Murphy, Julius Jerome

Court of Appeals of Texas·Decided September 25, 2015·No. WR-38,198-04·Published

Opinion

WR-38,198-04 COURT OF CRIMINAL APPEALS AUSTIN, TEXAS Transmitted 9/24/2015 6:50:31 PM Accepted 9/25/2015 7:53:47 AM ABEL ACOSTA PI FRK IN THE COURT OF CRIMINAL APPEALS OF TEXAS IN AUSTIN, TEXAS received in COURT OF CRIMINALAPPEALS

September 25, 2015

ABEL ACOSTA. CLERK EX PARTE JULIUS MURPHY, WRIT NO. APPLICANT

AMENDED MOTION FOR ADMISSION PRO HAC VICE

COMES NOW, Jaclyn Lee DiLauro, Esq. ("Movant"), and moves for

admission to appear PRO HAC VICE in the captioned proceeding as counsel for

Applicant, Julius Murphy. I respectfully certify as follows:

1. Movant is an attorney and a member of the law firm of Hogan Lovells

US LLP, located at 555 Thirteenth Street NW, Washington, DC 20004, telephone

number (202) 637-5473, facsimile number (202) 637-5910, email address

jaclvn.dilauro(5>,hoganlovells.com.

2. Local counsel of record associated with Movant in this matter is Sarah

M. Cummings of Norton Rose Fulbright US LLP, Texas Bar No. 24094609, who

has offices at 2200 Ross Avenue, Suite 3600, Dallas, Texas 75201, telephone

number (214) 855-8000, facsimile number (214) 855-8200, email address

sarah.cummings@nortonrosefulbright.com. Local counsel has filed a motion

stating that Jaclyn Lee DiLauro is a reputable attorney and recommends that she be

-l-

TsrnBjn granted permission to participate in the aforementioned proceeding before the

Court. See Attached Exh. "A."

3. Within the past two (2) years, Movant has submitted a non-resident

attorney application to appear before the State Office of Administrative Hearings,

Cause No. SOAH XXX-XX-XXXX.LIC/MVD 14-0016 LIC, Autobahn Imports, LP

d/b/a Land Rover of Ft. Worth v. Jaguar Land Rover North America, LLC;

however, no motion was ever filed for Movant to appear pro hac vice in this

matter.

4. Movant presently is licensed in the following jurisdictions:

\• District of Columbia • New York

5. Movant has been admitted to practice before each of the following

federal courts:

Supreme Court of the United States United States Court of Appeals for the District of Columbia Circuit United States Court of Appeals for the First Circuit United States Court of Appeals for the Fourth Circuit United States Court of Appeals for the Fifth Circuit United States Court of Appeals for the Sixth Circuit United States Court of Appeals for the Seventh Circuit United States Court ofAppeals for the Federal Circuit United States District Court for the District of Columbia United States District Court for the Eastern District of North Carolina United States District Court for the Western District of Tennessee

-2 • United States District Court for the Eastern District Texas

6. Movant is a member in good standing in each of the jurisdictions and

federal courts identified in the preceding paragraphs.

7. Movant has not been the subject of disciplinary action by the Bar or

courts of any jurisdiction in which she is licensed within the preceding five years.

8. Movant has not been denied admission to the courts of any State or to

any federal court within the preceding five years.

9. Movant is familiar with the State Bar Act, the State Bar Rules, and the

Texas Disciplinary Rules of Professional Conduct governing the conduct of

members of the State Bar of Texas, and will at all times abide by and comply with

the same so long as such Texas proceeding is pending and said Movant has not

withdrawn as counsel therein.

10. Movant attaches as "Exhibit B" the Acknowledgment Letter from the

Board of Law Examiners of Texas. See Exh. "B."

11. Movant respectfully requests to be admitted to practice in the Texas

Court of Criminal Appeals, Austin, Texas for this cause.

I, Jaclyn Lee DiLauro, do hereby swear or affirm under penalty of perjury

that I am the Movant in the above-styled matter, that I have read the foregoing

Motion and know the contents thereof, and the contents are true and correct to my

own knowledge and belief.

