CA10: Erratic driving is enough reasonable suspicion for a stop and a field sobriety test

Erratic driving is enough reasonable suspicion for a stop and a field sobriety test. (Plaintiff here was not under the influence and she sued.) Amundsen v. Jones, 533 F.3d 1192 (10th Cir. 2008):

We recognize that most cases addressing potential Fourth Amendment violations arising from traffic stops for suspicion of driving under the influence will involve additional indicia of intoxication beyond the suspect’s driving pattern. See, e.g., State ex rel. Verburg v. Jones, 121 P.3d 1283, 1286 (Ariz. Ct. App. 2005) (holding that reasonable suspicion justified the field sobriety tests because the driver drove erratically, had bloodshot and watery eyes, slurred speech, and had trouble exiting the vehicle); Dixon v. State, 737 P.2d 1162, 1163 (Nev. 1987) (holding that reasonable suspicion justified the field sobriety tests where the driver weaved across lanes, stumbled out of the vehicle, swayed while standing, and admitted to drinking three beers). Simply because these indicia are often noted by officers and reviewing courts, however, does not mean that an officer must possess facts in addition to an improper driving pattern in order to reasonably suspect that the driver is under the influence of drugs or alcohol. Instead, our precedent counsels that driving conduct alone can establish reasonable suspicion of impairment, and thus, no additional indicium of intoxication is necessary to justify a roadside sobriety test.

Defendant was not seized when he was asked to come outside and talk to the officers, and his production of his bong was consensual. United States v. Fernandes, 2008 U.S. App. LEXIS 14780 (5th Cir. July 10, 2008) (unpublished).*

Officers destroyed lawful plants that they reasonably and mistakenly believed were marijuana plants. Therefore, they had qualified immunity. The plants were found on open fields. Waltman v. Payne, 535 F.3d 342 (5th Cir. 2008) (unpublished).*

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