OH10: Long protective weapons search of car permitted even if defendant in back of patrol car

Defendant’s conduct was suspicious enough to permit the officers to conduct a protective weapons sweep of his car for weapons, even though he was in the patrol car at the time. Long specifically permitted it. State v. Broughton, 2012 Ohio 2526, 969 N.E.2d 810 (10th Dist. 2012).*

Defendant’s hiding his hand during a traffic stop that would have made the officer fear he was going for a gun made it reasonable for the officer to pull his weapon and order defendant out. United States v. Bost, 2012 U.S. Dist. LEXIS 80523 (E.D. Tenn. May 3, 2012).*

The search warrant was for “53 West James Circle,” which ostensibly was a duplex, but further investigation had revealed that the duplex was being converted into one unit with one driveway, one water meter, finally learning that it had “a mother-in-law suite” accessible from the common area inside. The search warrant was valid and particular. Conrad v. State, 163 Ga. App. 146, 730 S.E.2d 7 (2012).*

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