PD-0366-17
COURT OF CRIMINAL APPEALS
AUSTIN, TEXAS
Transmitted 12/21/2017 10:44 AM
Accepted 12/21/2017 10:56 AM
DEANA WILLIAMSON
No. PD-0366-17 CLERK
IN THE COURT OF CRIMINAL APPEALS FILED
COURT OF CRIMINAL APPEALS
12/21/2017
OF THE STATE OF TEXAS DEANA WILLIAMSON, CLERK
SAMUEL UKWUACHU, Appellant
v.
THE STATE OF TEXAS, Appellee
Appeal from McLennan County
* * * * *
STATE’S MOTION FOR CLARIFICATION
ON ORAL ARGUMENT
* * * * *
Stacey M. Soule
State Prosecuting Attorney
Bar I.D. No. 24031632
John R. Messinger
Assistant State Prosecuting Attorney
Bar I.D. No. 24053705
P.O. Box 13046
Austin, Texas 78711
information@spa.texas.gov
512/463-1660 (Telephone)
512/463-5724 (Fax)
TO THE HONORABLE COURT OF CRIMINAL APPEALS:
This Court has granted oral argument in this case, which involves the
admissibility vel non of evidence under Texas Rule of Evidence 412, “Evidence of
Previous Sexual Conduct in Criminal Cases.” The relevant record was sealed by the
trial court pursuant to Rule 412(d), and the briefing at both levels of this appeal has
been sealed. Oral argument would be virtually useless without discussion of the
sealed record. It would thus be inappropriate for oral argument to be conducted as
usual, i.e., in a forum open to the general public. This raises a number of concerns
that require clarification.
If the hearing is closed to the general public, who may attend? The victim, her
family, and even close friends? The rule is intended to protect her privacy, and many
of them are already familiar with the facts and/or testified at trial. What about the
other attorneys who represented the parties throughout this process? They are
familiar with the facts, as well. The Court should address these basic concerns and
any other alteration(s) to regular procedure that it deems necessary or conducive to
proper presentation of the issues.
PRAYER FOR RELIEF
WHEREFORE, the State of Texas prays that the Court of Criminal Appeals
grant its motion to clarify the procedures for this “sealed” oral argument, including
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identifying the persons permitted to attend, and to grant any other relief deemed
appropriate.
Respectfully submitted,
/s/ John R. Messinger
JOHN R. MESSINGER
Assistant State Prosecuting Attorney
Bar I.D. No. 24053705
P.O. Box 13046
Austin, Texas 78711
information@spa.texas.gov
512/463-1660 (Telephone)
512/463-5724 (Fax)
CERTIFICATE OF SERVICE
The undersigned hereby certifies that on this 21st day of December, 2017, the
State’s Motion for Clarification on Oral Argument has been electronically served on
the following:
Sterling Harmon
Appellate Division Chief
219 North 6th Street, Suite 200
Waco, Texas 76701
sterling.harmon@co.mclennan.tx.us
William A. Bratton, III
2828 Routh Street, Suite 675
Dallas, Texas 75201
bill@brattonlaw.com
/s/ John R. Messinger
John R. Messinger
Assistant State Prosecuting Attorney
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