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(Q)JNJDJJEIPS. OF TK'"TIJE UPRJEME COURT OF TEXA! Ji ~o Docket Noo 02-91.09 ---- Appointment ofa District Judge to Preside in a State Bar Disciplinary Action The Supreme Court oftexas hereby appoints the Honorable John J. Specia, Jr., Judge of the 225th District Court of Bexar County, Texas, to preside in the Disciplinary Action styled to be filed in the District Court of Harris County, Texas. The Clerk ofthe Supreme Court shall promptly forward to the District Clerk of Harris County, Texas, a copy of the Disciplinary Petition and this Order for filing pursuant to Rule 3.03, Texas Rules ofdisciplinary Procedure. As ordered by the Supreme Court oftexas, in chambers, With the Seal thereof affixed at the City Of Austin, this 744.. JL day ofjune, 2002. JO T. ADAMS, CLERK SUPREME COURT OF TEXAS

This assignment, made by Misc. Docket No. 02-9109, is also an assignment by the Chief Justice of the Supreme Court pursuant to Texas Government Code, 74.057. Signed this fo day of June, 2002. jf~l Thomas R. Phillips Chief Justice

CHIEF JUSTICE THOMAS R. PHILLIPS JUSTICES NATHAN L. HECHT CRAIG T. ENOCH PRISCILLA R. OWEN JAMES A. BAKER DEBORAH G. HANKINSON HARRIET O'NEILL WALLACE B. JEFFERSON XAVIER RODRIGUEZ The Supreme Court of Texas 201 West 14th Street Post Office Box 12248 Austin TX 78711 Telephone: 512/463-1312 Facsimile: 512/463-1365 JUN 14 m CLERK JOHN T. ADAMS EXECUTIVE ASSISTANT WILLIAM L. WILLIS DEPUTY EXECUTIVE ASST JIM HUTCHESON ADMIN ISTRATIVE ASSI STANT NADINE SCHNEIDER The Honorable Charles Bacarisse District Clerk ofharris County P.O. Box 4651 Houston, Texas 77002 Dear Mr. Bacarisse: Pursuant to Rule 3.03 ofthe Texas Rules ofdisciplinaryprocedure, I am sending for filing State Bar of Texas Disciplinary Action styled: The Commission for Lawyer Discipline v. Mary E. Conn and a copy ofthe Supreme Court's order appointing the Honorable John J. Specia, Judge of the 225 th District Court, San Antonio, Texas. Sincerely, SJGNEu John T. Adams Clerk cc: Honorable John J. Specia Mr. J.G. Molleston Ms. Mary E. Conn Ms. Melissa Dartez

CHIEF JUSTICE THOMAS R. PHILLIPS JUSTICES NATHAN L. HECHT CRAIG T. ENOCH PRISCILLA R. OWEN JAMES A. BAKER DEBORAH G. HANKINSON HARRIET O'NEILL WALLACE B. JEFFERSON XAVIER RODRIGUEZ The Supreme Court of Texas 201 West 14th Street Post Office Box 12248 Austin TX 78711 Telephone: 512/463-1312 Facsimile: 512/463-1365 JUN 14lOOl CLERK JOHN T. ADAMS EXECUTIVE ASSISTANT WILLIAM L. WILLIS DEPUTY EXECUTIVE ASST JIM HUTCHESON ADMI NISTRATIVE ASSI STANT NADINE SCHNEIDER The Honorable John J. Specia Judge, 225 th District Court 100 Dolorosa Street, 2 nd Floor San Antonio, Texas 78205 Dear Judge Specia: We enclose for your information a copy of the order of assignment, a copy of the Disciplinary Action, a copy ofthe notification letter to Ms. Conn and Mr. Molleston, and a copy of the letter to the District Clerk ofharris County. It is recommended that, six to eight weeks after receipt ofthis letter, you contact the Harris County District Court Administrative Office (713-755-7593) to find out the district court to which this disciplinary case has been assigned. We then recommend that, either before or immediately after you set the case for trial, you again contact the Harris County District Court Administrative Office (713-755-6593) to reserve a courtroom, provide for a court reporter, etc. Finally, you should contact the Presiding Judge ofthe Administrative Judicial Region into whichyou have been assigned (936-538-8176) to obtain information on lodging, allowable expenses, and claims forms for your expenses incident to presiding over this disciplinary case. Sincerely, ~"\JED John T. Adams Clerk

