Court of Civil Appeals of Texas, 2015

Baig, Irshad Ismail

Baig, Irshad Ismail
Court of Civil Appeals of Texas · Decided September 14, 2015

Baig, Irshad Ismail

Opinion

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No. _ _ _ _ __ IN THE STATE OF TEXAS COURT OF CRIMINAL APPEALS ON ORIGINAL ACTION JURISDICTION APPLICANT'S PRO SE MOTION SEEKING COURT LEAVE TO FILE ORIGINAL ACTION APPLICATION FOR WRIT OF HABEAS CORPUS To the HONORABLE CLERK of said COURT:

Comes now IRSHAD ISMAIL BAIG, pro se Applicant in cause sub judice and submits his pro-se MOTION SEEKING COURT LEAVE TO FILE ORIGINAL ACTION APPLICATION FOR WRIT OF HABEAS CORPUS. RECEIVED IN COURT OF CRIMINAL APPEALS I. SEP 14 2015 JURISDICTIONAL STATEMENT Abet Acosta, Clerk (1) Applicant IRSHAD ISMAIL BAIG is being restrained ofhis constitutional protected liberty and property interest by virtue of Fort Bend County Cause Number 14-CCR- 177950 under color of STATE OF TEXAS statutory law contrary to and inconsistent with the official Constitution(s) of Texas and United States of America. Texas Code of Criminal Procedure (2012) Articles 11.01, 11.04, 11.05, 11.09.

II.

STATEMENT OF CASE

(2) Applicant was initially charged by Information under Article 22.01 (a) (1) Texas Code of Criminal Procedure (See Attachment A - Fort Bend County Register of Actions) on or about December 17, 2014.

Page 1 of 3 .. -..:•

(3) On or about April 23, 2015 Applicant filed his pro-se Application For Writ ofHabeas Corpus, Article 11.09 Tex. Code Crim. Proc. (2012). See Attachment A.

(4) In the United States Supreme Court Case ofLaChance V. Erickson 522 U.S. 262, 266; 118 S. ct. 753 (1998) and progeny it was plainly established "IF A LIBERTY INTEREST IS CREATED BY STATUTE, DUE PROCESS REQUIRES NOTICE AND MEANINGFUL OPPORTUNITY TO BE HEARD." Furthermore, in TARTER · V. HURY 646 F. 2d 1010 (5 1h Cir. 1981) and progeny this Circuit plainly established "Pro se litigant entitled to have pro-se motions considered by court although he had appointed counsel".

(5) Applicant IRSHAD ISMAIL BAIG, while proceeding pro-se during prosecution of Cause Number 14-CCR-177950, made numerous documented attempts to have the Fort Bend County Court #3 entertain his pro-se Art. 11.09 Habeas Corpus Application, however, said trial court has to date ignored every single pleading Applicant had properly filed. During over 130 days of documented prosecution of said Cause (supra) the trial court has set and reset said Cause for jury trial. Clearly, taking the case to jury trial would blatantly moot and thus deny Applicant's State of Texas and United States Constitutional Right/Entitlement to have his Art. 11.09 Application ente11ained, addressed by the trial court.

(6) On or about September 10, 2015 Applicant filed his pro-se motion to "WITHDRAW SUBJECT MATTER JURISDICTION IN ORDER TO PROCEED ORIGINAL ACTION JURISDICTION OF TEXAS COURT OF CRIMINAL APPEALS." See Attachment B [3 Motions].

Page 2 of 3 PREMISES CONSIDERED: / (7) Applicant prays the Court to GRANT LEAVE TO FILE ORIGINAL ACTION ARTICLE 11.09 Application For Writ OF HABEAS CORPUS attached hereto and thereafter GRANT/ISSUE THE WRIT sua sponte; in all things. So Moved and Prayed.

IRSHAD ISMAIL BAIG 11706 Nobility Drive, Stafford, TX 77477

Sworn to and Subscribed before me this/:< 4day

Notary Public for Fort Bend County, Texas

Page 3 of 3 ....

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REGISTER OF AcTioNs CASE No. 14-CCR-177950 State of Texas vs Irs had .Ismail Baig § Case Type: Adult Misdemeanor- Filed by § Information § Date Filed: 1211712014 § Location: County Court at Law 3 § RELATED c . . sr. INFORMATION Related Cases 15-CCR-180026 (Other) PARTY INF'OR:'t1ATIO~

Attorneys Defendant Baig, lrshad Ismail Male Asian Stafford, TX 77477 5' 8", 190 lbs

State State of Texas Robert Clopton Richmond, TX 77469 281-341-4460(W) CHARGE ISFORMATION

Charges: Baig, lrshad Ismail Statute Level Date 1. ASSAULT CAUSES BODILY INJURY FAMILY VIOLENCE 22.01 (a)(1) Class A Misdemeanor 11/09/2014 Evr.sTs & 0RoF.RS OF THE CouRT

