Vanessa Z. Salas v. State

CourtCourt of Appeals of Texas
DecidedFebruary 27, 2015
Docket04-14-00868-CR
StatusPublished

This text of Vanessa Z. Salas v. State (Vanessa Z. Salas 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
Vanessa Z. Salas v. State, (Tex. Ct. App. 2015).

Opinion

ACCEPTED 04-14-00686-CR FOURTH COURT OF APPEALS SAN ANTONIO, TEXAS 2/27/2015 10:05:31 AM KEITH HOTTLE CLERK

NO. 04-14-00686-CR FILED IN 4th COURT OF APPEALS STATE OF TEXAS § IN THE SAN ANTONIO, TEXAS § 2/27/2015 10:05:31 AM VS. § Fourth COURT KEITH E. HOTTLE § Clerk VANESSA ZUNIGA SALAS § OF APPEALS

MOTION TO WITHDRAW

TO THE HONORABLE JUDGE OF SAID COURT:

Now comes Phyllis J. Beal, Movant and attorney of record for Defendant,

Vanessa Zuniga Salas, brings this Motion to Withdraw as counsel and in support

thereof shows:

1. Movant was appointed by the Court to represent Appellant in the

appeal of this cause.

2. Defendant, Vanessa Zuniga Salas, was convicted of Injury to a Child

by Omission and was sentenced to five years on November 7, 2014. Movant has

reviewed the entire court’s records in this case and has found no non-frivolous

errors. Therefore, Movant has filed an Ander’s Brief and is required to withdraw

as counsel. See In re Schulman, 252 S.W.3d 403 (Tex. Crim. App. 2008).

3. The following deadlines and/or settings exist in this case:

a. She has 30 days to file a pro se brief.

4. Movant has advised Appellant of her right to review the court’s

records and file a brief pro se. Further, Movant has provided Appellant through regular mail and registered mail with the entire court’s records. And Movant has

also provided Appellant with a copy of the Ander’s Brief along with a letter

explaining her legal rights.

5. A copy of this motion has been mailed by certified mail and by

regular mail to her at her last known address: 2903 Colt, Apartment 224, San

Antonio, Texas 78227.

PRAYER

WHEREFORE, PREMISES CONSIDERED, Movant prays that the

Court allow Phyllis J. Beal to withdraw as counsel for Vanessa Zuniga Salas and

from any further representation of Vanessa Zuniga Salas in this cause.

Respectfully submitted,

PHYLLIS BEAL 111 Soledad , Ste 300 San Antonio, Texas 78240 Tel: (210) 299-7777 Fax: (210) 299-7601

By: Phyllis J. Beal Phyllis J. Beal State Bar No. 00795800 wbeal1@satx.rr.com Attorney for Vanessa Zuniga Salas CERTIFICATE OF SERVICE

This is to certify that on ___________________, a true and correct copy of

the above and foregoing document was served on the District Attorney's Office,

Bexar County, _________________, by electronic service through the Electronic

Filing Manager.

Phyllis J. Beal Phyllis J. Beal NO. 04-14-00686-CR

STATE OF TEXAS § IN THE § VS. § Fourth COURT § VANESSA ZUNIGA SALAS § OF APPEALS

NOTICE

To: Vanessa Zuniga Salas

NOTICE is hereby given, as provided by Rule 6 of the Texas Rules of

Appellate Procedure, that the following deadlines and/or settings exist in this case:

PHYLLIS BEAL 111 Soledad , Ste 300 San Antonio, Texas 78240 Tel: (210) 299-7777 Fax: (210) 299-7601

By: Phyllis J. Beal State Bar No. 00795800 wbeal1@satx.rr.com Attorney for Vanessa Zuniga Salas

I certify that a copy of this Notice has been mailed by certified mail and by regular mail to the above-named Defendant at her last known address: 2903 Colt,

Apartment 224, San Antonio, Texas 78227 on ___________________.

Phyllis J. Beal

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Related

In Re Schulman
252 S.W.3d 403 (Court of Criminal Appeals of Texas, 2008)

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Bluebook (online)
Vanessa Z. Salas v. State, Counsel Stack Legal Research, https://law.counselstack.com/opinion/vanessa-z-salas-v-state-texapp-2015.