OH2: Motion to suppress raised legality of stop; error to decide length of detention without notice to state

The motion to suppress addressed only the legality of the stop, and it didn’t mention the post-stop detention. The state was, therefore, not prepared to defend on that ground, and the trial court erred in deciding that ground without notice it was to be tried. State v. Byrnes, 2014-Ohio-1274, 2014 Ohio App. LEXIS 1452 (2d Dist. March 18, 2014):

[*P13] In the case before us, Byrnes’s motion to suppress did not present any argument regarding the post-stop detention, but merely addressed the issue of whether there was reasonable articulable suspicion and probable cause for Sergeant Malson to stop Byrnes. Moreover, the trial court confirmed at the motion to suppress hearing that “the only issue raised is whether there was a reasonable articulable suspicion or probable cause to stop.” Trans. (July 23, 2013), p. 3. If the trial court’s understanding was incorrect, the defense had the obligation to correct the court so that the court and the prosecution would be put on notice of the issues to be decided. See State v. Shindler, 70 Ohio St. 3d 54, 58, 1994 Ohio 452, 636 N.E.2d 319 (1994) (“the defendant must state the motion’s legal and factual basis with sufficient particularity to place the prosecutor and court on notice of the issues to be decided.”) Here, however, the defense did not correct the court, but instead, proceeded with the hearing as if the trial court had properly interpreted the motion as involving only one issue. Therefore, the State was clearly not provided notice of the second issue regarding Byrnes’s continued detainment.

[*P14] Also, the trial court in this case interjected a new issue that was not a subject of the motion to suppress hearing and based its judgment on the new issue. If the trial court had later changed its mind about the scope of the hearing, it should have informed the parties so that the second issue could have been fairly litigated. Here, the State had no notice that the trial court would be considering the post-stop detainment, and thus did not have a reasonable opportunity to prepare itself for addressing that issue at the hearing. Therefore, the State was unfairly prejudiced by the trial court’s decision to address the latent issue.

[*P15] For the foregoing reasons, Byrnes’s motion to suppress was improperly granted by the trial court. As a result, the motion to suppress shall be reopened to allow the State to address the issue of whether there was probable cause to continue to detain Byrnes for sobriety testing. The State’s sole assignment of error is, therefore, sustained.

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