OTHER EVENTS AND HEARINGS 12117/2014 Complaint 12/17/2014 Information 12/17/2014 Docket Sheet 12/17/2014 ApplicationiReguest for Summons BY STATE 12/17/2014 Warrant Information Sheet 12/29/2014 Summons - M~il IRSHAD ISMAIL BAIG 12/29/2014 Summons Baig, lrshad Ismail Unserved 01/23/2015 Reset 02/27/2015 Motion {No Fee} to dismiss counsel of record 02/27/2015 Motion {No Fee} for self representation at jury trial and a II related court process 02/27/2015 Motion {No Fee} for court to set date on docket for motio ns hearing 02/27/2015 Motion {No Fee} requesting court to order clerk/reporter to make complete transcription of all open court proceedings 03/06/2015 Motion {No Fee} to Quash 03/06/2015 ~ on Motion to Quash 03/09/2015 Notice of Noo-lndigencl£ Doc ID# 03/10/2015 Reset 03/27/2015 Reset 04/07/2015 Reset 04/07/2015 Jury 04/07/2015 Motion {No Fee} requesting Pre- Tria/Identification Hearing 04/20/2015 Affidavit of Nolle Prosequi 04/23/2015 Writ of Habeas Corpus Pre-Judgment returned unsigned 4/29/15 06/10/2015 Motion {No Fee} Defendant's Pro-Se Motion Seeking Pre- Trial Suppression of Evidence Hearing 06/23/2015 Application for Subpoena By State 06/26/2015 Subpoena- Constable 2 Kausar Jehan Baig 06/26/2015 Subpoena- Constable 2 Kausar Jehan Baig (Duces Tecum) 06/26/2015 Subpoena - Constable 2 Kelly Davis 06/26/2015 Subpoena- Constable 4 http://tylerpaw .co.fort-bend. tx.us/CaseDetail.aspx?CaseiD= 1435051 1/3 tyl erpay-t .co.fort-bend.tx.us/CaseDetail.aspx?CaseiD= 1435051 Shobana Muratee 06/26/2015 Subpoena Baig, Kausar Jehan Returned Unserved 07/07/2015 Returned 07/07/2015 06/26/2015 Subpoena Baig, Kausar Jehan Returned Unserved 07/07/2015 Returned 07/07/2015 06/26/2015 Subpoena Davis, Kelly Served 07/01/2015 Returned 07/06/2015 06/26/2015 Subpoena Muratee, Shobana Returned Unserved 07/15/2015 Returned 07/15/2015 06/30/2015 Reset 07/06/2015 A!;!!;!lication for Sub!;!oena State 07/07/2015 S!,!b!;!oena- Constable 2 Kausar Baig (Duces Tecu m) 07/07/2015 Subpoena Baig, Kausar Jehan Served 07/14/2015 Returned 07/15/2015 07/07/2015 Sub!;!oena- Constable 2 Kausar Baig 07/07/2015 Subpoena , Baig, Kausar Jehan Served 07/14/2015 Returned 07/15/2015 07/07/2015 Sub!;!oena- Constable 2 Kelly Davis 07/07/2015 Subpoena Davis, Kelly Served 07/09/2015 Returned 07/10/2015 07/07/2015 Sub!;!oena- Constable 4 Shobana Muratee 07/07/2015 Subpoena Muratee, Shobana Returned Unserved 07/15/2015 Returned 07/15/2015 07/10/2015 Motion {No Fee} Defendant Pro Se Motion 07/14/2015 Co!;!Jl Reguest 07/14/2015 Motion for Discove!Jl and order 07/14/2015 Motion {No Fee} requesting finding of fact with conclusions of law; and order 07/15/2015 Motion {No Fee} objection to trial court consolidation of more than one charging instrument offense for prosecution in a single trial 07/20/2015 Motion (No Fee) Def Notice to Court and State on Intent to Produce Expert Witness 07/20/2015 Motion (No Fee) Def. Pro-Se Motion Electin g Trial Jury to Assess Punishment 07/21/2015 Reset 07/21/2015 Affidavit ProSe 07/21/2015 Affidavit ProSe 07/21/2015 Motion {No Fee} Def. Pro-Se Motion to Dismiss Cause Sub Judice For Want of Prosecution 07/28/2015 A!;!!;!lication for Sub!;!oena 08/03/2015 S!,!b!;!oena- Constable 2 Kausar Jehan Baig 08/03/2015 Sub!;!oena • Constable 2 Kausar Jehan Baig (Duces Tecum) 08/03/2015 Sub12oena- Constable 2 Kelly Davis 08/03/2015 Sub12oena - Constable 4 Shobana Muratee 08/03/2015 Subpoena Baig, Kausar Jehan Returned Unserved 08/14/2015 Returned 08/14/2015 08/03/2015 Subpoena Baig, Kausar Jehan Returned Unserved 08/27/2015 Returned 08/27/2015 08/03/2015 Subpoena Davis, Kelly Served 08/05/2015 Returned 08/10/2015 08/03/2015 Subpoena Muratee, Shobana Served 08/20/2015 Returned 08/24/2015 09/03/2015 Reguest For Order of Protection Re garding Disclosure of Evidence 09/04/2015 Order Of Protection Regarding Dt·sc/osure of Evidence - not signed 09/04/2015 Motion {No Feel Applicant Pro Se Motion T Expedite Disposition of Subject Matter In Article 11.09 Application For Habeous Corpus Relief 09/15/2015 Jury Trial (11 :00 AM) (Judi dal Officer Lowery, Susan G.) http://tylerpaw.co.fort-bend.tx.us/CaseDetail.aspx?CaseiD=1435051 2/3 •• '9/11/201,..- tylerpa,w.co.fort-bend.bcus/CaseDetail.aspx?CaseiD=1435051 Prose 01/2312015 Reset by Court to 03/10/2015 0311012015 Reset by Court to 03/27/2015 0312712015 Reset by Court to 04/0712015 04107/2015 Reset by Court to 0710712015 07/0712015 Reset by Court to 0712112015 0712112015 Reset by Court to 09/1512015

