CA3: GFE saved the search here because the issue was complicated; if it was complicated to the court, it was to the police, too

The district court’s “brusque good faith analysis” was inconsistent with the [almost extreme] degree of analysis it went through to find that the search warrant lacked probable cause. The good faith exception did apply to the warrant, and the suppression order was reversed. United States v. Stearn, 597 F.3d 540 (3d Cir. 2010):

Additionally, the District Court’s good faith analysis plainly charged the executing officers with a greater knowledge of the law than our precedent requires. Even though the District Court ultimately declined to credit the informant’s tip and declined to apply the Burton inference to Joseph Doebley and Edward Stearn’s residences, it did so only after a detailed analysis of our case law, analysis we neither expect nor require from “nonlawyers in the midst and haste of a criminal investigation.” United States v. Ventresca, 380 U.S. 102, 108, 85 S. Ct. 741, 13 L. Ed. 2d 684 (1965). Given the complexity of the District Court’s probable cause analysis, we find untenable its categorical conclusion that no search could be upheld under the good faith exception.

Prior to that, the court held that the standing issue was reserved, and the court “egregious[ly] failed to return to it after having determined that it would suppress the evidence under the search warrant:

We conclude that the District Court erred in ordering the suppression of evidence without regard to the defendants’ ability to demonstrate legitimate expectations of privacy in the locations searched. Although the District Court had discretion to decide the issues of probable cause and good faith first, see United States v. Varlack Ventures, 149 F.3d 212, 216 (3d Cir. 1998), it was required under Rakas to address the defendants’ Fourth Amendment “standing” for the searches it ultimately determined were unreasonable. Its failure to do so was an egregious error.

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