Corey Hayes Parker v. State
Corey Hayes Parker v. State
Opinion
06-15-00145-CR
CLERK'S RECORD Volume !_of 1 FILED IN 6th COURT OF APPEALS TEXARKANA, TEXAS Trial Court Cause No.28,779 12/1/2015 9:36:29 AM DEBBIE AUTREY In the 196th District Clerk Court -------------------------- H_u_nt_ _ _ _ _ _ _ _ _ County, Texas.
Of_ _ _ _ _ _ _ _ _ _ _ _ _ _ Honorable _ _ _ _ _ _ _J_A_nd_r_e_w_B_e_n_c_h_ _ _ _ _ _ _Judge Presiding
..-S.TA . . . ......T s __________Plaintiff(s) .....E~O--F__T-=E--X__ A__
__c__o_R__Y__H__A_Y_E__S___ PA_R ___ K=ER __________Respondent(s)
Appealed to the 6TH Court of Appeals Texarkana, TX Attorney for Appellant(s): Name: Peter I. Morgan Address: P.O. Box 984 Greenville, Texas 75403 Telephone No.: (903) 455-8113 Fax No.: (866) 642-0057 Attorney For: Cory Hayes Parker
ounty District Clerk
TRIAL COURT CAUSE NO 28,779 The State of Texas County of Hunt In the 1961h Judicial District Court of Hunt County, the Honorable J Andrew Bench., Judge Presiding, the following proceedings were held and the following instruments and other papers were filed in this cause, to wit:
TRIAL COURT CAUSE NO 28,779 STATE OF TEXAS § IN THE DISTRICT COURT § vs § 196m JUDICIAL DISTRICT § CORY HAYES PARKER § HUNT COUNTY, TEXAS
TRIAL COURT CAUSE NO. 28,779 THE STATE OF TEXAS § 196th JUDICIAL DISTRICT vs. § COURT OF CORY HAYES PARKER § HUNT COUNTY, TEXAS INDEX Page Clerk's Summary 1 Caption 2 Index 3-5 Indictment 6-7 Criminal Docket 8- 11 Order Appointing Attorney Jack Paris 12- 13 Motion for Production of Witness List 14- 15 Motion for Production of Exculpatory Evidence 16- 17 Motion for Discovery of Documents and Other Things 18- 19 Ex Parte Motion for the Appointment of an Investigator 20-21 Ex Parte Order Appointing a Private Investigator for Defendant 22 Motion for Production of Current Criminal Histories 23-24 Ex Parte Motion for Discontinuance of Investigative Services Previouly Ordered 25-26 Ex Parte Motion for Substitution Appointment of an Investigator 27-28 Ex Parte Order Appointing Substituted Private Investigator for Defendant 29 Ex Parte Order Discontinuing Prior Appointment of Investigator 30 Order for Production of Current Criminal Histories 31-32 Defendant's First Motion in Limine 33-35 Motion for Production of Current Criminal Histories 36-37
State's Motion for Continuance 38-39 Ex Parte Motion for the Appointment of an Investigator 40-41 Ex Parte Order Appointing a Private Investigator for Defendant 42 Order for Production of Current Criminal Histories 43-44 Order Granting State's Motion for Continuance 45 State's Amended Supplemental Designation of Expert Witnesses 46-48 State's 3rd Supplemental Designation of Expert Witnesses 49-51 Order on Defendant's First Motion in Limine 52-53 Jury List- States's Strikes 54-59 Jury List- Defendant's Strikes 60-65 Jury List- Court's Strikes 66-71 Jury List- Clerk's List 72-77 Jury List- Selected Jurors 78 Defendant's Election for Determination of Punishment 79 Defendant's Application for Probations/Community Supervision 80 Order Reducing/Increasing Bond 81 Charge of the Court 82-88 Court's Punishment Charge 89-93 Texas Code of Criminal Procedure 39.14 Compliance Statement 94-96 Judgment- 8 Years TDCJ 97- 100 Trial Court's Certificate of Defendant's Right to Appeal 101 Order Appointing Attorney on Appeal - Peter Morgan 102- 103 Notice of Appeal 104- 105
Motion to Set Bail Pending Appeal 106- 108 Order Setting Bond - Appeal 109 Motion for New Trial 110-111 Clerk's Certification 112
• CAUSE NUMBER
THE STATE OF TEXAS VS. COREY HAYES PARKER CHARGE: AGGRAVATED ASSAULT AGAINST A PUBLIC SERVANT IN THE 196TH JUDICIAL DISTRICT COURT OF HUNT COUNTY, TEXAS IN THE NAM~ AND BY AUTHORITY OF THE STATE OF TEXAS THE GRAND JURORS, FOR THE COUNTY OF HUNT, STATE OF TEXAS, DULY SELECTED, IMPANELED, SWORN, ORGANIZED, AND CHARGED TO INQUIRE OF OFFENSES COMMITTED IN SAID COUNTY AND STATE, UPON THEIR OATHS PRESENT IN AND TO SAID COURT THAT ON OR ABOUT THE 2nd DAY OF AUGUST, A.D. 2012, IN THE COUNTY AND STATE AFORESAID, AND BEFORE THE PRESENTMENT OF THIS INDICTMENT, COREY HAYES PARKER did then and there intentionally or knowingly threaten DEPUTY KELLY PHILLIPS with imminent bodily injury by pointing a firearm in DEPUTY KELLY PHILLIPS' direction, and did then and there use or exhibit a deadly weapon, to wit: a shotgun, during the commission of said assault, and COREY HAYES PARKER did then and there know that DEPUTY KELLY PHILLIPS was a public servant, to wit: A SHERIFF'S DEPUTY WITH THE HUNT COUNTY SHERIFF's DEPARTMENT and that the said DEPUTY KELLY PHILLIPS was lawfully discharging an official duty, to wit: executing a search warrant; PARAGRAPH TWO did then and there intentionally or knowingly threaten DEPUTY KELLY PHILLIPS with imminent bodily injury by pointing a firearm in DEPUTY KELLY PHILLIPS' direction and did then and there use a deadly weapon, to wit: a shotgun, during the commission of said assault, and COREY HAYES PARKER did threaten DEPUTY KELLY PHILLIPS in retaliation or on account of an exercise of official power or performance of official duty by DEPUTY KELLY PHILLIPS as a public servant, to wit: A PEACE OFFICER WITH THE HUNT COUNTY SHERIFF'S DEPARTMENT
AGAINST THE PEACE AND DIGN HE STATE.
SCANNED STATE OF TEXAS.
COUNTY OF HUNT )( )( • I, Stacey Landrum, Clerk of the 1961h Judicial District Court of Hunt County, Texas, do hereby certify that the within and foregoing is a true and correct copy of the original bill of indictment, filed in said Court on the 25th day of JANUARY, 2013, in Cause Number Styled the State of Texas vs. COREY HAYES PARKER.
Given under my hand and seal of said Court, in Greenville, Hunt County, Texas, this the day of , 2012.
Stacey Landrum, District Clerk
By: Deputy Clerk
WARRANT INFORMATION NAME: COREY HAYES PARKER ADDRESS: 2259 PR 3837 (Kinq St)_ Quinlan, TX 75474 DOB: 03-09-1980 I DL: 07099886 I SSN: XXX-XX-XXXX HT: 5'10 1 wr: 200 HAIR: bro I EYES: arn RACE: w SEX: male HCSO #: 47207 I SID: 06549725 I FBI: 381208PB5 DATE OF ARREST: 08/02/2012 OCCUPATION: SCAR(S)/TATTO(S): DAFILE#: 1301068
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.. ~ 196tt'n CRIMINAL DOCKET CASE N1~ 8 , 119
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Defendant arraigned. Identity fixed. Affidavit s1gned. i\11011•<)' aw~efendant·admomshedcPiea·of-NOT-GUikWentered.
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I AFFIDAVIT OF IND.NCE AND Al'PLICATION FOR APP.ED ATTORNEY
My fu II name is-,L/~ ( // /-"'C.0 ,4/!d/ ~./·~/.:.a/ <c_,Y!-C_--t·~L/-&-"'-"-~.f:c:S:>-_ _,._~~.{c""t..!..!.k<;_~s::_,L__ _ _ _ _ _ _ _ _ _ _ __ 6'-7' My address is /(}r7'i':7 ,4,/dveUo l wish to disclose under oath my income, sources of income, assets, property, outstanding obligations, necessary expenses, dependents, spousal income available to me and any Governmental supp01i.
1. My earnings are $-?~•.,;?"-'-0"-Q.L__ _ _ _ pcr /Vi>--v II{ Employer .4 fel/oc Lr'!§.fOM,5 · Address of Employer q 7 7 c/ Ma dv (, vv ist the last job you had when it ended and expectations of gaining employment.
2. I have other income in the amount of (state source and amount per month/week
3. I AM I~ married and support_Qchildren and or other dependents who are (name and re!atJO~
4. &A Earnings of my spouse available to me are (name of employer and amount of weekly or monthly earnings) fl/ . I 5. I have the followiug money: At home $._ _+---- Checking Account $_-----!!__ Savings Account $._ _! - - - - Safety Deposit Box $_ _--+/_ _ Due/Owed to me $. _ _J--_ _ Other $ '---+--- 6. I own the following real property: (Address and location) / I
If you own any of the following, please show value: House Automobiles Furniture l Other Land/Buildings Notes, Mortgages, Trusts Stocks and Bonds Animals ofValue Jewelry Other Personal Property~-----'--------------------'--- I h:t~lr' . .Jb",,; ~ ·pf';;i ;;,;(;·d. j]lp f(1i1[1":;,Hr nr·r·r·<:("n>l ·'"'"11C'1''1·"' i / I ·;;./{, . ula.f,.., l?io..d Page I of?.
8. 1 have the following outstan. obligations: • 9. ~M7{Jo 10. @AM NOT ee on bond. Amount of bond $._L8-LI'~f~------'~L...Dii,.-...,.,--- -"'";/ Cl.ER;,us"l 'f'bt.,/. I Name of person who paid for bond~:LI<C!.'/y~·e~._Lbd,!~;..C~C~OL!l~"':'-3.,_ _ _ _"'_1Cr_c.:;ou:::R1:C!>..roH•:u.;;:v,.,,ce;:cr;,n.
Bondsman's name._ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ __ 11. I receive governmental support of $. __________for _ _ _ _ _ _ _ _ _ __ 12. I am currently represented by attorney on other · ----------------------- charges or in other court(s). ·My attorney is RETAINED I APPOINTED.
Subscribed and sworn to before me, the undersigned authority, on this the __ day of 20 # Jca YJ tJ o ~ ~ '~ 0 q State of Texas \ By:. _ _ _ ~-----:=----- Oiftcial Administering Oath for the State of Texas
vs CnLRLj %~eD±?uhe~ ORDER The court, finding that Defendant is too poor to employ counsel, appoints to defend the accused. ( ) Defendant is in custody and tl1e attorney should visit thejail within one day. ( IJ-l)efendant is directed to meet the attorney within three days. .1. ( ) Defendant is able to partially afford attorney in amount of$ er_LIYrJ.c..=._·~yv_i'_L__
HUNT COUNTY, ?,x;, r :·FAXEIJ DATE: ?r'IJI ~ CERTIFICATE Fonvard 10 a-rpointcd atio!Tley i:j-y ( .) !7:;;; ( i !~~-:P::il ~~: 1 -...,C"'OU"""RrlAOM"""""IN"'IS"'tfWOR Coord inawr !'age 2 uf 2 • CAUSE NO. 28,779 • .q~~ At4,p c~~ ~ '1 <'0. 4f THE STATE OF TEXAS § IN THE DIS~~JR¥1 vs. § OF HUNT COUNTY~ ·~ CORY HAYES PARKER § 196TH JUDICIAL DISTRICT MOTION FOR PRODUCTION OF WITNESS LIST TO THE HONORABLE JUDGE OF SAID COURT: COMES now Defendant, CORY HAYES PARKER, in the above-entitled and-numbered cause, by and through his Court-Appointed Attorney of Record, and makes and files this Motion for Production of Witness List and would respectfully show as follows: I.
Defendant stands accused by Indictment in the above-entitled and-numbered cause of the alleged violation of the law as more fully set forth in the Indictment.
II.
In order to avoid surprise to Defendant and Defendant's Attorney at the time of trial and for the purpose of promoting a fair and just trial of Defendant as to the allegations against him by Indictment in this cause, it is necessary that THE STATE be ordered to furnish to Defendant through his Attorney of Record a written list of all witnesses that THE STATE intends to call or may call at the time of trial and their most currently known addresses.
It is necessary that THE STATE be ordered to furnish the names and addresses of all such witnesses to Defendant's Counsel so that said Counsel will have a full and adequate opportunity to prepare a defense to the allegations against the Defendant.
PRAYER WHEREFORE, PREMISES CONSIDERED, Defendant prays that upon hearing hereof, the Court order THE STATE through the Hunt County District Attorney, to forthwith furnish to Defendant through his Court-Appointed Attorney of Record a full and complete list of all persons that THE STATE intends to call or may call as witnesses against the Defendant at the time of trial, specifically including the most currently known address for each such witness.
Motion for Production of Witness List Parker- 42253 Page 1 of2 • • Respectfully submitted,
ATTORt"lEY AT LAW 3101 JOE RAMSEY BLVD, STE. 101 P. 0. BOX 8277 GREENVILLE, TEXAS 75404-8277 Telephone: (903) 455-5797 Fax: (903) 455-6205 SBN 15461500 COURT-APPOfNTED ATTORNEY FOR DEFENDANT, CORY HAYES PARKER CERTIFICATE OF SERVICE The undersigned Attorney hereby certifies that a true and correct copy of the foregoing Motion, has been delivered to Hon. Noble Walker, Hunt County District Attorney, Hunt County Courthouse, Greenville, Texas by hand delivery of same on this the 4th day of March 2013.
Motion for Production of Witness List Parker- 42253 Page 2 of2 • CAUSE NO. 28,779 • THE STATE OF TEXAS § VS. § CORY HAYES PARKER § MOTION FOR PRODUCTION OF EXCULPATORY EVIDENCE TO THE HONORABLE JUDGE OF SAID COURT: COMES now Defendant, CORY HAYES PARKER, in the above-entitled and-numbered cause, by and through his Court-Appointed Attorney of Record, and makes and files this Motion for Production of Exculpatory Evidence and would respectfully show as follows: I.
Defendant stands accused by Indictment m the above-entitled and-numbered cause of the alleged violation of the law as more fully set forth in the Indictment.
II.
Defendant and his Attorney would respectfully show unto the Court that they are entitled to discover and to have produced to them any and all evidence, exhibits, tangible things, statements of possible witnesses or anything else in the possession of or known to THE STATE that is exculpatory of Defendant as to the allegations made against him in the Indictment by which he stands accused, specifically including but in no way limiting the generality of this request, any written, recorded, videotaped or other statements by any person providing or suggesting an alibi for Defendant or that corroborates or is otherwise supportive of any alibi of the Defendant or any statements of any nature by any person contradictory or otherwise unsupportive of the allegations contained in the Indictment in this cause, any tangible or physical evidence in the possession of THE STATE that THE STATE does not intend to offer at the time of trial of the accused and the names and most currently known addresses of any and all persons interviewed or interrogated by THE STATE in the conduct of its investigation as to the allegations against the Defendant in this cause and which person or persons THE STATE does not intend to call as a witness at the time of trial.
Motion for Discovery of Exculpatory Evidence Parker- 42253 Page 1 of2 l • PRAYER • WHEREFORE, PREMISES CONSIDERED, Defendant prays that upon hearing of this Motion, that this Honorable Court enter its Order directing THE STATE through the Hunt County District Attorney, to forthwith reveal and produce to Defendant through his Court-Appointed Attorney of Record all exculpatory evidence as specifically set forth hereinabove and otherwise in the possession of or known to THE STATE.
Respectfully submitted,
ATTOR.J'\'EY AT LAW 3101 JOE RAMSEY BLVD., STE 101 P. 0. BOX 8277 GREENVILLE, TEXAS 75404-8277 SBN 15461500 Telephone: (903) 455-5797 Fax: (903) 455-6205 COURT-APPOINTED ATTORNEY FOR DEFENDANT CORY HAYES PARKER
CERTIFICATE OF SERVICE The undersigned Attorney hereby certifies that a true and correct copy of the foregoing Motion, has been delivered to Hunt County District Attorney, Hunt County Courthouse.- Greenville.- Texas bv"' hand deliverv.. of same on this the 4th dav. of March 2013.
J L. PARIS, JR.
Motion for Discovery of Exculpatory Evidence Parker- 42253 Page 2 of2 • • AI}" /:iJ d) At4~~ CAUSE NO. 28,779 THE STATE OF TEXAS § IN THE DI~IC~ ro~4f c~-~> <UIJ vs. § OF HUNT CO~'f.&XAS .,-v CORY HAYES PARKER § 196TH JUDICIAL DIST:Rfe~ MOTION FOR DISCOVERY OF DOCUMENTS AND OTHER THINGS TO THE HONORABLE JUDGE OF SAID COURT: COMES now Defendant, CORY HAYES PARKER, in the above-entitled and-numbered cause, by and through his Court-Appointed Attorney of Record, and makes and files this Motion for discovery of certain documents and records and would respectfully show as follows: I.
Defendant stands accused by Indictment m the above-entitled and-numbered cause of the alleged violation of the law as more fully set forth in the Indictment.
II.
Defendant is entitled to production of the documents hereinafter specifically identified in order to avoid surprise at the time of trial and to permit the proper presentation of the Defendant's case at the time of trial and any defenses, which Defendant is entitled to claim.
The specific documents of which Defendant's attorney seeks copies are: copy of any and all written documents which may have been signed by Defendant from the date of arrest to the present date; copies of any and all written documents constituting any statement alleged to have been made by and signed by Defendant relating to this cause; a copy of the Indictment; a copy of any law enforcement offense report, specifically including offense report in writing made by any law enforcement authorities; copy of any written document constituting an arrest report by any law enforcement authorities; and copies of any document in typed or written from which THE STATE intends to offer into evidence at the time of trial of this cause in either the guilt phase of the trial or for the purposes of punishment in the event the Defendant is found guilty or for enhancement of said punishment in the event that Defendant may be found guilty; copy of any search warrant and/or arrest warrant executed in this cause and any affidavits supporting the issuance of any such warrant or warrants; any photographic or other
Motion For Discovery Parker- 42253 Page 1 of2 • • demonstrative or physical evidence; any statements of purported witnesses, whether in writing, tape recorded or videotaped, any statements by or interviews with Defendant, whether in writing, videotape or tape recorded or otherwise mechanically recorded and/or reproduced; any written reports of scientific examinations, findings or tests.
PRAYER WHEREFORE, PREMISES CONSIDERED, Defendant prays that this Honorable Court enter its order instructing THE STATE through the Hunt County District Attorney to immediately provide to Defendant's Court-Appointed Attorney, JACK L. PARIS, JR., copies of all of the documents and written materials specifically requested herein and to enter such other and further Orders to which Defendant may show himself to be justly entitled.
Respectfully submitted,
ATTORi\!EY AT LAW 3101 JOE RAMSEY BLVD., STE 101 P. 0. BOX 8277 GREENVILLE, TEXAS 75404-8277 SBN 15461500 Telephone: (903) 455-5797 Fax: (903) 455-6205 COURT-APPOINTED ATTORNEY FOR DEFENDANT, CORY HAYES PARKER CERTIFICATE OF SERVICE The undersigned Attorney hereby certifies that a true and correct copy of the foregoing Motion, has been delivered to Hon. Noble Walker, Hunt County District Attorney, Hunt County Courthouse, Greenville, Texas by hand delivery of same on this the 4th day of March 2013.
J L.PARIS,JR.
Motion For Discovery Parker- 42253 Page 2 of2 . . • CAUSE NO. 28,778 • ~ ·. ....' l.··-r·· .' : --~ .•.,,. ..
I ~) (And No. 28,779) ZII3MAY 20 1-M ~: 28 THE STATE OF TEXAS § IN THE DISTRICT COURT. et.~'!'O, c-:...!'"r. . ;.;.~~,- ~ -L:A.i?BRUI"1 § -·~ "·~ ~ CL\'VI i':U~;'·1 vs. § OF HUNT COUNTY, TEXAS ' CO. TX § 3X I 96TH JUDICIAL DISTRICT AC::: D~~UJ-Y CORY HAYES PARKER §
EX PARTE MOTION FOR THE APPOINTMENT OF AN INVESTIGATOR TO THE HONORABLE JUDGE OF SAID COURT: COMES now Defendant, CORY HAYES PARKER, in the above-entitled and-numbered cause, and files this Motion ex parte for appointment of an investigator to assist him and his Court-Appointed counsel in the preparation of his defense and for good cause would respectfully show this Court as follows: I.
Defendant is entitled to appointment of an investigator for both facts and for the possibility of punishment phase of these proceedings.
II.
It would be impossible for defense counsel to adequately investigate the facts of the case and to provide proper representation of Defendant in the function as legal counsel. Defendant respectfully requests that this Court appoint James J. Smith, Smith & Assoc. Investigations as investigator for Defendant in this case.
III.
Due to the senous nature of the offense, it is imperative that an investigator be promptly appointed so that witnesses can be found well in advance of the trial and that a thorough and impartial investigation be made.