http://tylerpaw.co.fort-bend.tx.us/CaseDetail.aspx?CaseiD=1435051 3/3 ' u - •. .... .. (

No. 14-CCR-177950 County Court at Law No. 3 Fort Bend County, Texas

) STATE OF TEXAS ) IN THE COUNTY COURT AT LAW ) NO.3 v. ) ) FOR IRSHAD ISMAIL BAIG, ) ) Defendant, Pro Se ) FORT BEND COUNTY, TEXAS ) ) _____________________________) IN THE COURT OF CRIMINAL APPEALS OF TEXAS APPLICATION FOR WRIT OF HABEAS CORPUS (T.C.C.P. ARTICLE 11.09; 11.05; 11.04; 11.01) Applicant: IRSHAD ISMAIL BAIG Date of Birth: April 07, 1964 STATEMENT OF CASE 1) On or about January 20th, 2015, Applicant was notified via computer public records review of a pending misdemeanor charge of Assault Causing Bodily Injury; Family Violence/MA. Said misdemeanor charge being officially processed by Meadows Place Police Dept. (See: Attachment A, Misdemeanor Complaint dated 12/16/2014).

2) Case was assigned to Fort Bend County Court number 3. On January 23, 2015, Applicant gave oral notice to Court Judge of his right to speedy trial and the case was rescheduled to March 10, 2015 beginning a series of delays.

3) On or about March 05, 2015 just prior to Applicant March 10, 2015 scheduled Hearing date, the State alleged Complainant signed and filed with the Fort Bend District Clerk office a sworn, signed, notarized AFFIDAVIT setting forth in some five numerical ' . '. t.-:·-~~~-- 14-CCR-177960 WRHCF Writ of Habeat Corpus Pre- Judgment 3640956 p.- Ctt<- \'17£1 50 No. 4' County Court at Law No. 3 II Ill Fort Bend County, Texas

) STATE OF TEXAS ) IN THE COUNTY COURT AT LAW ) NO.3 v. ) ) FOR IRSHAD ISMAIL BAIG, ) ) Defendant, Pro Se ) FORT BEND COUNTY, TEXAS ) )

IN THE COURT OF CRIMINAL APPEALS OF TEXAS APPLICATION FOR WRIT OF HABEAS CORPUS UNDER T.C.C.P ARTICLE 11.09 (Misdemeanor) Applicant: IRSHAD ISMAIL BAIG Date of Birth: April 07, 1964 STATEMENT OF CASE I) On or about January 201h, 2015, Applicant was notified via computer public records review of a pending misdemeanor charge of Assault Causing Bodily Injury; Family Violence/MA. Said misdemeanor charge being officially processed by Meadows Place Police Dept. (See: Attachment A, Misdemeanor Complaint dated 12/16/2014).

2) Case was assigned to Fort Bend County Court number 3. On January 23, 2015, Applicant gave oral notice to Court Judge of his right to speedy trial and the case was rescheduled to March 10, 2015 beginning a series of delays.

3) On or about March 05, 2015 just prior to Applicant March I 0, 2015 scheduled Hearing date, the State alleged Complainant signed and filed with the Fort Bend District Clerk office a sworn, signed, notarized AFFIDAVIT setting forth in some five numerical ' . ..- • paragraphs and with no uncertainty of detail that at no time incident to the basis of State Misde.meanor allegations in cause number 14-C.C.R.-177950 did the Applicant Irshad Ismail Baig ever cause Complainant actual offensive, provocative or painful physical injury which AFFIDAVIT constitutes objective evidence plainly contrary to and inconsistent with State Misdemeanor Complaint. (See Exhibit 1: Affidavit of Kausar lrshad Baig attached herewith) CAUSE: 4) Applicant pro-se would and does aver to and submit to the Court that before a criminal charge (felony or misdemeanor) may be officially recognized, sustained, acted upon by an honorable court of law, there must be evidence with sufficient indica of reliability to support a conviction of some degree.

