W.D.Mo.: One in possession of a car and its keys had apparent authority to consent

The person in possession of a car with the keys who was a regular user of the car had apparent authority to consent to search. United States v. Scott, 2011 U.S. Dist. LEXIS 131244 (W.D. Mo. October 3, 2011)*:

In this case, the record supports a finding that Ms. Starnes had actual authority to consent to a search of the Jaguar. Defendant let Ms. Starnes use the car when she needed it and it was not unusual for her to do so. Ms. Starnes sometimes even drove when she and Defendant were together. When Ms. Starnes used the car, she could use it as she wished without restriction. Ms. Starnes was using the Jaguar on September 2, 2008 and, accordingly, had possession of the sole set of keys.

The record supports the finding of consent to enter. Defendant first gave a false name to the police and then permitted them to enter to talk about it. United States v. Hynson, 451 Fed. Appx. 91 (3d Cir. 2011).*

The officer smelled marijuana when he stopped the defendant’s car. The record supports the conclusion that defendant consented to a search of the car. There was no claim of intimidation or coercion. United States v. Johnson, 2011 U.S. Dist. LEXIS 131483 (E.D. Mo. October 14, 2011);* United States v. Flymn, 2011 U.S. Dist. LEXIS 131494 (E.D. Mo. October 14, 2011).*

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