-3- SIGNEDthis ,QM day of September, 2015.

Respectfully submitted,

Jaclyn Lee DiLauro pro hac vice applicationpending HOGAN LOVELLS US LLP 555 Thirteenth Street NW Washington, DC 20004 Tel: 202.637.5600 Fax: 202.637.5910 jaclyn.dilauro@hoganlovells.com

Counselfor Julius Murphy CERTIFICATE OF SERVICE

I hereby certify that on this 31 day of September, 2015, I served via Federal Express a true and correct copy of the foregoing pleading, with attached

exhibits, upon opposing counsel, Bowie County District Attorney, Jerry D.

Rochelle, and Assistant Attorney General of Texas, Jefferson David Clendenin.

Bowie County District Attorney's Office Bowie County Plaza 601 Main Street Texarkana, TX 75501

Jefferson David Clendenin Assistant Attorney General Office of the Attorney General ofTexas P.O. Box 12548 Austin, Texas 78711

aclyn Lee DiLauro

-5- EXHIBIT

A

IsB'ELi ' .. '..J,\' ...«iidSi4!£tt«&'i IN THE COURT OF CRIMINAL APPEALS OF TEXAS IN AUSTIN, TEXAS

EX PARTE JULIUS MURPHY, WRIT NO. APPLICANT

MOTION OF RESIDENT ATTORNEY SARAH M. CUMMINGS REQUESTING ADMISSION PRO HAC VICE OF NONRESIDENT ATTORNEY JACLYN LEE DILAURO

COMES NOW, Resident Practicing Attorney Sarah M. Cummings of

Norton Rose Fulbright US LLP, 2200 Ross Avenue, Suite 3600, Dallas, Texas

75201, and hereby moves for the admission pro hac vice of Jaclyn Lee DiLauro

("Nonresident Attorney") in the captioned proceeding as counsel for Applicant,

Julius Murphy. The undersigned represents to this honorable Court that

Nonresident Attorney is a reputable attorney and recommends that she be granted

permission to participate in the above-captioned matter before the Court.

SIGNED this 23rd day of September, 2015.

-1- Respectfully submitted,

/s/ Sarah M. Cummings

Sarah M. Cummings Norton Rose Fulbright US LLP 2200 Ross Avenue, Suite 3600 Dallas, TX 75201-7932 Tel: 214.855.8000 Fax: 214.855.8200 Texas Bar No.: 24094609 sarah.cummings@nortonrosefulbright.com

Counselfor Julius Murphy

CERTIFICATE OF SERVICE

I hereby certify that on this 23rd day of September, 2015, I served via

Federal Express a true and correct copy of the foregoing pleading upon opposing

counsel:

Jerry D. Rochelle Bowie County District Attorney Bowie County Plaza 601 Main Street Texarkana, TX 75501

Jefferson Clendenin Assistant Attorney General Office of the Attorney General of Texas P.O. Box 12548 Austin, Texas 78711

/s/ Sarah M. Cummings Sarah M. Cummings -2- EXHIBIT

B Board of Law Examiners Appointed by the SupremeCourtofTexas

Non-Resident Acknowledgment Letter September 23, 2015

JACLYN LEE DILAURO HOGAN LOVELLS US LLP 555 THIRTEENTH STREET NW WASHINGTON DC 20004-

Application Received: 09/23/15 Cause/Texas Court of Record: CAUSE NO. WR-38,198-04, TEXAS COURT OF CRIMINAL APPEALS

FROM: Bakari Jefferson, Licensure Analyst, 512-463-1622

This letter acknowledges receipt ofyour Applicationfor Pro Hac Vice admission and serves as your Proof of Payment of Fee.

Filing the Application for Pro Hac Vice Admission and fee is the mandatory first step in your request for permission to participate in proceedings in a Texas Court. The next step is to file a sworn motion, in compliance with Rule XIX ofthe current RulesGoverningAdmission to the Bar of Texas, in the Texas Court in which you request to participate, which must be accompanied by this acknowledgment letter.

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