S.D.Tex.: Removing the logical person to consent to ask another violated Fourth Amendment and Randolph

Removing the person who should be asked for consent violates Randolph. Asking a least plausible person violated the Fourth Amendment. United States v. Butler, 2011 U.S. Dist. LEXIS 28871 (S.D. Tex. March 21, 2011):

Despite the legal nuances that are used to justify eroding the Fourth Amendment, a stop is an arrest. The word itself comes from un arrêt — the French word for stop. Once an officer turns on his car’s blue lights behind your car, you are not free to leave. This is obvious. If you do not stop and submit to the officer’s direction, he chases you and charges you with evading arrest — not evading a conversation.

Once the officers arrived at his house, Hornbeak had come to a stop. With more than ten armed men in his house and helicopters above, he was not free to leave. He had been arrested and arrested on a warrant.

. . .

The absence of a potentially objecting co-tenant must be natural and not contrived. The police may not remove all the co-tenants except the one whom they believe to be the most malleable. If the police have removed someone because they suspect he may object, the search is unreasonable. Georgia v. Randolph, 547 U.S. 103, 121 (2006).

The agents wanted to search Hornbeak’s house. The agents had grounds to get an arrest warrant. The government has offered no explanation for its not having sought a search warrant. Instead of getting a search warrant, they arrested Hornbeak. They pulled him away from his house and asked a casual guest for permission. Instead of asking Hornbeak to consent to a search as he stood in his bedroom surrounded by a dozen officers, the agents removed him. Once he was gone, they asked for Redding’s permission. She gave it. The conclusion is that the agents removed Hornbeak to avoid his objection. That is illegal.

[Note: This opinion is from USDJ Lynn N. Hughes, who I thank for his clarity and conciseness.]

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