DeBorde Hochglaube Vice-Chair, TCDLA Amicus Committee President, TCDLA Harris County Public Defender’s Office Hochglaube & DeBorde P.C. 1310 Prairie Street, 4th Floor 3515 Fannin Street Houston, Texas 77002 Houston, Texas 77004 P: (713) 274-6907 F: (713) 368-9278 P: (713) 526-6300 F: (713) 808-9444 anne.burnham@pdo.hctx.net nicole@houstoncriminaldefense.com SBN 00798088 SBN 00787344 INTEREST OF AMICUS CURIAE

The Texas Criminal Defense Lawyers Association (TCDLA) is a nonprofit

voluntary membership organization. It is dedicated to the protection of those

individual rights guaranteed by the State and federal constitutions and the constant

improvement of the administration of criminal justice in the State of Texas.

Founded in 1971, TCDLA currently has a membership of over 3,700 and offers a

statewide forum for criminal defense lawyers. It provides a voice in the state

legislative process in support of procedural fairness in criminal defense and forfeiture

cases. TCDLA also assists the courts by acting as amicus curiae in appropriate cases.

Neither TCDLA nor any attorney representing TCDLA has received any fee or

other compensation for preparing this brief.

This brief complies with all applicable provisions of the Texas Rules of

Appellate Procedure. Copies have been served on all parties to the cause.

1 TO THE HONORABLE JUSTICES OF THE FIFTEENTH COURT OF APPEALS— AUSTIN, TEXAS:

The Texas Criminal Defense Lawyers Association, Amicus Curiae,

respectfully submit this letter brief in support of Appellees and joining Amicus

Curiae Urban Criminal Defense Attorneys against Unconstitutional

Recentralization of Texas Government (UCDA).

On July 7, 2025, Amicus UCDA filed its brief in support of Appellees.

TCDLA avers that Amicus UCDA has adequately and thoroughly briefed the

historical origin of Texas Government Code § 41.006. As such, TCDLA adopts by

reference the arguments presented by Amicus UCDA.

TCDLA is aware that this Court granted an emergency stay and set this case

for submission and oral argument for September 24, 2025. For the reasons asserted

by Amicus UCDA, TCDLA urges this Court to deny the relief sought by Appellant’s

interlocutory appeal.

Respectfully submitted.

AARON M. DIAZ KYLE THERRIAN Co-Chair, TCDLA Amicus Committee Co-Chair, TCDLA Amicus Committee St. Mary’s University School of Law Rosenthal, Kalabus & Therrian 2507 NW 36th Street 7200 State Highway 121, Ste 400 San Antonio, Texas 78228 McKinney, Texas 75070 P: (210) 436-3840 F: (210) 431-5700 P: (972) 369-0577 F: (972) 369-0572 adiaz39@stmarytx.edu kyle@texasdefensefirm.com SBN 24108453 SBN 24075150

2 ANNE BURNHAM Nicole DeBorde Hochglaube Vice-Chair, TCDLA Amicus Committee President, TCDLA Harris County Public Defender’s Office Hochglaube & DeBorde P.C. 1310 Prairie Street, 4th Floor 3515 Fannin Street Houston, Texas 77002 Houston, Texas 77004 P: (713) 274-6907 F: (713) 368-9278 P: (713) 526-6300 F: (713) 808-9444 anne.burnham@pdo.hctx.net nicole@houstoncriminaldefense.com SBN 00798088 SBN 00787344

CERTIFICATE OF COMPLIANCE I certify the foregoing Letter Brief complies with Texas Rule of Appellate

Procedure 9.4(i)(2)(B), and contains 288 words according to the word count of the

computer program used to prepare this document.

