A court of appeals' decision reversing a conviction for evading detention is vacated where the decision was based on its conclusion that the evidence was factually insufficient pursuant to Zuniga v. State, 144 S.W.3d 477 (Tex. Crim. App. 2004), but the reformulated factual-sufficiency standard of review introduced in Zuniga was recently overruled in Watson v. State, S.W.3d (Tex. Crim. App. No. 469-05, delivered October 18, 2006).