CHIEF JUSTICE THOMAS R PHILLIPS JUSTICES NATHAN L. HECHT CRAIG T. ENOCH PRISCILLA R. OWEN JAMES A. BAKER DEBORAH G. HANKINSON HARRIET O'NEILL WALLACE B JEFFERSON XAVIER RODRIGUEZ The Supreme Court of Texas 201 West 14th Street Post Office Box 12248 Austin TX 78711 Telephone: 512/463-1312 Facsimile: 512/463-1365 jun 14 2tlO'l CLERK JOHN T. ADAMS EXECUTIVE ASSISTANT WILLIAM L. WILLIS DEPUTY EXECUTIVE ASST JIM HUTCHESON ADMIN ISTRATIVE ASSI STANT NADINE SCHNEIDER Mr. J.G. Molleston Assistant Disciplinary Counsel, State Bar of Texas 1111 Fannin, Suite 1370 Houston, Texas 77002 Ms. Mary E. Conn 115 Calcita Santa Cruz, California 95060 Dear Mr. Molleston and Ms. Conn: Pursuant to Rule 3.02 ofthe Texas Rules ofdisciplinary Procedure, I hereby notify you that the Supreme Court oftexas has appointed the Honorable John J. Specia, Judge ofthe 225 th District Court, San Antonio, Texas to preside in Commission (or LawyerDiscipline v. Mary E. Conn Sincerely, SIGNED John T. Adams Clerk

CAUSE NO. _ COMMISSION FOR LAWYER DISCIPLINE v. MARY E. CONN IN THE DISTRICT COURT OF HARJUS COUNTY, TEXAS JUDICIAL DISTRICT ORIGINAL DISCIPLINARY PETITION TO THE HONORABLE JUDGE OF THE COURT: Petitioner the COMMISSION FORLAWYERDISCIPLINE, a committee ofthe State Bar of Texas (hereinafter referred to as the "CFLD'), complains ofmarye. CONN ("hereinafter referred to as "Respondent") as follows: I. DISCOVERY CONTROL PLAN Pursuant to Rule 190.1 ofthe Texas Rules ofcivil Procedure, CFLD intends discovery in this case to be conducted under Discovery Control Plan - Level 2 as provided in Rule 190.3 ofthe Texas Rules ofcivil Procedure. ll. PROCEDURAL BASIS FOR SUIT The CFLD brings this disciplinary action pursuant to the State Bar Act, Texas Government Code Annotated 81.001, et seq. (Vernon 1988 and supp. 1994), the Texas Disciplinary Rules of Professional Conduct, and the Texas Rules ofdisciplinaryprocedure. The complaintthatforms the basis ofthis Disciplinary Petition was filed on or after May 1, 1992. ill. VENUE AND SERVICE~ Respondent is an attorney licensed to practice law in Texas and is a member ofthe State Bar oftexas. Respondent's principal place ofpractice is Harris County, Texas, and therefore venue is appropriate in Harris County, Texas, pursuant to Rule 3.03 of the Texas Rules of Disciplinary Original Disciplinary Petition/Conn Page 1

Procedure. An officer may service citation upon Respondent at 115 Calcita Santa Cruz, California 95060. IV. FffiST CAUSE OF ACTION On or about June 8, 1997, 1. W. McCowan (hereinafter referred to as "Complainant") received a lifetime prison sentence for a criminal matter in Cause number 733800; State oftexas vs. 1. W. McCowan; In the 179th Judicial District Court ofharris County, Texas. On this same day, Complainant signed an appeal request in the herein stated cause of action and Respondent was appointed to represent Complainant in his appeal. Complainant was informed by the Judge that Respondent would be in touch with him within ten to fourteen days. Complainant was transferred to another prison facility ten days later and had not received any form of communication(s) from Respondent during this time. During late June 1997, Complainant contacted his trial counsel in writing to obtain Respondent's name and address. After receiving the information, Complainant wroterespondent a letter during August 1997 for information and a status on the Brief to be filed. Respondent responded to that letter indicating her representation and that she would review the record and statement of facts. Complainant had no contact with Respondent for the remaining year 1997. During January 1998 and June 1998, Complainant again wrote Respondent letters requesting information to which Respondent did not reply. On or about July 7, 1997, Respondent received notice that the trial transcript had been filed with the First District Court of Appeals. That notice further instructed Respondent that the Appellant's Briefwas due within thirty (30) days after the filing ofthe Statement offacts. Original Disciplinary Petition/Conn Page 2

