United States v. Lull

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Defendant conditionally plead guilty to one count of possession of a firearm in furtherance of a drug crime, and then appealed the denial of his motion to suppress evidence obtained from a search of his residence. The court concluded that defendant has shown by a preponderance of the evidence that the investigator omitted information from the search warrant affidavit - material information about the reliability of the confidential informant who was the primary source of the information used to establish probable cause - with at least a reckless disregard for whether these omissions made the application misleading. Because these omissions were material to a finding of probable cause, defendant has established a violation of his Fourth Amendment rights under Franks v. Delaware. Therefore, the district court erred in denying defendant’s suppression motion. The court reversed the district court's denial of defendant's motion to suppress, vacated defendant's conviction and sentence, and remanded for further proceedings. View "United States v. Lull" on Justia Law