5) Applicant pro-se has obtained and filed with proper Clerk of Court the Complainant sworn Affidavit of Nolle Prosequi (copy of same at Exhibit 2 herewith) 6) Applicant pro-se submits to the Court that the State prosecutor has absolutely no medical evidence that Complainant suffered bodily injury from the Applicant as charged by State Complaint. See: In re M.G.M. 163 S.W. 3d 298; In re Cummings 13 S.W. 3d 472, 477 [Tex. App. Corpus Christi 2000]; Woodson V. State 191 S.W. 3d 280 infra. [App. Dist. 10 2006]; Johnson V. Brewer & Pritchard PIC/ [73 S.W. 3d 193 Tex. 2002]; Ivy V. Phillips Pet. Co. [36 F. Supp. 811 S.D. Tex. 1941 ]; "Verdicts cannot rest on conjecture or guess"; In re Winship, 397 U.S. 358; 90S. Ct. 1068 [1970] Tex. Penal Code Section 22.01 Assault (A), (B); Section 71.002 (b); Tex. Family Code Section 71.003 7) Here, the State has no reliable Evidence but squarely relies on a signed statement of Kausar Baig whom never actually read the statement at any time and was obviously .. ...

coerced into signing the statement by serious fear of having her children taken away from her and put in State custody.

RELIEF SOUGHT: 8) Applicant pro-se seeks immediate Dismissal with/without prejudice as it pleases the Court of all criminal charges related to or arising out of Cause Number 14-CCR-177950 Fort Bend County, Texas. So moved and prayed.

Writ GRANTED/DENIED Respectfully submitted

Presiding Judge IRSHAD ISMAIL BAIG

Date: '2015

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CAUSE NO. 14-CCR-177950 THE STATE OF TEXAS TO ANY PEACE OFFICER OF THE STATE OF TEXAS- GREETINGS: YOU ARE HEREBY COMMANDED TO SUMMON: IRSHAD ISMAIL BAIG 11706 NOBILITY MEADOWSPLA

rt in aoswer to this SUMMONS will c:ause the Court to immediately issue cc:used.

AID COURT, at office in Richmond, Texas, on this the 29th day of December, 2014

"It Is an offense for a pel"!lOn to intentionally inftuen It is also a felony offeose to harm or threaten to account of the service of the person as a witn "Es delito intimar u obligar a un testigo a dec:larar con es delito penal herir o amenazar eon herir a un tes · haber dec:larado en julcio o con el afan de impedir o

Cametobandonthe ______________________________ (1) Exec:uted at·------:--:-::----,------c:- ontbe __________~ at _______________________

TO CERTIFY WinCH WITNESS MY HAND OFFICIALLY.

(2)1, _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ ___,....

SWORN BEFORE ME, this __day of _ _ _ _ _ _ _ _ __, 19__.

• (1) Strike if not applic:able. (l) Use only if person other than Sheriff or Coostable served process. •NOTE: POLICY OF NON-DISCRIMINATION ON THE BASIS OF DISABILITY Fort Bend County does not discriminate on !lie basis of disability in !lie admission or access to, or trealmal1, or employment in, its programs or B<tivities. Fort Bend CoiDtty AD coordinator, ROSCIIbcrg Annex, 4520 Reading Rood, Suite A. Rosenberg, Texas 77471, phone (281) 341~18 has been designllltd to coordinate compliance with the 1101>-discriminatioo r<quin:rnc:nts contained in Section 35.107 ofthe Department of Justice regulations. Information concerning the pl'<Tfisions of !lie American with Disability Act, and !lie rights provided lilereunder, is 8VIIilable Crom the ADA Coordinator.

ORIGINAL ;· . . . . ,..· ·:...··.;-, , .. .. ·

•.. No. l~CR-177950

. .

STATE OF TExAs . ; _ _ : . - - - : - ' - - - - - - - - - - - . ) ~.

) ) ·-~ ) BEFORE THE COUNTY COURT . . .· . . \· . ) AT IAW.N0.3FOR .IRSHAD ISMAIL BAI~ ) FORT:·BEND .... ·. COUNTY, TEXAS "·) Wendant, Pro Se -_) . ·,~ ..