Ex Pane Motion For Appointment of An Investigator Parker- 42253 Page I of2 • PRAYER • WHEREFORE, PREMISES CONSIDERED, Defendant prays that this Honorable Court appoint a private investigator to assist him in the preparation of his defense, that the Court order the County Auditor of Hunt County, Texas to pay the cost of such investigative services, and for such other relief as the Court deems in the best interest of justice.
Respectfully Submitted, Jack L. Paris, Jr., P.C.
Attorney at Law P. 0. Box 8277 Greenville, Texas 75404-8277 (903) 455.5797 (903) 455.6205 FAX
By:ivc],;(~ ~;rfli: Paris, Jr. VState Bar No. 15461500 Court-Appointed Attorney For CORY HAYES PARKER
CERTIFICATE AS TO NON-SERVICE I certifY that this Motion has been presented, ex parte, to the Court. A copy has not been furnished to counsel for the State.
Ex Parte Motion For Appointment of An Investigator Parker- 42253 Page 2 of2 • CAUSE NO. 28,778 • (And No. 28,779)
THE STATE OF TEXAS § § VS. § § CORY HAYES PARKER § 196m .JUDICIAL DISTRICT
EX PARTE ORDER APPOINTING A PRIVATE INVESTIGATOR FOR DEFENDANT CAME on for consideration the Motion filed herein for the appointment of a private investigator to assist Defendant CORY HAYES PARKER and his Court-Appointed counsel herein in his defense of the allegations in the Indictments in this cause. The Court, having read and considered the Motion and being of the opinion that same is well taken and should be granted, hereby enters its Order accordingly: IT IS ORDERED that James J. Smith, Smith & Assoc. Investigations (P. 0. Box 9057, Greenville, Texas 75404) be and the said firm is hereby appointed as investigator to assist CORY HAYES PARKER and his Court-Appointed counsel, Jack L. Paris, Jr., in the defense of the allegations in the Indictments in this cause. Said appointment extends to investigative services with respect to guilt/innocence and, if necessary, to the punishment phase of the trial.
IT IS FURTHER ORDERED that this funding Order shall be for a total orC?o) fi.V£'~/ professional hours of investigative time. Further funding authority, if needed, may be requested upon good cause shown.
IT IS ORDERED that said investigator shall be paid from the general funds of Hunt County, Texas upon periodic billings submitted by such investigator and approved by the presiding District Jud~e. {/ SIGNED this 2( day of May 2013.
Hon. St_ hen R. Tittle, Jr. 196'h Judicial District Court
f ' .. • :~~{~ 0~41 CAUSE NO. 28,779 c~~~ l <'O~ THE STATE OF TEXAS § IN THE DISTRICT C~~ '9~"":;;..J vs. § OF HUNT COUNTY, TEXAS c<!'-t-
CORY HAYES PARKER § l96TH JUDICIAL DISTRICT
MOTION FOR PRODUCTION OF CURRENT CRIMINAL HISTORIES TO THE HONORABLE JUDGE OF SAID COURT: COMES now CORY HAYES PARKER, Defendant in the above-entitled and-numbered cause, who makes and files this his Motion for Production of Current Criminal Histories, and in support thereof would respectfully show unto the Court as follows: I.
Defendant and his counsel are in need of current criminal histories of all persons on the State's subpoena list in this cause for all prospective witnesses who are not (I) law enforcement personnel; (2) medical personnel; or (3) other expert witnesses.
Defendant and his counsel are also in need of a complete current criminal history of the Defendant, CORY HAYES PARKER.
II.
Defendant requests that this Honorable Court order the Hunt County District Attorney to obtain and produce current criminal histories for each of the persons on the State's subpoena list in this cause for all prospective witnesses who are not (I) law enforcement personnel; (2) medical personnel; or (3) other expert witnesses. The Defendant further requests that this Honorable Court order the Hunt County District Attorney to obtain and produce complete current criminal history of Defendant, CORY HAYES PARKER. Defendant requests that all criminal histories be delivered to Defendant's Attorney of Record by a date certain. In that regard, Defendant would state that this case has been set for an interim appearance on October 23, 2013 at 9:00a.m.
Motion For Production ofCCH Page I of2 I .. ..
PRAYER WHEREFORE, PREMISES CONSIDERED, Defendant prays that upon hearing hereof, that this Honorable Court enter an Order granting the relief requested herein.
Respectfully submitted,
J~L. PARlS, JR. A ORNEY AT LAW 3101 JOE RAMSEY BLVD., STE 101 P. 0. BOX 8277 GREENVILLE, TEXAS 75404-8277 SBN 15461500 Telephone: (903) 455-5797 Fax: (903) 455-6205 COURT-APPOINTED ATTORNEY FOR DEFENDANT, CORY HAYES PARKER
CERTIFICATE OF SERVICE The undersigned Attorney hereby certifies that a true and correct ·copy of the foregoing Motion, has been delivered to Hunt· County District Attorney, Hunt County Courthouse, Greenville, Texas by hand delivery of same on this th~day ofSef!tefflber 2013. '-/ C) q-, JAir~f~
Motion For Production ofCCH Parker- 42253 Page 2 of2 • • CAUSE NO. 28,778 (And CAUSE NO. 28,779)
THE STATE OF TEXAS § § vs. § OF HUNT COUNTY, TEXAS § CORY HAYES PARKER § 196TII JUDICIAL DISTRICT EX PARTE MOTION FOR DISCONTINUANCE OF INVESTIGATIVE SERVICES PREVIOUSLY ORDERED TO THE HONORABLE JUDGE OF SAID COURT: On or about May 21,2013, this Honorable Court, upon the Motion of Defendant, entered its Order appointing James J. Smith, Smith & Associates Investigations (P. 0. Box 9057, Greenville, Texas 75404) as investigator to assist Defendant and his Court-Appointed counsel in the defense of the allegations set forth in the Indictments in these cases. Such investigator has provided such services as have been requested of him to date; however, because of the technical issues presented in this case and the volume of potential witnesses, medical evidence, and such, Defendant and counsel are in need of a greater level of expertise to assist in the investigation of many matters.
For that reason, Defendant respectfully requests that this Honorable Court discontinue the prior appointment of the said James J. Smith, Smith & Associates Investigations and to grant the separate Ex Parte Motion for Appointment of Substitute Investigator contemporaneously presented herewith. This request is in no way intended as a reflection upon the services rendered by the present investigator; this Motion is simply for the purpose of providing the most efficient and professional services in these particular cases.
PRAYER WHEREFORE, PREMISES CONSIDERED, Movant requests that this Honorable Court enter its Order in accordance with the foregoing allegations.
Ex Parte Motion for Discontinuance of Investigative Services Previously Ordered Parker- 42253 Page 1 of2 SCANNED 25 ' I • • • Respectfully Submitted, Jack L. Paris, Jr., P.C.
Attorney at Law P. 0. Box 8277 Greenville, Texas 75404-8277 (903) 455.5797 (903) 455.6205 FAX
By: ,~ ~1/?dh- Jaek L. Paris, Jr. State Bar No. 15461500 Court-Appointed Attorney For CORY HAYES PARKER
CERTIFICATE AS TO NON-SERVICE I certify that this Motion has been presented, ex parte, to the Court. A copy has not been furnished to counsel for the State.
Ex Parte Motion for Discontinuance of Investigative Services Previously Ordered Parker- 42253 Page 2 of2 CAUSE NO. 28,778 "'f (And CAUSE NO. 28, 779) f)> ~ THE STATE OF TEXAS § IN THE DISTRICT C~~ OC'~(~() § '"<>. q: //1 ~ VS. § OF HUNT COUNTY, TExA~<-: '7.: ~ § <'ov. '\..,.
CORY HAYES PARKER § 196™ JUDICIAL DISTRICT 'j}-r-1<v,.~ '-'o EX PARTE MOTION FOR SUBSTITUTION APPOINTMENT OF AN INVESTIGATOR ~· TO THE HONORABLE JUDGE OF SAID COURT: COMES now Defendant, CORY HAYES PARKER, in the above-entitled and-numbered causes, and files this Motion, ex parte for appointment of a substituted investigator to assist Defendant and his Court-Appointed counsel in the preparation of the defense in these cases and for good cause would respectfully show this Court as follows: I.
Defendant is entitled to appointment of an investigator for both facts and for the possibility of punishment phase of these cases.
II.
It would be impossible for defense counsel to adequately investigate the facts of these cases and to provide proper representation of Defendant in the function of legal counsel.
Investigation by Defendant's attorney would not be as efficient or cost effective as having those services professionally performed by a private investigator. Defendant respectfully requests that the Court appoint Mr. Randi Ray, RG Ray Investigations, Inc., 1650 W. Virginia, Suite 110, McKinney, Texas 75069 as investigator for Defendant in these cases. Defendant requests that the initial funding order for such private investigator be for fifty (50) hours at the rate of$60 per hour which is the customary rate approved for this particular investigator in multiple cases in Hunt County, including capital cases, due to the investigator's experience and expertise.
III.
Due to the senous nature of the offenses alleged in the Indictments numbered hereinabove, it is imperative that an investigator be promptly appointed so that a thorough investigation may be made prior to trial.
Ex Parte Motion For Substitution Appointment of An Investigator Parker- 42253 Page 1 of2 SCANNED 27 . i • I,
PRAYER WHEREFORE, PREMISES CONSIDERED, Defendant prays that this Honorable Court appoint a substitute private investigator above-named to assist Defendant in the preparation of his defense, that the Court order the County Auditor of Hunt County, Texas to pay the cost of such investigative services upon the Court's approval of billings submitted by such investigator, and for such other relief as the Court deems in the best interest of justice.
Respectfully Submitted, Jack L. Paris, Jr., P.C.
Attorney at Law P. 0. Box 8277 Greenville, Texas 75404-8277 (903) 455.5797 (903) 455.6205 FAX
By:---t'-k-~---'........._-!..::__,"--""~------- J . Paris, Jr. ate Bar No. 15461500 Court-Appointed Attorney For CORY HAYES PARKER
CERTIFICATE AS TO NON-SERVICE I certify that this Motion has been presented, ex parte, to the Court. A copy has not been furnished to counsel for the State.
Ex Parte Motion For Substitution Appointment of An Investigator Parker- 42253 Page 2 of2 CAUSE NO.2 s--<:: • (And CAUSE N . 28,779)
THE STATE OF TEXAS § § vs. § § CORY HAYES PARKER § 196m .JUDICIAL DISTRICT
EX PARTE ORDER APPOINTING SUBSTITUTE PRIVATE INVESTIGATOR FOR DEFENDANT
CAME on for consideration the Motion Jiled herein for the appointment of Substitute Private Investigator to assist Defendant CORY HAYES PARKER and his Court-Appointed counsel herein in the defense of the allegations set forth in the Indictments in these cases. The Court, having read and considered the Motion and being of the opinion that same is well taken and should be granted, hereby enters its Order accordingly: IT IS ORDERED that Randi Ray, RG Ray Investigations, Inc., 1650 W. Virginia, Suite II 0, McKinney, Texas 75069 be and the said firm is hereby appointed as investigator to work at the direction of Defendant's attorney, Jack L. Paris, Jr. Said appointment extends to investigative services with respect to guilt/innocence and, if necessary, to any punishment phase of the trial.
IT IS FURTHER ORDERED that this initial fundiog Order shall be for a total of 50 7tJ -1/( professional hours of investigative time at the rate of $60 per hour. Further funding authority, if needed, may be requested upon good cause shown.
IT IS ORDERED that said investigator shall be paid from the general funds of Hunt County, Texas upon periodic billings submitted by such investigator and approved by the Presiding District Judge. I- SIGNED this Ji day of October 2013.
Ho . Stephen R. Tittle, Jr., Judge 1961h Judicial District Court
• CAUSE NO. 28.778 • (And CAUSE NO. 28,779)
THE STATE OF TEXAS § § vs. § OF HUNT COUNTY, TEXAS § CORY HAYES PARKER § I 96TH .JUDICIAL DISTRICT
EX PARTE ORDER DISCONTINUING PRIOR APPOINTMENT OF INVESTIGATOR
CAME on for consideration on the date hereinafter shown the Motion of Defendant CORY HAYES PARKER through his Court-Appointed attorney requesting the discontinuance of the prior appointment of the existing private investigator, and the Court having read and reviewed such Motion and having obtained such clarification as the Court required, the Court finds that such Motion should be granted.
IT IS ORDERED that the prior Motion of this Court dated May 21, 2013 appointing James J. Smith, Smith & Associates Investigations as private investigator to assist Defendant and his Court-Appointed counsel in this cause is discontinued effective as of this date.
IT IS FURTHER ORDERED that such investigator shall submit his billing for any uncompensated time pursuant to his prior appointment for payment from the general funds of Hunt County, Texas. . f/'- SIGNED this ./5:_ day of October 2013.
Hon. Stephe R. Tittle, Jr., Judge 196'11 .Judicial District Court
• CAUSE NO. 28,779 • THE STATE OF TEXAS AT F~LE D M IN THE DISTRICT COURT vs. OF HUNT COUNTY, TEXAS OCT§2 3 2013 196TH .JUDICIAL DISTRICT CLERVs~~6tW.~co. CORY HAYES PARKER TX ORDER FOR PRODUCTION OF CURRENT CRIMINAL HISTORIES "Jr.{ I On the _!]_ day of ____,{)"--'-'cb=b~•-"-1---~ 2013, the Court heard Defendant's Motion requesting that the Hunt County District Attorney's office be ordered to furnish to Defendant's counsel current criminal histories of all persons on the State's subpoena list in this cause for all prospective witnesses who are not (I) law enforcement personnel; (2) medical personnel; or (3) other expert witnesses. The Court finds that the State of Texas did not interpose any objection to Defendant's oral Motion.
IT IS ORDERED that the Hunt County District Attorney's office shall furnish to Defendant's counsel, Jack L. Paris, Jr., no later than 4 o'clock p.m. on )I/_; /; 0 I , complete current criminal histories of all prospective witnesses set forth in the State's Proposed Witness List filed herein (including any amendments or supplements thereto); provided, however, that this Order--shall ::;.' not extend to (I) law enforcement personnel; (2) medical personnel; or (3) other expert witnesses.
With respect to any person named in the State's Proposed Witness List as to whom the District Attorney's office does not have sufficient identifying information to timely comply with the foregoing Order, the IT IS FURTHER ORDERED with respect to each such witness that the Hunt County District Attorney shall furnish to Defendant's counsel, Jack L. Paris, Jr., a complete current criminal history at the time that any such witness is actually called to testify at the trial of this cause.
IT IS FURTHER ORDERED that the Hunt County District Attorney's ot1izzhall furnish to Defendant's counsel, Jack L. Paris, Jr., no later than 4 o'clock p.m. on /I 1J , complete current criminal history of the Defendant, CORY HAYES PARKER.
Order For Production ofCCH Parker~ 42253 Page I of2 • 2013. •
Order For Production of CCH Parker- 42253 Page 2 of2 A.r~=' 1 LEo CAUSE NO. 28,779 - -M JUN ts 201~ THE STATE OF TEXAS § IN THED~~~T a <tr; OF HUNT COUNTY, TE~CO. T.'f § vs. § § TH CORY HAYES PARKER § 196 JUDICIAL DISTRICT
DEFENDANT'S FIRST MOTION IN LIMINE TO THE HONORABLE JUDGE OF SAID COURT: COMES NOW, Defendant CORY HAYES PARKER, by and through his Attorney of Record herein, prior to the voir dire examination of the jury panel and out of the presence and hearing of said jury panel, and makes this Motion In Limine, and for such Motion respectfully shows unto the Court the following: I.
The matters discussed in the following paragraphs are irrelevant, prejudicial, and/or incompetent to any of the material issues in the cause. The injection of such matters into the trial of these causes by any party, attorney, or witness would cause irreparable harm to the Defendant, which no instruction by the Court to the jury could cure. Should any of the matters be brought to the attention of the jury, directly or indirectly, Defendant would be compelled to move this Honorable Court for a mistrial immediately. Therefore, to avoid probable prejudice and a possible mistrial in these causes, Defendant moves the Court in limine as hereinafter set forth; I. That the State of Texas and the Defendant, CORY HAYES PARKER, have ever engaged in any plea negotiations or entered into or attempted to enter into any plea bargain or agreement with respect to the disposition of this case; 2. That the Defendant CORY HAYES PARKER, has or ever had any affiliation or involvement with any "gang"; 3. That the Defendant CORY HAYES PARKER, has ever previously illegally possessed, used or sold any controlled substances; 4. Any hearsay statements as to what any person might have testified had they been called as a witness of the trial of this case if any such person does not in fact testify at the time of trial;
Defendant's First Motion In Limine Parker- 42253 Page I of3 5. The possible existence of a person alleged to possess relevant knowledge as to the allegations set forth in the Indictment in this case if any such person does not actually testify at the time of the trial of these causes; 6. That the Defendant, CORY HAYES PARKER, has ever been investigated, arrested, prosecuted, or convicted of any offense extraneous to the allegations contained in the Indictment in this cause: 7. That Defendant's present counsel in this cause or any investigator or any other professional has been court appointed to represent defendant or that the aforestated persons or any of them may be compensated from County or other public funds or "at the expense of the citizens of Hunt County;" 8. The fact, substance, or content of any alleged written, recorded or oral statement attributed to Defendant, CORY HAYES PARKER, alleged to have been made to any law enforcement or prosecutorial authority of the State of Texas until legal predicate and admissibility have been established out of the jury's presence; 9. That Defendant has ever sought the protection of the Court with respect to suppression or exclusion of any possible evidence, the contents of any such Motions by Defendant, or the rulings of the Court with respect to any such Motions; I 0. The fact, number, or content of any pre-trial Motions or applications in this cause, the Court's rulings with respect to any pre-trial proceedings in this cause, or the fact or effect of the Court's failure to either grant or overrule any such Motion, i.e. to take any such matter "under advisement;" II. That this Motion addressed to the Court was filed by the Defendant or that the Defendant sought from the Court the protection and any relief sought and set forth in this Motion In Limine or any Order in connection herewith; and 12. The Contents of this Motion and any Order pursuant hereto.
II.
Defendant moves this Honorable Court to instruct all attorneys in this case, and to order them in tum to instruct all witnesses that they may call to testify in this case, not to interrogate about, mention, argue, or make any statements about or any references to or allusions to any of the foregoing matters of fact within the hearing of the jury or the jury panel or any prospective juror, without first obtaining the Court's expressed permission and authority, out of the hearing of the jury and the jury panel and all prospective jurors, to do so; and not read any pleadings, depositions or other papers concerning such matters without such prior permission of the Court.
Defendant's First Motion In Limine Parker- 42253 Page 2 of3 ·• PRAYER WHEREFORE, PREMISES CONSIDERED, the Defendant prays that the Court grant this Motion in its entirety; that this Honorable Court grant the protection and relief herein sought by appropriate orders; and that the Honorable Court order such other and further relief to which Defendant may be justly entitled.
Respectfully submitted,
9f~~&A ATTORNEY AT LAW 3101 JOE RAMSEY BLVD., STE 101 P. 0. BOX 8277 GREENVILLE, TEXAS 75404-8277 SBN 15461500 Telephone: (903) 455-5797 Fax: (903) 455-6205 ATTORNEY FOR DEFENDANT CORY HAYES PARKER
CERTIFICATE OF SERVICE The Undersigned Attorney hereby certifies that a true and correct copy of the foregoing Motion, has been delivered to the Hunt County District Attorney, Hunt County Courthouse, Greenville, Texas on this the 9th day of June 2014.
litfJr&4 Defendant's First Motion In Limine Parker- 42253 Page 3 of3 FILED AT _ _ _ M CAUSE NO. 28,779 THE STATE OF TEXAS § VS. § OF HUNT COUNTY, TEXAS CORY HAYES PARKER § 196TH JUDICIAL DISTRICT
MOTION FOR PRODUCTION OF CURRENT CRIMINAL HISTORIES TO THE HONORABLE JUDGE OF SAID COURT: COMES now CORY HAYES PARKER, Defendant in the above-entitled and-numbered cause, who makes and files this his Motion for Production of Current Criminal Histories, and in support thereof would respectfully show unto the Court as follows: I.
Defendant and his counsel are in need of current criminal histories of all persons on the State's subpoena list in this cause for all prospective witnesses who are not (l) law enforcement personnel; (2) medical personnel; or (3) other expert witnesses.
Defendant and his counsel are also in need of a complete current criminal history of the Defendant, CORY HAYES PARKER and Co-Actors TIFFANY RENEE LEWIS, KELLIE LEA . LOCKE, and BRETTNEE JOE LOCKE.
II.
Defendant requests that this Honorable Court order the Hunt County District Attorney to obtain and produce current criminal histories for each of the persons on the State's subpoena list in this cause for all prospective witnesses who are not (l) law enforcement personnel; (2) medical personnel; or (3) other expert witnesses. The Defendant further requests that this Honorable Court order the Hunt County District Attorney to obtain and produce complete current criminal history of Defendant, CORY HAYES PARKER and Co-Actors TIFF ANY RENEE LEWIS, KELLIE LEA LOCKE, and BRETTNEE JOE LOCKE. Defendant requests that all criminal histories be delivered to Defendant's Attorney of Record by a date certain.
