KY: Traffic stop was unreasonably delayed for drug dog

The officers delayed the stop to get the drug dog to the scene. The court of appeals erred, however, in not determining reasonable suspicion. Commonwealth v. Mitchell, 2020 Ky. LEXIS 394 (Oct. 29, 2020):

The permissible duration of a stop is a fluid and fact dependent analysis. That is to say, during a stop, police officers are not on a clock. Officers neither get bonus time to pursue other investigative tracks by completing a citation quickly, nor is an inexperienced officer forced to meet an arbitrary benchmark that is unreasonable given his or her background. The test is what officers do at the scene. As long as the officers are diligently working to complete the purpose of the initial stop, a stop is not impermissibly extended merely because one stop is marginally longer than another.

In this case, the Court of Appeals correctly stated that it was “unrefuted that the officers deferred the completion of the stop beyond its original purpose to discuss and then request a canine search.” There is no de minimis or “reasonableness” exception to Davis or Rodriguez for delays attributed to actions unrelated to the purpose of the stop. This opinion should not be read to say that officers may not confer as to the proper method of processing a stop. When such a discussion is related to the original purpose of the stop, then no impermissible delay occurs. If discussions are unrelated to the original purpose of the stop, officers may still have such conferences if the officers continue to exercise reasonable diligence in completing the purpose of the initial stop. When it comes to pursuing unrelated investigative issues, officers must be able to do so while simultaneously completing the purpose of the stop. For this reason, we affirm the Court of Appeals’ holding that the discussion regarding summoning the canine unit impermissibly delayed completion of the stop.

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