SWORN AFFIDAVIT .~·~ ·~; •-1, 19\USAR IRSHAD BAI~ hereby, J.terein swear. upon oath under penalty of perjury according _. . · to .taw· that the following declarationS;: averments, statements of fact, paragraphs 1 thru 5 are true . (i_ ··•· ·• Jmd ~rlect'beiilg·baSed upon my oWn. personal knowledge and experience. · ... 1). .1 wa5 JxmiAugust 22, 1972 and presently ~side at 11706 Nobility Drive in Stafford, Texas ··. 7"7477 and my telephone number is 281-658-2640. On or about November 09, 2014 at above ... reSidenCe my husband Irsbad Ismail Baig and I ~ a misunderstanding; disagreement resulting • in a serious. mgument oonceming our financial pOsition. ·2).. Alth~ at the suggestio~ and assistance of my friend I was taken to a nearby ·police station wf:iere· I ·&gtied some. fOrm ofComplaint against my husband, I was too nervous to read the ·. • compiaint'SO I merely signed at the place I was told to sign by policeman. . . . •· ·3}.-.bays i.aier; oil or. about November 20, 2014, I was questioned by C.P.S. and informed that my . ·. chikJrenpould ~taken away from me by the State of Texas if I refused to sign papers for some ":Pr6kdive QMer." I looked at the p8perS and signed theni for fear oflosing my children. I never ~ those papers either. . . . 4) · My children are my life and if they were taken away from me, I could not live. I believe Mr. •· <-:EJiriC.oF-enlando was o~e of the officers who talked to me. The State employees who talked with .· me Were vezy· Dice b1Jt when it inVolved the State taking my children, I heard. and understood ·. ve!y 'clearly arid there was· nobody that could quiet that tremendOus fear in my heart. · · · ·5) I ne\rer suffered any actual o:ffeJ:lSive, provocative or painful ~hysical ~uries from my · -husband li:shad Ismail Baig at any tiine dming the names, dates, places incident as a basis for ··. State prosecution arising out of Fort Bend Cotmty, Texas. · · · ·. FUrther Affiant sayeth not. . ' ''.

No. 14-CCR-177950 County Court at Law No. 3 Fort Bend County.- Texas

) STATE OF TEXAS ) IN THE COUNTY COURT AT LAW ) ' N0.3 v. ) ) FOR IRSHAD IS~ BAIG, ) ,· ) Defendant, Pro Se ) FORT BEND COUNTY, TEXAS ) )

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AFFIDAVIT OF NOLLE PROSEQUI I, KAUSAR IRSHAD BAIG, do solemnly swear, aver, declare upon oath, under penalty of peJ.jury, according to law that the following two paragraphs are true and correct based upon my own personal knowledge and experience.

1) The only reason I ever signed any type paper work or document related to Fort Bend County, Texas Misdemeanor Cause Number 14-CCR-177950 was because I was placed in serious fear of losing parental custody over my children due to open threat by State of Texas employees interviewing and questioning me about a family incident.

2) I do not intend to prosecute, neither will I participate in any future court or State sponsored activity related to Fort Bend County; Texas Cause Number 14-CCR-177950.

Further Affiant sayeth not

RECEIVED KAUS IRSHAD BAIG 11706 Nobility Drive APR 20 Z015 Stafford, TX 774 77 Phone: +1 281 6582640 DISTRICT ATTORNEY'S OFFICE ' \ .. ·_~· ·.I .. 14-CCR-1TI950 c 0 AFFI Affidavit 3539316

ll\ll\lll\lll\\\ll\ll\l\l\ll\l\\Ill \1\ I No.14-CCR-177950 County Court at Law No.3 Fort Bend County, Texas

) STATE OF TEXAS ) IN TilE COUNTY COURT AT LAW ) NO.3 v. ) ) FOR IRSHAD ISMAIL BAIG, ) ) Defendant, Pro Se ) FORT BEND COUNTY, TEXAS ) )

AFFIDAVIT OF NOLLE PROSEQUI I, K.AUSAR IRSHAD BAIG, do solemnly swear, aver, declare upon oath, under penalty of perjury, according to law that the following two paragraphs are true and correct based upon my own personal knowledge and experience.

1) The only reason I ever signed any type paper work or document related to Fort Bend County, Texas Misdemeanor Cause Number 14-CCR-177950 was because I was placed in serious fear of losing parental custody over my children due to open threat by State of Texas employees interviewing and questioning me about a f~ily incident.

2) I do not intend to prosecute, neither will I participate in any future court or State sponsored activity related to Fort Bend County, Texas Cause Number 14-CCR-177950.

Further Affiant sayeth not.

IRSHADBAIG "AlNfiO~ mna um:~11706 Nobility Drive SVX )4~313 J.1NI103 31 Stafford, TX 77477 ~~ Phone: +1 281 6582640 No~T<Xas 9*1 :~ Wd OZ HdV ~lOZ MAUHAKHAN MY COMMISSION EXPIRES 0311.:1 t~f Septamber12,2016 ~. .:~r:>.:·:.:.::::S:1f.:;=~=·J ~::;:::::;:::;::·::i;;::~:.:;::.:.====·=·==·:·:·:·:;;:·:·:·:·::::: :.·:::::::;;::;;;::::;:.::::·.:.:.:::::::::;::;::;;~::.:;_:.-;·;·:w::::.:.:::.:.:.:.::::;;:;::z.:::::::.:.:·:!:=.::.:.:::.:;;::;;.:;;:;;;.-;:~;~:;;;:::i~·.;:::::;::;:::;::::::;::.:::::;;.;~::;·:::·:-;:;:;:::;:;:;;;:;:;~::;;··············:··· ·.·.·-:-···-·-:-:-:···········:·:·:··-;-:·:-···-·.·.·.·.·.··:···=·=-··:·:·:·:·:·:·:····~~~-;.-~·:·;::·:·;.-;-:·;·;-;·:~-:-::;::·:::·:::·:::·:·~·:·:·:·;·;·:·:·:·;::·:·.::·:·:·:·:·:·:·:·:·:·:·: ,,