Motion For Production of CCH Parker- 42253 Page l of2 PRAYER WHEREFORE, PREMISES CONSIDERED, Defendant prays that upon hearing hereof, that this Honorable Court enter an Order granting the relief requested herein.
Respectfully submitted,
fJCK L. PARIS, JR. (4_ TIORNEY AT LAW 3101 JOE RAMSEY BLVD., STE 101 P. 0. BOX 8277 GREENVILLE, TEXAS 75404-8277 SBN 15461500 Telephone: (903) 455-5797 Fax (903) 455-6205 ATIORNEY FOR DEFENDANT, CORY HAYES PARKER
CERTIFICATE OF SERVICE The undersigned Attorney hereby certifies that a true and correct copy of the foregoing Motion, has been delivered to Hunt County District Attorney, Hunt County Courthouse, Greenville, Texas by hand delivery of same on this the 9th day of June 2014.
~~i~AA¥1-r
Motion For Production ofCCH Parker- 42253 Page 2 of2 ., t;?-
/ f:JL£ Cause Nos. 28,778 & 28,779 20!~ D JUN 16 THE STATE OF TEXAS § IN THE DI§l:RI.QT,COUirl!f 1/:4 7 '"'fl'c .,._t r L 1 § TCLcR/' fPRUf1 vs. § OF HUNT ~PUNT'f1..TE~Sco. l~ § ----------1{,'1lh 0.
CORY HAYES PARKER § t96TH mmciAL mifru€®ry STATE'S MOTION FOR CONTINUANCE TO THE HONORABLE JUDGE OF SAID COURT: Comes now the State of Texas, by and through her District Attorney, Noble D. Walker, and moves the court to continue this cause, and in support of this motion shows: I.
These causes are set for trial on September 29, 2014 at 9:00a.m. The case was indicted on January 25, 2013.
II.
The State would ask these cases be reset on the next available jury setting after the week of September 29, 2014, except for the week of October 20,2014 (Defense Counsel and Assistant District Attorney Calvin Grogan are scheduled to begin a capital murder jury trial that week).
Texas Ranger Laura Simmons, the investigating officer, is unavailable the week of September 29, 2014, due to prepaid law enforcement training in Tennessee. Ranger Simmons will be teaching a law enforcement course and not be available. Ranger Simmons is a material witness for the State. Ranger Simmons, being duly served with a subpoena for this case several times, notified the Hunt County District Attorney's Office of the scheduling conflict today.
III.
This motion is not made for the purpose of delay but in order that justice may be done.
WHEREFORE, the State of Texas hereby prays the Court grant this Motion and continue this cause until future setting of this Court.
G Calvin Grogan Assistant District Attorney
CERTIFICATE OF SERVICE l hereby certify that a true and correct copy of this Motion for Continuance was served on Jack Paris, attorney of Record for the Defendant, on June 16, 2014 by placing a copy in his box in the Hunt County District Clerk's Office, pursuant to local rules.
~c: ~r/ G Calvin Grogan
ORDER The Court, having considered the above motion, and after hearing arguments from counsel, hereby orders that said motion be GRANTED DENIED.
JUDGE PRESIDING
CAUSE NO. 28,778 (And No@77'lj 201~ JUL 30 AM 9: 52 THE STATE OF TEXAS § IN THE DIST-RICT COUR'f, Ul3TidCi ~!_~;·.. \ ~~~:~!! c~J. T;~ § vs. § OF HUNT COUN.A.,JiaA.,. Su-v ~·------ ~r~~:.r- 1: § CORY HAYES PARKER § 196TH JUDICIAL DISTRICT
EX PARTE MOTION FOR THE APPOINTMENT OF AN INVESTIGATOR TO THE HONORABLE JUDGE OF SAID COURT: COMES now Defendant, CORY HAYES PARKER, in the above-entitled and-numbered cause, and files this Motion ex parte for appointment of an investigator to assist him and his Court-Appointed counsel in the preparation of his defense and for good cause would respectfully show this Court as follows: I.
Defendant is entitled to appointment of an investigator for both fact investigation and for the possibility of punishment phase of these proceedings. The Court previously appointed an investigator, but due to other commitments, he is unable to do the investigation required.
II.
It would be impossible for defense counsel to adequately investigate the facts of the case and to provide proper representation of Defendant in the function as legal counsel. Defendant respectfully requests that this Court appoint Justin Kirkham, Kirkham Investigations LLC. as investigator for Defendant in this case.
Ex Parte Motion For Appointment of An Investigator Parker- 42253 Page I of3 '· III.
Due to the serious nature of the offense, it is imperative that an investigator be promptly appointed so that witnesses can be found well in advance of the trial and that a thorough and impartial investigation be made.
PRAYER WHEREFORE, PREMISES CONSIDERED, Defendant prays that this Honorable Court appoint a private investigator to assist him in the preparation of his defense, that the Court order the County Auditor of Hunt County, Texas to pay the cost of such investigative services, and for such other relief as the Court deems in the best interest of justice.
Respectfully Submitted, Jack L. Paris, Jr., P.C.
Attorney at Law P. 0. Box 8277 Greenville, Texas 75404-8277 (903) 455.5797 (903) 455.6205 FAX
By:_[!u~;t& f~c ·. Pans, Jr. i.State BarNo. 15461500 Court-Appointed Attorney For CORY HAYES PARKER
CERTIFICATE AS TO NON-SERVICE I certify that this Motion has been presented, ex parte, to the Court. A copy has not been furnished to counsel for the State.
Jallk L. Paris, Jr. Ex Parte Motion For Appointment of An Investigator Parker- 42253 Page 2 of2 Z0\4 JUL 30 fl.\'1 g: 53 THE STATE OF TEXAS § § vs. § § CORY HAYES PARKER § !96TH JUDICIAL DISTRICT
EX PARTE ORDER APPOINTING A PRIVATE INVESTIGATOR FOR DEFENDANT
CAME on for consideration the Motion filed herein for the appointment of a private investigator to assist Defendant CORY HAYES PARKER and his Court-Appointed counsel herein in his defense of the allegations in the Indictments in this cause. The Court, having read and considered. the Motion and being of the opinion that same is well taken and should be granted, hereby enters its Order accordingly:.
IT IS ORDERED that Justin Kirkham, Kirkham Investigations, LLC, (P. 0. Bo:: ;::::·;-_•, Greenville, Texas 75404-8277, Phone Number: 972.740. 0268) be and the said firm is hereby appointed as investigator to-assist CORY HAYES PARKER and his Court-Appointed counsel, Jack L Paris, Jr., in the defense of the allegations in the Indictments in this cause. Said appointment extends to investigative services with respect to guilt/innocence and, if necessary, to the punishment phase of the trial.
IT IS FURTHER ORDERED that this funding Order shall be for a total of 30 professional hours of investigative time. Further funding authority, if needed, may be requested upon good cause shown.
IT IS ORDERED that said investigator shall be paid from the general funds of Hunt County, Texas upon periodic billings submitted by such investigator and approved by the presiding District Judg_:.. f.- SIGNED this '}D day of July 2014.
Hon. StepHen R. Tinle, Jr. l96 1h Judicial District Court
• D AT FilED AUI:i 0 4 2014 CAUSE NO. 28,779 THE STATE OF TEXAS § VS. § OF HUNT COUNTY, TEXAS CORY HAYES PARKER § 196TH JUDICIAL DISTRICT
ORDER FOR PRODUCTION OF CURRENT CRIMINAL HISTORIES ' 4u&.
On th~ day of-:ffily 2014, the Court heard Defendant's Motion requesting that the Hunt County District Attorney's otlice be ordered to furnish to Defendant's counsel current criminal histories of all persons on the State's subpoena list in this cause for all prospective witnesses who are not (I) law enforcement personnel; (2) medical personnel; or (3) other expert witnesses. The Court finds that the State of Texas did not interpose any objection to Defendant's oral Motion.
IT IS ORDERED that the Hunt County District Attorney's office shall furnish to Defendant's counsel, Jack L. Paris, Jr., no later than 4 o'clock p.m. on f- II- 7.-.aJ't , complete current criminal histories of all prospective witnesses set forth in the State's Proposed Witness List filed herein (including any amendments or supplements thereto); provided, however, that this Order shall not extend to (I) law enforcement personnel; (2) medical personnel; or (3) other expert witnesses.
With respect to any person named in the State's Proposed Witness List as to whom the District Attorney's office does not have sufficient identifying information to timely comply with the foregoing Order, IT IS FURTHER ORDERED with respect to each such witness that the Hunt County District Attorney shall furnish to Defendant's counsel, Jack L. Paris, Jr., a complete current criminal history at the time that any such witness is actually called to testify at the trial of this cause.
IT IS FURTHER ORDERED that the Hunt County District Attorney's office shall furnish to Defendant's counsel, Jack L. Paris. Jr., no later than 4 o'clock p.m. on <J-11 ·L.:;J Y complete current criminal history of the Defendant, CORY HAYES PARKER.
IT IS FURTHER ORDERED that the Hunt County District Attorney's office shall furnish to Defendant's counsel, Jack L. Paris, Jr., no later than 4 o'clock p.m. on Order For Production of CCH Parker- 42253 Page I of2 • 9-11 -1D•'1', complete current criminal histories of co-actors TIFFANY RENEE LEWIS, KELLIE LEA LOCKE, and BRETTNEE JOE LOCKE.
SIGNED this _!jJ_ day of August 2014.
Order For Production of CCH Parker- 42253 Page 2 of2 D ORlGI:·~r\L CAUSE NO. 28,779 THE STATE OF TEXAS § IN THE DISTRICT COURT vs. § OF HUNT COUNTY, TEXAS CORY HAYES PARKER § 196TH JUDICIAL DISTRICT
ORDER GRANTING STATE'S MOTION FOR CONTINUANCE CAME on to be considered on the date hereinafter shown the State's Motion for Continuance filed on June 16, 2014 on behalf of the State of Texas and good cause appearing to the Court for the matter to be continued for trial, the Court enters its Orders accordingly.
IT IS ORDERED that this cause be and it is hereby continued from its present jury setting of September 29,2014.
IT IS ORDERED that this cause be and it is hereby reset for jury selection on the _3__ day of N /J V . 2014 at 9:00 a.m.
IT IS FURTHER ORDERED that this cause be and it is hereby reset for further pretrial "f: DD on the J:$_ day of ()J.vbw 2014 at~ a.m.
SIGNED this _ _ day of August 2014.
f (e. S ;J ,·\--.j d~~~~ liON. 3'fEPIIH'l R. TITTLE, JR'":, JUDGE ' 196 Judicial District Court \
CAUSE NO. 28,779 THE STATE OF TEXAS § § vs § § COREY HAYES PARKER §
STATE'S AME:l\TDED SUPPLEMENTAL DESIGNATION OF EXPERT WITNESSES TO THE HONORABLE JUDGE OF SAID COURT: COMES NOW, the State of Texas in the above styled and numbered cause and presents this notice of the State's Designation of Expert Witnesses for direct examination in this case:
I. Tim Counts, Forensic Scientist IV (firearm & tool marks examiner)- Expert in bullet trajectory & distance determinations, trained NIBIN Technician 2. Inv. Tommy Grandfield, Hunt County Sheriff's Office Certified in Advanced Hostage Negotiation by North Central Texas Council of Governments Regional Police Academy in 2003, Advanced Peace Officer Certification by TCLEOSE in 2006, Certified in Basic Hostage Negotiation by North Central Texas Council of Governments Regional Police Academy in 2003 & 2007, Certified in Basic Crisis Negotiation by Arlington Police Department Training Division in 2005, Certified in Basic SWAT Course by North Central Texas Council of Governments Regional Police Academy in 1999 3. Inv. Joel Gibson, Hunt County Sheriff's Office Certified in Advanced Hostage Negotiation by North Central Texas Council of Governments Regional Police Academy in 2003, Advanced Peace Officer Certification by TCLEOSE in 2006, Certified in Basic Hostage Negotiation by North Central Texas
Council of Governments Regional Police Academy in 2003 & 2007, Certified in Basic Crisis Negotiation by Arlington Police Department Training Division in 2005 4. Inv. Roger Seals, Hunt County Sherifrs Office Certified Peace Officer, Received TCLEOSE training in crime scene investigation (Basic and Intermediate), expert in law enforcement techniques 5. Sgt. Laura Simmons, Texas Rangers- Company B Certified Master Peace Officer, Received TCLEOSE training in crime scene investigation (Basic, Intermediate, and Advanced), expert in law enforcement techniques 6. Sgt. Mike Radney, Hunt County Sherifrs Office Certified Firearms Instructor, knowledgeable in basic gun safety rules 7. Inv. Mike Johnston, Greenville Police Department Comparison Fingerprint expert
Respectfully submitted, fk,_ t )\,__M ... / G Calvin Grogan V Assistant District Attorney Hunt County State Bar Number 24050695
CERTIFICATE OF SERVICE
I certify that a copy of the foregoing Notice of Designation of Expert Witnesses has been delivered to Jack Paris, counsel for Defendant, via the Hunt County Courthouse mailbox pursuant to local rules, on this the 18th day of March, 2015.
G Calvin Grogan V
CAUSE NO. 28,779 .I THE STATE OF TEXAS § § vs § § COREY HAYES PARKER § !96th JUDICIAL DISTRICT
STATE'S 3'd SUPPLEMENTAL DESIGNATION OF EXPERT WITNESSES TO THE HONORABLE JUDGE OF SAID COURT: COMES NOW, the State of Texas in the above styled and numbered cause and presents this notice of the State's Designation of Expert Witnesses for direct examination in this case:
I. Tim Counts, Forensic Scientist IV (firearm & tool marks examiner)- Expert in bullet trajectory & distance determinations, trained NIBIN Technician 2. Inv. Tommy Grandfield, Hunt County Sherifrs Office Certified in Advanced Hostage Negotiation by North Central Texas Council of Governments Regional Police Academy in 2003, Advanced Peace Officer Certification by TCLEOSE in 2006, Certified in Basic Hostage Negotiation by North Central Texas Council of Governments Regional Police Academy in 2003 & 2007, Certified in Basic Crisis Negotiation by Arlington Police Department Training Division in 2005, Certified in Basic SWAT Course by North Central Texas Council of Governments Regional Police Academy in 1999 3. Inv. Joel Gibson, Hunt County Sherifrs Office Certified in Advanced Hostage Negotiation by North Central Texas Council of Governments Regional Police Academy in 2003, Advanced Peace Officer Certification by TCLEOSE in 2006, Certified in Basic Hostage Negotiation by North Central Texas
Council of Governments Regional Police Academy in 2003 & 2007, Certified in Basic Crisis Negotiation by Arlington Police Department Training Division in 2005 4. Inv. Roger Seals, Hunt County Sherifrs Office Certified Peace Officer, Received TCLEOSE training in crime scene investigation (Basic and Intermediate), expert in law enforcement techniques 5. Sgt. Laura Simmons, Texas Rangers- Company 8 Certified Master Peace Officer, Received TCLEOSE training in crime scene investigation (Basic, Intermediate, and Advanced), expert in law enforcement techniques 6. Sgt. Mike Radney, Hunt County Sherifrs Office Certified Firearms Instructor, knowledgeable in basic gun safety rules 7. Inv. Mike Johnston, Greenville Police Department Comparison Fingerprint expert 8. Dr. Thomas Alonzo West, Medical Center of Plano General Surgeon, Capable of Interpreting Blood Test Results
Resp~ectfully ~ubmitted, / l ~~ G &:,-../ I G Calvin Grogan V Assistant District Attorney Hunt County State Bar Number 24050695
CERTIFICATE OF SERVICE I certify that a copy of the foregoing Notice of Designation of Expert Witnesses has been delivered to Jack Paris, counsel for Defendant, via the Hunt County Courthouse mailbox pursuant to local rules, on this the 17th day of June, 2015.
G Calvin Grogan V
-1)' ~, ~i.~lJ J~ ~n ~-~ THE STATE OF TEXAS CAUSEN0.28,779 § ' IN THE DISTRICT' (}~li'!.f ~~ vs. ~ OF HUNT COUNTY, TEXAS ~.ty t'q § h CORY HAYES PARKER § I 96TH JUDICIAL DISTRICT
ORDER ON DEFENDANT'S FIRST MOTION IN LIMINE CAME ON TO BE HEARD on the~ day of*~~~~ the Motion in Limine filed herein by Defendant, CORY HAYES PARKER, by and through his Attorney herein, and the Court, having read and considered said Motion and having heard such argument of Counsel as was presented concerning said Motion, is of the opinion that such matters as set forth in paragraph I of the Defendant's Motion should be sustained or overruled as indicated hereinbelow: IT IS ORDERED that the following numbered paragraphs of paragraph I of the Defendant's Motion in Limine be sustained or overruled as hereinbelow indicated:
Sustained Overruled Paragraph (I) Paragraph (2) Paragraph (3) Paragraph (4) Paragraph (5) Paragraph (6) Paragraph (7) Paragraph (8) Paragraph (9) Paragraph (I 0) Paragraph (II) Paragraph (12)
IT IS ORDERED that all Attorneys of Record in this cause or appearing herein not interrogate about, mention, argue, or make any statements about or references to or allusions to any of the foregoing matters of fact which have hereinabove been sustained, within the hearing Order On Defendant's First Motion In Limine Parker- 42253 Page 1 of2 of the jury or of the jury panel, or of any prospective juror without first obtaining the Court's express permission or authority, out of the hearing of the jury or jury panel or any prospective jurors, to do so and that they be further instructed not to read any pleadings, depositions, and other papers concerning such matters without such prior permission of the court, and that each such attorney is ordered to instruct all witnesses they call to testify in this cause as to the existence of this Order and its content and effect and each such witnesses' obligations thereunder. Jj I '2-D'.S SIGNED this ~ day of l'nnet'J ~.
. .
I 96th Judicial District Court
Order On Defendant's First Motion In Limine Parker- 42253 Page 2 of2 (NV"MERICAL) LIST OF PETIT JURORS 7/20/2015 PAGE 1 ?ANEL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09,30 A.M.
FOR THE ~UNT COUNTY DISTRICT COURT OF HUNT COUNTY . TEXAS NO. SHFL NAl'ofE DOB PRCT ADDRESS ST ZIP I-A_~ 1 8 WEAVER BRIAN PATRICK 1) 2309 WASHINGTON ST APT 505 COMHERCE TX 75428 -~t; 2 22 ELHORE JUSTIN D~AYNE ( 3) 1331 SIGNAL RD QUINLAN TX 75474 S*~ -------- 44 IRV~~ CECELIA ~~~ ( 10) 323 4353 COUNTY ROAD 3321 GREENVILLE TX 75402 L-.l;t 53 AVEKOE SHIRLEY COUNCIL 2609 I-30 E -------- ( 18) 325 GREENVILLE TX 75402 75 BAINBRIDGE ZACHARY BRIAN 8912 COUNTY ROAD 2472 -------- ( 20) 217 ROYSE CITY TX 75189 ?"5 -------- 42 GRIBBLE HAROLD RAY ( 35) 320 CADDO WEST TAW~'<ONI TX 75474 g!.fJJ,:"t!/) 7 61 HABBEN LANA MARIE ( 39) 215 30 CR 2712 CADDO MILLS TX 75135 ~~8 68 MAY PHILIP WAYNE ( 41) 216 64 FM 1565 ROYSE CITY TX 75189 -~ 9 76 SMITH BARRY DALE ( 4 5) 323 RANCHO RD QUINLAN TX 754 74 10 11 NATION AMY MICHELLE 3070 COUNTY ROAD 3110 -------- ( 50) 325 GREENVILLE TX 754 02 11 87 ~~ON RACHEL MICHELLE 7312 C~'lOL DR -------- ( 51) 107 GREENVILLE TX 75402 Cf.o.Y= 12 -------- MAYBERRY ( WILLI~'"!
54) ASHLEY 6364 CR 4102 GREENVILLE TX 75401 -~~ 13 96 ALLISON JOEY ALLEN 6511 A SAYLE ST ( 67) 212 GREENVILLE TX 75402 P:S -------- 14 19 STEVENS SCOTT ROBERT ( 68) 215 3154 RIDGEVIEW RD CADDO MILLS TX 75135 15 24 MCMINN JIMMY JOE 507 TURTLE CREEK DRIVE -------- ( 81) GREENVILLE TX 75402 16 29 FIELDS LARRY DEAN JR 3896 COUNTY ROAD 3322 -------- ( 87) 324 GREENVILLE TX 75402 f) 17 -------- MOCK ROSS EUGENE ( 88) 215 2003 JOSHUA CADDO MILLS TX 75135 _l.dt!E-- 18 54 MICKLER JOHN CHRISTOPHER ( 93) 3120 FM 499 GREENVILLE TX 75401
(NUMERICAL) LIST OF PETIT JURORS 7/20/2015 PAGE 2 Pl'.NEL LIST A1 LIST NO. 596 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09:30A.M.
