Defendant’s path was blocked and he was ordered around by the officer; that was a stop

Defendant’s stop was without reasonable suspicion, and it is suppressed. United States v. Cooley, 552 F. Supp. 2d 1284 (N.D. Ala. 2008):

When Fortson pulled up behind the Defendants’ vehicle, he knowingly and effectively blocked their exit; as it was his determination to interview them.

The officers emerged from their marked patrol vehicle and approached the Defendants’ vehicle in a manner which would suggest to a reasonable person that the Defendants were not free to leave. The officers were in uniform; and they approached each side of the Defendants’ vehicle.

As the officers advanced on the Defendants’ vehicle, and Defendant Cooley opened the door to leave the vehicle, Detective Fortson gave him “a direct order” not to leave the vehicle. The order was given in a military tone. As of the time that the order was given, there was no basis for a reasonable suspicion of criminal activity. The only basis for reasonable suspicion occurred after the direct order not to leave the car.

There is no doubt, but that Defendant Cooley was not free to leave his vehicle after Fortson gave the direct order not to do so. The inescapable truth of this finding is that when Cooley disobeyed the order, Fortson tried to block his exit and pursued him thereafter.

When Defendant Jackson left the car, in the absence of reasonable suspicion of criminal activity on the part of the officers, he was ordered to the ground by Prevo. When he got up and tried to leave, Prevo shot him with a Tazer pistol.

Reconsideration of a court’s prior decision is only appropriate if “(1) there is an intervening change in the controlling law; (2) new evidence not previously available comes to light; or (3) it becomes necessary to remedy a clear error of law or to prevent manifest injustice.” This was only an allegation the court was wrong. United States v. Robare, 2008 U.S. Dist. LEXIS 57191 (N.D. N.Y. July 25, 2008).*

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