14- CCR -117950 MOTI Motion (No Fee)

No.14-CCR-177950 County Court at Law No.3 ~lli\1111111~111 Fort Bend County, Texas

BEFORE THE COUNTY COURT ATLAWNO. 3 FOR

FORT BEND COUNTY, TEXAS

DEFENDANT PROSE ROCEEDINGS IN ABEYANCE UNDER INSTANT CAUS -1 5 PENDING DISPOSITION OF 'L..~J....... US CTION NOW BEFORE THE USTIN, TEXAS TO THE HONORABLE JUDGE OF Comes now, IRSHAD ISMAIL B

entertain subject matter jurisdiction at the same time frame.

CASE FACTS 1) On or about December 17, 2014, Fort Bend Prosecutor filed

2) On or aboutApril23, 2015, Defendant acting in pro-se capacity, filed h" 11.09 Application for Writ of Habeas Corpus (pre-trial action) with the Fort Bend . .:.~:8.:~;=:.=8.:lli~:::::::::.o:::::::::~:=~~=i:::~;:::~~-~~;~~~~:;:::~;=:~:~:=:::·:·:=:-;:;;,:;:::::::::::::::·~:M;~:~::;;.:w;;;::~:::::::.;<:=:.::::· ·:=:=:·:·:=:=:=:=:=::::;:;::=:>:=:=:=z:::;:;.~:~::::;;.:;::_~:;;;~:~:;:;::.:.:.:.&.::=:=:=:·:=:=:=:=:·;;z:::::::::;:;:;~::::r;;.;::::•:=:=:=:=:r:::::::::::::~::.~u::;-:;~:;.:~::i&&;:·:·:·.·:·:.;-:-:;:,;z:;:·:·:·:·:·:·:-;-;-:...·:·:~:~~;=;:;0;~~~-:·;·.;;;:......~..:·:·:·:~;:;-~:..:::;;:z:;:;.;•::;;:::;:::=:::·~=;:;.;::::::.·

County Court (No. 3) Cause number CCR-177950, making a pre-trial challenge upon

3)

at warrant complete dismissal of all fact related criminal charges aris ainst Defendant in Cause No. 14- CCR-177950 4) Because the higher court has tot

pleading and enter appropriate notice

MOTION GRANTED/DENIED

PRESIDING JUDGE - - - - - - - ' 2015 No. 14-CCR-177950 County Court at Law No. 3 Fort Bend County, Texas

) s ) BEFORE THE COUNTY ) COURT ATLAWNO. 3 ) ) FOR ) ) ) FORT BEND COUNTY, TEXAS ) ) '

the District Attorney Office of Fort

_ _ _ ____, 2015 6'f:'\ ~tttJ

No. \ 4 .. ue- \ t"""f '16l5V .

County Court at Law No. 3 Fort Bend County, Texas

) s ·) IN THE COUNTY COURT AT LAW ) N0.3 ) ) FOR ) ) ) ) )

Applicant: IRSHAD ISMAIL BAIG Date of Birth: April 07, 1964

1) review of a pending misdemeanor charge Violence/MA. Said misdemeanor charge being o 1

Police Dept. (See: Attachment ;1, Misdemeanor C 2) Case was assigned to Fort Bend County Court number 3.

gave oral notice to Court Judge ofhls right to speedy trial and e to March 10, 2015 beginning a series of delays.

3) On or about March 05,2015 just prior to Applicant March 10,2015 s,~~~tw~rttJ ED date, the State alleged Complainant signed and filed with the Fort Bend n· . ~!'70tS . . office a sworn, signed, notarized AFFIDAVIT setting forth~ somelllfl~NE , YSOFFICE d with no uncertainty of detail that at ·no tim<? incident to the basis of State or allegations in cause number 14-C.C.R.-177950 did the Applicant Irshad ail Baig ever cause Complainant actual offensive, provocative or painful physical IT constitutes objective evidence plainly contrary to and

CAUSE: 4) officially recognized, sustained, acted upon by an honorable court o e evidence with sufficient indica of reliability to

5) sworn Affidavit of Nolle Proseq 6) Applicant pro-se submits to the Co evidence that Complainant suffered bodil Complaint. See: In re M.G.M. 163 S.W. 3d 298; [Tex. App. Corpus Christi 2000]; Woodson V. Sta 2006]~ Johnson V. Brewer & Pritchard P/C/ [73 S.W. 3d 193 7) Here, the State has no reliable Evidence but squarely relies on a signed stat K.ausar Baig whom never actually read the statement at any time and was obviously

Pag~ 2 of3 coerced in o signing the statement by serious fear of having her children taken away from

RE see immediate Dismissal with/without prejudice as it pleases the ~mu·tal charges related to or arising out of Cause Number 14-CCR-177950

Respectfully submitted

Presiding Judge

Date: _____, 2015

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j j j j j j j j j j j j j j j j j j j j j j j j j j --"ts:f·· .,.;;w CAUSE NO. 14-CCR-177950 THE SfATE OF TEXAS

AID COURT, at office in Richmond, Texas. on tills the 29th day of .

