ID: Probation condition that probationer submit to a search “at the request of” a probation officer means probationer must be present for search

Idaho’s probation condition that a probationer submit to a search “at the request of” a probation officer means that the probation officer must tell the probationer that the search is going to occur. A search in the probationer’s absence was thus void. State v. Turek, 250 P.3d 796 (Ida. App. 2011):

Finding the reasoning of these authorities persuasive, we conclude that a probation condition that requires a probationer to submit to a search “at the request of” an officer requires that the probationer be informed of an officer’s intent to conduct an impending search. Like the Joubert Court, we recognize that the purposes of probation may be better advanced if we were to allow probation officers to conduct unrestricted, unannounced searches of a probationer’s residence. However, we must keep in mind that probationers’ expectation of privacy is merely diminished, not obliterated. In addition, to adopt the state’s interpretation of the term would be to essentially ignore the plain language of the probation condition–a proposition for which the state has cited no authority and which does not constitute an “objectively reasonable,” nor logical, interpretation.

The officer obtained a telephonic search warrant for defendant’s blood, but the magistrate failed to properly record it. Suppression will not be ordered for the mistake of the magistrate; the officer did his part correctly. State v. Dominguez, 2011 UT 11, 677 Utah Adv. Rep. 29, 248 P.3d 473 (2011), rev’g State v. Dominguez, 2009 UT App 73, 206 P.3d 640 (2009).

While the suppression hearing testimony about NHTSA testing standards was insufficient, it was harmless because there was plenty of testimony that the defendant was under the influence when he was stopped after three lane violations and apparently being under the influence. State v. Frase, 2011 Ohio 966, 2011 Ohio App. LEXIS 821 (6th Dist. March 4, 2011).*

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