By: /s/Aaron M. Diaz AARON M. DIAZ

3 CERTIFICATE OF SERVICE I certify that on July 18, 2025, a true and correct copy of the foregoing Letter

Brief was served on all counsel of record through electronic service on the same date,

to the following email addresses:

Jacob C. Beach ASSISTANT ATTORNEY GENERAL OF TEXAS Email: jacob.beach@oag.texas.gov

&

William H. Farrell OFFICE OF THE ATTORNEY GENERAL Email: bill.farrell@oag.texas.gov

Attorneys of Record for Appellant Ken Paxton ______

Leslie W. Dippel TRAVIS COUNTY ATTORNEY Email: leslie.dippel@traviscountytx.gov

Attorney of Record for Appellees Travis County Attorney Delia Garza; Travis County District Attorney José Garza; and Travis County, Texas ______

Bernardo Cruz El Paso COUNTY ATTORNEY Email: b.cruz@epcountytx.gov

Attorney of Record for Appellees El Paso County District Attorney James Montoya; El Paso County Attorney Christina Sanchez; and El Paso County, Texas ______

4 Alexandria Oberman MILLER & CHEVALIER CHARTERED Email: aoberman@milchev.com

Attorney of Record for Appellees Dallas Co. Criminal District Attorney John Creuzot, and Dallas County, Texas; & Appellees Bexar Co. Criminal District Attorney Joe Gonzales; and Bexar County, Texas ______

Bradley W. Snead WRIGHT CLOSE & BARGER, L.L.P. Email: snead@wrightclosebarger.com

Attorney of Record for Appellees Harris Co. District Attorney Sean Teare; and Harris County, Texas ______

Justin C. Pfeiffer GAVRILOV & BROOKS, PC Email: jpfeiffer@gavrilovlaw.com

Attorney of Record for Appellee Fort Bend Co. District Attorney Brian Middleton ______

Randy T. Leavitt LAW OFFICE OF RANDY T. LEAVITT Email: randy@randyleavitt.com

Attorney of Record for Appellee Williamson Co. District Attorney Shawn Dick

By: /s/Aaron M. Diaz AARON M. DIAZ

5 Automated Certificate of eService This automated certificate of service was created by the efiling system. The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules.

Aaron Diaz Bar No. 24108453 adiaz39@stmarytx.edu Envelope ID: 103331751 Filing Code Description: Other Brief Filing Description: Amicus Curiae Brief Status as of 7/18/2025 4:21 PM CST

Case Contacts

Name BarNumber Email TimestampSubmitted Status

Christopher Garza 24078543 christopher.garza@harriscountytx.gov 7/18/2025 3:49:30 PM SENT

Cynthia Veidt 24028092 cynthia.veidt@traviscountytx.gov 7/18/2025 3:49:30 PM SENT

Christina Sanchez 24062984 christina.sanchez@epcounty.com 7/18/2025 3:49:30 PM SENT

Jonathan Fombonne 24102702 jonathan.fombonne@harriscountytx.gov 7/18/2025 3:49:30 PM SENT

William FCole William.Cole@oag.texas.gov 7/18/2025 3:49:30 PM SENT

Nicole A.Myette nicole.myette@oag.texas.gov 7/18/2025 3:49:30 PM SENT

Tiffany Bingham 24012287 tiffany.bingham@harriscountytx.gov 7/18/2025 3:49:30 PM SENT

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

Ken Paxton, in His Official Capacity as Attorney General for the State of Texas and the Office of the Attorney General for the State of Texas v. Delia Garza, in Her Official Capacity as Travis County Attorney; John Creuzot, in His Official Capacity as Dallas County Criminal District Attorney; And Brian Middleton, in His Official Capacity as District Attorney of Fort Bend County (268th Judicial District), (Tex. Ct. App. 2025).

Ken Paxton, in His Official Capacity as Attorney General for the State of Texas and the Office of the Attorney General for the State of Texas v. Delia Garza, in Her Official Capacity as Travis County Attorney; John Creuzot, in His Official Capacity as Dallas County Criminal District Attorney; And Brian Middleton, in His Official Capacity as District Attorney of Fort Bend County (268th Judicial District) (Ken Paxton, in His Official Capacity as Attorney General for the State of Texas and the Office of the Attorney General for the State of Texas v. Delia Garza, in Her Official Capacity as Travis County Attorney; John Creuzot, in His Official Capacity as Dallas County Criminal District Attorney; And Brian Middleton, in His Official Capacity as District Attorney of Fort Bend County (268th Judicial District)) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

§ 41.006
Texas GV § 41.006