"Es delito intimar u obligar a un testigo a dedarar CSK(JaJS.,.~i'6 es delito penal herir o amenazar c:on herir a un haber declarado en juiclo o con el atau de iJIIpedJr o

TO CERTIFY WHICH WITNESS MY BAND OFFICIALLY.

(2)1, _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ ___.,.. ..

SWORN BEFORE ME, this_day of------~ 19_. • (1) Strike if not applicable. (l) Use only if person other than Sheriff or CoDS1able served proc:ess. • NOTE: POUCY OF NON-DISCRIMINATION ON mE BASIS OF DISABILITY Fort llcml County does DOl discriminollo 011 the basis af<lisobilily .in tbo admission or GC<aS to, or ttoa1ma1t. or employment in. ilS {l1D&IaiDO or activities. Fort llmd County AD~. Roso:nbag Annex, 45211 RcadiD& Reed, SaC A. Rosenl>erB.

Texas 77471, phone (211) 341-8618 has beaJ dcsi~ to coonlimal: compllaal:e wilh tbo aoo-dlocrimiDal ~ ~ ia Sccd01135.107 ofthe 0cpanmcnt of IUSiicc ~- lnformatioll oom:emiJ1g die pruvisioos of the American wilh Disability Ac:l, llld tile rigbts provided 1b=mder. is IMiilable !tom tilt ADA Coordinator.

ORIGINAL ·:;~ ~- -· ~ ... ".~ ~.. . ·.:.·.: -: (~til~P _ : ··~·. .

'"'· No. 14-CCR-177950

)...,...,..-----'~~-r----'--------,) ~v :: ·.} . . ; ) ) ) BEFORE-THE COUNTY COURT ) AT L).\WNO.iFOR ) FOiq-BEND COUNTY, TEXAS ~:.... ·>) -.)

. ,_.'

... ~~ 'tMti.SARIRSHAD BAIU ~by, .,.:··:,..:=e.~~~::=~n·m o . ·. . .· .. ,..l)'"_.Iwa& ~-August 22, 1972 aDd_pre~IYresi - · ·77_417 ~ myteleplioiie number is 281-658-2 · ... tesdente m.y'.husban(Hishad Ismail Baig I a miSUJld~8Jl4ilig; . · . in:a ~--argUm~~Dceming our · · p(;siti· 2}.. -A!~ at the.suggestiop. and assistance of mv/ITirP.ntt -.---v- a nearby police station · ·. -~}·~~-~ofComplaintagat"~oy nervous to read the · · ·.~ .Compl~·l tn~y signed at the plaCe I .a to Sl.!lnH'JV ·. . .-~)::t~J?a}'$ ~ -on-or,ab_o1Jt November 2~, 2014, 1 ~ .: · ed:b . ; :·. • :~.~lll:d ~-~'away froin_Jil<!:by the State 'TI . ifHejtqser:lj : :.·,:... ~. .~~oo:!r_St tlre. p8pers.and signed em n<!ftloB'"'

. ·. :. -·~ ·4.>: .. -:~y:~dieil.·are my life and iffu.ey were taken away .. . . ' .-~':Fdi)ando waS o•e efthe offi~ Who talked to me. l.D.C--illal~· .... . ~~\~c~rt{v~J~ ~-yilt.~nJt iiwoiy~trttte:state taking _my c.blll4J.~_)) · ·._:; Wfy :Cleirly.~~~ nobody·tbait wuld quiet that tremelldOus . ..... ~). _'J n~~-si#f~. any actual O~ve,· provocative oi painful ph'VI.li~I/ITI'I .·.-·husband Itshad-;Ismml Baig at ~Y tiine during the names, dates;p ~-~-.,.,_ ··· State prosecunon arisitig·oUt ofFOrt: Bend Co~:. Texas. · · .· FUrther Affiant sayeth not. . No.l4-CCR-1779SO · County Court at Law No.3 Fort Bend Countyr Texas

) STA: ) IN THE COUNTY COURT AT LAW ) ' N0.3 v. ). "'\· ·. ) FOR ) ,-,) ) FORT BEND COUNTY, TEXAS ) ) ·.<--...... j

I, KAUSAR IRSHAD BAIG, do solemnly s., ....... __.... ~ under penalty of petjury, according to law that the folio · based upon my au\.l""<Urrect.

OW!l personal knowledge and experience.