FOR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY TEXAS ' NO. SHFL NAME DOS PRCT ADDRESS ST ZIP 49 HIGGINS WILLIAM P.OWARD 2154 WRIGHT WAY -------- ( 96) 320 QUINLAN TX 754 74 91 STE'HART SCOTT F 5706 COUNTY ROAD 1120 -------- ( 100) 109 ,-ARMERSVILLE TX 75442 p<;, 21 95 WILLIAMS BILLY DOYLE 4 009 PEPERPORT DR -------- ( 102) GREENVILLE TX 754 01 10 AYERS EDDIE DEAN 50002 ZORA DR -------- ( 103) 106 GREENVILLE TX 75402 47 EASLEY WILEY 4660 FM 36 N. -------- ( 107) 101 CELESTE TX 75423 HAMMOND STACIE MAY/ --- _{?~- 24 43 ( 110) 1334 KAITLYNN CT CADDO MILLS TX 75135 26 SMITH MARGARET ANN 10539 GAILLARD WOODS -------- ( 112) 321 WILLS ?OINT TX 75169 ___ f)_ 26 93 EDWA..~DS ZACHARY JAMES ( 116) 426 3356 COUNTY ROAD 4406 COMMERCE TX 75426 --- -~5- 27 4 HANNAH TINA RENE ( 122) 319 5446 COUNTY ROAD 3214 LONE OAK TX 75453 __ f_~6 46 WHITEHEAD JOr~ ARTHUR 5041 CR-2714 CADDO MILLS TX 75135 ( 126) _CAt::<f- 2 9 52 TEAGUE ALBERT WESTLY ( 131) 210 1832 PRIVATE ROAD 2737 CADDO MILLS TX 75135 CAJ.."':E -------- 32 WILLIS BRYAN DOSS ( 132) 212 SHAWNEE ST GREENVILLE TX 75402 ~4>:~- 31 79 SMITH REBECCA LEE 6537 COUNTY ROAD 4902 ( 133) 432 WOLFE CITY TX 754 96 C,_Au.-~Em 97 WILLY PATRICIA LAVERNE 10923 LAKESIDE DR -------- ( 135) 321 QUINLAN TX 754 74 69 WALLACE VIVIk~ ( 139) J CLAIRE 10469 APACHE WILLS POINT TX 75169 ~~34 85 HERHOSILLIO CYNTH! ( 142) 427 STERLING HART DR COMMERCE TX 75426 P) 35 50 ~10RRIS JOHNNY EARL 1509 REED GREENVILLE TX 75401 -------- ( 144) 433 CAtff6 f!t 35 WATTERS STEVEN ( 151) PAlJT~ 5005 CANTON GREENVILLE TX 75402
(!HJHERICAL) LIST OF PETIT JURORS 7/20/2015 ?AGE 3 PA!lEL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09,30 A.M.
FOR nE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY TEXAS NO. SHFL NAME DOB PRCT ADDRESS ST ZI?
37 56 JONES TERRY THOr-<.AS 2944 COUNTY ROAD 3311 -------- ( 154) 324 GREENVILLE TX 75402 98 WRIGHT NATALEE TALOR 2506 RIDGECREST -------- ( 162) 215 CADDO MILLS TX 75135 (tv"'f: 39 1 G~~FbELD JANET TAYLOR 2012 WALWORTH ST -------- ( 165) 108 GREENVILLE TX 75401 {1'5 40 55 GRAY BRANDON TYLER 5808 LEE ST -------- ( 166) GREENVILLE TX 754 01 4l 14 OLSON LARRY GORDON 4 929 FM 2 94 7 -------- ( 167) 323 GREENVILLE TX 75402 -~"T? 42 15 BA!N JOEL DEAN 10099 APACHE ( 179) QUINLAN TX 75474 _Qt;~ 43 34 JONES INGRID GURINA ( 183) 428 3915 COUNTY ROAD H29 COMMERCE TX 75428 62 LITTLE MERLE LEE 2365 CR 1112 -------- ( 186) FARMERSVILLE TX 75442 2020 SETH CIR -~- 51 TAYLOR BRADLEY JOE ( 18 7) 215 ROYSE CITY TX 75189 C/!~ 46 74 GRAHL BRUCE ALLAN ( 188) 3206 NASHVILLE AVE GREENVILLE TX 754 02 ~~~- 47 27 !VEY AMY LANNETTE ? 0 BOX 1064 ( 189) 214 QUINLAN TX 754 74 78 Vk~DERGRIFF JERRY DON 5311 COUNTY ROAD 4506 -------- ( 190) 428 COMMERCE TX 754 28 HAWKINS RILEY SHAQUILLE MAR QUI 4214 JOHNSON ST -- ~ ~-- 49 66 ( 191) 108 GREENVILLE TX 75401 2102 DIVISION ST ~~- 50 70 JOYNER AUDREY ANN ( 203) 108 GREENVILLE TX 75401 51 37 OFFERMAN LOIS CRETCHER 2900 ROBIN RD APT 1001 -------- ( 204) GREENVILLE TX 75402 SAVAGE TIMOTHY BERNARD 2608 WELLINGTON _elf.!.~ ( 206) GREENVILLE TX 75401 6911 PRIVATE ROAD 2525 ~ 53 100 NULL HEATHER LYNN ( 208) 216 ROYSE CITY TX 75189 c.AA~ -------- 54 7 DRAUGfi.N ROBERT DEWITT ( 209) 428 2210 CHARITY COMMERCE TX 75428
(NUMERICAL) LIST OF ?ET!T JURORS 7/20/2015 PAGE 4 PANEL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, ac 09,30 A.M.
FOR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY . TEXAS NO. SHFL NAMS OOB PRCT ADDRESS ST ZIP 33 MILLER JOSHUA THOMAS 1016 CLARK ST -------- ( 211) GREENVILLE TX 75401 83 PRATHER HEATHER MICHELLE 1617 SIGNAL RD ( 212) 323 QUINLAN TX 75474 w;:~:~7 28 EVANS CHARLES WOODFIN ( 215) 3900 SUNHILL DR GREENVILLE TX 75402 77 ACKER TROY HARRISON p 0 BOX 515 -------- ( 217) 319 LONE OAK TX 75453 __C~5f 59 89 STEWART DEBORA.t{ ( 218) HOLMES 990 COUNTY RD 2-:40 ROYSE CITY TX 75189 36 ELMORE CODY RYAN 4 814 FM 513 s -------- ( 224) 319 LONE OAK TX 754 53 61 3 VENABLE STACY LYNN 4 963 CR 34 03 -------- ( 244) 319 LONE OAK TX 75453 81 CONRAD MATTHEW JAMES-WINDWAL 550 PRIVATE ROAD 2308 -------- ( 251) 214 QUINLAN TX 75474 92 GONZALEZ MAllY ROSA 024 KING ST APT 156 -------- ( 255) 106 GREENVILLE TX 75401 25 ?HI FER PAUL FRANKLIN 516 PAWNEE TRL -------- ( 258) 320 WEST TAWAKONI TX 75474 18 SMITH CYNTHIA ANN 4 54 9 r-<.ARIAN LANE -------- ( 260) ROYSE CITY TX 75189-4885 45 STOWERS LESIA KAY 3788 CR 2184 -------- ( 265) 211 GREENVILL:: TX 754 02 40 NORRIS EDDIE LEE 1803 CHURCH -------- ( 270) 427 COMMERCE TX 75428 84 TREVINO RICKY HERNANDEZ 4626 COUNTY RD 4206 -------- ( 273) CANPBELL TX 75422 17 HAGAH JACQUELINE LOUISE 1033 COUNTY ROAD 1118 -------- ( 280) 109 GREENVILLE TX 7 5401 12 KETNER FREDDIE JOE 421 STATE HWY 224 -------- ( 284) 428 COMHERCE TX 75428 71 5 DOYLE STACIE KAY 4 756 COUNTY ROAD 2216 -------- ( 286) 213 CADDO MILLS TX 75135 64 WOOD!'-'.ANSEE KENT L~;:o 34 77 COUNTY ROAD 4106 -------- ( 287) 434 GREENVILLE TX 75401
(NUJ£RICALI LIST OF PETIT JURORS 7/20/2015 PAGE 5 PA!<EL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09:30 A.M.
FOR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY . TEXAS NO. SHFL NANE DOB PRCT ADDRESS ST ZIP 63 FROST JACK ARTHUR 5921 FM 118 -------- ( 2931 <131 GREEI'i"VI LLE TX 75401 39 JACKSON BILLY GENE 2310 COUNTY ROAD 3517 -------- ( 2941 QUINLAN TX 754 74 99 JERNIGAN BENITA KAY p 0 BOX 210 -------- ( 2981 102 WOLFE CITY TX 754 96 21 PEREZ ALORA DANIELLE 603 E FM 272 -------- ( 3001 101 CELESTE TX 754 23 82 BRYAN JACQUELYN K.AY 1074 Fl~ 1903 -------- ( 3061 211 GREEINI LLE TX 75402 72 LINDSEY JOSHUA THOMAS 2718 CR 2512 -------- ( 3141 QUINLAN TX 75474 79 2 STANLEY TONI r-UCHELLE 6966 CR 2532 -------- ( 3151 214 QUINLAN TX 75474 88 FIELDS MITCHELL RAY 5009 MCDOUGAL -------- I 3161 433 GREENVILLE TX 75401 60 CONRAD CAROL REYNOLDS 550 PRIVATE ROAD 2308 -------- ( 3261 214 QUINLAN TX 75474 82 9 FLENER TONYA RENEE 220 CONTI DR -------- ( 3291 QUINLAN TX 754 74 20 PLETCHER BRADLEY R 609 TURTLE CREEK DR -------- ( 3301 32 5 GREENVILLE TX 754 02 84 6 LOMAX STEVEN BRENNEN 4115 JOE RAASEY BLVD APT 223 -------- ( 3321 GREENVILLE TX 754 01 71 WIGGINS KELLEY ALA."lE 802 EDGEWOOD ST -------- ( 3391 102 WOLFE CITY TX 754 96 16 SPRADLIN RYAN ALLEN 1711 rn 36 s -------- I 3421 210 CADDO MILLS TX 75135 80 HOOPER-VANCLEVE MARY ELIZABE 2057 CR 254 6 -------- ( 3471 QUINLAN TX 75474 Ru<HERFORD DAVID MICHAEuvl 333 PR 2309 (;~(v,1l?Jl8 38 I 3481 QUINLAN TX 754 74 13 GILL DANIEL LOUIS 2167 HIDEAWAY LN -------- ( 3511 323 QUINLAN TX 754 74 59 VAUGHAN DAVID LYNN 611 DEER DR -------- I 3581 325 GREENVILLE TX 75402
(NUME~ICAL) LIST OF PETIT JURORS 7/20/2015 PAGE 6 Pk~SL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09:30A.M.
FOR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY ' TEXAS NO. SHFL NAME DOS PRCT ADDRESS ST ZIP 91 57 PENCE ERIN ANDREW 8833 WHISKERS RD -------- ( 367) 320 QUINLAN TX 754 74 92 65 ALEXANDER VIRGINIA ANN 3238 COUNTY ROAD 4105 -------- ( 371) 430 GREENVILLE: TX 75401 93 23 WADS JACK E 1359 COUNTY ROAD 2178 -------- ( 373) 211 GREENVILLE TX 75402 94 31 COLE HUBBARD LEE 1402 KING ST -------- ( 3 74) 433 GREENVILLE TX 75401 95 90 CRAWFORD CLAY KYLE 5087 COUNTY ROAD 2591 -------- ( 377) 216 ROYSE CITY TX 75189 96 46 PHILLIPS TODD ALLEN 506 E FM 272 -------- ( 385) 101 CELESTE TX 75423 97 sa PLliMS JENNIFER !".ARE 4018 PEP?ERPORT DR -------- ( 388) GRE:ENVILLE TX 75402 98 94 STOGNER DIALLO N 221 MILL ST -------- ( 393) 319 LONE OAK TX 75453 99 73 SE?HUS RICKEY LEROY 1206 SPEEDWAY ST -------- ( 394) GREENVILLE TX 75401 100 41 DEGARSO BRIAN KEITH 172 COUNTY ROAD 2186 -------- ( 3 95) 211 GREENVILLE TX 75402 ............... *"*"'"""*•••••••••*•·········· TOT.I>.L ,. ......................' PRINTED = 100
'(NU!;!!IRICAL) LIST OF PETIT JURORS 7/20/2015 PAGE 1 ; · PANEL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09:30A.M.
FOR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY , TEXAS NO. SHFL NAME DOB PRCT ADDRESS ST ZIP lrv-------- yW 1 8 WEAVER BRIAN PATRICK 1) 2309 WASHINGTON ST APT 505 COMMERCE TX 75428 t_ 2 22 EL!•lORE JUSTIN DEl<AYNE 1331 SIGNAL RD
: : w- 3 I 3l IRVAN CECELIA ANN QUINLAN TX 75474 4353 COUNTY ROAD 3321
_ EJ ( 10) 323 GREENVILLE TX 75402 4 53 AVEKOE SHIRLEY COUNCIL 2609 I-30 E ( 18) 325 GREENVILLE TX 75402
::(§) 5 75 BAINBRIDGE ZACHARY BRIAN 8912 COUNTY ROAD 2472 I ·2ol 217 ROYSE CITY TX 75189 6 42 GRIBBI,E HAROLD RAY 400 CADDO ( 35) 320 WEST TAWAKONI TX 75474 &-- -------- 7 61 HABBEN LANA r•ARIE ! ( . 39) 215 1830 CR 2712 CADDO MILLS TX 7513 5 ----~ 8 68 r•AY PHILIP WAYNE ( 41) 216 6464 FM 1565 ROYSE CITY TX 75189 .... £ 9 76 SMITH BARRY DALE ( 45) 323 RANCHO RD QUINLAN TX 75474 10 11 NATION AMY r~ICHELLE 3070 COUNTY ROAD 3110 I SO) 325 GREENVILLE TX 75402 11 87 MASON RACHEL MICHELLE 7312 CAROL DR I 511 107 GREENVILLE TX 75402 --- _t_ 12 86 MAYBERRY WILLIAM ASHLEY I 54 l 6364 CR 4102 GREENVILLE TX 75401 L 13 96 ALLISON JOEY ALLEN I 67} 212 6511 A SAYLE ST GREENVILLE TX 75402 14 19 STEVENS SCOTT ROBERT 3154 RIDGEVIEW RD ( 68} 215 CADDO MILLS TX 75135
-- ---- @ . 15
.
24 MCtHNN JIMMY JOE ( 81) 29......-FIELDS LARRY DEAN JR ( 87} 324 TURTLE CREEK DRIVE GREENVILLE TX 75402 3896 COUNTY ROAD 3322 GREENVILLE TX 75402 17 67 MOCK ROSS EUGENE 2003 JOSHUA ( 88} 215 CADDO MILLS TX 75135 18-~4 -----~ MICKLER JOHN CHRISTOPHER 3120 FM 499 I 93 l GREENVILLE TX 75401
AT ~!J;E D f#j JUL 20 2015 Cll!'l!, ~Ctl. TX ( NUP.ER I CAL) LIST OF PETIT JURORS 7/20/2015 PAGE 2 ?~~EL LIST Al LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09:30 A.M.
FOR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY TEXAS NO. SHFL NA-"!E DOB PRCT ADDRESS ST ZIP 49 HIGGINS WILLIAM HOWARD 2154 WRIGHT WAY ( 98) 320 QUINLAN TX 754 74 91 STEWART SCOTT F 5706 COUNTY ROAD 1120 ( 100) 109 FAP~RSVILLE TX 75442 95 WILLIAMS BILLY DOYLE 4009 PEPERPORT DR ( 102) GREENVILLE TX 75401 10 AYERS EDDIE DEAN 50002 ZORA DR
··@7 : 24 ( 103) EASLEY WILEY ( 107) HAMMOND STACIE MAY GREENVILLE 4660 FM 36 N.
CELESTE l3 34 KAITLYNN CT TX 75402 TX 75423 ( 110) CADDO MILLS TX 75135 26 SMITH -"!AR_GARET ANN 10539 GAIL~~D WOODS ( 112) 321 WILLS POINT TX 75169 93 EDW~~DS ZACHARY JA-"!ES 3358 COUNTY ROAD 4408
:::&; ____ f::: :: 28
HANNAH ( 118) TINA RENE ( 122) WHITEHEAD JOHN ARTHUR
COM-"!ERCE LONE OAK 5041 CR-2714 TX 75428 5448 COUNTY ROAD 3214 TX 75453 ( 128) CADDO -"!ILLS TX 75135 ____ {;._ 29 52 TEAGUE ALBERT WESTLY 1832 PRIVATE ROAD 2737 ( 131) 210 CADDO MILLS TX 75135 -----~ 30 32 WILLIS BRYAN DOSS ( 132) 212 SHAWNEE ST GREENVILLE TX 75402 _____ [£ 31 79 SMITH REBECCA LEE ( 133) 432 8537 COUNTY ROAD 4902 WOLFE CITY TX 75496 _____ f. 32 97 WILLY PATRICIA LAVERNE ( 135) 321 10923 LAKESIDE DR QUINLAN TX 75474 69 WALLACE VIVIAN CLAIRE 10469 APACHE ( 139) 321 WILLS POINT TX 75169 _____t 34 85 HER-"!OSILLIO CYNTHIA ( 142) 427 STERLING HART DR COMMERCE TX 75428 50 V~RRIS JOHft~ EARL 1509 REED ( .144) 433 GREENVILLE TX 75401 _____ & 36 35 WATTERS STEVEN PAUL ( 15 1) 5005 CANTON GREENVILLE TX 75402
C!<-VME'!H CAL) LIST OF PETIT JURORS 7/20/2015 PAGE 3 ?ANEL· LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09,30 A.M.
FOR THE HUNT COUNTY DISTRICT COURT OF ;!UNT COUNTY . TEXAS NO. SH?L NAME DOB PRCT ADDRESS ST ZIP 56 JONES TERRY THOMAS 2944 COUNTY ROAD 3311
~~~~([) ( 154) 324 GREENVILLE TX 754 02 98 WRIGHT NAT ALEE TALOR 2506 RIOOECREST 38 ( 162) 215 CADDO MILLS TX 75135 ____ {2 39 1 GP.Al-iDFIELD JANET TAYLOR ( 165) 108 2012 WALWORTH ST GREENVILLE TX 75401 55 GRAY 3RA."'DON TYLER 5808 LEE ST ( 166) GREENVILLE TX 75401 -@0 /() 0 14 OLSON LARRY GORDON 4929 FM 294 7 -------- ( 167) 32 3 GREENVILLE TX 75402 ____ £_ 42 15 BAIN JOEL DEAN ( 179) 10099 APACHE QUINLAN TX 754 74 ____ &- 43 34 JONES INGRID GURINA ( 183) 428 3915 COUNTY ROAD 4429 COMMERCE TX 75428 62 LITTLE MERLE LEE 2365 CR 1112 -------- ( 186) FARMERSVILLE TX 75442 _____ £ 45 51 TAYLOR BRADLEY JOE 2020 SETH CIR
_____ t. 46 74 ( 187) GRAHL BRUCE ALLA."l ( 188) 215 ROYSE CITY 3206 NASHVILLE AVE GREENVl'LLE TX 75189 TX 75402 _____ £_ 47 27 IVEY AMY LANNETTE ( 189) 214 p 0 BOX 1064 QUINLAN TX 754 74 48 78 VANDERGRIFF JERRY DON 5311 COUNTY ROAD 4506 -------- ( 190) 428 COMMERCE TX 754 28 49 66 HAWKINS RILEY Sr.AQUILLE MARQUI 4214 JOHNSON ST -------- ( 191) 108 GREENVILLE TX 75401 £_ -------- 50 70 JOYNER AUDREY ANN ( 203) 108 2102 DIVISION ST GREENVILLE TX 75401 51 37 OFFERMAN LOIS CRETCHER 2900 ROBIN RD APT 1001 -------- ( 204) GREENVILLE TX 75402 F ____ ..f.-/ 52 30 SAVAGE TIMOTHY BERNARD ( 206) 2608 WELLINGTON GREENVILLE TX 75401 6911 PRIVATE ROAD 2525 ---- _f_ 53 100 NULL HEATHER LYNN ( 208) 216 ROYSE CITY TX 75189 6-- -------- 54 7 DRAUGHN ROBERT DEWITT ( 209) 428 2210 Ci-I.ARITY COMMERCE TX 75428
(lV1JME'iUCAL) LIST OF PETIT JURORS 7/20/2015 PAGE 4 PANEL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th D.'W OF July 2015, at 09,30 A.M. :o~ THE HUNT COUNTY DISTRICT COURT OF SUNT COUNTY TEXAS NO. SHFL NAME D03 PRCT ADDRESS ST ZIP 33 MILLER JOSHUA TSOto'AS 1016 CLARK ST ( 211) GREENVILLE TX 75401 83 PRATHER HEATHER mCHELLE 1617 SIGNAL RD •' ( 212) 323 QUINLAN TX 754 74 28 EVANS CPJ\..~LES WOODFIN 3900 SUNHILL DR -------- ( 215) GREENVILLE TX 75402 58 77 ACKER TROY HARRISON p 0 BOX 515 -------- ( 217) 319 LONE OAK TX 754 53 ____ & 59 89 STEWART DEBORAH HOLMES ( 218) 9943 COUNTY RD 2440 ROYSE CITY TX 75189 60 36 EL."'ORE CODY RYAN 4814 FM 513 s -------- ( 224) 319 LONE OAK TX 75453
----c --------
VENABLE STACY LYNN ( 244) COlV<tAD MATTHEW Jk"'ES-WINDWAL ( 251) 214 963 CR 3403 LONE OAK TX 754 53 PRIVATE ROAD 2308 QUINLAN TX 754 74 63 92 GONZALEZ MARY ROSA 4224 KING ST APT 156 -------- ( 255) 106 GREENVILLE TX 754 01 64 25 PHIFER PAUL FRANKLIN 516 PAWNEE TRL -------- ( 258) 320 WEST TAWAKONI TX 754 74 65 18 SMITH CYNTHIA A!<'N 4549 Mk'HAN LANE -------- ( 260) ROYSE CITY TX 75189-4885 66 45 STOWERS LESIA KAY 3788 CR 2184 -------- ( 265) 211 GREENVILLE TX 75402 67 40 NORRIS EDDIE LEE 1803 CHURCH -------- ( 2 70) 427 COMMERCE TX 75428 68 84 TREVINO RICKY HERNANDEZ 4626 COUNTY RD 4206 -------- ( 273) CAMPBELL TX 75422 69 17 HAGAR JACQUELINE LOUISE 1033 COUNTY ROAD 1118 -------- ( 280) 109 GREENVILLE TX 754 01 70 12 KETNER FREDDIE JOE 421 STATE HWY 224 -------- ( 284) 426 COMMERCE TX 754 28 71 5 DOYLE STACIE KAY 4 756 COUNTY ROAD 2216 -------- ( 286) 213 CADDO MILLS TX 75135 72 64 WOODHANSEE KENT LEE 3477 COUNTY ROAD 4106 34 GREENVILLE TX 75401 -------- ( 28 7)
...---.
