E.D.Wis.: Unlawful entry was one step over threshold to ask defendant to come outside; later consent not suppressed

Unlawful entry here was only to the extent of step into the threshold and asking defendant to come out. Once outside defendant consented. This was not so flagrant the exclusionary rule should be applied. United States v. Ramirez-Martinez, 2010 U.S. Dist. LEXIS 126902 (E.D. Wis. December 1, 2010)*:

I agree with the magistrate judge that the government met its burdens here. First, while it is true that the officers obtained the consents of defendant’s mother and girlfriend shortly after the unlawful entry, the nature of that misconduct was minimal. This was not a case in which multiple officers broke down the door and entered with guns drawn. Cf. Robeles-Ortega, 348 F.3d at 680-81. Rather, Arzaga briefly and minimally entered the house and redirected defendant back outside. Further, neither defendant’s mother or girlfriend were unlawfully seized; nor were they even present inside the house when Arzaga unlawfully entered it. Defendant’s mother witnessed the encounter at close quarters, but as the magistrate judge noted, a reasonable layperson in her position may not have even understood that anything improper occurred. For her part, it is unclear whether Stephanie, who encountered Hansen in the backyard, observed Arzaga unlawfully enter the house and seize defendant. Thus, it is hard to see how the unlawful entry and seizure may have tainted her later consent.

When an officer stops a car and smells burnt marijuana, the entire car and its containers are subject to search. United States v. Ford, 2010 U.S. App. LEXIS 24549 (4th Cir. November 30, 2010) (unpublished).*

The proof in the District Court showed that defendant was lawfully seized with reasonable suspicion, and then he voluntarily consented to a search of his place. The evidence supports both conclusions on de novo review. United States v. Ward, 400 Fed. Appx. 991, 2010 FED App. 0747N (6th Cir. 2010) (unpublished).*

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