D.Neb.: The detail of a 911 call and corroboration of significant parts provided RS for a stop under Naverette

The detail of a 911 call and corroboration of significant parts provided reasonable suspicion for a stop under Naverette. United States v. Dan, 2020 U.S. Dist. LEXIS 14906 (D. Neb. Jan. 13, 2020):

Here, the totality of the circumstances shows that the information obtained from the anonymous 911 caller had sufficient indicia of reliability to justify the investigatory stop. The 911 caller reported that a man near 25th and Jones Street had produced a firearm from the waistband of his pants, pointed it at the caller, and threatened the caller. The caller stated that the event had just happened. The caller described the individual as a black male, 20 to 30 years old, dressed in gray pants, and wearing a gray hoodie. As in Navarette, the caller, using the 911 system, provided contemporaneous, eyewitness knowledge of the event. The caller provided a detailed account of what had transpired and provided the location where the incident occurred. The caller gave an ethnic description of the suspect, a clothing description of the suspect, and reported that the suspect possessed a firearm. Officer Seaton’s reliance on the anonymous tip was justified.

In addition, Officer Seaton was also able to corroborate the information provided by the caller. …

This entry was posted in Informant hearsay, Reasonable suspicion. Bookmark the permalink.

Comments are closed.