Timothy Edward Roberts v. State

CourtCourt of Appeals of Texas
DecidedNovember 18, 2004
Docket01-03-00311-CR
StatusPublished

This text of Timothy Edward Roberts v. State (Timothy Edward Roberts v. State) 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
Timothy Edward Roberts v. State, (Tex. Ct. App. 2004).

Opinion

Opinion issued November 18, 2004






In The

Court of Appeals

For The

First District of Texas





NO. 01-03-00311-CR





TIMOTHY EDWARD ROBERTS, Appellant


V.


THE STATE OF TEXAS, Appellee





On Appeal from the 183rd District Court

Harris County, Texas

Trial Court Cause No. 673980





MEMORANDUM OPINION


          The trial court assessed appellant Timothy Edward Roberts ten years’ deferred adjudication for attempted murder. After the State moved to adjudicate guilt, the trial court found Roberts guilty and sentenced him to twenty years’ confinement. We affirm.

Background

          On September 6, 1993, Roberts’s wife, Sandi Roberts, served Roberts with divorce papers at a Burger King restaurant. Roberts left the restaurant and later returned with a pistol. When he returned, he saw Sandi sitting in a car with her friend, Frank Kellogg. Roberts shot Sandi four times in the head and once in the shoulder. As a result, Sandi suffers from slurred speech, partial hearing loss, and partial paralysis of her left hand.

          The State charged Roberts with the attempted murder of Sandi. The State added an aggravated assault charge, but later abandoned it, leaving only the attempted murder charge. Roberts pleaded no contest without an agreed recommendation, and the trial court assessed ten years’ deferred adjudication for attempted murder. In December 1999, the State moved to adjudicate guilt. In March 2000, the trial court found Roberts guilty of aggravated assault and sentenced him to ten years’ confinement.

          In January 2002, the Fourteenth Court of Appeals reversed the conviction, holding that the trial court improperly had adjudicated appellant for aggravated assault—an offense different from the attempted murder charge in the original plea. Roberts v. State, Nos. 14-00-00514-CR, 14-00-00515-CR, 2002 WL 122502, at *3 (Tex. App.—Houston [14th Dist.] Jan. 31, 2002, pet. ref’d) (not designated for publication). The court restored Roberts to the same position he had been in when the trial court originally sentenced him to ten years’ deferred adjudication. Id.

          In December 2002, the State again moved to adjudicate guilt, and Roberts pleaded not true to each allegation. In February 2003, after a hearing, the trial court found Roberts guilty of attempted murder and sentenced him to twenty years’ confinement, to run consecutive to his conviction in cause number 673979 (the aggravated assault of Frank Kellogg). In six issues, Roberts contends that the trial court erred in (1) adjudicating guilt in violation of the prior holding in the first appeal; (2) violating his due process rights in assessing a vindictive sentence; (3) considering three federal offenses, for which Roberts had been acquitted, during the punishment phase of the adjudication hearing; (4) cumulating the sentence in this cause with the sentence in cause number 673979, because the underlying offenses occurred during the same transaction; (5) violating the federal constitutional right against cruel and unusual punishment; and (6) violating the state constitutional right against cruel and unusual punishment.

Adjudication of Guilt

          Roberts contends that the trial court violated the terms of the Fourteenth Court of Appeals’ earlier holding in allowing the State to proceed on grounds for revocation that are identical to the grounds used in the first adjudication proceeding. See Roberts, 2002 WL 122502, *3. This contention lacks merit, because the Fourteenth Court of Appeals held that the trial court erred in adjudicating Roberts for aggravated assault, an offense different from the attempted murder charge in the original plea. See id. In its holding, the court of appeals restored Roberts to the position he was in when the trial court originally sentenced him to ten years’ deferred adjudication for attempted murder:

In cause number 673980, to restore appellant to the position he occupied when he received deferred adjudication probation for the offense of attempted murder (1) we vacate the trial court's March 15, 2000 nunc pro tunc order, which changed the offense for which appellant pled no contest from attempted murder to aggravated assault; (2) we vacate the March 9, 2000 judgment adjudicating appellant’s guilt, and sentencing him to ten years’ confinement, for aggravated assault; (3) we vacate the March 9, 2000 order cumulating appellant’s sentence in cause number 673980 with the sentence assessed in cause number 673979; (4) we vacate the May 5, 1994 order deferring adjudication of guilt for aggravated assault; (5) we order the trial court to reinstate its May 5, 1994 order deferring adjudication of guilt for attempted murder; and (6) we remand this cause to the trial court for further proceedings consistent with this opinion.


Id. The court did not review or address the allegations recited in the State’s motion to adjudicate. Id. Nothing in the court’s opinion holds or even implies that the State could not proceed with a motion to adjudicate on the same grounds. See id. We thus hold that the trial court did not err in adjudicating guilt based on the State’s 2002 motion to adjudicate.

Vindictiveness of Sentence

          Roberts contends that the trial court violated his due process rights in assessing a vindictive sentence. The trial court originally sentenced Roberts to ten years’ deferred adjudication. During the first revocation proceeding, the trial court found Roberts guilty and sentenced him to ten years’ confinement. After the Fourteenth Court of Appeals reversed the trial court’s adjudication of guilt, the State moved to adjudicate guilt. The trial court again found Roberts guilty and this time sentenced him to twenty years’ confinement.

          In North Carolina v. Pearce, the United States Supreme Court held that “vindictiveness against a defendant for having successfully attacked his first conviction must play no part in the sentence he receives after a new trial.” 395 U.S. 711, 725, 89 S. Ct. 2072, 2079 (1969), overruled on other grounds by Alabama v. Smith, 490 U.S. 794, 109 S. Ct. 2201 (1989). Initially, we observe that Roberts failed to preserve this complaint for review.

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

Related

North Carolina v. Pearce
395 U.S. 711 (Supreme Court, 1969)
Wasman v. United States
468 U.S. 559 (Supreme Court, 1984)
Alabama v. Smith
490 U.S. 794 (Supreme Court, 1989)
Massey v. State
933 S.W.2d 141 (Court of Criminal Appeals of Texas, 1996)
Curry v. State
910 S.W.2d 490 (Court of Criminal Appeals of Texas, 1995)
Cienfuegos v. State
113 S.W.3d 481 (Court of Appeals of Texas, 2003)
Medina v. State
7 S.W.3d 876 (Court of Appeals of Texas, 1999)
Duran v. State
844 S.W.2d 745 (Court of Criminal Appeals of Texas, 1993)
Yatalese v. State
991 S.W.2d 509 (Court of Appeals of Texas, 1999)

Cite This Page — Counsel Stack

Bluebook (online)
Timothy Edward Roberts v. State, Counsel Stack Legal Research, https://law.counselstack.com/opinion/timothy-edward-roberts-v-state-texapp-2004.