( l<l.il€?. I CAL I LIST OF PETIT JURORS 7/20/2015 PAGE 5 ?A.~EL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09' 30 A.M.
FO:t T~E HUNT COUNTY DISTRICT COURT OF HUNT COUNTY . TEXAS NO. SHFL NAME DOS PRCT ADDRESS ST ZIP 63 FROST JACK ARTHUR 5921 FM 118 -------- ( 2 93 I 01 GREENVILLE TX 75401 74 39 JACKSON BILLY GENE 2310 COUNTY ROAD 3517 -------- ( 2 94 I QUINLAN TX 75474 75 99 JER.>iiGAN BENITA KAY p 0 BOX 210 -------- ( 2 98 I 102 WOLFE CITY TX 75496 76 21 ?ER.EZ ALORA DANIELLE 603 E FM 272 -------- I 3001 101 CELESTE TX 75423 77 82 BRYAN JACQUELYN KAY 1074 FM 1903 -------- I 3061 211 GREENVILLE TX 75402 78 72 LINDSEY JOS~UA THOt-<.AS 2718 CR 2512 -------- ( 314 I QUINLAN TX 754 74 79 2 STA.>iLEY TONI MICHELLE 6966 CR 2532 -------- I 3151 214 QUINLAN TX 75474 so 88 FIELDS MITCHELL RAY 5009 MCDOUGAL -------- ( 3161 433 GREENVILLE TX 75401 81 60 CONRAD CAROL REYNOLDS 550 PRIVATE ROAD 2308 -------- I 3261 214 QUINLAN TX 754 74 82 9 FLENER TONYA RENEE 220 CONTI DR -------- ( 32 9 I QUINLAN TX 7 54 74 83 20 PLETCHER BRADLEY R 609 TURTLE CREEK DR -------- I 3301 325 GREENVILLE TX 75402 84 6 LOI-'.AX STEVEN BRENNEN 4115 JOE RAMSEY BLVD APT 223 -------- I 3321 GREENVILLE TX 75401 85 71 WIGGINS KELLEY ALA.lVE 802 EDGEWOOD -ST -------- I 339 I 102 WOLFE CITY TX 754 96 86 16 SPRADLIN RYAJ-J ALLEN 1711 FM 36 s -------- ( 34 2 I 210 CADDO MILLS TX 75135 87 80 HOOPER-VANCLEVE MARY ELIZABE 2057 CR 2546 -------- ( 3471 QUINLAN TX 754 74 r 333 PR 2308 _____ r:::::,. 88 38 RUTHERFORD DAVID MICHAEL ( 34 8 I QUINLAN TX 75474 89 13 GILL DANIEL LOUIS 2167 HIDEAWAY L.>i -------- ( 3511 323 QUINLA.'< TX 75474 59 VAUGHAN DAVID LYNN 611 DEER DR -------- I 3581 325 GREENVILLE TX 75402
(NUMEHCAL) LIST OF PETIT JURORS 7/20/2015 PAGE 6 PA..loJEL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09o30 A.M.
FO~ THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY TEXAS ' NO. SHFL NA.r.ffi !JOB PRCT ADD~ESS ST ZIP 91 57 PENCE ERIN ANDREW 8833 WHISKERS RD -------- ( 367) 320 QUINLAN TX 754 74 92 65 ALEXANDER VIRGINIA ANN 3238 COUNTY ROAD 4105 -------- ( 371) 430 GREENVILLE TX 75401 93 23 WADE JACK E 1359 COUNTY ROAD 2178 -------- ( 3 73) 211 G~EENVILLE TX 75402 94 31 COLE HUBBAH.D LEE 1402 KING ST -------- ( 374) 433 GREENVILLE TX 75401 95 90 CRAWFORD CLAY KYLE 5087 COUNTY ROAD 2591 -------- ( 3 77) 216 ROYSE CITY TX 75189 96 46 PHILLIPS TODD ALLEN 506 E FM 272 -------- ( 385) 101 CELESTE TX 754 23 97 58 ?LLIMB JENNIFER t-'.ARIE 4018 PEPPER?O~T DR -------- ( 388) GREENVILLE TX 75402 98 94 STOGNER DIALLO N 221 MILL ST -------- ( 393) 319 LONE OAK TX 754 53 99 73 SEPHUS RICKEY LEROY 1208 SPEEDWAY ST -------- ( 394) GREENVILLE TX 75401 100 41 DEGARSO BRIAN KEITH 172 COUNTY ROAD 2186 -------- ( 3 95) 211 GREENVILLE TX 75402 ...............................................• • TOTAL ?RINTED = 100 • • lr • " . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
·(mi:-±RICAL) LIST OF PETIT JURORS 7/20/2015 PAGE 1 ?AN~L LIST Al LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09,30 A.M. ?OR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY TEXAS NO. SHFL NAME DOB PRCT ADDRESS ST ZIP NP . f' _ _,_ ___ _ 1 8 WEAVER BRIAN PATRICK 2309 WASHINGTON ST APT 505 ( 1) COMHERCE TX 75428 ---~-- 2 ELMORE JUSTIN DEWAYNE · 1/1'/fc;jJf· 3) 1331 SIGNA.L RD QUINLAN TX 754 74 3 4 IRVAN CECELIA A."'N 4353 COUNTY ROAD 3321 ( 10) 323 GREENVILLE TX 75402 4 53 ·AVEKOE SHIRLEY COUNCIL 2609 I-30 E ( 18) 325 GREENVILLE TX 75402 5 75 BAINBRIDGE ZAC!-I.ARY BRIAN 8912 COUNTY ROAD 24 72 ( 20) 217 ROYSE CITY TX 75189 6 42 GRIBBLE HAROLD RAY 400 CADDO ( 35) 320 WEST TAWAKONI TX 75474 --ii~, 7 61 P.ABBEN LANA MARIE 1830 CR 2712 -~ ( 39) 215 CADDO MILLS TX 75135 J t-'.A.7fHILIP WAYNE 64 64 FM 1565 -~- ~~ 216 ROYSE CITY TX 75189 o~.LE ( 41) ---_X_- 9 *j rTH 76 BARRY 131 RANCHO RD QUINLAN TX 754 74 Pmh-7: i#lf8.1c NATION AHY MICHELLE 3 0 7 0 COUNTY ROAD 3110 ( 50) 325 GREENVILLE TX 75402 ll 87 ' ---.----- TX 75402 __ X___ 12 86 X 13 96 -------- : l4 19 / -------- 15 24 MCMINN JIHMY JOE 507 TURTLE CREEK DRIVE -------- ( 81) GREENVILLE TX 754 02 16 29 FIELDS LARRY DEAN JR 3896 COUNTY ROAD 3322 -------- ( 87) 324 GREENVILLE TX 75402 17 67 MOCK ROSS EUGENE 2003 JOSHUA -------- ( 88) 215 CADDO MILLS TX 75135 18 54 MICKLER JOHN CHRISTOPHER 3120 FM 499 -"t---- ( 93) GREENVILLE TX 75401 Utr/'fess-
' (NUMEF.ICAL) LIST OF PETIT JURORS 7/20/2015 ., PAGE 2 PA...t.J"E:L LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20~h DAY Of' July 2015. 09:30 A.M.
FOR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY . TEXAS a~
NO. SHFL NAME DOB PRCT ADDRESS ST ZIP .. 19 49 HIGGINS WILLIAM HOWARD 2154 WRIGHT WAY -------- ( 98) 320 QUINLAN TX 75474 20 91 STEWART SCOTT F 5706 COUNTY ROAD ll20 -------- ( 100) 109 FA.::u1ERSVILLE TX 75442 21 95 WILLIAMS BILLY DOYl.JE 4009 PEPERPORT DR -------- ( 102) GREENVILLE TX 75401 22 10 AYERS EDDIE DEAN 50002 ZORA DR -------- ( 103) 108 GREENVILLE TX 75402 23 47 E.~SL:::Y WILEY 4660 FM 36 N. -------- ( 107) 101 CELESTE TX 754 23 24 43 HAMMOND STACIE MAY 1334 KAITLYNN CT -------- ( llO) CADDO MILLS TX 75135 25 26 SMITH MARGARET ANN 10539 GAILLA.".D WOODS -------- ( 112) 321 WILLS POINT TX 75169 26 93 EDWARDS ZACHARY J.'<MES 3358 COUNTY ROAD 4408 -------- ( ll8) 428 COMMERCE TX 75428 27 4 P~~AH TINA RENE 5448 COUNTY ROAD 3214 ( 122) 319 LONE OAK TX 75453 ___ x_ __ 28 48 WHITEHEAD JOHN ARTHUR 05041 CR-2714 5135 X 29 t;o~:cE1Ei!~tv l C{< 131) (kf~ 10~~E ROAD ::3: -------- IN~ CADDO MILLS TX 75135 30~ WILLIS BRYAN DOSS 131 SP~w~EE ST --X--- vtl_/~j_f 132) SM•T~ k~ECCA LEE 212 GREENVILLE TX 75402 -- _'/_- 3_1 9 8537 COUNTY ROAD 4902 Wrrrv~ ( 133) 432 WOLFE CITY TX 75496 X 32 &f';LL' N-'KFlt( LAVERNE 321 68i~~LAKESIDE DR TX 75474 33 69 w ~E VIVIAN CLAIRE ( 139) 321 10469 APACHE WILLS POINT TX 75169 34 85 HERHOSILLIO CYNTHIA 313 STERLING ~"-T DR ( 142) 427 COMMERCE TX 75428 35 50 MORRIS JOHNNY EARL 1509 REED ( 144) 433 GREENVILLE TX 75401 X TX 75402
(~R!CAL) LIST OF PETIT JURORS 7/20/2015 PAGE 3 ?A.~EL L!ST Al LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015' at 09,30 A.M.
FOR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY ' TEXAS NO. SH;'L NA.'IE DOS PRCT ADDRESS ST ZIP 37 56 JONES TERRY THOMAS 29H COUNTY ROAD 3311 ( 154) 324 GREENVILLE TX 75402 38 98 WRIGHT NATALEE TA.LOR 2506 RIDGECREST ' -------- ( 162) 215 CADDO MILLS TX 75135 39 1 GRANDFIELD Jk~ET TAYLOR 2012 WALWORTH ST PtJ,q-:/\1.€~.1: / /j/J~hf'~ENVILLE TX 75401 GRAY TYLER 5808 LEE ST .. """" . . //· 40 55 B~~DON ( 166) GREE~viLLE TX 75401 14 OLSON LARRY GORDON 4929 FM 2947 ( 167) 323 GREENVILLE TX 75402 !3J 42( 1~ f/'t:>[.q BAIN JOEL OEA.>i 179) ( ~~;:3915 10099 APACHE QUINLAN TX 75474 .,A ... 43 34 ~~~if: w~] JONES INGRID GURINA ;·8tt{rr/?i::l2 COUNTY ROAD 4429 TX 75428 -------·- ( 186) FA.,MERSVILLE TX 75442 -------- X X 45 4,6 i z ~l}LOrfi~~LEY<OE~rv;gr 2020~Sc:i~- Ct/2 B:f ND Cj_F ·.L RUCE ) :;..-- / 20 NASHVILLE AVE -r;;?J,R ENVILLE TX 75402 75189
~--- N "~~~-58~E PpvN ~JJ21 ~uJK~:-~ 47 1 .. Tx 75474 48 78 ~r.mERGRIFF ER~Y,DON( '( lt,""f(fo~TY ROAD 4506 ( 1 0) 28 COMMERCE TX 75428 49 66 HAWKINS RILEY SHAQUILLE MARQUI 4214 JOHNSON ST -------- ( 191) 108 GREE~~ILLE TX 75401 __ )\__ so 70 rp,TOYNERsf/REYl;;>m__( ffib I lOB 2102 DIVISION ST GREENVILLE TX 75401 51 37/o{ {f[L_., LOIS ( 204) ~-RETCHER 2900 ROBIN RD APT 1001 GREENVILLE TX 75402 -------- X 52 30 SAVAGE -pvN(.,;4/'IJ,'i' TIMOTHY~ERNARD. --r7l608 WELLINGTON "T~ILLE 1 Tx 1s4o1 -- -~.- ~ HE~~~; LYNN lOd_; 6911 ~ROAD 2525 _ .' -{i:/2 208) 216 ROYSE CITY TX 75189 X -------- TX 75426
(NUMERICAL) LIST OF PETIT JURORS 7/20/2015 PAGE 4 P.ti.NEL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at .09o30 A.M.
FOR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY TEXAS ' NO. SHFL NAHE DOB PRCT ADDRESS ST ZI?
55 33 MILLER JOSHUA THOHAS 1016 CLARK ST -------- I 211) GREENVILLE TX 75401 56 83 PRATHER HEATHER MICHELLE 1617 SIGNAL RD -------- I 212) 323 QUINLAN TX 75474 __/!_~_ 57 26 EVANS CHARLES WOODFIN ( 215) 3900 SUNHILL DR GREENVILLE TX 75402 <0 77 ACKER TROY HARRISON p 0 BOX 515 ( 217) 319 LONE OAK TX 754 53 __ )(_ 59 ~TEWART DEBORAH HOLMES 9%3 COUNTY RD 2440
E~~r?':::J ROYSE CITY TX 75189 60 36 4814 FM 513 5 ( 224) 319 LONE OAK TX 75453 61 3 VENABLE STACY LYNN 4963 CR 3403 -------- ( 244) 319 LONE OAK TX 75453 X --------
{veNtS ~1f~AMriNDw~ GONZAL~ ~<Y ROSA PRIVATE ROAD 2308 QUINLAN TX 754 74 4224 KING ST APT 156 -------- I 255) 106 GREENVILLE TX 75401 64 25 PHIFER PAUL FRANKLIN 516 PAWNEE TRL -------- I 258) 320 WEST TAWAKONI TX 75474 65 18 SMITH CYNTHIA ANN 4 54 9 MARIAN LANE -------- I 260) ROYSE CITY TX 75189-4885 66 45 STOWERS LESIA KAY 3766 CR 2184 -------- I 265) 211 GREENVILLE TX 754 02 67 40 NOR.< IS EDDIE LEE 1803 CHURCH -------- I 270) 427 COMMERCE TX 754 26 68 84 TREVINO RICKY HER..'\IANDEZ 4626 COUNTY RD 4206 -------- I 273) CAMPBELL TX 75422 69 17 HAGAR JACQUELINE LOUISE 1033 COUNTY ROAD 1116 -------- I 260) 109 GREENVILLE TX 75401 70 12 KETNER FREDDIE JOE 421 STATE HWY 224 -------- I 264) 426 COMMERCE TX 754 28 71 5 DOYLE STACIE KAY 4 756 COUNTY ROAD 2216 f. -------- I 286) 213 CADDO MILLS TX 75135 _/( -------- ,, ~'''' I 287) "''" ,,, 434 3477 COUNTY ROAD 4106 GREENVILLE TX 754 01 ~ f> I !Vt> (c.-r
•,
(NUMi':R!CAL) LIST OF PETIT JURORS 7/20/2015 PAGE 5 p;u~EL LIST Al LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09' 30 A. t-1.
FOR THE Hv~ COv~TY DISTRICT COURT OF Hv~ COUNTY ' TEXAS NO. SHFL NAME 003 PRCT ADDRESS ST ZIP 63 FROST JACK ARTHUR 5921 FM 118 - - - - - -- - ( 293) 431 GREENVILLE TX 75401 74 39 JACKSON BILLY GENE 2310 COUNTY ROAD 3517 -- -- - --- ( 2 94) QUINLAN TX 75474 75 99 JE~~!G~~ BENITA KAY ? 0 BOX 210 -- -- - -- - 102 WOLFE CITY TX 754 96 21~REZ~ :~IELLE x- - -- --- - 76 603 E FM 272 -
---- ---- 82 aR~~ !Rt:;; 06) CELESTE 1074 FM 1903 GREENVILLE TX 754 23 TX 75402 78 72 LINDSEY JOSHUA THO~AS 2 718 CR 2512 -- - - - -- - ( 314) QUINLAN TX 754 7<.
79 2 ST~~LEY TONI MICHELLE 6966 CR 2532 - - - -- - - - ( 315) 214 QUINLAN TX 754 74 80 88 FIELDS MITCHELL RAY 5009 MCDOUGAL - - --- --- ( 316) 433 GREENVILLE TX 75401 -- X -- 6£v£RADtJ~m~~s ~»\;~9~wJbTE ~0~472::> 82 9 ILENER loNYA RENEE ;I/- I f:t!OrtoNTI £:-./ ~rTX~~~------ -- -- - - - - < 329) QUINLAN 75474 83 20 PLETCHER BRADLEY R 609 TURTLE CREEK DR ( 330) 325 GREENVILLE TX 75402 -----~84 LOMAX STEVEN BRENNEN 4115 JOE ruv~SEY BLVD APT 223 ~~ ( 332) GREENVILLE TX 75401 as 71 WIGGINS KELLEY ~~E 802 EDGEWOOD ST ( 339) 102 WOLFE CITY TX 75496 C1o??.h~rv-I~N J~Vt~ ,.~l ~~ ~r ----.){ 86
{1 •oo•I,J•~M jf m~(,lt ~ ,(:, _L FM TX 75135 ----~ 87
1fd.::: 88
f~Js:J:~'!...~f/i~~rl37$/ <F;b~l 348) GILL DANIEL LOUIS QUINLAN ~~~c ( / "TX ~s?!Z.£ 75474 2167 HIDEAWAY LN ( 3 51) 323 QUINLAN TX 75474 59 VAUGHAN DAVID LYNN 611 DEER DR ( 358) 325 GREENVILLE TX 75402
• (NUM~RICAL) LIST OF PETIT JURORS 7/20/2015 PAGE 6 ?ANEL LIST Al LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09•30 A.M. ?OR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY , TEXAS ~0. SHFL NAME DOB PRCT ADDRESS ST ZI?
----x 91 57&1>~~ VN 6 +f ~~i~~ISKERS 92 65 z· ERI ALE.
Ovfl. ( vN ff/ 3.
