E.D. Wash.: GFE exception applied to a SI under Gant, even though the court doesn’t decide Gant overruled anything

There is no per se rule for or against search incident in a DUI arrest. The officer looked in a brown bag and found a gun. The good faith exception to the exclusionary rule applied to this warrantless search. Whether Gant overruled Belton does not have to be decided. United States v. Grote, 629 F. Supp. 2d 1201 (E.D. Wash. 2009):

Application of the exclusionary rule here clearly will not deter future police misconduct. The simple reason is that the police conduct in question–warrantless searches incident to lawful arrest- will now be evaluated by the new legal standard articulated in Gant, not by the legal standard that existed when Officer Moses conducted his search. As there is no deterrent effect to be gained, application of the exclusionary rule cannot be justified considering the substantial social costs imposed by the rule. It is important to point out that Officer Moses made no mistake of law or fact. Instead, he acted reasonably pursuant to the law as it existed at the time he conducted the search of the vehicle. Application of the good faith exception here is not intended to excuse a mistake on the part of Officer Moses, but to recognize that Gant represents a change in well-established law on which law enforcement officers once reasonably relied.

The court finds the defendant consented to a search of his person and his car. United States v. Stinson, 2009 U.S. Dist. LEXIS 83819 (W.D. N.C. August 26, 2009).*

Apparent hand-to-hand drug sales through the mail slot of a house was probable cause for a search warrant. United States v. Rudolph, No. 93-2392, 1994 WL 592932 (6th Cir. Oct. 27, 1994), is nearly identical. United States v. McCreary, 2009 U.S. Dist. LEXIS 84644 (E.D. Mich. September 16, 2009).*

The acts of a co-inhabitant of a house will nullify the defendant’s reasonable expectation of privacy. United States v. Sagataw, 2009 U.S. Dist. LEXIS 84383 (D. Minn. August 18, 2009).*

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