Texas Court of Criminal Appeals RECEIVED
P.O. Box 12308 COURT OF CRWAL APPEALS
Austin, Texas 78711 q£p Qg 23]^
"In re Eric Flores , pro se relator" AbgiAggsta^cierk
"In re The State of Texas , relator"
vs.
Former Texas Governor Rick James Perry , respondant
Trial Court Case No. D-l-DC-14-100139
Third Court of Appeals Case No.3-15-00063-CR
Texas Court of Criminal Appeals Case No.PD-1067-15
MOTION REQUESTING PERMISSION TO FILE JUDICIAL NOTICE
OF LEAVE OF TEXAS COURT OF CRIMINAL APPEALS THAT
EXCEED PAGE AND WORD LIMITATION
Pursuant to Texas Rule of Appellate Procedure no.10.1 the relator Eric
Flores respectfully files this motion to file judicial notice of Leave of
Court that Exceed Page and Word Limitation. In support thereof the
pro se relator states the following grounds for relief, in particular 5
(l)The relator judicial notice of leave of court exceed the word and page
hmitation because it was necessary for the relator to assert every detail
or fact relateing to the circumstances of the case in order for the
appellate panel to fully understand the nature of the relators claims
which exceeded the page and word limitation.
(2) The relator contends that without being able to assert every detail or
fact relateing to the circumstances of the cases the appellate panel
would not have understood the nature of the relators claims and
therefore even though it exceeded the page and word limitation it is
necessary for the relator to assert every detail or fact relateing to the
circumstances of the case.
(3) The relator further contends that it is necessary for the appellate
panel to be able to fully comprehend and understand the nature of the
relators judicial notice since it is of imperative importance to the public
interest of health and safety.
(4)The relators judicial notice seeks notify the United States Supreme
Court that the circumstances of this case have so far departed from the
normal course of judicial process in the lower court system so as to
justify invokeing the United States Supreme Courts supervisory power
to enforce the law for the purpose of prohibiting the defendant from
further engageing in conduct that constitutes a threat to the public
interest of health and safety which has already resulted in the death of
more than four members of the public includeing the relators relatives
constituteing mass murder in the first degree.
(3) For this reason it is necessary for the relator to file this foregoing
motion requesting permission to file judicial notice that exceed the word
and page limitation.
CONCLUSSION AND PRAYER
Wherefore Primises Considered in conformance with the prerequisites
settforth herein the relator prays that the Texas Court of Criminal
Appeals to grant the relator permission to file the foregoing judicial
notice that exceed the word and page limitation.
The relator prays for general relief.
, pro
General Delivery , 8401 Boeing Dr.,
El Paso Texas 79910
Pursuant to Penalty of Perjury (28 U.S.C & 1746) the relator hereby
states , declares , and certifies that the foregoing application to
individual Chief Justice Roberts is true and correct.
CERTIFICATE OF SERVICE
Pursuant to Penalty of Perjury (28 U.S.C. & 1746) the relator hereby
states , declares , and certifies that true and correct copies of the
foregoing application to individual Chief Justice John G. Roberts was
sent via United States Postal Services to the following parties of
interest settforth below , in particular ;
(i)Eric Flores is a party of interest whoms place of business is
designated at General Delivery , 8401 Boeing Dr., El Paso Texas 79910.
(ii)Richard James "Rick" Perry is a party of interest whoms place of
business is designated at 122 C St., NW, Ste. 200Washington, DC 20001.
(iii)The State of Texas is a party of interest whoms place of business is
designated at State Capitol, P.O. Box 12697 Room IE.8 Austin Texas
78701