GINIA ANN 3238 COUNTY ROAD nos Mt;;)]r'EENVILLE RD TX 75401 TX 7504
93 23 WADE CK E I 1359 COUNTY ROAD 2178 ( 373) 211 GREENVILLE TX 75402
----\:: 1 02 KING ST i?W1l!f:!t.J 111~= 5087 COUNf? ROAD 259' ROYSE CITY E FM 272 TX 75189 CELESTE TX 75423 97 58 ----x98
_ _ x_ ...................... * ................... . • TOT.l\L PRINTED • 100 • .................. + ••••••••••••••
O.n.n~RICA.L) LIST OF PETIT JURORS 7/20/2015 PAGE 1 PANE:L LIST Al . LIST NO. 596 0? THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09:30A.M. ~ ~q T~E HUNT COUNTY DISTRICT COURT OF HUNT COUNTY , TEXAS \)' \ NO. SHFL N~~ DOB PRCT ADDRESS ST ZIP t)))~~ 6 WEAVER BRIAN PATRICK l) 2309 WASHINGTON ST APT 505 COMMERCE TX 75428
.~ m~6f:-/ 2 22 ELMORE JUSTIN DEWAYNE I 3l 1331 SIGNAL RD QUINLAN TX 7504 ·'I_ 3 IRVAN CECELIA ANN 4353 COUNTY ROAD ·3321 -------- I 10 > 323 GREENVILLE TX 75402 _'A 4 53 AVEKOE SHIRLEY COUNCIL I 16) 32 5 2609 I-30 E GREENVILLE TX 75402 75 BAINBRIDGE ZACHARY BRIAN 6912 COUNTY ROAD 24 72 I 20) 217 ROYSE CITY TX 75189 -i_ ____ f:. 6 42 GRIBBLE ~~OLD I 35 > RAY CADDO WEST TAW~I(ONI TX 754 74 ~~)G7 61 "~BEN LANA ~~IE I 39 l 215 1830 CR 2712 CADDO MILLS TX 75135 rnvoe.J< s 66 MAY PHILIP WAYNE I 41 l 216 6464 FM 1565 ROYSE CITY TX 75189 CQ~t"/.. 9 76 SMITH BARRY DALE I 4 5) 323 RANCHO RD QUINLAN TX 754 74
ill : CCAV_~'/.12
NATION AMY MICHELLE ~ASON
MAYBERRY I 50) RACHEL MICHELLE I 51) I WILLI~~ 54> ASHLEY 0 7 0 COUNTY ROAD 3110 GREENVILLE 7312 CAROL DR GREENVILLE 6364 CR 4102 GREENVILLE TX 75402 TX 75402 TX 75401 6511 A SAYLE ST CJAVS.fi 13 96 ALLISON JOEY ALLEN I 67) 212 GREENVILLE TX 75402 ~-------- 14 19 STEVENS SCOTT ROBERT I 66) 215 3154 RIDGEVIEW RD CADDO MILLS TX 75135
-·----'~-'/._ 15 24 MCMINN JIMMY JOE 507 TURTLE CREEK DRIVE I 81 > GREEN~ILLE TX 75402 29 FIELDS ~~RY DEAN JR 3696 COUNTY ROAD 3322 -------- I 87) 324 GREENVILLE TX 75402 '/:!_ ______ 17 67 MOCK ROSS EUGENE I ear 215 2003 JOSHUA CADDO MILLS TX 75135 (_0.:\f;{}u 6 54 MICKLER JOHN CHRISTOPHER I 93 > .
3120 FM 499 GREE!-NILLE TX 75401
vs ' w\j wj~~O--VY.M' 1.b,11f.J p 2-fJ/1/CJ F ll ED AT---~ JUL'2.0 2015 (NUHERICALI LIST OF PETIT JURORS 7/20/2015 PAGE 2 PAJ-EL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09,30 A.M.
THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY TEXAS ' NO. SHFL NAME DOS PRCT ADDRESS ST ZIP 19 49 HIGGINS WILL!A."1 HOWARD 2154 WRIGHT WAY ( 981 320 QUINLAN TX 75474 20 91 STEWART SCOTT F 5706 COUNTY ROAD 1120 ( 1001 109 FARMERSVILLE TX 75442 21 95 WILLIAMS BILLY DOYLE 4009 PEPERPORT DR ( 1021 GREENVILLE TX 75401 22 10 AYERS EDDIE DEAN 50002 ZORA DR -------- ( 1031 108 GREENVILLS TX 75402 "A -------- 23 47 EASLEY WILEY ( 107 I 101 4660 FM 36 N.
CELESTE TX 75423
'~------ 24 43 HAMMOND STACIE 1-'.AY ( 1101 1334 KAITLYNN CT CADDO MILLS TX 75135 _@_ 25 26 SMITH MA.RGA.~ET ( 1121 ANN 10539 GAILLARD WOODS WILLS POINT TX 75169
x~----- 26 93 EDWARDS ZACf'.ARY JAHES 3358 COUNTY ROAD 4408 ( 1181 428 COMMERCE TX 754 26 ~7 - HANNAH TINA RENE ( 1221 319 5448 COUNTY ROAD 3214 LONE OAK TX 754 53 CJ!tv'Kfo 8 48 WHITEHEAD JOHN ARTHUR ( 1281 5041 CR-2714 CADDO MILLS TX 75135 L0~ 9 52 TEAGUE ALBERT WESTLY I 1311 210 1832 PRIVATE ROAD 2737 CADDO MILLS TX 75135 r;;;A\j)f'}vo 32 WILLIS BRYAN DOSS ( 1321 212 SHAWNEE ST GREENVILLE TX 75402 mvsf(,j. 31 79 SMITE REBECCA LEE ( 133 I 432 9537 COUNTY ROAD 4902 WOLFE CITY TX 754 96 CJt~S~ 32 97 WILLY PATRICIA LAVERNE I 1351 321 10923 LAKESIDE DR QUINLAN TX 754 74 __G]_ 33 69 WALLACE VIVIAN CLAIRE ( 1391 321 10469 APACHE WILLS POINT TX 75169 rztkAAO_t 34 85 HERMOSILLIO CYNTHIA I ·142 I 427 STERLING HART DR COMHERCE TX 75428 ~------ 35 50 MORRIS JOHNNY EARL I 1441 433 1509 REED GREENVILLE TX 75401 (,~~-~ 36 35 WATTERS STEVEN ?AUL I 1511 5005 CANTON GREENVILLE TX 75402
(N\Ro!ERICAL) LIST OF PETIT JURORS 7/20/2015 PAGE 3 ·PA.t\iEL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09o30 A.M.
THE :n.JNT COUNTY DISTRICT COURT OF HUNT COUNTY TEXAS ~\~ ' NO. SHFL NAME DOB PRCT ADDRESS ST ZI?
37 56 JONES TERRY THOMAS 29H COUNTY ROAD 3311 ( 154) 324 GREENVILLE TX 75402 -------- X 38 98 WRIGHT NATALEE TALOR ( 162) 215 2506 RIDGECREST CADDO MILLS TX 75135 CQ._V'f:X. 39 1 G~~FIELD JANET TAYLOR 2012 WALWORTH ST
x______ 40 55 ( 165) GRAY BRANDON TYLER ( 166) 108 GREENVILLE 5608 LEE ST GREENVILLE TX 75401 TX 754 01 ~ -------- 41 l4 OLSON LARRY GORDON ( 167) 323 4929 FM 2947 GREENVILLE TX 75402 (Q_~~~42 15 BArN JOEL DEAN ( 179) 10099 APACHE QUINLAN TX 75474 (/)!_\) _\fJ.. 4 3 34 JONES INGRID GURINA ( 183) 428 3915 COUNTY ROAD 4429 COMMERCE TX 75428 ___G}_ 44 62 LITTLE MERLE LEE ( 186) 2365 CR 1112 FARMERSVILLE TX 754<2 CfJY1~'1-. 45 51 TAYLOR BRADLEY JOE ( 18 7) 215 2020 SETH CIR ROYSE CITY TX 75189 0(1\JS~H 74 GRAHL BRUCE AL~~ ( 188) 3206 NASHVILLE AVE GREENVILLE TX 75402 (;_Q_~)f}47 27 IVEY AMY LANNETTE ( 189) 214 P 0 BOX 1064 QUINLAN TX 754 74 _@ 4S 78 V~~ERGRIFF ( 190) JERRY DON 11 COUNTY ROAD 4506 COMMERCE TX 75428
~------ 49 66 HAWKINS RILEY SHAQUILLE MAR QUI 4214 JOHNSON ST ( 191) 108 GREENVILLE TX 754 01 JOYNER AUDREY ANN 2102 DIVISION ST ( 203) 108 GREENVILLE TX 75401 mmx50 OFFER~AN LOIS CRETCHER 2900 ROBIN RD APT 1001 ( 204) GREENVILLE TX 75402 --- ''--:J\51 Cfjy_V_S . 52 30 SAVAGE TIMOTHY BERNARD ( 206) 2608 WELLINGTON GREENVILLE TX 75401 100 NULL HEATHER LYNN 6911 PRIVATE ROAD 2525 QWWs3 ( 208) 216 ROYSE CITY TX 75189 ca':/fjs4 7 DRAUGHN ROBERT DEWITT ( 209) 428 2210 CHARITY COMMERCE TX 75428
(NUMERICAL) LIST OF PETIT JURORS 7/20/2015 PAGE PANEL LIST Al 1Jf ·ttilST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July o;_nTHE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY I 2015, at 09:30A.M.
TEXAS NO. SHFL NAME D03 PRCT ADDRESS ST ZIP I~ 55 33 MILLER JOSHUA THO~AS 1016 CLARK ST - -- -- ( 211) GREENVILLE TX 754 01 _______'/-56 83 PRATHER HEATHER MICHELLE 1617 SIGNAL RD ( 212) 323 QUINLAN TX 754 74 no~~ 28 EVANS CHARLES WOODFIN ( 215) 3900 SUNHILL DR GREENVILLE TX 75402 ~58 77 ACKER TROY Hk~R!SON ( 217) 319 P 0 BOX 515 LONE OAK TX 75453 CQ._VSQ/,59 89 ST~w~qT DEBORAH ( 218) HOh~S 9943 COUNTY RD 2440 ROYSE CITY TX 75189 ~~------~6~0~~3~6~~E~L~-~~'CODY RYAN 4614 FM 513 S ~ ( 224) 319 LONE OAK TX 75453 61 3 VENABLE STACY LYNN 4963 CR 3403 ( 244) 319 LONE 0~'< TX 75453 81 CONRAD MATTHEW JA11ES-WINDWAL 550 PRIVATE ROAD 2308 ( 251) 214 QUINLAN TX 754 74 92 GONZALEZ MARY ROSA 4224 KING ST APT 156 ( 255) 106 GREENVILLE TX 75401 25 PHIFER PAUL FRANKLIN 516 PAWNEE TRL ( 2 58) 320 WEST TAWAKONI TX 754 74 18 SMITH CYNTHIA ~~~ 4 54 9 MARIAN LANE ( 260) ROYSE CITY TX 75189-4885 45 STOWERS LESIA KAY 3788 CR 2184 ( 265) 211 GREENVILLE TX 754 02 40 NORRIS EDDIE LEE 1803 CHURCH ( 270) 427 COMMERCE TX 75426 84 TREVINO RICKY HERNANDEZ 4626 COUNTY RD 4206 ( 273) C~~PBELL TX 75422 17 HAGAR JACQUELINE LOUISE 1033 COUNTY ROAD 1116 ( 280) 109 GREENVILLE TX 75401 12 KETNER FREDDIE JOE ~21 STATE Ww~ 224 ( 284) 428 COMMERCE TX 75428 71 5 DOYLE STACIE KAY 4756 COUNTY ROAD 2216 ( 286) 213 CADDO MILLS TX 75135 64 WOODMANSEE KENT LEE 3477 COUNTY ROAD 4106 ( 287) 434 GREE~viLLE TX 75401
(NUMERICAL) LIST OF PETIT JURORS 7/20/2015 PAGE 5 PANEL LIST ;u LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July FOR TEE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY . TEXAS 2015, at 09,30 A.M.
NO. SHFL NAME DOB PRCT ADDRESS ST ZIP 63 FROST JACK ARTHUR 5921 FM 118 -------- ( 293 J 431 GREENVILLE TX 754 01 39 JACKSON BILLY GENE 2310 COUNTY ROAD 3517 -------- ( 294) QUINLAN TX 75474 99 JERNIGAN BENITA KAY p 0 BOX 210 -------- ( 2 98 J 102 WOLFE CITY TX 754 96 t0r~f 76 21 PERE:Z ALORA ( 300) DA!HELLE E CELESTE F!~ 272 TX 75423 82 BRYAN JACQUELYN KAY 1074 FM 1903 -------- ( 306) 211 GREE!iVI LLE TX 75402 72 LINDSEY JOSHUA THOI>'.AS 2718 CR 2 512 -------- ( 314 J QUINLAN TX 754 74 79 2 STANLEY TONI MICHELLE 6966 CR 2532 -------- ( 315) 214 QUINLAN TX 754 74 88 FIELDS MITCHELL RAY 5009 MCDOUGAL -------- ( 316 J 433 GRE:ENVILLE: TX 75401 C(/] \fJQ 81 60 CONRAD CAROL RE:YNOLDS ( 326) 214 PRIVATE ROAD 2308 QUINLAN TX 754 74 82 9 :'LENER TONY A RENEE 220 CONTI DR -------- ( 329) QUINLAN TX 754 74 20 PLETCHER BRADLEY R 609 TURTLE CREE:K DR -------- ( 330) 325 GREENVILLE: TX 75402 CrJJWf 84 6 LOMAX STE:VEN 3RE:NNEN ( 332) 4115 JOE RAMSEY BLVD APT 223 GRE:ENVILLE: TX 75401 71 WIGGINS KELLE:Y ALANE 802 EDGEWOOD ST -------- I 339 J 102 WOLFE: CITY TX 75496 cq~J 86 16 SPRADLIN RYAN ALLEN ( 34 2) 210 1711 FM 36 CADDO MILLS s TX 75135 CC\~l)~ 87 80 HOOPER-VANCLE:VE ( 34 7 J MARY ELIZABE 2057 CR 2546 QUINLAN TX 75474 38 RUTHERFORD DAVID MICHAEL 333 PR 2308 w\gnlj_)\88 ( 34 8) QUINLAN TX 754 74 13 GILL DA.!'liEL LOUIS 2167 HIDEAWAY LN -------- ( 351) 323 QUINLAN TX 754 74 59 VAUGHAN DAVID LYNN 611 DEER DR -------- ( 358) 325 GREENVILLE TX 75402
(NUMERICj\.L) LIST OF PETIT JURORS 7/20/2015 PAGE 6 PANEL L! ST Al LIST NO. 598 OF THE PETIT JU~ORS TO REPORT ON 20th DAY OF July 2015, at 09o30 A.M.
FOR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY ' TEXAS NO . SHFL NAHE DOE PRCT ADDRESS ST ZIP . @JJ:M:f' 91 57 PENCE ERIN ANDREW ( 367) 320 8833 WHISKERS RD QUINLAN TX 754 74 m~Sl_i 92 65 ALEXANDER VIRGINIA ANN ( 3 71) 430 3238 COUNTY ROAD 4105 GREENVILLE TX 75401 93 23 WADE JACK E 1359 COUNTY ROAD 2178 -------- ( 373) 211 GREENVILLE TX 754 02 (Q\~_y</94 31 COLE HUBBARD LEE ( 374) 433 1402 KING ST GREENVILLE TX 754 01 Co.i~_xef9s 90 CRAWFORD CLAY KYLE ( 3 77) 216 5087 COUNTY ROAD 2591 ROYSE CITY TX 75189 96 46 PHILLIPS TODD ALLEN 506 E FM 272 -------- ( 385) 101 CELESTE TX 754 23 97 58 PLUMB JENNIFER J><.ARIE 4018 PEPPER PORT DR -------- ( 388) GREENVILLE TX 754 02 CQ\1~98 94 STOGNER DIALLO N ( 393) 319 MILL ST LONE OAX TX 75453 1208 SPEEDWAY ST CCAVW 99 73 SEPHUS RICKEY LEROY ( 3 94) GREENVILLE TX 754 01 100 41 DEGARSO BRIAN KEITH 172 COUNTY ROAD 2186 -------- ( 3 95) 211 GREENVILLE TX 75402
~ TOTAL PRINTED = 100 •
(NUMERICAL) LIST OF PETIT JURORS 7/20/2015 PAGE 1 PANEL LIST A1 LIST NO. 598 OF THE PETIT JURORS TO REPORT ON 20th DAY OF July 2015, at 09:30 A.M.
FOR THE HUNT COUNTY DISTRICT COURT OF HUNT COUNTY ' TEXAS ON TOTAL TO NO. SHFL NAME DOB PRCT ADDRESS ST ZIP JURY DAYS p 75 BAINBRIDGE ZACHA!l.Y BRIAN y -------- ( 20) 217 11 NATION AMY MICHELLE y -------- ( 50) 325 87 MASON RACHEL MICHELLE y -------- ( 51) 107 49 HIGGINS WILLIAM HOWARD y -------- ( 98) 320 91 STEWART SCOTT F y -------- ( 100) 109 26 SMITH MARGARET ANN y -------- ( 112) 321 69 WALLACE VIVIAN CLAIRE y -------- ( 139) 321 56 JONES TERRY THOMAS y -------- ( 154) 324 62 LITTLE MERLE LEE y -------- ( 186) 78 V~~DERGRIFF JERRY DON y -------- ( 190) 428 37 OFFERMAN LOIS CRETCHER y -------- ( 204) 33 MILLER JOSHUA THOMAS y -------- ( 211) JI_Q_ 13 77 ACKER TROY HARRISON ( 217) 319 y
***************************** * TOTAL PRINTED = 13 * *****************************
..ql'~, ~l.~{J J~/n ~ CAUSE NO. 28,779 . '~~ l (j l(j/.5' ~ THE STATE OF TEXAS § IN THE DISTRICTC8'~ ~ vs. § HUNT COUNTY, TEXA§1 ,.r TH CORY HAYES PARKER § 196 JUDICIAL DISTRICT
DEFENDANT'S ELECTION FOR DETERMINATION OF PUNISHMENT TO THE HONORABLE JUDGE OF SAID COURT: COMES NOW, Defendant CORY HAYES PARKER, in the above-entitled and- numbered cause and makes and files this his Election for the Determination of Punishment and would respectfully show unto the Court the following: I.
Defendant has been represented by JACK L. PARIS, JR., Attorney at Law, who was appointed on August 6, 2012 by the Presiding Judge to represent Defendant in this cause.
Defendant has discussed with and been advised by his Attorney as to Defendant's right to elect that either the Presiding District Judge or the Petit Jury can determine the issue and render a verdict as to the punishment to be assessed against Defendant in the event that he is found guilty of the offense alleged against him in the Indictment pending in this cause or any lesser included offense thereof. Defendant freely and voluntarily makes his own independent election as evidenced by his signature hereinbelow.
II.
In the event that the Defendant is found guilty of the criminal offense alleged in the Indictment pending in this cause or any lesser-included offense thereof, Defendant elects to have the Petit JurviPJ»siEiii a:~~hul!!l: determine punishment in this cause.
This election was made and filed prior to jury selection and trial of this cause.
~NriANT NO. 28,779 -1 )" /:'I THE STATE OF TEXAS § IN THE DISTRIC'~~T ..lu; () vs. § OFH~.C~;NTY,6fEXA ~ <'c:?!.f ~ Til - CORY HAYES PARKER § 196 JUDIC • STRICT . ;~"'--' DEFENDANT'S APPLICATION FOR PROBATION/COMMUNITY "'"t'q . -'-t SUPERVISION TO THE HONORABLE JUDGE OF SAID COURT: COMES NOW, CORY HAYES PARKER, Defendant in the above-entitled and-numbered cause, and makes and files this his Application For Community Supervision, pursuant to the provisions of Sec. 4(e) of the Texas Code of Criminal Procedure, and would respectfully show as follows: I.
Defendant makes and files this Application at a time prior to trial and jury selection in the above-entitled and-numbered cause.
II.
I have never before been convicted of a felony offense in any jurisdiction, nor have I ever received a felony probation of any kind.
III.
In the event that the Defendant is adjudicated guilty of a felony offense and is not sentenced to a term of imprisonment that exceeds ten (I 0) years, then Defendant respectfully requests that the jury I I recommend to the presiding Judge that the Judge place the Defendant on community supervision.
SIGNED this 1.-~ day of July 2015.
State of Texas § County of Hunt § SUBSCRIBED AND SWORi\1 to before the undersigned on the'lV day of July 2015.
4]!- IN' THE DIS"f':i:IC:1F-'t':I()MR OFHUNTaQ~T~~~~ ~6TH JU Iii DIS ~,~ ~. ,.
ON THIS DAY came for consideration the matter of th bo t in the above styled and numbered cau~· for the Defendant aforementioned. The State of Texas \vas present d a}f~Sf- by the Hunt County District Attorney.
The Defeadant was present and represented '1 }:junsel, f:" ''f'< c.... ,;> . The Coun finds lhat lhe Defen is under a nd r<: . and eels that SBA lxmd sho~ud be reset at - IV v r ti1 r... e IT ISH REBY ORDER that such bond is reset in the nt of$ - . ~"";?. ~ IT IS HEREBY FURTHER ORDERED that the Defendant shall be required as a condition of release on bond to: ( ) Do not leave Hunt County or your county of residence without written pennission from the Hunt County Community Supervision and Corrections Depanment-Pre-Trial Division, (HCCSCD) (PSTD) or the Coun. ( ) Submit to testing weekly under the supervision of the HCCSCD PTSD for the presence of controlled . substane:e(s) in the Defendant's body. . ( ) Report to the HCCSCD PTSD immediately (or upon the first work day after release from custody) and then repon necessary weekly for the verification of employment, residence, and other infonnation deemed by PTSD. ( ) The Defendant shall submit to mandatory Alcoholics Anonynious meetings three (3) times per week a.nd shall retain proof of attendance. { ) The Defendant shall abstain from the use of alcohol and or controlled substances while Ehis case remains pending. ( ) Do not operate a motor vehicle unless the vehicle is equipped with a deep lung interlock device. ( ) The Defendant shall not directly communicate with the alleged victim in this offense "---:-:----:---:-:-----_.) a.nd shall not go near a residence, school or frequented by the alleged victim. (X) The Defendant shall not commit a new offense against this state or any other state of the United States or any political subdivision thereof. ( ) The Defendant shall pay costs of attorney in the amount of S--::-~-- on or before-------- to lhe Hunt County Auditor, P. 0. Box 1097, Greenville, Texas 75403. ( ) Return back to this Court on at a.m./p.m. (X) Report in writing any change of address or phone numbers to the Hunt County District Clerk's Office. ( )The Coun fmds that the accused has been in custody for 90 days or more and the District Attorney's Office has not obtained an indictment; therefore, this Court is required by law to grant a P.R. Bond.