On or about November 30, 1997, Respondent filed a Motion for Extension to file the Appellant's Brief, in which said motion was granted extending the time to file the Briefto January 8, 1998. On or about January 5, 1998, Respondent filed another Motion for Extension to file the Appellant's Brief. An order was entered on January 23, 1998 allowing the Brief to be filed by February 9:. 1998. On or about March 16, 1998, Respondent filed a third Motion for Extension to file the Appellant's Brief. An order was entered on April 16, 1998 for Respondent to file the Briefwithin thirty (30) days. Respondent failed to file the Brief. On or about August 29, 1998, Complainant requested information on his matter as well as requested a copy ofthe Briefthat had been filed. Respondent failed to respond to his request. On or about September 2, 1998, Respondent received notice ofcomplainant' s grievance filed against her. That notice instructed Respondent to file a written response within thirty (30) days. Respondent's deadline to file a response was October 4, 1998. Respondent did not file a response to the grievance until November 13, 1998. In her response, Respondent did not assert a privilege or legal ground for failing to timely respond to the grievance. In a letter dated September 13, 1998 to Complainant, Respondent acknowledged that she had received notice ofcomplainant's grievance. She further indicated to Complainant that his Briefhad been filed and that she would forward a copy to Complainant within a few days. Respondent failedto mail a copy ofthe Briefto Complainant. At the time Respondentwrotethis letter, she knewthatthe Appellant's Briefhad not been filed. On or about September 19, 1998, Complainant informed Respondent that he had not received a copy the Brief. Respondent failed to respond. Original Disciplinary Petition/Conn Page 3

Complainant again wrote Respondent a letter on or about October 28, 1998 inquiring about a copy of the Brief that was filed. Complainant further indicated to Respondent that he received a notice from the First Court ofappeals informing him that the Briefin his appellate matter should have been filed by May 16, 1998. Respondent did not file Complainant's Appellant Briefuntil October 30, 1998. In a response letter dated on or about November 30, 1998 to Complainant, Respondent agreed to be responsible for filing a Petition for Discretionary Review for Complainantwith the Texas Court ofcriminal Appeals. However, Respondent failed to file: said Petition. Respondent violated the Texas Disciplinary Rules of Professional Conduct in that she neglected Complainant's legal matter by not filing the necessary Briefin a timely manner. She further failed to keep Complainant informed of the status of his appeal, did not comply with reasonable requests for information, and failed to explain matter to Complainant to allow him to make informed decisions regarding her representation. Respondent consciously disregarded her responsibility to Complainant to file such Petition for Discretionary Review. Respondent was dishonest and misrepresented to Complainant that his Briefhad been filed when in fact she had not. Respondent failed to timely respond to the grievance or provide a legal ground for failure to timely respond to the State Bar oftexas' demand for information. The acts and/or omissions of the Respondent described in Paragraph IH(A) above, which occurred on or after January 1, 1990, constitute conduct in violation of the following Rules of the Texas Disciplinary Rules ofprofessional Conduct ("TDRPC") l.ol(b)(l) neglecting a legal matter entrusted to the lawyer; l.ol(b)(2) for failing to carry out completely the obligations owed to a client; l.ol(c) "neglect" signifies inattentiveness involving a conscious disregard for the responsibilities owned to a client or clients. Original Disciplinary Petition/Conn Page 4

1.03(a) failing to keep a client reasonably informed about the status of a matter and to promptly comply with reasonable requests for information; 1.03(b) failing to explain a matter to the extent reasonably necessary to permit the client to make informed decisions regarding the representation; 8.01(b) for knowingly failing to respond to a lawful demand for information from a disciplinary authority; 8.04(a)(1) violatingthese rules, knowingly assisting or inducing anotherto do so, or doing so through the acts ofanother, whether or not such violation occurred in the course ofa c1ientlawyer relationship; 8.04(a)(3) engaging in conduct involving dishonesty, fraud, deceit or misrepresentation; and 8.04(a)(8) failing to timely furnish a district grievance committee a response or other information as required and failing to timely assert a privilege or other legal ground for failure to do so. The complaint that forms the basis ofthis cause ofaction was brought to the attention ofthe Office ofthe General Counsel ofthe State Bar oftexas by J.W McCowan filing a complaint on or about August 23, 1998. Prayer WHEREFORE, PREMISES CONSIDERED, Petitioner the COMMISSIONFORLAWYER DISCIPLINE respectfully prays that this Court discipline Respondent by reprimand, suspension or disbarment, as the facts shall warrant; and that the Petitioner have all other relief to which it may show itself to be justly entitled, including costs of court and attorneys' fees. Original Disciplinary Petition/Conn Page 5