1) The only reason I ever signed any type pape iic. or c1Q£:Um.~ Texas Misdemeanor Cause Number 14-CCR-177950 ~rbeyaWse losing parental custody over my children due to nrvmA·hi'F!At-1'"' interviewing and questioning me about a family inci 2) I do not intend to prosecute, neither will I participate · activity related to Fort Bend Cmmty, Texas Cause Number 1 Further Affiant sayeth not

RECEIVED APR 20 2015 N.Texas ., ." .·:, , :' . ~ ... ~ DISTRICT AITORNEY'S OFFICE ·' . \ . : MALiiA . .· MYL.~s.'~ ~~~~/· , ··'· . . ·.. 1 · .. ·... ·· ··,,,,~·I J, . !,' J. ·- ., 14-CCR-1779110 MOTI Motion (Mo Fee) 3680761

No. 14-CCR-177950 \II I l\\ County Court at Law No. 3 Fort Bend County, Texas

) s ) BEFORE THE COUNTY ) COURT AT LAW NO. 3 ) ) FOR ) ) ) FORT BEND COUNTY, TEXAS ) )

setting forth the Court reasons for not grant Corpus relief prior to actual jury trial on subject CAUSE: 1) On or about April 23rd, 20 15 Defendant filed his Habeas Corpus Art. 11.04, 11.09 Tex. Code Crim. Proc.

2)

disposition before the Court instanter.

3) On or about June 30,2015, some 68 plus days beyond filing date ofsutr habeas corpus Application, the Court consolidated this Cause number with pre- Page 1 of2 existing cause number 15-CCR-180026 and summarily scheduled jury trial of both 5', 2015. Cause number 15-CCR-180026 also has an unanswered Art. habeas corpus filed on or about May 13, 2015. p

leadings summarily continuing to jury trial then Defendant's n I rights of meaningful access to courts; access to the Great

5) address and dispose of . 1.04; 11.09)beforeJuly21,

States requires. So Moved, Prayed.

MOTION GRANTED/DENIED:

Presiding Judge Fort Bend County, Texas Date: _ _ _ _ _, 2015

Page 2 of2 No.14- CCR-177950 County Court At Law No. 3 Fort Bend County, Texas

) STATE OF TEXAS ) COUNTY COURT AT LAW ) v. ) ) No.3 IRSHAD ISMAIL BAIG, ) ) Defendant, Pro Se ) FORT BEND COUNTY, TEXAS ) )

CERTIFICATE OF SERVICE I, IRSHAD ISMAIL BAIG, hereby certify I have delivered a true, correct copy of foregoing, attached Motion: (1) Defendant's ProSe Motion to Withdraw Subject Matter Habeas Corpus Jurisdictio~ .

and Proceed Original Action in Texas Court of Criminal Appeals in Austin, Texas To: a) Fort Bend County Clerk Office b) Fort Bend County District Attorney Office c) Fort Bend County Attorney Office

IRSHAD ISMAIL BAIG

1 DISTRICT J=t'H0HN£Y'S Off~CE No.14-CCR-177950 County Court at Law No. 3 Fort Bend ·county, Texas

) STATE OF TEXAS ) BEFORE THE COUNTY ) COURTATLAWNO. 3 v. ) ) FOR IRSHAD ISMAIL BAIG, ) ) Defendant, Pro Se ) FORT BEND COUNTY, TEXAS ) )

DEFENDANT PROSE MOTION TO WITHDRAW SUBJECT MATTER HABEAS CORPUS JURISDICTION AND PROCEED ORIGINAL ACTION IN TEXAS COURT OF CRIMINAL APPEALS, AUSTIN, TEXAS TO THE HONORABLE ruDGE OF SAID COURT: Comes now IRSHAD ISMAIL BAIG, pro-se Defendant in Cause sub judice and hereby, herein NOTIFIES the Court of Defendant's ~ntent to withdraw all subject matter Habeas Corpus jurisdiction in above styled, numbered cause of action; thereafter, to file said subject matter Habeas Corpus as Original action in Texas Court of Criminal Appeals sua sponte.

CAUSE: 1) This habeas. corpus action is a pre..:trial action of which Defendant enjoys Texas and Federal RIGHT/ENTITLEl\ffiNT to have the Court(s) rule, decide, and address the merits thereo£ 2) The instant Court has been sitting on top of Defendant's pro-se pre-trial habeas. corpus pleadings over 135 days without addressing the facts set forth therein or transferring

Page 1 of2 . - ~·

said habeas corpus APPLICATION to the Texas Court of Criminal Appeals as required by law.

3) The instant Court, to exacerbate the Defendant's Constitutional Right injury has also scheduled this Cause of action for jury trial on at least two prior occasions and then reset the Cause for trial on future dates.

4) It strongly appears to be a formidable abuse of discretion on the Court's behalf toward Defendant, therefore Defendant withdraws said habeas pleadings in favor of proceeding Original action jurisdiction in Texas Court of Criminal Appeals.

It is so urged, rp.oved, and decreed by Defendant this lOth day of September 2015.

IRSHAD ISMAIL BAIG 11706 Nobility Drive Stafford, TX 77477 Sworn and Subscribed

lib before me this 1.{)rny

of ICAVITA IIHATT Notaty .Public STATE OF TEXAS My Comm. Exp. 11-13-18 Notary Public for Fort Bend County, Texas

Page2 of2

Case-law data current through December 31, 2025. Source: CourtListener bulk data.