Should the PSTD tile a written repon of violation of any co automatically be rescinded and the Clerk of the Coun shall issu event will be denied pending review by the Coun.
l have read the above special conditions and understand that the Co will r~xoke my bond, order my arreSt, and order a new bond hearing, if the Judge receives written notice concerning any vi.olation of the above required conditions.
OEFEl\T))ANT Date DISTRICT ATTORNEY Date Address: Phone Number:
' ~ - ,-
CAUSE NO. 28,779 THE STATE OF TEXAS § § vs. § OF HUNT COUNTY, TEXAS § CORY HAYES PARKER § 196TH JUDICIAL DISTRICT CHARGEOFTHECOURT LADIES AND GENTLEMEN OF THE JURY: The defendant, CORY HAYES PARKER, stands charged by indictment with the offense of Aggravated Assault by Use of a Deadly Weapon Against a Public Servant, alleged to have been committed in Hunt County, Texas, on or about the 2"d day of August, 2012. To this charge the defendant has pleaded not guilty. You are instructed that the law applicable to this case is as follows: 1.
A person commits the offense of assault if he intentionally or knowingly threatens imminent bodily injury to another, including the person's spouse.
A person commits the offense of aggravated assault if he commits an assault and the person: 1) exhibits a deadly weapon during the commission of the assault.
A person commits aggravated assault on a public servant when the aggravated assault is committed against: I) a person the actor knows is a public servant while the public servant is lawfully discharging an official duty.
2.
"Actor" means a person whose criminal responsibility is in issue in a criminal action.
Court's Charge . I . "Another" means a person other than the actor.
"Bodily injury" means physical pain, illness, or any impairment of physical condition.
"Deadly Weapon" means: (A) a firearm or anything manifestly designed, made or adapted for the purpose of inflicting death or serious bodily injury; OR (B) anything that in its manner of use or intended use is capable of causing death or serious bodily injury.
"Public Servant" means a person elected, selected, appointed, employed, or otherwise designated as an officer, employee, or agent of government.
"Spouse" means a person who is legally married to another.
3.
A person acts intentionally, or with intent, with respect to the nature of his conduct or to a result of his conduct when it is his conscious objective or desire to engage in the conduct or cause the result. Intent can be inferred by acts done or words spoken, if any.
A person acts knowingly, or with knowledge, with respect to the nature of his conduct or to circumstances surrounding his conduct when he is aware of the nature of his conduct or that the circumstances exist. A person acts knowingly, or with knowledge, with respect to a result of his conduct when he is aware that his conduct is reasonably certain to cause the result.
4.
A person is criminally responsible if the result would not have occurred but for his conduct.
5.
You are instructed that a sheriffs deputy is a public servant.
Court's Charge -2- I ' ;
6.
The defendant is presumed to have known the person assaulted was a public servant if the person assaulted was wearing a distinctive uniform or badge indicating their employment as a public servant.
The jury is instructed relative to this presumption, as follows: (A) that the facts giving rise to the presumption must be proven beyond a reasonable doubt; (B) that if such facts are proven beyond a reasonable doubt the jury may find that the element of the offense sought to be presumed exists, but it is not bound to so find; (C) that even though the jury may find the existence of such element, the state must prove beyond a reasonable doubt each of the other elements of the offense charged; and (D) if the jury has a reasonable doubt as to the existence of a fact or facts giving rise to the presumption, the presumption fails and the jury shall not consider the presumption for any purpose.
7.
Now bearing in mind the foregoing instructions, if you find from the evidence beyond a reasonable doubt that on or about the 2"d day of August, 2012, in Hunt County, Texas, as alleged in the indictment, the defendant, CORY HAYES PARKER, did then and there intentionally or knowingly threaten DEPUTY KELLY PHILLIPS, with imminent bodily injury by pointing a firearm in DEPUTY KELLY PHILLIPS' direction during the commission of said assault, and did then and there use or exhibit a deadly weapon, to-wit: a shotgun, that in the manner of its use or intended use was capable of causing death or serious bodily injury, I) knowing that DEPUTY KELLY PHILLIPS was a public servant, to-wit: A SHERIFF'S DEPUTY WITH THE HUNT COUNTY SHERIFF'S DEPARTMENT, and was lawfully discharging an official duty, to-wit: executing a search warrant,
Coun's Charge •3• then you will find the defendant "Guilty" as charged. If the evidence did not convince you beyond a reasonable doubt or you have a reasonable doubt thereof, you will acquit the defendant and say so by your verdict of"Not Guilty." 8.
All persons are presumed to be innocent and no person may be convicted of an offense unless each element of the offense is proved beyond a reasonable doubt. The fact that he has been arrested, confined, indicted for, or otherwise charged with the offense gives rise to no inference of guilt at his trial. The law does not require a defendant to prove his innocence or produce any evidence at all. The presumption of innocence alone is sufficient to acquit the defendant unless the jurors are satisfied beyond a reasonable doubt of the defendant's guilt after careful and impartial consideration of all the evidence in the case.
9.
Evidence may have been introduced m this case regarding the defendant's having committed other crimes, wrongs or acts. You are instructed that you can not consider any such evidence to prove the character of the defendant or that he acted in conformity therewith.
You can consider any such evidence for other purposes such as proof of motive, opportunity, intent, preparation, plan, knowledge, identity or absence of mistake or accident. You cannot consider the testimony for any purpose unless you find and believe beyond a reasonable doubt that the defendant committed such other acts, if any were committed.
10.
The prosecution has the burden of proving the defendant guilty and it must do so by proving each and every element of the offense charged beyond a reasonable doubt and, if it fails to do so, you must acquit the defendant.
Court's Charge 4 0 0 It is not required that the prosecution prove guilt beyond all possible doubt; it is required that the prosecution's proof excludes all "reasonable doubt" concerning the defendant's guilt.
In the event you have a reasonable doubt as to the defendant's guilt after considering all the evidence before you, and these instructions, you will acquit him and say by your verdict "Not Guilty." II.
You are the exclusive judges of the facts proved, of the credibility of the witnesses, and the weight to be given their testimony, but you must be governed by the law you shall receive in these written instructions.
After you retire to the jury room, you should select one of your members as your Foreperson. It is his or her duty to preside at your deliberations, vote with you, and when you have unanimously agreed upon a verdict, to certifY to your verdict by using the appropriate form attached hereto and signing the same as Foreperson.
During your deliberations in this case, you must not consider, discuss, or relate any matters not in evidence before you. You should not consider or mention any personal knowledge or information you may have about any fact or person connected with this case which is not shown by the evidence.
No one has any authority to communicate with you except the officer who has you in charge. After you have retired, you may communicate with this Court in writing through this officer. Any communication relative to the cause must be written, prepared and signed by the Foreperson and shall be submitted to the Court through this officer. Do not attempt to talk to the officer who has you in charge, or the attorneys, or the Court, or anyone else concerning any question you may have.
Your sole duty at this time is to determine the guilt or innocence of the defendant under the indictment in this cause and restrict your deliberations solely to the issue of guilt or innocence of the defendant.
Following the arguments of counsel, you will retire to consider your verdict.
Court's Charge •5• J. Andrew Bench Judge Presiding !96th Judicial District Court Hunt County, Texas
Court's Charge . 6. ..
CAUSE NO. 28,779 VERDICT FORM (Choose only one)
We, the Jury, find the defendant, CORY HAYES PARKER, "Guilty" beyond a reasonable doubt of the offense of Aggravated Assault by Exhibiting a Deadly Weapon Against a Public Servant, as charged in the indictment.
OR
We, the Jury, find the defendant, CORY HAYES PARKER, "Not Guilty."
Foreperson
Court's Charge -7- . - •.
I AT FH.EIO 2'·tf?fM AUG 0 3 2015 ,
CAUSE NO. 28,779 ., '"" ./~(i'*.n1~CO. TX THE STATE OF TEXAS § IN THE DISTRICT COURT § vs § OF HUNT COUNTY, TEXAS § CORY HAYES PARKER § I 96TH JUDICIAL DISTRICT COURT'S PUNISHMENT CHARGE LADIES AND GENTLEMEN OF THE JURY: The defendant, CORY HAYES PARKER, has been found guilty as charged in the indictment of Aggravated Assault by use of a Deadly Weapon Against a Public Servant, as charged in the indictment. This offense is a first degree felony.
I.
You are instructed that the punishment for Aggravated Assault by use of a Deadly Weapon Against a Public Servant, is confinement in the Texas Department of Corrections Institutional Division for a period of not less than five (5) years, nor more than ninety-nine (99) years or life, and the jury in its discretion, may, if it chooses, assess a fine in any amount not to exceed $10,000, in addition to confinement in the penitentiary.
2.
Under the law applicable in this case, the defendant, if sentenced to a term of imprisonment, may earn time off the period of incarceration imposed through the award of good time. Prison authorities may award good conduct time to a prisoner who exhibits good behavior, diligence in carrying out prison work assignments, and attempts at rehabilitation. If a prisoner engages in misconduct, prison authorities may also take away all or part of any good conduct time earned by the pnsoner.
It is also possible that the length of time for which the defendant will be imprisoned might be reduced by the award of parole.
Under the law applicable in this case, if the defendant is sentenced to a term of imprisonment, he will not become eligible for parole until the actual times served equals one-half of the sentence imposed or 30 years, whichever is less,
Court's Charge- 28,779 -.
without consideration of any good conduct time he may earn. If the defendant is sentenced to a term of less than four years, he must serve at least two years before he is eligible for parole. Eligibility for parole does not guarantee that parole will be granted.
It cannot accurately be predicted how the parole law and good conduct time might be applied to this defendant if he is sentenced to a term of imprisonment, because the application of these laws will depend on decisions made by prison and parole authorities.
You may consider the existence of the parole law and good conduct time.
However, you are not to consider the extent to which good conduct time may be awarded to or forfeited by this particular defendant. You are not to consider the manner in which the parole law may be applied to this particular defendant.
3.
You are further instructed that in fixing the defendant's punishment, which you will show in your verdict, you may take into consideration all the facts shown by the evidence admitted before you in the full trial of this case and the law as submitted to you in this charge.
4.
As required by law, the defendant has filed, before trial, an affidavit stating the defendant has never been convicted of a felony in the State or any other state and requesting suspension of the sentence and placement on community superv1s1on.
"Community Supervision" means the placement of a defendant by a court under a continuum of programs and sanctions with conditions imposed by the Court for a specified period during which a sentence of imprisonment or confinement, imprisonment and fine, or confinement and fine, is probated and the imposition of sentence is suspended as to the imprisonment only or as to imprisonment and fine.
If the punishment assessed by you is not more than ten years imprisonment in the institutional division and you further find the defendant has never been convicted of a felony in this or any other state, you may recommend the prison
Court's Charge- 28,779 2 ·.
time be suspended, and, if you assess a fine, you may recommend whether the fine be paid or suspended.
The judge must suspend the sentence and place the defendant on community supervision if the jury recommends it in its verdict. If you do not desire to suspend the sentence and place the defendant on community supervision, you will say nothing in your verdict containing the same.
If the jury recommends community supervision for an offense, the judge sets the period of supervision for this offense at not more than ten years nor less than two years. Further, if the jury recommends community supervision, the judge must determine the conditions of community supervision and may, at any time during the period of supervision, alter or modify the conditions. The judge may impose any reasonable condition that is designed to protect or restore the community, protect or restore the victim, or punish, rehabilitate, or reform the defendant.
5.
The State has introduced evidence of extraneous crimes or bad acts other than the one charged in the indictment in this case. This evidence was admitted only for the purpose of assisting you, if it does, in determining the proper punishment for the offense for which you have found the defendant guilty. You cannot consider the testimony for any purpose unless you find and believe beyond a reasonable doubt that the defendant committed such other acts, if any were committed.
6.
You are the exclusive judges ofthe facts proved, ofthe credibility of the witnesses and of the weight to be given to the testimony. Your verdict must be by a unanimous vote of all members of the jury. In arriving at your verdict, it will not be proper to fix the same by lot, chance, or any other method than by a full, fair and free exercise of the opinion of the individual jurors under the evidence admitted before you.
After the Court reads this charge, you may not separate from each other, nor may you talk with anyone not of your jury. After argument of counsel, you must retire and select one of your members as foreperson. It is his or her duty to preside at your deliberations and to vote with you in arriving at a unanimous verdict.
The Presiding Juror will fill in the appropriate form of verdict to
Court's Charge- 28,779 3 -.
conform to the jury's determination. After you have arrived at your verdict, you must have your foreperson indicate the jury's verdict by signing the form that conforms to your verdict.
After you have retired to consider your verdict, no one has any authority to communicate with you except the officer who has you in charge.
You may communicate with the Court in writing, signed by your foreperson, through the officer who has you in charge. Do not attempt to talk to the officer, the attorneys, or the Court concerning questions you may have.
Judge Andrew Bench 196th Judicial District Court Hunt County, Texas
Court's Charge- 28,779 4 -'47' ~, '-f:}fiD 4tJr;o. ~ VERDICT FORM (Choose One Only) '~J<'O!.f ~ ...MJ We, the Jury, having previously found the defendant, CORY HAYES ' ~ PARKER, guilty of the felony offense of Aggravated Assault by use of a Deadly ·l;j- Weapon Against a Public Servant, as charged in the indictment, assess his punishment at imprisonment in the Texas Department of Criminal Justice for ------------------------~~~------------------------------years (any term of not less than 5 years nor more than 99 years or life) and optional fine in the amount of $-:--__ ____,Jzf~------~=-=--=-=--=-=--:---------- (any amount up to $10,000.00)
tore;;efSOn (ANSWER THIS ISSUE ONLY IF YOU HAVE CONVICTED THE DEFENDANT OF AGGRAVATED ASSAULT BY USE OF A DEADLY WEAPON AGAINST A PUBLIC SERVANT AND THE JURY HAS UNANIMOUSLY AGREED TO RECOMMEJ'I.'D COMMUNITY SUPERVISION) We, the Jury, having assessed the defendant's punishment at ten years or less, and further finding that the defendant has never before been convicted a felony in the state or any other state, do hereby recommend community supervision of the sentence and assess an optional fine in the amount of$ _________ (0-$1 0,000.00).
Furthennore, we recommend that: (A) the Defendant be required, as a condition of community supervision, to pay the fine assessed. OR (B) payment of the fine be suspended.
Foreperson
Court's Charge- 28,779 93 5 -. ..
Cause No. 28,779 THE STATE OF TEXAS X vs X COREY HAYES PARKER X 196TI-I JUDICIAL DISTRICT
TEXAS CODE OF CRIMINAL PROCEDURE 39.I4 COMPLIANCE STATEMENT COMES NOW, the State of Texas by and thru the undersigned Assistant District Attorney and Defense Counsel for the above named defendant and would show the Court as follows: Pursuant to Article 39.14 of the Texas Code of Criminal Procedure, the following has been produced to the above defendant by way of copy: See Attached Exhibit "A" SIGNATURES AND ACKNOWLEDGMENTS I have received the above referenced discovery and have consulted with the defendant and have made him/her aware of the discovery provided in this case. I understand that non-public information received pursuant to Art. 39.14 is not subject to disclosure without a Court order. I further understand that 1 cannot allow the defendant to have copies of this information (other than his/her own statement). I also understand that prior to showing said information to the Defendant, 1 must redact it as set forth by Art. 39.14. Additionally, I acknowledge the State has maintained an open file in this case with the op ortunity to vie'' and inspect the same.
Attor ev for Defendant ~.State B~r Number: /jl{ (;I J-0"" 1, the defendant herein, acknowledge that my to me, and I have reviewed the above referenced items.
n,..u;,r:,.; As attorney for the State, I represent that the above referenced materials have been made available as set forth above.
Assistant D1str· t Attorney, Hu State Bar Number: _ _ _ _ _ _ _ _ _ _ __
The Court accepts this document as complian e Criminal Procedure.
Date: ~~ { ;Z ( ~-
CAUSE NO. 28,779 STATE OF TEXAS § IN THE DISTRICT COURT vs. § OF HUNT COUNTY TEXAS COREY HAYES PARKER § !96 1h JUDICIAL DISTRICT VOLUNTARY DISCOVERY NOBLE D. WALKER, JR., District Attorney in and for Hunt County, Texas here by furnishes the following Voluntary Discovery to the Defendant by and through his Attorney, , the 1'1 day of March, 2013.
I. Indictment *Other documents and discs were discovered in Cause Number 28,77j. g
.ql" ~,l. -...........:~o 4(160- ~ CASE No. 28779 COUNT I " J (}(}. 'k-1 INCIDENT NO.ITRN: 9!28294610A002 ~~[) /''j D Y:SH ~ THE STATE OF TEXAS § IN THE DISTRICT COURT , ..~ § ~~ V. § § OF HUl'T COUl'TY, TEXAS COREY HAYES PARKER § § STATE ID No.: TX 06549725 § !96TH JUDICIAL DISTRICT L::\'il ~~--~~--~--~~-J-U~D-G-M~E-N-T~O--F~C-0~N~V~IC~T--IO~N--B-Y~J--U~R-Y~--~~--~--~~--=~~ Date Judgment Judge Presiding: HON. J. ANDREW BENCH Entered: 08-03-2015 Attorney for State: NOBLE D. WALKER. JR. Attorney for Asst. District Atty: JACK L. PARIS, JR. G. CALVIN GROGAN. V. Defendant: Offense for which Defendant Convicted: AGG ASSAULT AGAINST PUBLIC SERVANT #2 Charging Instrument: Statute for Offense: INDICTMENT 22.02(b)(2)(B) PC Date of Offense: 08·02·2012 Degree of Offense: ·Punishment enhanced to: IST DEGREE FELO!\'Y Not enhanced Plea to Offense: Verdict of Jurv: Findings on Deadlv \Veapon: NOT GUILTY GUILTY YES, A FIREARM Plea to I·• Enhancement Plea to znd Enhancement/Habitual Paragraph: N/A Paragraph: NIA Findings on ]•• Enhancement Findings on znrt Paragraph: N/A Enhancement/Habitual Paragraph: N/A Plea to Additional Enhancement Paragraphs: '?\/A Findings on Additional Enhancement Paragraphs: -;..;tA Punished Assessed bv: Date Sentence lmposed: Date Sentence to Commence: JURY 08-03-2015 08-03-2015 Punishment and YEARS and 0 MONTHS and 0 DAYS Place of Confinement: INSTITUTIONAL DIVISION, TDCJ THIS SENTENCE SHALL RUN CONCURRENTLY.
0 SENTENCE OF CONFINEMENT SUSPENDED. DEFENDANT PLACED ON CO;\IMUNITY SUPERVISION FOR .
Attorney Fees: Court Costs: Lab Fees: Restitution: OTHER FEES: $.00 s $266.25 s.oo S.OO s Restitution Pavable to: Name: Sex Offender Registration Requirements do not apply to the Defendant. TEX. CODE CRnl. PROC. chapter 62.
The age of the victim at the time of the offense was NO- A Victim Impact Statement was filed with the District Clerk in this case.
Time Credited: DAYS NOTES: N/A All pertinent information, names and assessments indicated above are incorporated into the language of the judgment below by reference.
This cause was called for trial in Hunt County. Texas. The State appeared by her District Attorney.
Defendant appeared in person with Counsel.
25119 It appeared to the Court that Defendant was mentally competent and had pleaded as shown above to the charging instrument. Both parties announced ready for trial. A jury was selected, impaneled, and sworn.
The 11\H)ICTl\:IE?\'T was read to the jury, and Defendant entered a plea to the charged offense. The Court received the plea and entered it of record.
The jury heard the evidence submitted and argument of counsel. The Court charged the jury as to its duty to determine the guilt or innocence of Defendant. and the jury retired to consider the evidence. Upon returning to open court, the jury delivered its verdict in the presence of Defendant and defense counsel, if any.
The Court received the verdict and ORDERED it entered upon the minutes of the Court.
Punishment Assessed by Jury I Court I No election (select one) [8] Jury. Defendant entered a plea and filed a written election to have the jury assess punishment. The jury heard evidence relative to the question of punishment. The Court charged the jury and it retired to consider the question of punishment. After due deliberation, the jury was brought into Court. and, in open court, it returned its verdict as indicated above.
0 Court. Defendant elected to have the Court assess punishment. After hearing evidence relative to the question of punishment, the Court assessed Defendant's punishment as indicated above.
0 No Election. Defendant did not file a written election as to whether the judge or jury should assess punishment. After hearing evidence relative to the question of punishment, the Court assessed Defendant's punishment as indicated above.
The Court FJ:\'DS Defendant committed the above offense and ORDERS~ ADJUDGES AND DECREES that Defendant is GUILTYofthe above offense. The Court FJXDS the Presentence Investigation, if so ordered, was done according to the applicable provisions of TEX. CODE CRJ:'-.1. PROC. art. 42.12 § 9.
The Court ORDERS Defendant punished as indicated above. The Court ORDERS Defendant to pay all fines, court costs, and restitution as indicated above.
Punishment Options (select one) [8] Confinement in State Jail or Institutional Division. The Court ORDERS the authorized agent of the State of Texas or the Sheriff of this County to take. safely convey, and deliver Defendant to the Director! Institutional Division! TDCJ. The Court ORDERS Defendant to be confined for the period and in the manner indicated above. The Court ORDERS Defendant remanded to the custody of the Sheriff of this county until the Sheriff can obey the directions of this sentence. The Court ORDERS that upon release from confinement. Defendant proceed immediately to the Hunt County District Clerk. Once there, the Court ORDERS Defendant to pay, or make arrangements to pay, any remaining unpaid fines. court costs, and restitution as ordered by the Court above.
0 County Jail-Confinement I Confinement in Lieu of Payment. The Court ORDERS Defendant immediately committed to the custody of the Sheriff of Hunt County, Texas on the date the sentence is to commence. Defendant shall be confined in the Hunt County Jail for the period indicated above. The Court ORDERS that upon release from confinement, Defendant shall proceed immediately to the Hunt County District Clerk. Once there, the Court ORDERS Defendant to pay, or make arrangements to pay, any remaining unpaid fines, court costs, and restitution as ordered by the Court above.
0 Fine Only Payment. The punishment assessed against Defendant is for a FIXE O~LY. The Court ORDERS Defendant to proceed immediately to the Office of the Hunt County District Clerk. Once there. the Court ORDERS Defendant to pay or make arrangements to pay all fines and court costs as ordered by the Court in this cause.
Execution I Suspension of Sentence (select one) [8] The Court ORDERS Defendant's sentence EXECUTED.
D The Court ORDERS Defendant"s sentence of confinement SUSPENDED. The Court ORDERS Defendant placed on community supervision for the adjudged period (above) so long as Defendant abides by and does not violate the terms and conditions of community supervision. The Order Setting Forth the Terms and Conditions of Community Supervision is incorporated into this judgment by reference.
The Court ORDERS that Defendant is given credit noted above on this sentence for the time spent incarcerated.
Furthermore. the follovdng special findings or orders applv: FOR A DEADLY WEAPON FINDING: [8]The Court Fl:"\'DS Defendant used or exhibited a deadly weapon, namely, A SHOTGUN. during the commission of a felony offense or during immediate flight therefrom or was a party to the offense and knew that a deadly weapon would be used or exhibited. TEX. CODE CRIM. PROC. art. 42.12 §3g.
28779 FOR DWI IGNITION INTERLOCK: The Court ORDERS that the defendant shaH install. on each motor vehicle owned or operated by defendant, a device that uses a deep-lung breath analysis mechanism to make impractical the operation of the motor vehicle if ethyl alcohol is detected in the breath of the operator. This order shal1 be in effect from the date of this judgment until the date of the first anniversary after the ending of the period of drivers license suspension imposed under Section 521.344, Transportation Code. Defendant shall obtain the device(s) at the defendant's own cost on or before that ending date. Defendant shall provide evidence to the Court on or before that ending date that the device has been installed on each appropriate vehide, and the devices shall remain on each appropriate vehicle until the first anniversary after the ending of the period of such driver's license suspension.
Defendant shall not operate any motor vehide that is not equipped with that device.
FOR FAMILY VIOLENCE FINDING: 0The Court FINDS that Defendant was prosecuted for an offense under Title 5 of the Penal Code that involved family violence. TEX. CODE CRIM. PROC. art. 42.013.
FOR SEX OFFENDERS: Special Drivers License for Sex Offender: 0The Court ORDERS Defendant to apply for an original or renewed Texas Driver's License or personal identification certificate not later than 30 days after release from confinement or upon receipt of written notice from the Texas Department of Public Safety (DPS). The Court further ORDERS Defendant to annually renew the license or certificate. The DPS shall place an indication on the Defendant's driver's license or personal identification certificate that the Defendant is subject to the sex offender registration requirements. The Court ORDERS the clerk of the Court to send a copy of this order to the DPS and to Defendant.. TEX. CODE CRJ~L PROC. art. 42.016.
FOR CUMUL\TION/STACKING ORDER: 0The Court ORDERS that the sentence in this com-iction shall run consecutively and shall begin only when the judgment and sentence in the follo,ving case has ceased to operate: TEX. CODE CRJ~I. PROC. art. 42.01 § I (I 9).
TO SUSPEND DRIVER'S LICENSE: The defendant's license, permit, and operating privilege is hereby suspended for a period of days. · ·o·
D IT IS FURTHER ORDERED that Defendant panicipate in the substance abuse program at the State Jail upon availability and follow all guidelines and instructions until program is complete. [8J THE DEFENDANT'S PHOTOGRAPH. IF ATTACHED TO THIS .JUDG~IENT. IS INCORPORATED FOR ALL PURPOSES.
0ADDITIONAL SPECIAL ORDERS ARE PREPARED 0·., SEPARAT' TO THIS JUDGMENT AND INCORPORATED FOI ~PURPOSES.
Signed and entered on 08-03-2015.
HONORABLE J. ANDREW BENCH TH JUDICIAL DISTRICT COURT
28779 99 3 6'0~-'·.....__ _ ----.....···----72 5'9 69 5'6" 66 l '5{3) 63 ~-----60
CASE NO. 28779 COUNT 1 INCIDENT NO./TRN: 9128294610 A002 THE STATE OF TEXAS § IN THE § V. § § OF HUNT COUNTY, TEXAS COREY HAYES PARKER § § STATE ID No.: TX 06549725 § !96TH JUDICIAL DISTRICT TRIAL COURT'S CERTIFICATION OF DEFENDANT'S RIGHT OF APPEAL I, J. ANDRE\V BENCH ,Judge of the trial court certify this criminal case: [8J is not a plea bargain case, and the defendant has the right of appeal; or is a plea bargain case, but matters were raised by written motion filed and ruled on before trial and not withdrawn or waived and the defendant has the right of appeal; or is a plea bargain case, but the trial court has given permission to appeal; and the defendant has the right to appeal; or is a plea bargain case, and the defendant has D the defendant has waived the right of appe .
Signed on 08-03-2015.
196 TH J1.JDICIAL DISTRICT COURT I have received a copy of this certification. I have also been informed of my rights concerning any appeal of this criminal case, including any right to file a prose petition for discretionary review pursuant to Rule 68 of the Texas Rules of Appellate Procedure. I have been admonished that my attorney must mail a copy of the court of appeals' judgment and opinion to my last known address and I have only thirty (30) days in which to flle a prose petition for discretionary review in the court of appeals. TEX. R. APP. PRO. R. 68.2. I acknowledge that, ifl wish to appeal this case and ifl am entitled to do so, it is my duty to inform my appellate auorney, by written communication, of any change in the address at which I am currently living or any change in my prison unit. I understand that, because of appellate deadlines, ifl fail to timely inform my appellate attorney of y change in my address, I may lose the opportunity to file a prose petition for discretionary
l\lailing A d d r e s s : - - - - - - - - - - - - - - SBN:
Telephone number: - - - - - - - - - - - - - Address: 3101 JOE RAMSEY BLVD .. STE. 101 GREENVILLE.TEXAS 75404-8277 Telephone Number: 903-455-5797 Fax Number: 903-455-6205
28179 8. I have the iollowing outstanding. obligations: - _ _ _-:-'-__;--:---:---:--:--__;___;______ . ~:!..,.. /;' ..
9.
IO. '""""~·' \AM/AMNOT t• ·~ --------------~~~-~~~ e:onbon~. Amountofbond·S Ylc>,~~ ~~ .. ~~ 't.
<'O!,f J~ . Name of penon who paid fa; bond·-------'---------------~~. . ?.>;>~ ,.-/' Bondsman's name------------------------'- II. I receive governmental support ofS for_·_ _ _ _ _ _ _ _ __ J 2. ·r am cumntly ~rese~t~ ~omey :'""o:-tkz~'-.14-!;·n;l:o-:-;-;!U~~f-;~-/5?;;;===::--:----·on other by charges or in othercourr(s). ·My attom~y i;RETAINED I ~D- · CHOOSE ONE: . ( ) I have no ability to raise funds with which to employ an-attorney and desire the coun to appoint an attorney to defend me. · .. /· . . . ( ) . I can afford payments of$ 'z 0 ·. per week/month towar in ted anomey.
Date: --~..£B+/-7,,L;;:...<:r£~-.,. ._---------
JUDGE PRESIDING · HUNT C01J)IJ)' DATE: l/ ' 7-XJ..f+ ~ ~ (::::,_ - CERTIFICATE Forward 10 appointoo anome.y P.-y ( } f:\): ( ) E:il'.~il e n - - - - - - - - Coordinalor Page 2 of2
AFFIDAVIT OF L\'DIGENCE AND APPLICATION FOR APPOINTED AITORNEY
My full name is dnl £~/ · I Mpddress is 1(}/.;r:&. 1(/AtJIIf.Jt.> /4!t&6AJ / y ,7)"'</?~ I wish to disclose under oath my income, sources of income, assets, property, OUtstanding obligations, necessary expenses, dependents, spousal income available to me and any Governmental support.
I. My ~arni~gs areS 50 0 per---lr,alr:.J'e:...c.f:.____________ Empl~er ,flj?tv · Jef¥os~ Address of Employer .d.vy ·. /9 r:f'td-C? r7 V If unemployed, list the laS! job you had when it ended and expectations of gaining e~ployment.
2. I have other income in the amount of(state source and :unount·per m·onth/week
3. I AM I AM NOT~ed and supportJ:lchildreo and ~rather dependeots who are (name and relation)
4. Earnings of my spouse available to me ~ings) are (name . of employer and amount ofweekiy or. moilthl;
5.. I have the following money: At home Savings Account ~~· Checking Account Safety Deposit' Box Due/Owed to me $~ Other I 6. I own the follo~ing real property: (Address and location)
:·If you ~Wn any ofthefollowing, please show valu·e: House Automobiles >· Other LandiBuildings Furniture Notes, Mortgages, Trum Stocks and Bonds Animals of Value Jewelry Other Personal Property_:__ _ __:__ _ _ _~-------------- 7.
Page I of2
I I '' . -, 41' /;'/ ~· (, (' .· CAUSE NO. 28,779 -1(/r; • ~' '--' ' Q? ·-,_ ·" THE STATE OF TEXAS § IN THE DIST~C~Uid'!.f ~ VS. § OF HUNT COUNT~S "'IY,.-· t'q TH -~ COREY HAYES PARKER § 196 JUDICIAL DISTRICT NOTICE OF APPEAL TO THE HONORABLE JUDGE OF SAID COURT: Now comes COREY HAYES PARKER, Defendant in the above styled and numbered cause, by and through his court appointed trial attorney and gives this written notice of appeal to the 6'h Court of Appeals at Texarkana from the judgment of conviction and sentence herein rendered against COREY HAYES PARKER on August 3, 2015.
Defendant would further state unto the Honorable Trial Court that he had been released on a personal recognizance bond for two (2) years and eight (8) months from the date of the filing of his affidavit of inability to employ counsel in this cause and the appointment of trial counsel; that Defendants financial circumstances have not changed since the filing of such affidavit of inability to employ counsel; that Defendant does not have the resources to employ counsel to represent him on appeal and, therefore, respectfully request this Honorable Court appoint approved appellate counsel to represent Defendant upon appeal.
Defendants trial counsel, Jack L. Paris, Jr. respectfully request that he be released from any further responsibility with respect to the representation of the defendant upon appeal.
NOTICE OF APPEAL Page I of2
JACK L PARIS JR LAW OFFICE PC 3101 Joe Ramsey Blvd., Ste. 101 P 0 Box 8277 Greenville, TX 75402 Tel: (903) 455-5797 Fax: (903) 455-6205
s,.firL1JJid'vv .J1 . Paris, Jr. State Bar No. 15461500 [email protected] Attorney for COREY HAYES PARKER
CERTIFICATE OF SERVICE This is to certify that on. .', 2015, a true and correct copy of the above and foregoing document was served by hand delivery to Calvin Grogan, Assistant Hunt County District Attorney at the Hunt County Courthouse, Greenville, Texas.
NOTICE OF APPEAL Page 2 of2
"'l'~(.~/ /:'I CAUSE NO. 28,779 4(A:~L~ THE STATE OF TEXAS § IN THE ~.T ~g~~ fi9 vs. § OF HUNT COU~¥~s -~ ~ TH t'o COREY HAYES PARKER § 196 JUDICIAL DISTRICT• MOTION TO SET BAIL PENDING APPEAL To the Honorable Judge of said Court: Comes now, Corey Hayes Parker, the above Defendant in the above entitled numbered cause by and through his attorney of record, and makes and files this his Motion for the Court set bail pending appeal, and in support thereof, would show the Court as follows: I.
A jury was empanelled in this cause on July 20, 2015, and on July 24, 2015, the jury returned a unanimous verdict of guilty in the cause. On August 3, 2015, the same jury returned a punishment verdict in this cause setting Defendants punishment at eight (8) years TDCJ-ID, without a recommendation of community supervision. Judgment of conviction by jury was entered by the Honorable Court on that same date.
II.
This motion is brought pursuant to the provisions of Section 44.04(c) of the Texas Code of Criminal Procedure. Defendant request an evidentiary hearing for the Court to consider Defendants request for bond to be set pending appeal, and such hearing has been scheduled for August 7, 2015 at 9:00 a.m.. Defendant has never before been convicted of a felony offense.
The punishment assessed by the jury is less than ten (I 0) years, to wit, eight (8) years, with no fine assessed. Defendant has resided in Hunt County, Texas the entirety of his life, and his parents and closest family reside in Hunt County. Defendants cases were pending for a period of
MOTION TO SET BAIL PENDING APPEAL Page I of 3 approximately three (3) years from the date of offense to the date of trial, and the Defendant was at liberty on a personal recognizance bond for two (2) years and eight (8) months of that period of time. Defendant faithfully attended court timely on each and every occasion as he was instructed to do so during the pendency of this case. Defendant has serious health issues that need to be addressed, and is imperativlll-for the Defendant to address those health issues and receive such health care, testing and such while incarcerated and subject to transport by the appropriate custodial authorities. Subject to the status of Defendants health, it was otherwise established at the punishment hearing without dispute that the Defendant would have an opportunity for employment while on bond.
Prayer WHEREFORE, Defendant prays that following an Evidentiary Hearing, that this Honorable Court set a reasonable bail bond amount in this case pending the conclusion of Appeal.
Respectfully submitted, JACK L PARIS JR LAW OFFICE PC 3101 Joe Ramsey Blvd., Ste. 101 P 0 Box 8277 Greenville, TX 75402 Tel: (903) 455-5797 Fax: (903) 455-6205
k L. Paris, Jr. State Bar No. 15461500 j [email protected] Attorney for COREY HAYES PARKER
MOTION TO SET BAIL PENDING APPEAL Page 2 of3 ' .. 1
CERTIFICATE OF SERVICE Notice of this motion was given to the Hunt County District Attorneys Office orally in Court on the record on August 3, 2015, and a copy of the foregoing motion is being hand delivered to the Hunt County District Attorney on August 6, 2015.
MOTION TO SET BAIL PENDING APPEAL Page 3 of3 No.1JJ]1lCJ THE STATE OF TEXAS § . vs. § ~~~W(Y~ § ORDER SETTING BOND - ON THIS DAY came for consideration the matter of the bond set in the above styled and numbered cause for the Defendant aforementioned. The State of Texas was present and w;u; represJ'}lted by the Hunt County District Attorney.
The Defendant was Pfl'~nt an<irnJ~ted by Cog~ -:-fad~ t-'~/ 3 ;J-( [_ • . The Court fmds that the Defendant isk~YJ~1 ~follo'wing: ~S. f!fJJa::; If fl.!t.C.: J.er "'~""+ 1!'1 f2ClJ .
Taking into consideration the following: J · =-t- 1) That bail should be sufficiently high to give reasonable assurance that the Defendant will appear as directed by the Court, and 2) That bail should not be used as an instrument of oppression, and 3) The nanue of the offense and the circumstances under which it was allegedly committed, and 4) The defendant's ability to make bail. -1---.-.
The Court finds that the bond in this cause should be set at S 4 i 0 i}(} , ( 11.$ i) r > !.(.--(-l:, f The Defendant shall be required as a condition of release on bond/to: ( ) Do not leave Hunt County or your county of residence without written pemtission from the Hunt County Conununity Supervision and Corrections Department-Pre-Trial Division, (HCCSCD) (PSTD) or the Court. ( ) Submit to testing weekly under the supervision of the HCCSCD PTSD for the presence of controlled substance(s) in the Defendant's body. .
P(keport to the HCCSCD PTSD immediately (or upon the flrst work day after release from custody) and then report weekly for the veriflcation of employment, residence, and other information deemed necessary by PTSD. ( ) The Defendant shall submit to mandatory Alcoholics Anonymous meetings three (3) times per week and shall retain proof of attendance. (~<{'The Defendant shall abstain from the use of alcohol and or controlled substances while this case remains pending. (' ( ) Do not operate a motor vehicle unless thevehicl~ is equippa~ 'Zi~ct.emung}2erlos;,lsd>-~~.. wl ;;» rJ,·,. Ti'? vr~ v AO-fc,t. f ( ) The Defendant shall not dtrectly commurucate wtth tho EII goif+~n dns a fie= C.. f ( • ~ f ) • and shall not go near a residence, school or frequented by the alleged victim. (X) The Defendant shall not commit a new offense against this state or any other state of the United States or any political subdivision thereof. ( ) The Defendant shall pay costs of attorney in the amount of$ on or before _ _ _ _ _ _ __ to the Hunt County Auditor, P. 0. Box 1097, • reenville, Texas 75403. oQ Return back to this Court.-r • ~ ~ H. I {oiA/ r a m 'r m. (X) Report in writing any change of a dress or phone numbed to the Hunt County Dtstnct Clerk's Office. ( ) The Court fmds that the accused has been in custody for 90 days or more and the District Attorney's Office has not obtained an indictment; therefore, this Court is requirecj by law to g""!t a f:.R. Bond. 1 r. • . _1 (i.J){iJf.Arti. n. a.>t/..J<. li>-Dn/./;>t- d-qfl iJk_e( A._f (}_eh.,.oftJv1,fi;.fty_ Zi-Sr b~(.e_ -r.of.qS<_ Should the PSTD tile a written report of violation of any con · ·o erein the Defendan' d will · automatically be rescinded and the Clerk of the Court shall issue · 'for the arrest efendant. Bond in such . event will be denied pending review by the Court.
ad the above special conditions and understand that the Court will revoke my bond, order my arrest, and order ond he ·n , 1 dge receives 'jftten notice co~ming any violation of the above required conditions. !2!:1 . - 7 1 lV '-l Dat.i DISTRICT ATTOR.,'IEY ::D-at_e_ _ {ODqi I ' N.J....ve.y, ~"'ir1(t!lli\ I~ 7>tr-'7Y , ~~3 _:.17'1· ctf>l No. CR 28,779 THE STATE OF TEXAS * * v * * CORY HAYES PARKER * HUNT COUNTY, TEXAS:·r-., <..r ·/i'._.
MOTION FOR NEW TRIAL
Cory Hayes Parker, Defendant. tiles this Motion For New Trial and shows:
1. Trial Date and Conviction
A trial before the court on this case was held and judgment pronounced and entered on August 3, 2015. The trial in this case proceeded concurrently with Trial Court Cause No. 28,778.
2. Grounds for New Trial Defendant requests that a new trial be granted in the interest of justice. Defendant urges the Court to reconsider whether or not sufficient evidence exists to support each element of the offense of Aggravated Assault of a Public Servant as charged in the indictment, Prayer Defendant prays that the Court set aside the Judgment of Conviction entered in this cause and order a new trial on the merits.
PJC~SUBMITTED, Peter I. Morgan, Counsel for Cory Hayes Parker SBN 14451700 P.O. Box 984 2708 Washington St. Greenville, Texas 75403 Tel: (903) 455-8113 Fax: (903) 642-0057
Motion For New Trial State of Texas v. Cory Hayes Parker Page I of2 ... ~
CERTIFICATE OF SERVICE This is to certify that on September L 2015, a true and correct copy of the above and foregoing document was served on the District Attorney's Office, Hunt County, 4th floor Hunt County Courthouse, by hand delivery.
v~ Peter I. Morgan
Motion For New Trial State of Texas v. Cory Hayes Parker Page 2 of2 TRIAL COURT CAUSE NO 28,779
THE STATE OF TEXAS § COUNTY OF HUNT § I, Stacey Landrum, Clerk of the I 96th District Court of Hunt County, Texas, do hereby certify that the documents contained in this record to which this certification is attached are all the documents specified by Texas Rule of Appellate Procedure 34.5 (a) and all other documents timely requested by a party to this proceeding under Texas Rule of Appellate Procedure 34.5 (b).
GIVEN UNDER MY HAND AND SEAL at my office in Greenville, Hunt County, Texas this 25 1h day ofNovember, 2015. ~\\uuu,,,l ~''l ~\CT C ~.1.
f:?l(t.\ =o• - ... .,. "!\•• • ItA- • Ill . . •• J" '.... :: STACEY LAN RUM, Distnct Clerk ~'S;. •• .;,")~ •~v~ ~ "')' ••••. ···..c. .,.. "' •., ,,,,,,,; • ,\\\\\~ ~
Case-law data current through December 31, 2025. Source: CourtListener bulk data.